Division of Hospital Medicine, Department of Medicine, School of Medicine and Public Health, University of Wisconsin, Madison, Wisconsin.
Health Services and Care Research Program, Department of Medicine, School of Medicine and Public Health, University of Wisconsin, Madison, Wisconsin.
J Hosp Med. 2020 Aug;15(8):495-497. doi: 10.12788/jhm.3482.
Rarely, if ever, does a national healthcare system experience such rapid and marked change as that seen with the COVID-19 pandemic. In March 2020, the president of the United States declared a national health emergency, enabling the Department of Health & Human Services authority to grant temporary regulatory waivers to facilitate efficient care delivery in a variety of healthcare settings. The statutory requirement that Medicare beneficiaries stay three consecutive inpatient midnights to qualify for post-acute skilled nursing facility coverage is one such waiver. This so-called Three Midnight Rule, dating back to the 1960s as part of the Social Security Act, is being scrutinized more than half a century later given the rise in observation hospital stays. Despite the tragic emergency circumstances prompting waivers, the Centers for Medicare & Medicaid Services and Congress now have a unique opportunity to evaluate potential improvements revealed by COVID-19 regulatory relief and should consider permanent reform of the Three Midnight Rule.
在 COVID-19 大流行期间,很少有国家的医疗保健系统经历过如此迅速和显著的变化。2020 年 3 月,美国总统宣布进入全国卫生紧急状态,使美国卫生与公众服务部有权临时放宽监管,以促进各种医疗保健环境中的高效护理服务。其中一项豁免是,医疗保险受益人必须连续住院三晚才能有资格获得急性后期熟练护理设施的报销。半个多世纪后,随着观察性住院治疗的增加,这项所谓的“三夜规则”(Three Midnight Rule)正在受到更严格的审查。该规则可以追溯到 20 世纪 60 年代的《社会保障法》,尽管出于悲剧性的紧急情况而豁免了该规则,但医疗保险和医疗补助服务中心和美国国会现在有一个独特的机会来评估 COVID-19 监管缓解所带来的潜在改进,并应考虑对三夜规则进行永久性改革。