Gran Jurado del Condado de Santa Clara
2014-2015
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Hallazgos & Recomendaciones
5 hallazgos
F1:
The cities of Palo Alto, Mountain View, and Sunnyvale want to retain control of Sea Level Rise related efforts within their jurisdictions, but would like to have an organization assume responsibility for coordinating the plans and activities involved in addressing Sea Level Rise.
Recomendaciones relacionadas (1)
R1:
The Santa Clara Valley Water District should take a more proactive role in coordinating with cities that will be affected by Sea Level Rise, unifying, integrating and directing efforts in Santa Clara County.
F2:
The City of Milpitas does not have a Climate Action Plan which addresses Sea Level Rise.
Recomendaciones relacionadas (1)
R2:
The City of Milpitas needs to develop a Climate Action Plan which addresses Sea Level Rise.
F3:
The City of Palo Alto’s 2014 “Threat and Hazard Identification and Risk Assessment” did not identify the effects of Sea Level Rise as one of the hazards.
Recomendaciones relacionadas (1)
R3:
The City of Palo Alto needs to identify Sea Level Rise as a hazard in its “Threat and Hazard Identification Risk Assessment.
F4:
The Santa Clara Valley Water District, which is by law tasked with the responsibility for flood control in Santa Clara County, has not coordinated Santa Clara County’s efforts to address Sea Level Rise and all of the cities in Santa Clara County that abut the Bay.
Recomendaciones relacionadas (1)
R4:
The Santa Clara Valley Water District should coordinate Santa Clara County’s effort to address Sea Level Rise for all of the cities in Santa Clara County that abut the Bay.
F5:
According to the Santa Clara Valley Water District’s website, since July 2012, it has held only one public meeting to share information about Sea Level Rise.
Recomendaciones relacionadas (1)
R5:
The Santa Clara Valley Water District should provide more information for the residents of Santa Clara County about Sea Level Rise.
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Hallazgos & Recomendaciones
22 hallazgos
F1:
Educational and vocational programs for incarcerated women in the Santa Clara County Elmwood Correctional Facility help reduce recidivism and re-incarceration costs.
Recomendaciones relacionadas (1)
R1:
Santa Clara County, through the Department of Correction, should find ways to expand women inmates’ access to educational and vocational programs.
F2:
The Santa Clara County Department of Correction’s initial over-classification of security levels of some women inmates creates an access barrier to educational and vocational programs at the Elmwood Correctional Facility.
Recomendaciones relacionadas (1)
R2:
Santa Clara County should evaluate the Correctional Assessment and Intervention System tool to determine whether it has been effective in processing the inherent differences between men and women inmates.
F3:
The Department of Correction does not respond to women inmate requests for lower security classifications in a timely manner, which delays their access to educational and vocational programs.
Recomendaciones relacionadas (1)
R3:
Santa Clara County, through the Department of Correction, should respond to requests from women inmates for reclassification within one month.
F4:
The Elmwood Women’s Facility design for Level 3 and Level 4 housing units inhibits women inmates’ access to educational and vocational programs.
Recomendaciones relacionadas (1)
R4:
Santa Clara County, through the Department of Correction, should find means to provide Level 3 and Level 4 women inmates with educational and vocational programs within their housing units.
F5:
The lack of coordination between the Department of Correction Programs Services Unit and the Custody Unit regarding classroom availability is a barrier to Level 1 and Level 2 women inmates’ access to more educational and vocational classes.
Recomendaciones relacionadas (1)
R5:
Santa Clara County, through the Department of Correction, should require that the Programs Services Unit and the Custody Unit to meet regularly to discuss how to best utilize the available time and space for educational and vocational classes.
F6:
The Department of Correction only provides five vocational programs for Level 1 women inmates, compared to eight for men, which limits women inmate opportunities for post- release employment.
Recomendaciones relacionadas (1)
R6:
Santa Clara County, through the Department of Correction, should expand the offering of vocational programs to women inmates, enhancing their opportunities for post- release employment.
F7:
The Department of Correction does not keep statistics regarding the number of women waiting to participate in educational and vocational programs, precluding a means of evaluating whether more classrooms and instructors are needed.
Recomendaciones relacionadas (1)
R7:
Santa Clara County, through the Department of Correction, should keep statistics regarding the number of women waiting to participate in educational and vocational programs in order to evaluate whether more classrooms and instructors are needed.
F8:
Santa Clara County Department of Corrections Sheriff’s Office Custody Bureau - Inmate Orientation and Rule Book, June 2011. English Version.
Recomendaciones relacionadas (1)
R8:
Santa Clara County Department of Corrections Sheriff’s Office Custody Bureau - Inmate Orientation and Rule Book, June 2011. English Version.
F9:
Santa Clara County Department of Correction Inmate Request Form. Rev. April, 1989
Recomendaciones relacionadas (1)
R9:
Santa Clara County Department of Correction Inmate Request Form. Rev. April, 1989
F10:
County of Santa Clara Inmate Welfare Fund Committee Meeting. . Full Report. Includes: Inmate Programs, Statistics and Performance Reporting, Inmate Personal Fund Balance and Activity Report, Performance Measures. October 15, 2014.
Recomendaciones relacionadas (1)
R10:
County of Santa Clara Inmate Welfare Fund Committee Meeting. . Full Report. Includes: Inmate Programs, Statistics and Performance Reporting, Inmate Personal Fund Balance and Activity Report, Performance Measures. October 15, 2014.
F11:
Santa Clara County Department of Corrections, the Santa Clara County Office of Women’s Policy and the Santa Clara County Commission on the Status of Women. Memorandum of Understanding. September 2013.
Recomendaciones relacionadas (1)
R11:
Santa Clara County Department of Corrections, the Santa Clara County Office of Women’s Policy and the Santa Clara County Commission on the Status of Women. Memorandum of Understanding. September 2013.
F12:
Sasatelli, Brad and George Camp. Santa Clara County California Department of Correction Needs Assessment/Facilities Study. Final Report. Tallahassee, FL: MGT of America, January 21, 2015.
Recomendaciones relacionadas (1)
R12:
Sasatelli, Brad and George Camp. Santa Clara County California Department of Correction Needs Assessment/Facilities Study. Final Report. Tallahassee, FL: MGT of America, January 21, 2015.
F13:
National Center for Trauma-Informed Care, Center for Mental Health Services (NCTIC). Creating A Place of Healing and Forgiving: The Trauma-Informed Care Initative at the Women’s Community Correctional Center of Hawaii.. http://nasmhpd.org/docs/NCTIC/7014_hawaiian_trauma_brief_2013.pdf
Recomendaciones relacionadas (1)
R13:
National Center for Trauma-Informed Care, Center for Mental Health Services (NCTIC). Creating A Place of Healing and Forgiving: The Trauma-Informed Care Initative at the Women’s Community Correctional Center of Hawaii.. http://nasmhpd.org/docs/NCTIC/7014_hawaiian_trauma_brief_2013.pdf
F14:
The Santa Clara County Office of the Sheriff/Department of Corrections – Inmate programs. Performance Measures Report. . 2015 Report.
Recomendaciones relacionadas (1)
R14:
The Santa Clara County Office of the Sheriff/Department of Corrections – Inmate programs. Performance Measures Report. . 2015 Report.
F15:
Santa Clara County Public Safety Realignment Plan, 2011. . (Includes Office of the Sheriff and Department of Corrections.) August, 25, 2011.
Recomendaciones relacionadas (1)
R15:
Santa Clara County Public Safety Realignment Plan, 2011. . (Includes Office of the Sheriff and Department of Corrections.) August, 25, 2011.
F16:
Commission on Status of Women’s Policy. Quick Facts on Women and Girls in Santa Clara County, January 14, 2013.
