Thanks to the Partnership for Inclusive Disaster Strategies for alerting disability advocates to proposed federal rule changes that would make it easier to put disabled people of all ages into nursing “homes” and other facilities, as well as make it harder for them to move back out to the community. The deadline for comments is May 20 at 11:59 p.m.
The National Disability Rights Network has provided a link to a pre-populated comment that individuals or groups can edit and submit. It’s quick and easy. A direct link to CMS for comments on this proposed rule change is here.
NDY’s comment is below, with most of the text borrowed from the NDRN template comment, which explains the rule changes.
Public Comment By Not Dead Yet Re Proposed Medicaid PASRR Changes
Not Dead Yet is a national grassroots disability rights organization led by disabled people, advocating for nondiscrimination in health care. We support people with disabilities’ equal rights to life-sustaining treatment. We oppose assisted suicide laws as a deadly form of discrimination. We support people with disabilities’ right to live in the community and not be forced into nursing homes and other institutions.
We are writing to comment on CMS’ proposed changes to Preadmission Screening and Resident Review (PASRR). PASRR is an important tool to keep people with disabilities from being unnecessarily placed in nursing facilities and help them transition back to the community. Having strong PASRR rules is especially important now, with the rampant outbreaks and deaths from COVID-19 happening in nursing facilities around the country.
Forcing older, ill and disabled people into nursing facilities is always a civil rights violation, always a threat to an individual’s health and well being, exposing them to well documented risks of abuse and neglect. But because of COVID-19, now more than ever it becomes a death sentence.
We oppose the proposed changes to the PASRR rule that would make it easier for people to be admitted to nursing facilities and harder for people in nursing facilities to return to the community. First, the proposed rule would allow states to avoid screening and evaluation for many people before admitting them to a nursing facility, leading to admission of people who could instead be served in the community. The rule also would limit the services that nursing facilities have to provide once someone is admitted. Without all of the services they need, people will lose skills and not learn new skills that would make it easier for them to transition back to their communities. Finally, the rule would allow states to stop working on the transition of a person back to the community if the person does not have a community option currently available, even if everyone agrees the person could be best served in the community. The rule should instead require the person’s case manager to continue to work to identify community options.
All of these changes will mean more people will be admitted to or remain stuck in nursing facilities who don’t need to be. This not only violates the right of people with disabilities to community services, but is especially dangerous during this COVID-19 pandemic.
We ask you to please substantially revise the proposed rule to remove any changes that would make it easier for people with disabilities to be admitted to or to remain in nursing homes unnecessarily. We would also like an opportunity to comment on the new rule once revised. The health and safety of people with disabilities of all ages around the country depends on it.