18-000073CON
Encompass Health Rehabilitation Hospital Of Escambia County, Llc vs.
Agency For Health Care Administration
Status: Closed
Recommended Order on Thursday, January 31, 2019.
Recommended Order on Thursday, January 31, 2019.
1STATE OF FLORIDA
4DIVISION OF ADMINISTRATIVE HEARINGS
8ENCOMPASS HEALTH REHABILITATION
11HOSPITAL OF ESCAMBIA COUNTY,
15LLC,
16Petitioner,
17vs. Case No. 18 - 0073CON
23AGENCY FOR HEALTH CARE
27ADMINISTRATION,
28Respondent,
29and
30WEST FLORIDA REGIONAL MEDICAL
34CENTER; FORT WALTON BEACH
38MEDICAL CENTER ("NORTHWEST
42FLORIDA"); AND FORT WALTON BEACH
48MEDICAL CENTER ("FORT WALTON
53BEACH"),
55Intervenors.
56_______________________________/
57RECOMMENDED ORDER
59An administrative hearing was held in this case on July 16
70through 18, 24, 26, 30 , and 31 , and August 1, 2018, in
82Tallahassee, Florida, before James H. Peterson, III,
89Administrative Law Judge with the Division of Administrative
97Hearing s (DOAH).
100APPEARANCES
101For Encompass Health Rehabilitation Hospital of Escambia
108County, LLC:
110Seann M. Frazier , Esquire
114Marc Ito , Esquire
117Parker , Hudson , Rainer & Dobbs, LLP
123215 South Monroe Street, Suite 750
129Tallahassee, Florida 32301
132For the Agency for Health Care Administration :
140Lindsey L. Miller - Hailey , Esquire
146Richard Joseph Saliba , Esquire
150Elina Valentine, Esquire
153Kevin Michael Marker, Esquire
157Agency for Health Care Administration
1622727 Mahan Drive , Mail Stop 7
168Tallahassee, Florida 32308
171For West Flori da Regional Medical Center ; Fort Walton Beach
181Medical Center ( Ð Northwest Florida Ñ ); and Fort W alton Beach
194Medical Center ( Ð Fort Walton Beach Ñ ) :
204Stephen A. Ecenia , Esquire
208Craig D. Miller , Esquire
212Rutledge Ecenia , P.A.
215119 South Monroe Street, Suite 202
221Tallahassee, Florida 32301
224STATEMENT OF THE ISSUE
228Whether, on balance, Certificate of Need ( CON) Application
237No. 10945 submitted by Encompass Health Rehabilitation Hos pital
246of Escambia County, LLC ( Encompass or Petitioner ) to establish a
25850 - bed comprehensive medical rehabilitation hospital in Service
267District 1 satisfies the applicable statutory and rule criteria
276and should be a pproved or denied .
284PRELIMINARY STATEMENT
286Encompass filed CON Application No. 10495 to establish a new
29650 - bed comprehensive medical rehabilitation ( CMR) freestanding
305hospital in Pensacola, Florida, proposed to be located in
314Escambia County, Agency for Health Care Administration ( AHCA or
324the Agency) Service District 1. The Agency preliminarily denied
333EncompassÓs CON application on December 4, 2017.
340On December 21, 2017, Encompass timely filed a petition
349challenging the Agency's preliminary denial of EncompassÓs
356CMR hospital. EncompassÓs petition sought formal proceedings
363pursuant to the Health Facilities and Serv ices Development Act,
373s ections 408.031 - 408.035, Florida Statutes . 1/ The Agency
384referred EncompassÓs petition to the Division of A dministrative
393Hearings on January 5, 2018 .
399On January 9, 2018, West Florida Regional Medical Center,
408Inc. , d/b/a West Florida Hospital (West Florida) ; Fort Walton
417Beach Medical Center, Inc. , d/b/a The Rehabilitation Institute
425of Northwest Florida ; and Fort Walton Beach Medical Cen ter
435( Fort Walton Beach) (collectively, the Intervenors ) filed a
445motion to intervene , which was granted by O rder entered
455January 10, 2018.
458The final hearing was held on July 16 through 18, 24, 26,
47030 , and 31 , and August 1, 2018 . During the course of the
483proceeding, the court denied West Florida's Motion in Limine to
493exclude documents related to a sta ffing analysis prepared by
503Mary Ellen Hatch. The court also denied AHCA's Amended Motion in
514Limine to exclude testimony and evidenc e derived from the
524Agency's discharge database for the year ending October 1, 2016.