Recomendaciones relacionadas (1)
R16:
Commission on Status of Women’s Policy. Quick Facts on Women and Girls in Santa Clara County, January 14, 2013.
F17:
Davis, Lois M., Robert Bozick, Jennifer L. Steele, Jessica Saunders and Jeremy N. V. Miles. Evaluating the Effectiveness of Correctional Education: A Meta-Analysis of Programs That Provide Education to Incarcerated Adults. Santa Monica, CA: RAND Corporation, 2013. http://www.rand.org/pubs/research_reports/RR266. Also available in print form.
Recomendaciones relacionadas (1)
R17:
Davis, Lois M., Robert Bozick, Jennifer L. Steele, Jessica Saunders and Jeremy N. V. Miles. Evaluating the Effectiveness of Correctional Education: A Meta-Analysis of Programs That Provide Education to Incarcerated Adults. Santa Monica, CA: RAND Corporation, 2013. http://www.rand.org/pubs/research_reports/RR266. Also available in print form.
F18:
Huskey and Associates in association with the University of Cincinnati Center for Criminal Justice Research. Recidivism Study of the Santa Clara County Department of Correction Inmate Programs. Final Report . . January 31, 2012
Recomendaciones relacionadas (1)
R18:
Huskey and Associates in association with the University of Cincinnati Center for Criminal Justice Research. Recidivism Study of the Santa Clara County Department of Correction Inmate Programs. Final Report . . January 31, 2012
F19:
Barnes, Marilyn, Angela Irvine, and Natalie Ortega. Santa Clara County Adult Reentry Strategic Plan Ready to Change: Promoting Safety and Health for the Whole Community. Washington, D.C.: National Council on Crime and Delinquency, September 2012.
Recomendaciones relacionadas (1)
R19:
Barnes, Marilyn, Angela Irvine, and Natalie Ortega. Santa Clara County Adult Reentry Strategic Plan Ready to Change: Promoting Safety and Health for the Whole Community. Washington, D.C.: National Council on Crime and Delinquency, September 2012.
F20:
Husky and Associate. Santa Clara County Inmate Recidivism and Program Evaluation Findings and Recommendations (PowerPoint Presentation to SCC B.O.S) March 2012
Recomendaciones relacionadas (1)
R20:
Husky and Associate. Santa Clara County Inmate Recidivism and Program Evaluation Findings and Recommendations (PowerPoint Presentation to SCC B.O.S) March 2012
F21:
Santa Clara County Office of the Sheriff Department of Correction - Sexual Assault Awareness Pamphlet.
Recomendaciones relacionadas (1)
R21:
Santa Clara County Office of the Sheriff Department of Correction - Sexual Assault Awareness Pamphlet.
F22:
Santa Clara County Office of Women’s Policy, State of Women and Girls, 2012.Final Edition.pdf
Recomendaciones relacionadas (1)
R22:
Santa Clara County Office of Women’s Policy, State of Women and Girls, 2012.Final Edition.pdf
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Hallazgos & Recomendaciones
7 hallazgos
F1:
The San Jose Police Department’s duty manual refers to the County Child Abuse Protocol and not to the County Elder and Dependent Adult Abuse Protocol.
Recomendaciones relacionadas (1)
R1:
The San Jose Police Department should revise its duty manual to refer to the County Elder and Dependent Adult Abuse Protocol.
F2:
The Los Altos Police Department’s duty manual does not reference the Santa Clara County Elder and Dependent Adult Abuse Protocol.
Recomendaciones relacionadas (1)
R2:
The Los Altos Police Department should revise its duty manual to reference the Santa Clara County Elder and Dependent Adult Abuse Protocol.
F3:
The Milpitas Police Department’s duty manual does not reference the Santa Clara County Elder and Dependent Adult Abuse Protocol.
Recomendaciones relacionadas (1)
R3:
The Milpitas Police Department should revise its duty manual to reference the Santa Clara County Elder and Dependent Adult Abuse Protocol.
F4:
The Morgan Hill Police Department’s duty manual does not reference the Santa Clara County Elder and Dependent Adult Abuse Protocol.
Recomendaciones relacionadas (1)
R4:
The Morgan Hill Police Department should revise its duty manual to reference the Santa Clara County Elder Abuse Protocol.
F5:
The Mountain View Police Department’s duty manual does not reference the Santa Clara County Elder and Dependent Adult Abuse Protocol.
Recomendaciones relacionadas (1)
R5:
The Mountain View Police Department should revise its duty manual to reference the Santa Clara County Elder and Dependent Adult Abuse Protocol.
F6:
The Elder and Dependent Adult Abuse Protocol for Santa Clara County Law Enforcement, dated July 2010, has not been revised in five years, is over 100 pages long, and should be revised and shortened.
Recomendaciones relacionadas (14)
R6A:
The City of Campbell Police Department, as a member of the Police Chiefs’ Association of Santa Clara County, should advocate for revision of the Elder and Dependent Adult Abuse Protocol for Santa Clara County Law Enforcement.
R6B:
The City of Gilroy Police Department, as a member of the Police Chiefs’ Association of Santa Clara County, should advocate for revision of the Elder and Dependent Adult Abuse Protocol for Santa Clara County Law Enforcement.
R6C:
The City of Los Altos Police Department, as a member of the Police Chiefs’ Association of Santa Clara County, should advocate for revision of the Elder and Dependent Adult Abuse Protocol for Santa Clara County Law Enforcement.
R6D:
The Cities of Los Gatos / Monte Sereno Police Department, as a member of the Police Chiefs’ Association of Santa Clara County, should advocate for revision of the Elder and Dependent Adult Abuse Protocol for Santa Clara County Law Enforcement.
R6E:
The City of Milpitas Police Department, as a member of the Police Chiefs’ Association of Santa Clara County, should advocate for revision of the Elder and Dependent Adult Abuse Protocol for Santa Clara County Law Enforcement.
R6F:
The City of Morgan Hill Police Department, as a member of the Police Chiefs’ Association of Santa Clara County, should advocate for revision of the Elder and Dependent Adult Abuse Protocol for Santa Clara County Law Enforcement.
R6G:
The City of Mountain View Police Department, as a member of the Police Chiefs’ Association of Santa Clara County, should advocate for revision of the Elder and Dependent Adult Abuse Protocol for Santa Clara County Law Enforcement.
R6H:
The City of Palo Alto Police Department, as a member of the Police Chiefs’ Association of Santa Clara County, should advocate for revision of the Elder and Dependent Adult Abuse Protocol for Santa Clara County Law Enforcement.
R6I:
The City of San Jose Police Department, as a member of the Police Chiefs’ Association of Santa Clara County, should advocate for revision of the Elder and Dependent Adult Abuse Protocol for Santa Clara County Law Enforcement.
R6J:
The City of Santa Clara Police Department, as a member of the Police Chiefs’ Association of Santa Clara County, should advocate for revision of the Elder and Dependent Adult Abuse Protocol for Santa Clara County Law Enforcement.
R6K:
The Office of the Sheriff of Santa Clara County, as a member of the Police Chiefs’ Association of Santa Clara County, should advocate for revision of the Elder and Dependent Adult Abuse Protocol for Santa Clara County Law Enforcement.
R6L:
The City of Sunnyvale Department of Public Safety, as a member of the Police Chiefs’ Association of Santa Clara County, should advocate for revision of the Elder and Dependent Adult Abuse Protocol for Santa Clara County Law Enforcement.
R6M:
The County of Santa Clara Office of the District Attorney, as a member of the Police Chiefs’ Association of Santa Clara County, should advocate for revision of the Elder and Dependent Adult Abuse Protocol for Santa Clara County Law Enforcement.
