The New York State Department of Health (DOH) on Aug. 17, 2022, released the long-awaited licensure application for licensed home care services agencies (LHCSAs) seeking approval in one of three categories: initial licensure, change in ownership and expansion of restricted license. The announcement included Frequently Asked Questions (FAQ) addressing anticipated questions related to the application process, as well as a Dear Administrator Letter briefly summarizing the new public need methodology and standards for financial feasibility. This Holland & Knight alert provides a brief overview of the application's key components and licensure process.
On April 1, 2018, the DOH issued a moratorium on the processing and approval of licensure applications for LHCSAs, with an expiration date of March 31, 2020. During the moratorium, Article 36 of the Public Health Law was amended to consider public need and financial feasibility as part of the review process for applicants seeking to establish or own and operate a LHCSA. While regulations were implemented to address these requirements effective as of April 1, 2020 – simultaneously with the expiration of the moratorium – DOH was unable to release a new licensure application because of its focus on managing the COVID-19 pandemic. Thus, no new licensure applications were able to be filed for more than four years. In the interim, proposed buyers and sellers entered into management agreements, which are subject to DOH approval, to bridge the gap until full legal title to the LHCSA could pass to the buyer. Those looking to establish new LHCSAs had their hands tied. With the new LHCSA licensure application finally released, existing LHCSA operators can apply for approval to sell or expand their business, and proposed operators can seek approval to form a new LHCSA.
The new LHCSA application applies to applicants seeking establishment approval as a new LHCSA, those looking to undergo a change in ownership or control and those looking to expand the scope of their existing license, i.e., agencies affiliated with Continuing Care Retirement Communities (CCRC), Medicaid Assisted Living Programs (ALP), Nurse-Family Partnerships (NFP) and Programs of All-Inclusive Care for the Elderly (PACE) (each a Restricted LHCSA), and which now seek to serve patients outside the CCRC, ALP or NFP programs. Like most certificate of need applications for provider licenses in New York, including hospitals, ambulatory surgery centers, and diagnostic and treatment centers, the new application requires applicants to meet three criteria: public need, financial feasibility, and character and competence, which was part of the original licensure process.
Many applicants submitted licensure applications that were put on hold during the moratorium. These applicants will need to refile for licensure using the new application. In addition, new parent organizations that were permitted to acquire the interest of an entity above the LHCSA operator during the moratorium utilizing an Affidavit of No Control must submit a licensure application within 30 days of the application's release, together with the affidavit that was previously filed with DOH.
Existing LHCSAs looking to add or remove a service, service area, office address or undergo name change need not file a new LHCSA application. Instead, they can complete a written request to the applicable regional office along with a checklist for processing.
Certain transfers in ownership only require 90 or 120 days prior notice, depending on the type of entity undergoing the change. Specifically:
Applications must be filed electronically through the state's electronic certificate of need system (known as NYSE-CON), and still require a nonrefundable $2,000 application fee. They are reviewed first by DOH staff and then by the PHHPC, the members of which meet every two months in New York City and Albany on a rotating schedule. According to the FAQs, applications are reviewed in the order in which they are acknowledged within the NYSE-CON system. If an application receives contingent approval from the PHHPC, the applicant will be required to submit a policy and procedure manual to the appropriate regional office for review. Once the regional office deems it to be acceptable, a preopening survey will be scheduled and upon successful completion, a license will be issued. In the case of a change in ownership, the applicant may submit the LHCSA's previously approved policy and procedure manual which, according to the FAQs, will expedite the licensure process.
Given the years-long suspension of the LHCSA licensure process, it is reasonable to conclude that DOH will have its hands full over the next several months reviewing applications from existing and potential new LHCSA owners. That said, it is important for applicants to carefully read through all of the materials published by DOH prior to filing so as to ensure that its application is as complete, and raises as few questions, as possible in order to avoid approval delays. The FAQs and other posted materials provide valuable guidance, and DOH is making itself available to answer specific questions, all of which will go a long way in assisting applicants through this process.
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