534At the final hearing, Encompass presented the testimony of
543Linda Wilder, who was accepted as an expert in healthcare
553administration and CMR hospital development ; Lori Beda rd,
561accepted as an expert in physical therapy and rehabil itation
571hospital administration; Cheryl Miller, accepted as an expert in
580occupational therapy and therapy management ; Mary Ellen Hatch,
588accepted as an expe rt in healthcare administration; Fred C.
598Fre derick, accepted as an expert in healthcare architecture;
607Phillip Loggins, accepted as an expert in quality assurance and
617risk management ; Tom Davidson, accepted as an expert in
626healthcare finance; and Sharon Gordon - Girvin, accepted as an
636expert in healthcare planning. Encompass Exhibits P - 1 through
646P - 4, P - 6 through P - 9, P - 11, P - 12, P - 14, P - 15, P - 17, P - 20 through
675P - 27, P - 30, P - 34, P - 35, P - 37 through P - 41, P - 42 ( Bates Nos. 1977 -
70219 84 and 2042 - 2043 o nly ) , P - 43, P - 50, P - 51, P - 52, P - 69, and P - 75
730were admitted into evidence.
734The Agency presented the testimony of Marisol Fitch. The
743Ag ency's sole exhibit, Exhibit R - 2, was admitted into evidence.
755The Intervenors presented the testimony of Johnny Harrison,
763accepted as an expert in CMR administration ; Carlton Ulmer,
772accepted as an expert in hospital administration ; Todd Jackson,
781accepted as an expe rt in healthcare administration; Rebecca Jone s,
792accepted as an expert in CMR administration; Glennal Verbois,
801M.D., accepted as an expert in CMR; Daniel Sullivan, accepted as
812an expert in health planning and finance ; and Darryl Weiner,
822accepted as an expert in healthcare finance. Intervenors'
830Exhibits I - 1 ( pages 4 through 35 ) , I - 2 through I - 6, I - 8, I - 9,
853I - 11, I - 13, I - 15, I - 16, I - 20, I - 21, I - 23, I - 24 ( pages 2058
880through 2063 ) , I - 36, I - 44 ( Bates Nos. 1727 through 1770 ) , I - 45
899( Bates Nos. 1570 through 1604 ) , I - 46 ( Bates Nos. 1485 through
9141569 ) , I - 47 (Dr. Verbois CV) , and I - 48 were admitted into
929evidence.
930The parties jointly offer ed into evidence Exhibits numbered
939J - 1 through J - 3 , which were admitted .
950The proceedings were recorded, and a transcript was ordered.
959The T ranscript , consisting of 10 volumes was filed on August 21,
9712018. By agreement, t he parties were given until October 5 ,
9822018, to submit their proposed recommended orders. By Order
991Granting Extension of Time requested in a joint motion, t he due
1003date for submitting proposed recommended orders was extended
1011until October 19, 2018 . Therea fter, t he parties timely submitted
1023Proposed Recommended Orders , as well as a Joint Preliminary
1032Statement and agreed outline, all of which have been considered
1042and utilized in preparing this Recommended Order.
1049FINDINGS OF FACT
1052I. Overview
1054A. CMR Services
10571. CMR Inpatient Services is defined as:
1064An organized program of integrated intensive
1070care services provided by a coordinated
1076multidisciplinary team to patients with
1081severe physical disabilities, such as
1086stroke; spinal cord injury; congenital
1091deformity, amputation, major multiple
1095trauma, fracture of femur (hip fracture);
1101brain injury, polyarthritis, including
1105rheumatoid arthritis; neurological
1108disorders, including multiple sclerosis,
1112motor neuron diseases, polyn europathy,
1117muscular dystrophy, an d ParkinsonÓs disease;
1123and burns.
1125See Fla. Admin. Code R. 59C - 1.039(2)(d).
11332. The Florida L egislature has also determined CMR to be a
1145tertiary health service. A Ðtertiary health serviceÑ means:
1153[A] health service which, due to its high
1161level of intensity, complexity, specialized
1166or limited applicability, and cost, should
1172be limited to, and concentrated in, a
1179limited number of hospitals to ensure the
1186quality, availability, and cost -
1191effectiveness of such service. Examples of
1197such service include, but are not limited
1204to, pediatric cardiac catheterization,
1208pediatric open - heart surgery, organ
1214transplantation, neonatal intensive care
1218units, comprehensive rehabilitation, and
1222medical or surgical services w hich are
1229experimental or developmental in nature to
1235the extent that the provision of such
1242services is not yet contemplated within the
1249commonly accepted course of diagnosis or
1255treatment for the condition addressed by a
1262given service.