R6N:
The Santa Clara County Department of Correction, as a member of the Police Chiefs’ Association of Santa Clara County, should advocate for revision of the Elder and Dependent Adult Abuse Protocol for Santa Clara County Law Enforcement.
F7:
There is no document to be given to elder and dependent adult abuse victims containing a list of available resources.
Recomendaciones relacionadas (1)
R7:
The County, through County of Santa Clara; Social Services Agency; Adult Protective Services, and the County of Santa Clara Office of the District Attorney should collaborate on a document for law enforcement agencies to provide elder and dependent adult abuse victims advising them of available and applicable resources.
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Hallazgos & Recomendaciones
4 hallazgos
F1:
The Santa Clara County Animal Care and Control follow their issuing and processing citations procedures and do not routinely void citations issued. Animal Control Officer Training and Procedure Manual 7
Recomendaciones relacionadas (1)
R1:
No recommendation needed.
F2:
The Santa Clara County Animal Care and Control animal control officers and animal control program manager are currently Penal Code Section 832 certified in arrest procedures and firearms and have their baton certification.
Recomendaciones relacionadas (1)
R2:
No recommendation needed.
F3:
The Santa Clara County Animal Care and Control animal control officers and program manager want to be and should be certified in the use of controlled substances for tranquilizing or euthanizing severely injured animals in the field.
Recomendaciones relacionadas (1)
R3:
The Santa Clara County Department of Agriculture and Environmental Management should ensure that Animal Care and Control officers and program manager receive the new state certification training for use of controlled substances for tranquilizing or euthanizing severely injured animals in the field, once the new certification training is available.
F4:
The “Animal Control Officer Training and Procedures Manual” does not include mandatory training referenced in State Penal Code Section 832 Arrest and Firearms Course.
Recomendaciones relacionadas (1)
R4:
The County should ensure that the “Animal Control Officer Training and Procedures Manual” includes
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Hallazgos & Recomendaciones
5 hallazgos
F1:
The Crime Lab management took proactive action to protect their employees and the public. The initial step of placing warning signs at water drinking fountains and sinks, while also providing bottled water for personal use, has been instrumental in avoiding anyone contracting Legionnaire’s Disease.
Recomendaciones relacionadas (1)
R1:
The establishment of an HACCP team
F2:
The Legionella Pneumophila Bacterium in the plumbing system of the Crime Lab can be controlled within acceptable levels.
Recomendaciones relacionadas (3)
R2:
Critical control points
R2A:
The County should ensure that FAF continues with the use of the installed chlorine Injection System to control the growth of water borne bacteria at the Crime Lab.
R2B:
The County should ensure that FAF maintains a schedule of testing as specified in the “Permit for chlorine Injection System Installation” permit plan and as documented within the HACCP plan to ensure that the residual bacterial levels in the potable water do not exceed safety standards.
F3:
The County did not provide timely notification, information, education, and training regarding Legionella Bacteria found in the water of the Crime Lab to their employees and contractors who regularly or occasionally perform work in the Crime Lab building.
Recomendaciones relacionadas (1)
R3:
The County should ensure that all Crime Lab and Facilities and Fleet employees, contractors and others who frequent or visit the Crime Lab are given timely notification, updates, and training regarding the status of the Legionella Bacteria in the water.
F4:
The Crime Lab warning signs regarding Legionella Bacteria posted at water drinking fountains, sinks, and faucets used by employees and the public are only in English.
Recomendaciones relacionadas (1)
R4:
The County should ensure that the Crime Lab’s Legionella Bacteria warning signs on the water drinking fountains, sinks, and faucets used by employees and the public are provided in languages which are prevalent in Santa Clara County such as, Spanish, Chinese, and Vietnamese.
F5:
The Crime Lab does not have warning signs regarding the presence of Legionella Bacteria posted at all of the water drinking fountains, sinks, and faucets.
Recomendaciones relacionadas (1)
R5:
The County should ensure that the Crime Lab’s Legionella Bacteria warning signs are posted and remain posted in all appropriate locations until such time that the employees and public may be assured the danger posed by Legionella Bacteria in the potable water system of the Crime Lab is controlled. Appendix A
Recomendaciones adicionales
7
No vinculadas a hallazgos específicos.
R6:
Record keeping and documentation
R7:
Verification and validation The recommended steps are:11
R8:
Establish critical limits
R9:
Establish a system to monitor critical control points
R10:
Establish corrective actions
R11:
Validate/verify HACCP plan
R12:
Establish documentation and record keeping The application of HACCP to public water supplies was first proposed in 1994 and has been successfully implemented by many countries including Australia, New Zealand, Belgium, Finland, Italy, South Africa, and the United Kingdom. Safety programs, based on the seven principals of HACCP, were developed by the World Health Organization and have been proven effective in preventing waterborne disease associated with 10 Additional detail on these principles can be found in
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Hallazgos & Recomendaciones
18 hallazgos
F1:
The Crime Lab’s continued ASCLD/LAB accreditation and accreditation from both national and ISO/ IEC standards is testament to a culture that maintains a highly qualified staff and operation.
Recomendaciones relacionadas (1)
R1:
Newspaper article dated 5/5/2014 – Crime lab uses wrong chemical in 2,500 methamphetamine tests in Santa Clara County
F2:
The Crime Lab demonstrated transparency in reporting this incident.
Recomendaciones relacionadas (1)
R2:
Corrective Action Request CAR # 14-002 dated 4/4/2014 (Confidential)
F3:
The Crime Lab’s Meth Test Mix-Up was corrected by modifying the test procedure and using a single reference standard for the Enzyme ImmunoSorbent Assay (EIA), Gas Chromatography (GC), and Mass Spectrometry (MS) tests.
Recomendaciones relacionadas (1)
R3:
ASCLD/LAB-International Program – Scope of Accreditation – Corresponds to Certificate Number ALI-207-T dated 3/20/2012
F4:
The Crime Lab changed container labeling by using new and larger container labels, storing the solution in another room/cabinet, and having another technician verify the solution being used.
Recomendaciones relacionadas (1)
R4:
2014 Internal Audit Report for the Santa Clara County DA’s Laboratory Summary Non-Conformance Report with Responses dated 5/19-6/2/2014
F5:
The Crime Lab has experienced and vigilant staff that follows well-developed quality control processes.
Recomendaciones relacionadas (1)
R5:
Sarah Kerrigan, Ph.D., Drug Toxicology for Prosecutors, Oct 2004, p. 39
F6:
Complying with ISO 17025, A Practical Guidebook, United Nations Industrial Development Organization Vienna ,2009, p. 20
Recomendaciones relacionadas (1)
R6:
Complying with ISO 17025, A Practical Guidebook, United Nations Industrial Development Organization Vienna ,2009, p. 20
F7:
FBI – CODIS and NDIS Fact Sheet, Frequently Asked Questions (FAQs) on the CODIS Program and the National DNA Index System http://www.fbi.gov/about- us/lab/biometric-analysis/codis/codis-and-ndis-fact-sheet
Recomendaciones relacionadas (1)
R7:
FBI – CODIS and NDIS Fact Sheet, Frequently Asked Questions (FAQs) on the CODIS Program and the National DNA Index System http://www.fbi.gov/about- us/lab/biometric-analysis/codis/codis-and-ndis-fact-sheet
F8:
International Laboratory Accreditation Cooperation Why become an Accredited Laboratory?
Recomendaciones relacionadas (1)
R8:
International Laboratory Accreditation Cooperation Why become an Accredited Laboratory?
