St. Benedict's Health Center v. North Dakota Department of Human Services

2004 ND 63, 677 N.W.2d 202, 2004 N.D. LEXIS 76, 2004 WL 594975
CourtNorth Dakota Supreme Court
DecidedMarch 25, 2004
Docket20030289
StatusPublished
Cited by13 cases

This text of 2004 ND 63 (St. Benedict's Health Center v. North Dakota Department of Human Services) is published on Counsel Stack Legal Research, covering North Dakota Supreme Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
St. Benedict's Health Center v. North Dakota Department of Human Services, 2004 ND 63, 677 N.W.2d 202, 2004 N.D. LEXIS 76, 2004 WL 594975 (N.D. 2004).

Opinion

MARING, Justice.

[¶ 1] The North Dakota Department of Human Services appealed from a district court judgment reversing the Department’s determination that for purposes of establishing St. Benedict’s Health Center’s direct care costs for its medicaid reimbursement rate for the 2001 rate year, St. Benedict’s non-certiñed “nursing department helpers” were not “nurse aides.” We conclude the Department’s interpretation of nurse aides to mean certified nurse aides is reasonable and entitled to deference. We reverse the judgment and reinstate the Department’s decision.

I

[¶ 2] The issue in this case involves St. Benedict’s medicaid reimbursement rate for nursing home care provided to qualifying residents for the 2001 rate year. Medicaid is a cooperative federal-state program designed to provide health care to needy people. North Cent. Good Samaritan Ctr. v. North Dakota Dep’t of Hitman Servs., 2000 ND 96, ¶ 5, 611 N.W.2d 141. The Medicaid program is administered at the federal level by the United States Department of Health and Human Services and at the state level by the Department. Id. Under the Medicaid program, the Department establishes a medicaid reimbursement rate for health-care facilities that provide services to eligible recipients. Id. The Department is authorized to promulgate rules for determining medicaid reimbursement rates which “must be based on methods and standards which the department finds are adequate to recognize the costs that must be incurred for the care of residents in efficiently and economically operated nursing homes.” N.D.C.C. § 50-24.4-02. The Department’s methodology for setting medicaid reimbursement rates is governed by N.D.C.C. ch. 50-24.4 and N.D. Admin. Code ch. 75-02-06.

[¶ 3] A health-care facility that provides services to eligible medicaid recipients must provide annual cost reports to the Department for costs associated with running the facility for a twelve-month period ending on June 30. N.D. Admin. Code. § 75-02-06-02(2)(c). The Department may then audit the facility’s cost report. N.D. Admin. Code § 75-02-06-02(3). The Department’s regulations categorize costs for calculating medicaid rates as direct care costs, other direct care costs, indirect care costs, and property costs. N.D. Admin. Code §§ 75-02-06-02.2 to 75-02-06-02.5. Direct care costs mean the cost category for allowable nursing and therapy costs, and indirect care costs include administration and housekeeping costs. See N.D.C.C. § 50-24.4-01 and N.D. Admin. Code § 75-02-06-01. As relevant to St. Benedict’s medicaid reimbursement rate for the 2001 rate year, N.D. Admin. Code § 75-02-06-02.2(2)(a) identified direct care costs for nursing as “[sjalary and employment benefits for the director of nursing, nursing supervisors, inservice trainers for nursing staff, registered nurses, licensed practical nurses, *204 quality assurance personnel, nurse aides, orderlies, and ward clerks.”

[¶ 4] According to Pam Becker, St. Benedict’s director of nursing, St. Benedict’s employed some “certified nurse assistants” and also employed between twenty-two and twenty-five “nursing department helpers” who had not been certified as “nurse aides” under 42 C.F.R. § 483.75(e) and who performed “non-hands-on jobs that a [certified nurse assistant] is required to do.” St. Benedict’s job description for its “nursing department helpers” summarizes the job as “[u]nder the supervision of the Charge Nurse, or designee, completes tasks not associated with direct hands-on resident care,” and lists the following duties and responsibilities:

1. Live and teach St. Benedict’s Mission and Values.
2. Establish and maintain positive interpersonal relationships with other team members characterized by open communication, trust and respect.
3. Deliver linen to units and rooms daily-
4. Pick up and distribute water pitchers with fresh water. Distribute clean water glasses and pick up soiled glasses.
5. Make beds.
6. Wash beds, bedside tables, over the bed tables, wheelchairs, walkers, and other items as instructed.
7. Clean humidifiers.
8. May be asked to empty dirty linen and garbage as needed.
9. Deliver supplies and stock shelves.
10. Assist with transportation of residents in wheelchairs to activities, meals, lunches, church services and special events.
11. Pass between meal nourishments.
12. Distribute clothing protectors in Dining Room and pick up soiled clothing protectors after meals.
13. Prepare wash cloths for post meal grooming techniques, distribute, and pick up after use.
14. Chart percentage of meal consumed, fluid intake, and percentage of supplement consumed, under direction and supervision of charge nurse in Dining Room.
15. Distribute'meal trays.
16. Comply with all facility policies and procedures.

[¶ 5] The issue in this case is whether the salaries and fringe benefits paid by St. Benedict’s to its uncertified “nursing department helpers” are allocated as “direct care costs” for “nurse aides,” or “indirect care costs” for “housekeeping” or “administration.” 1 Barbara Fischer, the manager of Long Term Care and Hospital Services for the Department’s Medical Services Division, concluded federal medicaid law required St. Benedict’s “nursing department helpers” to be certified, or working on certification, to be classified as *205 “nurse aides” for the 2001 rate year. Fischer decided the appropriate cost category for salaries and fringe benefits for St. Benedict’s uncertified “nursing department helpers” was “housekeeping,” an indirect care cost category under N.D. Admin. Code § 75-02-06-02.4(5), or a “catch all” for administrative costs, also an indirect care cost category under N.D. Admin. Code § 75-02-06-02.4(l)(u).

[¶ 6] St. Benedict’s appealed the Department’s determination, and an Administrative Law Judge (“ALJ”) recommended concluding St. Benedict’s nursing department helpers were nurse aides whose salaries and fringe benefits were direct care costs for purposes of setting its 2001 medicaid reimbursement rate. The ALJ construed nurse aides to mean any individuals providing nursing or nursing-related services to residents and concluded St. Benedict’s nursing department helpers were providing those services to St. Benedict’s residents and were “nurse aides” under that definition.

[¶ 7] The Department’s executive director rejected the ALJ’s recommendation, concluding St. Benedicts’s nursing department helpers were not nurse aides because they were not certified to perform nursing-related services as required by federal medicaid law. The Department thus concluded the salaries and fringe benefits for St.

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Bluebook (online)
2004 ND 63, 677 N.W.2d 202, 2004 N.D. LEXIS 76, 2004 WL 594975, Counsel Stack Legal Research, https://law.counselstack.com/opinion/st-benedicts-health-center-v-north-dakota-department-of-human-services-nd-2004.