1264See § 408.032(17), Fla. Stat.
12693. CMR services are a defined benefit of the Medicare
1279program. Federal regulations define the type of patients that
1288are appropriate for hospital - based rehabilitation, as opposed to
1298rehabilitation offered in less intense settings, such as nursing
1307homes.
13084. CMR services are designed to take car e of patients
1319recovering from acute episode s such as a severe illness, spinal
1330cord injury, trauma injury, brain injury (both traumatic and
1339non - traumatic), stroke, amputation, and the like , all of which
1350limit certain of the patientÓs functions for normal life.
13595. A CMR facility is required to provide intensive therapy
1369on a consistent basis. A physician is on call 24 hours a day,
1382seven days a week , coupled with 24 - hour nursing coverage. The
1394patient must be seen three times a week by a physician.
14056. The types of patients eligible to receive CMR services
1415are heavily regulated. The federal Center for M edicare and
1425Medicaid Services ( CMS) establishes the admission requirements
1433for CMR faci lities and patients. CMS maintains 13 diagnoses to
1444determine which patients are appropriate for receiving CMR
1452Services (the CMS 13). The CMS 13 includes a determination that
1463the patient is able to participate in a minimum of three hours
1475o f therapy a day, five days a week. The therapy includes a
1488combination of physical, occupational , and/or speech therapies .
1496The C MS 13 criteria for admission have become much more
1507stringent over time.
15107. Whether a patient meets the CMS 13 is a decision within
1522th e profe ssional judgment of the medical d irector of the CMR
1535facility. A CMR facility is re quired to attest to CMS that
154760 percent of the CMR f acilit yÓs patients fall within the
155913 diagnoses for CMS.
1563B. EncompassÓs Proposal Î The CON Application
15708. Encompass Ós CON application proposes the construct ion
1579and operat ion of a 50 - bed freestanding rehabilitation hospital
1590in Escambia County , conditioned on the provision of service to
1600Medicaid and indigent population s , and on providing the latest
1610state - of - the - art rehabil itation equipment . Escambia County is
1624in AHCA Service District 1 , which includes Escambia, Okaloosa,
1633Santa Rosa and Walton Counties. See § 408.032(5), Fla. Stat.
16439. There is no published need for additional CMR beds in
1654District 1. Therefore , in an a ttempt to justify its proposal in
1666the absence of a published numeric need , Encompass argues that
1676Ðnot normalÑ circumstances indicate a need for a CMR hospital
1686consisting of 50 beds. EncompassÓs determination of need is
1695premised upon its own, and its consultantsÓ, examination of the
1705elderly population, total population, utilization of existing
1712providers, and available CMR beds, as well as upon EncompassÓs
1722experience in other markets.
172610. Pres ently, within District 1, there are two existing
1736CMR facilities, West Florida, located in Pensacola, Escambia
1744County; and Fort Walton Beach, located in Destin, Okaloosa
1753County. Between the two providers, there are 78 licensed CMR
1763beds available: West Flo rida has 58 licensed beds and Fort
1774Walton Beach has 20 licensed beds. An additional 10 beds are in
1786the process of opening at Fort Walton Beach.
179411. Both West Florida and Fort Walton Beach submitted
1803written statements of opposition to the requested CON a nd
1813presented testimony at the public hearing in opposition to the
1823project. Following review and analysis of EncompassÓs CON
1831Application, AHCA preliminarily denied the application and
1838determined that, Ð[b]ased on the application, not normal
1846circumstances were not established to outweigh the abse nce of
1856published numeric need.Ñ AHCA recommended denial of the
1864EncompassÓs CON Application in its State Agency Action
1872Report ( SAAR ) .
1877II. The Parties
1880A. Encompass Health Rehabilitation Hospital of Escambia
1887County, LLC
188912. Encompass, the applicant, is a limited liability
1897company formed solely for purposes of applying for a CON .
1908Encompass is a wholly owned subsidiary of Encompass Health
1917Corporation.