F9:
San Jose Mercury News Article dated1/5/2011 – New Crime Lab Director Named
Recomendaciones relacionadas (1)
R9:
San Jose Mercury News Article dated1/5/2011 – New Crime Lab Director Named
F10:
Inspection And Inquiry Report Into Santa Clara County Crime Laboratory.pdf
Recomendaciones relacionadas (1)
R10:
Inspection And Inquiry Report Into Santa Clara County Crime Laboratory.pdf
F11:
General Requirements: Accreditation Of Field Testing And Field Calibration Laboratories
Recomendaciones relacionadas (1)
R11:
General Requirements: Accreditation Of Field Testing And Field Calibration Laboratories
F12:
Crime Lab Administrative Directives Manual- Rev. 4, 10-2-14
Recomendaciones relacionadas (1)
R12:
Crime Lab Administrative Directives Manual- Rev. 4, 10-2-14
F13:
An Examination of Forensic Science in California, November 2009
Recomendaciones relacionadas (1)
R13:
An Examination of Forensic Science in California, November 2009
F14:
Elevated Methamphetamine Crime Lab Test Found, Fixed - District Attorney - County of Santa Clara
Recomendaciones relacionadas (1)
R14:
Elevated Methamphetamine Crime Lab Test Found, Fixed - District Attorney - County of Santa Clara
F15:
General Requirements: ACCREDITATION OF FIELD TESTING AND FIELD CALIBRATION LABORATORIES , American Association for Laboratory Accreditation
Recomendaciones relacionadas (1)
R15:
General Requirements: ACCREDITATION OF FIELD TESTING AND FIELD CALIBRATION LABORATORIES , American Association for Laboratory Accreditation
F16:
Molly E. Griswold, Its More Complex Than You Think - A Chiefs Guide to DNA, Police Executive Research Forum, Washington, DC 20036, 2010
Recomendaciones relacionadas (1)
R16:
Molly E. Griswold, Its More Complex Than You Think - A Chiefs Guide to DNA, Police Executive Research Forum, Washington, DC 20036, 2010
F17:
Simplified Guide Drug Chemistry, National Forensic Science Technology Center, 7881 114th Avenue, North Largo, Florida 33773
Recomendaciones relacionadas (1)
R17:
Simplified Guide Drug Chemistry, National Forensic Science Technology Center, 7881 114th Avenue, North Largo, Florida 33773
F18:
Santa Clara County Crime Lab Procedures: a. 1.2.4 - Drug Testing Quality Assurance Rev.8 b. 1.6.3 - Specifications for GCMS Results- Rev 7 c. 2.1.1 - Toxicology Training Scope-Rev.5 d. 2.2.3 - GCMS Training Module-2 e. 2.3.3 - GCMS Analysis Training Checklist- 2 f. 3.5.1 - Blood MDMA Confirmation Method- 2 g. 3.9.1 - Organizing and Distributing GCMS Paperwork Procedure- 2 June 29, 2015 A typographical error was discovered following the distribution of copies of the report entitled "Santa Clara County Crime Lab, On The Right Track." The second paragraph on references Mass Spectroscopy, but it should reference Mass Spectrometry.
Recomendaciones relacionadas (1)
R18:
Santa Clara County Crime Lab Procedures: a. 1.2.4 - Drug Testing Quality Assurance Rev.8 b. 1.6.3 - Specifications for GCMS Results- Rev 7 c. 2.1.1 - Toxicology Training Scope-Rev.5 d. 2.2.3 - GCMS Training Module-2 e. 2.3.3 - GCMS Analysis Training Checklist- 2 f. 3.5.1 - Blood MDMA Confirmation Method- 2 g. 3.9.1 - Organizing and Distributing GCMS Paperwork Procedure- 2 June 29, 2015 A typographical error was discovered following the distribution of copies of the report entitled "Santa Clara County Crime Lab, On The Right Track." The second paragraph on
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Hallazgos & Recomendaciones
6 hallazgos
F1:
Since 2013, the Child Abuse and Neglect Center has increased its staff, answered more calls, and decreased the number of abandoned calls; however, some calls still go unanswered.
Recomendaciones relacionadas (1)
R1:
The Department of Family and Children Services should continue to improve operations to ensure that all Child Abuse and Neglect Center calls are answered.
F2:
The Child Abuse and Neglect Center personnel do not staff the Child Abuse and Neglect Center 24 hours a day; instead, calls are transferred to the After Hours Program social work supervisors between 10 pm and 8 am, seven days a week.
Recomendaciones relacionadas (1)
R2:
The Department of Family and Children Services should ensure the Child Abuse and Neglect Center staff is available to answer calls 24 hours per day, seven days a week.
F3:
Unanswered and abandoned calls in the Department of Family and Children’s Services automated voice response phone system may put the children in the County at risk and allow abuse and neglect cases to go unreported.
Recomendaciones relacionadas (1)
R3:
The Department of Family and Children’s Services should directly answer both mandated and non-mandated reporters’ calls.
F4:
The Department of Family and Children’s Services has no policy to make more than one attempt to respond to Child Abuse and Neglect Center voice mails.
Recomendaciones relacionadas (1)
R4:
The Department of Family and Children’s Services should establish a policy to make three or four attempts to contact voicemail callers in their counties.
F5:
The Department of Family and Children’s Services has no policy to attempt to respond to Child Abuse and Neglect Center abandoned calls.
Recomendaciones relacionadas (1)
R5:
The Department of Family and Children’s Services should establish a policy to follow-up on abandoned calls.
F6:
The Child Abuse and Neglect Center & Referrals Monthly Statistical Summaries do not include data on After Hour Program calls nor average number of calls and dispositions per social worker, to provide adequate information to manage staffing.
Recomendaciones relacionadas (1)
R6:
The Department of Family and Children Services should ensure that the “DFCS Child Abuse and Neglect Center & Referrals Monthly Statistical Summary” be revised to include After Hour Program calls and average number of calls and dispositions per social worker, to provide adequate information to manage staffing.
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Hallazgos & Recomendaciones
8 hallazgos
F1:
The County does not have a written policy requiring the justification of an annual subsidy from Santa Clara County’s General Fund to the Santa Clara Valley Medical Center Enterprise Fund.
Recomendaciones relacionadas (3)
R1:
The County should have a written policy to require justification for the annual subsidy from Santa Clara County’s General Fund to the Santa Clara Valley Medical Center Enterprise Fund.
R1A:
The County should require that SCVMC stays within the budget to avoid future unplanned subsidies from the General Fund.
R1B:
The County should require that hospital leadership runs SCVMC as a business and require leadership to make appropriate financial decisions using the data the hospital systems generate.
F2:
The Santa Clara Valley Medical Center management team is making good strides to address historically poor financial management.
Recomendaciones relacionadas (1)
R2:
The County should implement systems to increase productivity in reaching break-even financial performance.
F3:
The Santa Clara Valley Medical Center will never be able to reach a break-even financial performance.
Recomendaciones relacionadas (1)
R3:
The County should require the Santa Clara Valley Medical Center continue efforts to increase productivity and its financial performance.
F4:
The Santa Clara Valley Medical Center has taken measures to demonstrate improvement in performance as it relates to the Health Care Reform Act/Affordable Care Act.
Recomendaciones relacionadas (1)
R4:
The 2011-2012 Grand Jury concluded that numerous audits conducted over a number of years described SCVMC as “out of financial control” and concluded that management had taken little corrective action. One major issue, identified in 2012, was confusion resulting from having separate accounting systems for the County and SCVMC. The Sun Microsystems’ accounting system is used at SCVMC and the SAP accounting system is used by the County. A June 2014 report to the Board of Supervisors included project goals for integration and identified a steering committee and project team that meet on a regular basis to address the reconciliation of the SCVMC and County accounting systems. The budgeting process at SCVMC will switch to SAP in the FY 2016-budget year. The Grand Jury was told that from January 2015 onward, all SCVMC fixed assets are being recorded in SAP and depreciation will be calculated automatically. The County’s FY 2015 Final Budget10, includes an ongoing cost of $500,000 to increase accounting staff to perform reconciliations between the General Fund and the Enterprise Fund. The Grand Jury was told the interface between the two accounting systems will never be complete, and the optimum system integration will not be achieved before 2017. Consolidated Financial Reports: 2012 Grand Jury Recommendation 5 The 2011-2012 Grand Jury found that information available to the public was not complete and it was difficult to find and understand. The Grand Jury found that existing program and financial reports are inadequate. The current reports to the Board of Supervisors are either so complex as to be indecipherable and lacking in relevant details. The SCVMC does not publish annual and multi-year Enterprise Fund reports. Such reports could present a realistic assessment of the mission, goals and accomplishments of SCVMC, as if management were reporting to shareholders, in this case taxpayers. These reports could include strengths, weaknesses, threats, opportunities, and straightforward presentations of the quality of care and SCVMC’s ranking in comparison with other hospitals in California. The Santa Clara Valley Medical Center submits monthly reports to the County of Santa Clara Board of Supervisors Health and Hospital Committee and the reports are included in the County’s Comprehensive Annual Financial Report (CAFR). The Santa 10 FY 2015 Final Budget, County of Santa Clara at . Clara Valley Medical Center should produce its own CAFR which should include a multi-year financial strategic plan and post it on their website. HealthLink : 2012 Grand Jury Recommendation 6 The 2011-2012 Grand Jury recommended that the County should give priority to the implementation of Epic’s HealthLink. Epic provides software for mid-size and large hospitals and its customers include community hospitals, safety net providers, and multi-hospital systems. Since the beginning of SCVMC’s implementation of Epic’s EpicCare software called HealthLink, SCVMC’s monthly reports to the County Board of Supervisors Health and Hospital Committee indicate improvements in account receivables as it has improved the hospital’s ability to collect a patient’s charges. From July 2013 through May 2014, the number of days from the time of service to receiving payment exceeded 90 days. Since June 2014, the number of days has been closer to the target of 75 days. Concurrent with the months from June 2014 through March 2015 in which the accounts receivable days approach the target, the billing was an average of $327 million.11 A great deal of revenue is being collected in a shorter period of time which improves the overall cash flow of the enterprise fund. The Grand Jury found that HealthLink was successfully implemented in the fifteen (15) highest priority applications in 2013. The benefits associated with these implementations include: reducing accounts receivable days (from treatment date to receiving reimbursement) because billing is available the day a patient leaves the hospital, documenting procedures and following documented procedures, and providing immediate information which reduces wait times and improves consistency of care. An additional lower priority twelve (12) applications are scheduled to be fully implemented by 2017. The Grand Jury was told that these lower priority applications may not provide as much benefit as the first applications. The Board of Supervisors approved the HealthLink implementation program of $143 million based on a benefit-cost analysis for the ten years, FY 2012 through FY 2021. The justification for the expenditure included temporary labor for the installation with the intention that existing Information Technology staff could manage the system. In FY 2015, additional permanent full time positions were added to the SCVMC Budget to manage the system thereby increasing the cost. The Grand Jury recommends that a revised cost benefit analysis using actual SCVMC data in the HealthLink system be performed before further implementation proceeds. Board of Supervisors (BOS) agenda packet, April 15, 2015, at 70-71 12 Marketing Program: 2012 Grand Jury Recommendation 7 The 2011-2012 Grand Jury found that “SCVMC has best-in-class care facilities that would be attractive to new patients, but SCVMC does little to advertise its services and specialties to attract new patients.” The SCVMC has been increasing public awareness of its expertise by repurposing existing printed materials and using social media efforts like: Facebook, Twitter, and their SCVMC web site. Such efforts need to bring to light all of the impressive features of SCVMC, such as the Burn Center, Neo-Natal Care Center, Rehabilitation Center, Trauma Center, and the teaching hospital relationship with the Stanford Medical School. The Grand Jury found that, as of April 2015, the County is working to get a contract with a marketing firm to strategize a comprehensive outreach plan. Additionally, the Board approved two new positions, a marketing director and a web manager, who will implement this new marketing plan. Conclusions 2012 Grand Jury Recommendation 1A: The County should require that SCVMC stay within the budget to avoid future unplanned subsidies from the General Fund. The 2015 Grand Jury concludes that there will always be an annual subsidy to Santa Clara Valley Medical Center from the County’s General Fund. However, the County of Santa Clara Board of Supervisors does not have a written policy requiring the requests for General Funds to have performance and efficiency data for justifying variations in discretionary costs. 2012 Grand Jury Recommendation1B: The County should require that hospital leadership runs SCVMC as a business and require leadership to make appropriate financial decisions using the data the hospital systems generate. The 2015 Grand Jury concludes that the new SCVMC management team is making good strides to address historically poor financial management. The new SCVMC leadership is emphasizing increased productivity to improve financial performance. 2012 Grand Jury Recommendation 2: The County should implement systems to increase productivity in reaching break-even financial performance. The 2015 Grand Jury concludes that SCVMC will never be able to reach a break-even financial performance; however, SCVMC should continue to increase productivity and its financial performance. 2012 Grand Jury Recommendation 3: Regardless of how HCRA may be affected by the United States Supreme Court decision, the County should adopt performance measurements consistent with the HCRA indicators because they can lead to improved SCVMC performance. The 2015 Grand Jury concludes that SCVMC has taken measures to demonstrate improvement in performance as it relates to HCRA and the Affordable Care Act. The Affordable Care Act was signed into law March 23, 2010. On June 28, 2012, the Supreme Court rendered a final decision to uphold the new health care law.12 2012 Grand Jury Recommendation 4: The County should develop and implement an interface between the SCVMC and County systems to ensure data consistency, in accordance with generally accepted accounting principles. The 2015 Grand Jury concludes that good progress is being made to coordinate the Santa Clara Valley Medical Center’s Sun accounting and the County’s SAP accounting system. The two systems will be coordinated, but will never be completely consolidated. The County should ensure that the two accounting and budgeting systems are coordinated as currently planned. US Department of Health and Human Services website: www.hhs.gov/Health Care/rights/law 14 2012 Grand Jury Recommendation 5: The County should require an SCVMC consolidated financial statement reported as part of the CAFR. The 2015 Grand Jury concludes that SCVMC submits monthly reports to the County of Santa Clara Board of Supervisors Health and Hospital Committee and is included in the County’s Comprehensive Annual Financial Report (CAFR). Santa Clara Valley Medical Center should produce its own CAFR, as well as a multi-year financial strategic plan and post them on their website. 2012 Grand Jury Recommendation 6: The County should give SCVMC’s implementation of EpicCare top priority to meet the scheduled May 2013 date. The 2015 Grand Jury concludes that EpicCare’s version for SCVMC, HealthLink, was implemented in the 15 highest priority applications in 2013, and the additional 12 are scheduled to be fully completed in 2017. SCVMC should conduct a cost benefit analysis before expanding the HealthLink system to the lower priority applications. 2012 Grand Jury Recommendation 7: The County should establish a marketing function directed at increasing public awareness of the services SCVMC offers. The 2015 Grand Jury concludes that SCVMC plans to implement a marketing strategy and hire a Marketing Director and Web Manager to increase public awareness. SCVMC should ensure that marketing moves forward expeditiously and highlights the many advanced specialty units available. 15
F5:
The Santa Clara Valley Medical Center and Santa Clara County have made progress in coordinating the Santa Clara Valley Medical Center’s Sun accounting and the County’s SAP accounting system.
Recomendaciones relacionadas (1)
R5:
The County should ensure that the Santa Clara Valley Medical Center’s Sun accounting and the County’s SAP accounting system are coordinated as planned.
F6:
The Santa Clara Valley Medical Center does not produce its own Comprehensive Annual Financial Report and multi-year financial strategic plan.
Recomendaciones relacionadas (1)
R6:
The County should require that the Santa Clara Valley Medical Center produce its own Comprehensive Annual Financial Report and a multi-year financial strategic plan and should post them on the hospital website.
F7:
The Santa Clara Valley Medical Center has implemented 15 applications within the HealthLink system. The additional 12 applications are scheduled to be fully implemented by 2017.
Recomendaciones relacionadas (1)
R7:
The County should require that the Santa Clara Valley Medical Center conduct a cost benefit analysis before expanding the HealthLink system to the 12 lower priority applications.
F8:
The Santa Clara Valley Medical Center plans to implement a marketing strategy and hire a Marketing Director and Web Manager to increase public awareness.
Recomendaciones relacionadas (1)
R8:
The County should ensure that the Santa Clara Valley Medical Center’s marketing plans moves forward expeditiously and highlights the many advanced specialty units available at the hospital. Appendix A The report of the 2011-2012 Santa Clara County Civil Grand Jury titled, “CHANGE STARTS AT THE TOP IN SANTA CLARA VALLEY MEDICAL CENTER RESUSCITATION” starts on the following page. Page numbers have been added to stay consisent with the original report. This file can be found online at: http://www.scscourt.org/court_divisions/civil/cgj/2012/VMC.pdf 18 2011-2012 SANTA CLARA COUNTY CIVIL GRAND JURY REPORT CHANGE STARTS AT THE TOP IN SANTA CLARA VALLEY MEDICAL CENTER RESUSCITATION Summary The Grand Jury reviewed the Independent Auditor's Report dated April 6, 2011, titled "The Management Audit of Santa Clara Valley Health and Hospital System Administration and Support Services" (Audit1). The Audit's focus is on Santa Clara Valley Medical Center (SCVMC), and lists 58 recommendations that, if undertaken, would improve processes, stop historic losses and put SCVMC on a path toward financial recovery. The Audit's findings and recommendations, and SCVMC's response to them, are of great interest to the Grand Jury. The broader context of the Audit is SCVMC's long history of poor financial management and the Santa Clara County Board of Supervisors (BOS) bailouts, which have been the subject of previous Grand Jury reports and audit reports. The most recent Audit findings reflect a chronically over-budget health care system, whose management team operated so independently from Santa Clara County (the County) that proper budgeting and sound financial performance were never aligned. Given recent economic challenges, the BOS no longer has the resources to continue to cover SCVMC losses from the General Fund. The Grand Jury questioned what changes SCVMC was undertaking that would lead to a change in operations that in turn should lead to improved fiscal performance. Background SCVMC was first established in 1876 and today is the county’s primary health care safety net. In addition to typical clinical care, SCVMC is recognized for its delivery of high-quality, specialized treatment for emergency medical, neo-natal, trauma, burns, and rehabilitation from severe injuries. SCVMC also coordinates with other county agencies to plan and prepare for disasters—medical, natural or manmade. Perhaps less known is that SCVMC is also a teaching institution affiliated with Stanford and UC schools of medicine in training our next generation of skilled medical practitioners. The Grand Jury learned that SCVMC is an enterprise operation capable of breaking even. Management Audit of Santa Clara Valley Health and Hospital System Administration and Support Services, April 6, 2011. A copy of the full report is available at: http://www.sccgov.org/managementauditor 19 1 of 15 Today, SCVMC is a $1.2 billion operation, approximately one quarter of the entire County budget. While SCVMC has successfully developed regionally and nationally recognized specialties, it has failed to manage finances within County-approved budgets. SCVMC historically recorded a chronic revenue shortfall while expenses increased, requiring subsidies from the County’s General Fund (see Table 1). Table 1: History of SCVMC Financial Performance.2 Fiscal Revenue Expense Profit/Loss Percent Year ($M) ($M) ($M) Loss 2011-12 2010-11 *939.5 978.4 *-38.9 -4.1% 2009-10 892.4 1,058.1 -165.7 -18.6% 2008-09 785.2 956.2 -171.0 -21.8% 2007-08 736.3 895.2 -158.9 -21.6% 2006-07 652.1 800.3 -148.2 -22.7% 2005-06 543.8 735.1 -191.3 -35.2% 2004-05 595.7 704.6 -108.9 -18.3% 2003-04 549.3 645.0 -95.7 -17.4% 2002-03 490.5 607.9 -117.4 -23.9% 2001-02 459.7 535.9 -76.2 -16.6% 2000-01 446.6 483.7 -37.1 -8.3% *Federal revenues increased by $95.7 million reducing the operating loss from $134.6 million to $38.9 million (see above) According to the Audit, “SCVMC’s operating losses more than quadrupled between FY 2000-01 and FY 2008-09 based on the County’s audited financial statements.” The substantial losses illustrated above, combined with the sheer size of SCVMC’s financial operation, have made SCVMC the target of much scrutiny. Independent auditors and prior grand juries identified and addressed underlying management problems. In spite of sound recommendations from these bodies, SCVMC had historically demonstrated resistance to change. Several important milestones have occurred over the last few years to reverse this trend. In September 2009, the BOS hired Jeffrey V. Smith, MD as County Executive. Dr. Smith was a practicing doctor and is an attorney with in-depth knowledge of medical systems. Data obtained from Harvey Rose, Inc., SCC Independent Auditor. 20 2 of 15 In 2010, the federal Health Care Reform Act (HCRA) was passed into law. Although the nuances of HCRA are complex, the act requires federally funded hospitals across the nation to measure, meet and report on key performance indicators in order to receive federal funding. The indicators include: (cid:131) Improving capacity and access (cid:131) Improving the patient experience through quality initiatives (cid:131) Better integrating systems (cid:131) Developing the infrastructure needed to measure and eventually control costs. According to the Office of the County Executive, the requirements of HCRA will also mean an estimated additional 40,000 insured persons will be looking for health care services in Santa Clara County. SCVMC anticipates approximately 14,000 will seek services from county medical facilities. Under Dr. Smith’s leadership, a number of changes began to be implemented and individuals held accountable for performance. Between 2009 and 2011, numerous high-ranking SCVMC managers resigned. In February 2011, Dr. Smith appointed Linda M. Smith (no relation) as SCVMC Chief Executive Officer. In September 2011, he appointed David McGrew, CPA, as the Chief Financial Officer of Santa Clara Valley Health and Hospital System (SCVHHS) and in February 2012 he hired Rene G. Santiago as Deputy County Executive responsible for Health and Hospital Oversight. SCVMC is an organization under the SCVHHS umbrella. Ms. Smith, Mr. McGrew and Mr. Santiago come with many years of experience in hospital operations. In 2011, the SCVMC physicians formed a union, the Valley Physicians Group (VPG) and the first ever union contract between VPG and the County was ratified on December 6, 2011, effective November 28, 2011 through November 24, 2013. Methodology The Grand Jury conducted interviews with SCVMC leadership and individuals from the Office of the County Executive. In addition, the Grand Jury reviewed numerous documents, including past management audits, attended BOS’ Health & Hospital Committee meetings and reviewed various meeting minutes, County policies, and reviewed the Memorandum of Agreement between the County and the VPG, the physicians’ union. See Appendix A for a list of documents reviewed. Discussion Numerous independent audits have been conducted over the years. These audit reports support a common theme in describing an operation out of financial control. In spite of the reports’ salient findings and recommendations, not much had changed over the years in SCVMC’s management approach. Prior BOS seemed unable to break through the political barriers that prevented decisions from being passed that would hold SCVMC accountable to financial performance. 21 3 of 15 Until recently, there was little to no accountability by SCVMC for owning and implementing the prior recommendations that would address its financial woes. The Grand Jury interviews revealed, in some cases, that there was no acknowledgement that the hospital chronically lost money. Not until economic conditions forced the BOS to take a stronger stand did real change begin, starting with Dr. Smith’s hiring. Management Changes Dr. Smith is undertaking constructive changes by identifying appropriate corrections and leading a change process with a goal of implementing sound management operations and stopping the financial losses. The new SCVMC leadership is emphasizing increased productivity—as opposed to just cost cutting—to improve financial performance. These changes hope to reverse financial losses with a view to becoming a break-even enterprise without compromising the outstanding quality of health care SCVMC provides. Over the past year, the new SCVMC administration has also brought an emphasis on hospital business management best practices —as opposed to focusing only on delivery of medical services. One overarching goal is to increase SCVMC productivity—or patient throughput. As a result of implementing the improvements and holding line managers accountable for performance, the new administration’s expectation is that SCVMC will be at break-even in FY 2013. If this goal is met, it will be the first time in many years SCVMC will not require an unbudgeted County subsidy to operate. Improving Performance SCVMC management hopes to achieve their goals by taking action in three broad categories: (cid:131) Improving patient access (cid:131) Correcting flaws in the revenue cycle (cid:131) Decreasing controllable costs. Improving Patient Access A key area of improvement is to increase the number of patients moving through the system (patient throughput), or the number of patients seen, to get closer to full capacity. Three factors affect increasing throughput: (cid:131) Availability of appointments (cid:131) Ability of a caller to get through to scheduling to make an appointment (cid:131) Overbooking to compensate for patients who are no shows. 22 4 of 15 The Grand Jury learned that, prior to ratification of the VPG contract, physicians had the latitude to create and fill their own appointment schedules. Weekly schedules are made up of half-day “panels.” The number of panels a physician worked was not mandated. Further, the number of appointments scheduled in a given panel was not mandated. It was reported in interviews that physician productivity was as low as 25% in some cases, and 80% of physicians were operating at below capacity. On average, physicians were seeing 6.5 patients per day against a target of 8.0. The result was a two-fold negative impact on revenue: first, fewer patients being seen meant less revenue was generated than could be. Second, SCVMC was, in some cases, paying physicians a full salary for part-time work. Further, the 8.0 patients per day target, even if met, is too low to reach break-even financial performance. Under the new VPG contract,3 patient scheduling has been centralized and the number of patients scheduled has increased. SCVMC negotiated a new scheduling target, starting with 10.0 patients per day (up from the previous 8.0), eventually ramping up to the new target of 16.0 patients per day. Increasing the number of available appointments will directly increase revenue, assuming the appointment slots are filled. Presently two barriers hamper the ability to fill appointments. First, there is an inordinately long telephone wait time for scheduling an appointment. The Grand Jury learned telephone wait times as long as four hours to simply schedule an appointment were common. The second problem in scheduling is the no-show rate. Nationally, that rate is approximately 5.5%. At SCVMC, the no-show rate is as high as 20%. To address these problems, SCVMC has recently increased staff in the call/scheduling center and has implemented a policy of overbooking in anticipation of no shows. As to the issue of whether SCVMC was paying full-time salaries for part-time work, SCVMC did not previously track physician utilization to know if it was paying for time that was not revenue-generating clinic time. A newly implemented system will track each physician’s clinical, administrative, research, teaching, and scholarly time, with a utilization goal of 90% clinic time. With this data, SCVMC can more accurately evaluate physician productivity. Increasing productivity is a critical first step; however, equally important is improving patient satisfaction to retain current patients and to attract new patients. Interviews revealed that patient satisfaction is relatively low. This impedes new growth because unhappy patients are less likely to return if they have service alternatives. Dissatisfied patients will not likely refer friends and family to SCVMC, so a growth opportunity is lost. At a joint meeting among the County and City of San Jose, it was reported that SCVMC was “changing the system from one that is reactive, episodic, and physician-centered to one that is proactive, coordinated and patient centered.”4 3 BOS Board meeting, December 6, 2011, in the Board Of Supervisors' Chambers. Agenda item 27, Supp Info 1A, Memorandum of Agreement (Agreements and Amendments) 4 BOS Joint meeting, October 28, 2011, at the San Jose City Council Chambers. Agenda Item 3b, 23 5 of 15 A Center for Leadership and Transformation (CLT) initiative (see appendix A for more about CLT) is reportedly working to shift the SCVMC focus from physician-centric to patient-centric. Patient satisfaction surveys are administered with a view toward understanding how SCVMC can improve its service. In addition, the new hospital tower with 168 private rooms reportedly will rival the best private hospital rooms in the county. The Grand Jury also learned that SCVMC does not currently market its services, in spite of the claim that they operate several top-rated specialty clinics on par with the best medical facilities in the region. The existence of their world-class services may not be broadly understood among county residents. Correcting Flaws in the Revenue Cycle Increasing productivity by seeing more patients does not automatically lead to increased revenues. Underlying patient care is a complex revenue cycle that relies on accuracy of data in order to generate a valid invoice. SCVMC’s revenue cycle consists of three main components: a. Pre-service: capturing accurate patient name and address information, verification of and obtaining prior authorization from the patient’s insurance carrier, and scheduling appointments b. Service: capturing treatment information during the patient’s visit with the physician c. Billing: generating accurate billing statements and improving collections. The Grand Jury learned that some element of each of the above components is dysfunctional to the point that revenue collection is hampered. The SCVHHS Enterprise Consolidated Balance Sheet as of June 30, 2011 shows an outstanding accounts receivable balance of more than $133 million (78 days average in accounts receivable).5 Reducing the collection period is an area of improvement on which SCVMC is working. It should be noted that SCVMC is implementing a new digital hospital management system called EpicCare in May 2013. This electronic record-keeping system has the potential to make physicians more productive by simplifying the important patient- related elements of their care delivery. In each examination room there will be computer screens providing access to patient medical history, past appointments, prescribed medications, lab test results, as well as a word processing capability to record patient appointment information. On the patient side, EpicCare enables patients County of Santa Clara Budget Update, Supp. Info. 1 - Item 3 City County Intro Memo (Miscellaneous) 5 Memo from Sylvia M. Gallegos, Deputy County Executive/Acting Director SCVHHS to Santa Clara County Health and Hospital Committee, dated April 14, 2010. 24 6 of 15 to do more via online queries and self-help health reminders, perform self-service refills, appointment scheduling and bill pay. All these features have the potential to increase patient satisfaction and are expected to ultimately reduce SCVMC’s record-keeping costs. Decreasing Controllable Costs Grand Jury interviews revealed that until recently, there was no discipline and no platform around which to control costs. For instance, the new SCVHHS CFO reported that there are numerous reports with information useful for management decisions, but few managers were versed in using them. Efforts to change the management approach from casual conversation without accountability to performance improvement using the data available are part of the cultural changes taking place. The Grand Jury learned that a key contributor to SCVMC’s poor fiscal management was the lack of rigor given to budgeting and subsequent tracking of expenses against budget. Instead, budgeting was reportedly done by using the prior year’s budget and applying an escalation factor. No effort was made to reconcile actual expenses against budgeted expenses, to understand the differences between the two and the causes of losses, to explore census6 trends and to build the next year’s budget using this type of information. Another factor in controlling costs is controlling labor. In many businesses, managers can add and eliminate positions as business forecasts dictate, or can reduce hours to fit demand. At the hospital, as with other County departments, staffing is set by the County’s Master Salary Ordinance7, which codifies all approved full-time and part-time positions. Once this is established, it is not possible to modify the position, for instance changing a full time to a part-time position. At the hospital, some employees are being paid full time when they are effectively working part time. For instance, if demand for a given clinic has a cyclical drop, SCVMC does not have the latitude to reduce hours. It may move staff to other locations, but if demand is lower overall, SCVMC must still pay full salaries or reduce its staff. While this situation will change as capacity improves, in the interim, there is no flexibility to reduce the hours temporarily until capacity warrants full-time positions. While there is a provision for employees to request a reduction of hours, employers do not have this same ability. Overall SCVMC’s ability to manage staff according to demand is limited by the inability to have more flexible staffing. Managers could get around this problem by opening part-time positions; however, with a hiring freeze in place, there is not much opportunity to open part-time positions at this time. As a result of this staffing conundrum, in some areas SCVMC is paying full cost 6 Census is the daily patient count. To view the full text of the Master Salary Ordinance, click on this URL: http://www.sccgov.org/sites/esa/Salary%20Ordinance/Documents/Master-Salary-Ordinance---NS-5- 11.pdf 25 7 of 15 for part-time needs. Unbalanced staffing was exacerbated by the prior method of physician scheduling. Further, it is very difficult to eliminate a position, even if it is unfilled. SCVMC can leave coded jobs unfilled, using contracted labor to manage fluctuations in demand. However, the contracts for such services should be structured to the maximum benefit of SCVMC—prioritizing around what is best for the hospital and its patients versus what is best for the healthcare providers. This flexibility will enable management to adjust hours as necessitated by census demand in order to avoid paying for services not needed. The Impact of the Federal Health Care Reform Act The Federal Health Care Reform Act (HCRA) immediately changed the way federally supported hospitals receive funding. HCRA will also increase the number of persons with access to healthcare. Up to a potential 40,000 currently uninsured individuals will be covered by the HCRA in the county starting in 2014. Although HCRA was signed into law two years ago, it is presently being challenged in the Supreme Court. Arguments are being raised about the constitutionality of the Affordable Care Act's individual mandate and issues surrounding federal versus state powers. Prior to HCRA, public hospitals received block grants from the federal government. HCRA now requires hospital accountability in several dimensions of operation before federal funds are released. This accountability is driven through the Delivery System Reform Incentive Payments (DSRIP) funding allocation plan. DSRIP fundamentally drives each public hospital to develop and bolster the systems most needed to deliver effective service for their particular population. This accountability requires hospitals to implement systems to ensure performance requirements are tracked, met and reported before federal funding is released. SCVMC has hired Alvarez and Marsal (A&M), a consulting hospital management firm, to identify the initiatives needed and to guide implementation of the performance management systems needed to meet DSRIP requirements. Initiatives are underway to meet the requirements and work plans are in place for these initiatives. The plans include a number of defined projects that, in aggregate, will position SCVMC for full implementation of health care reform in 2014. The systems and discipline needed to meet DSRIP requirements are part and parcel of what is needed to turn SCVMC around financially, and underscore the necessity to make needed change. However, an A&M status report dated Oct 25, 2011 states, “There is substantive risk to successful operational change as defined by the DSRIP initiatives and the collection of budgeted funds for this fiscal year and the future years, if the infrastructure and staffing are not put in place.”8 8 Memo from George Pillari & Mark Finucane (Alvarez & Marsal Healthcare Industry Group, LLC), to the County Health and Hospital Committee, subject: A&M Project Report, dated October 25, 2011. 26 8 of 15 Regarding the potential increase of 40,000 new patients under HCRA, not all of these newly insured patients will seek health care from SCVMC. Patients have a choice of hospitals and health care providers, so SCVMC will need to compete for those dollars. To attract and retain these patients, patient satisfaction is key. Further, HCRA changes the federal funding mechanism by requiring hospitals to demonstrate patient satisfaction (among other measures) in order to receive federal money. Therefore, SCVMC is compelled to improve patient satisfaction to receive these monies. Clarifying the Financial Picture SCVMC is a very large enterprise hospital operation and, justifiably, has its own computer systems, including an accounting system. The County has its own information systems and also maintains SCVMC financial data. Effectively, there are two sets of books on SCVMC. According to Linda Smith, SCVMC CEO, there is no cross-talk between the applications at SCVMC and the County to ensure data consistency9. This lack of consistent data was recently underscored when the Audit found millions of dollars worth of equipment missing from the County’s books10 while the SCVMC books did account for the so-called “missing” equipment. EpicCare will introduce a new financial system, but it does not address the lack of communication between the County’s systems. Data from the SCVMC should update the data in the County SAP system on a regular basis As a $1.2B annual operation, SCVMC is large enough to warrant its own financial report to the public. The County’s Comprehensive Annual Financial Report (CAFR) does show some SCVMC financial information. For example, inter-fund transfers from the General Fund (GF) to SCVMC and vice-versa are contained in the inter-fund statements in the CAFR. A GF “Grant” is shown on the "Santa Clara Valley Medical Center Statement of Revenues and Expenses Summary" statement in the Final Budget document.11 However, it is not possible to discern the overall financial picture of SCVMC from this information, let alone a detailed understanding. One would need to be very familiar with the internal workings of SCVMC, or need to attend the BOS Health and Hospital Services Committee meetings on a regular basis, to be able to determine how well SCVMC performed during the fiscal year. This performance is reported in the Audit, but the general public has no means of seeing the consolidated financial performance of SCVMC on an annual basis. Data consistency summarizes the validity, accuracy, usability and integrity of related data between applications and across the IT enterprise. This ensures that each user observes a consistent view of the data, including visible changes made by the user's own transactions and transactions of other users or processes. Management Audit of Santa Clara Valley Health and Hospital System Administration and Support Services, April 6, 2011, Executive Summary, page iii, “High Level of Missing Hospital Equipment” 11 Fiscal Year 2012 Final Budget, "Santa Clara Valley Medical Center Statement of Revenues and Expenses Summary", 27 9 of 15 Conclusions SCVMC is a critical county resource, but this $1.2 billion operation has historically demonstrated a chronic loss of revenue, requiring bailout from the County’s General Fund. While it is reasonable to expect the County to fund SCVMC to some degree, sound financial management—including budgeting and measuring performance against budgets—has been lacking. Further, until recently, the BOS has not demonstrated the political will to hold SCVMC leadership accountable for poor performance. The Grand Jury found that recent changes in management staff and the implementation of new policies focused on increasing productivity—and redressing the revenue problem—are a marked and welcomed change of course for SCVMC. Under the leadership of the Office of the County Executive, the following changes are noteworthy by addressing chronic problems head-on: (cid:131) Hiring a new SCVMC CEO with policies and systems underway to hold physicians accountable for meeting productivity goals and to hold managers accountable for meeting performance goals (cid:131) Hiring a new SCVHHS CFO with policies and systems underway to correct the financial planning and reporting systems and to train line managers in financial performance management (cid:131) Establishing problem-solving teams to correct revenue cycle flaws to increase successful revenue receipts (cid:131) Putting teams in place to develop the performance measurement systems needed to continue to receive Federal funding (cid:131) Implementing EpicCare, an electronic record-keeping system that will improve the patient experience and streamline recordkeeping for physicians. This work is beginning to pay off. The SCVMC CEO reports that physician appointments have increased an average of 1.5 per four-hour session, from 6.5 to 8.0 for Medicine and from 6.5 to 10.0 for Pediatrics & Obstetrics. Overall, throughput is increasing. January showed a 25% daily increase in patients seen, increasing, on the average, from 2700 to 3500 per day throughout the hospital and clinics combined. While it is too early to tell whether these gains will hold, SCVMC seems poised to achieve their new goals of break-even in FY 2013. 28 10 of 15