191813. EncompassÓs parent corporation, Encompass Health
1924Corporation was formerly known as HealthSouth Corporation, a
1932CMR provider with facilities in Florida. In the CON Application
1942and in the course of this proceeding, Encompass, as the
1952applicant for the CON, utilizes and relies on data from i ts
1964parent corporation Encompass Health , f/k/a HealthSouth. During
1971the course of the proceedings, the parties tended to refer to
1982the applicant interchangeably as Encompass and HealthSouth. For
1990identification purposes in this Recommended Order, ÐEncompassÑ
1997shall refer to the LLC applicant, and the parent corporation
2007shall be referred to as ÐEncompass Health Corporation.Ñ
201514. Encompass Health Corporation is a leading CMR provider
2024that operates 127 CMR hospitals throughout the United States a nd
2035Puerto Rico. Encompass Health Corporation has significant
2042experience in developing and opening new CMR hospitals and has
2052opened or expanded several hospitals in Florida and other states
2062in recent years.
2065B. AHCA
206715. AHCA is the state agency charged with administering
2076the CON p rogram. AHCAÓs determination of Ð no need Ñ in
2088District 1 was made using a rule - based f ormula to determine when
2102new CMR beds are needed. AHCAÓs rule also recognizes that
2112Ðspecial circumstancesÑ m ay justify approval of additional CMR
2121hospitals, even in the absence of numeric need.
2129C. West Florida and For t Walton Beach
213716. West Florida and Fort Walton Beach both operate
2146existi ng CMR units within District 1 . Both are also part of the
2160Hospital Corporation of AmericaÓ s (HCA) North Florida Division.
2169HCA is the second largest provider of hospital - based acute
2180rehabilitation services in the United States.
218617. West Florida op erates a 58 - bed CMR unit within its
2199acute care hospital in Pensacola located in northeast Escambia
2208County. West FloridaÓs acute care hospital has expanded its
2217services to include a freestanding emergency room in Perdido Bay
2227and expanded pediatric services.
223118. West Florida acc epts patients from a number of
2241different hospitals in District 1 including facilities
2248affiliated with the Sacred Heart and Baptist Hospital systems in
2258the greater Pensacola area, as well as other hospitals. The
2268facilities associated with Sacred Heart and Baptist Hospital are
2277also trauma centers , which serve as a significant referral
2286course for West Florida. West Florida also receives acute care
2296patients discharged from West Florida in need of CMR services .
230719. West Florida currently has approximately 19 full - time
2317nurses. Ten of those RNs are Certifie d Rehabilitation Nurses,
2327and nine are working to become certified.
233420. Fort Walton Beach operates a 20 - bed freestanding CMR
2345unit in Destin, Okaloosa County , within District 1. Pursuant to
2355AHCAÓs rules, since Fort Walton operated at 80 - percent occupancy
2366for more than 12 consecutive months, it applied to AHCA for
2377approval of 10 additional beds. AHCA granted approval for the
2387additional beds , which were set to open in August 2018. The Fort
2399Walton Beach CMR facility is affiliated with Fort Walton Beach
2409Medical Center (Medical Center) located in Fort Walton Beach.
241821. The Medical Center has 237 licensed beds and operates a
2429Level II Trauma Center. For calendar year 2017, the Medical
2439Center had approximat ely 13,600 inpatient admissions; 55,000
2449outpatien t visits; and about 66,000 ER visits. At the same time,
2462Fort Walton Beach CMR Facility had 402 admissions. The Medical
2472Center provides a diverse range o f service lines , including
2482cardiovascular; ortho - neuro services, which include orthopedics
2490and spine procedures; stroke; neurological interventions and
2497emergency services. The Medical Center provides both
2504administrative and capital support to Fort Walton Beach.
251222. Fort Walton BeachÓs nur sing staff consists of 25 RNs,
2523two of which are certified rehabilitation nurses, and three of
2533which are ce rtified nursing assistants .
2540III. Fixed Need Pool
254423. In accordance with Florida Administrative Code Rule
255259C - 1.039(5), twice a year AHCA calculates and publishes a
2563numeric need for additional CMR beds in each of Florida's eleven
2574dist ricts. In determining fixed need for each district, the
2584formula in the rule considers, among other factors, the number
2594of current CMR beds, historical utilization of CMR services and
2604population growth. R ather than setting a targe t or using
2615statewide use rates, t he formula carries local CMR use ra tes
2627forward in its calculations. Unique factors in each district,
2636such as demographics, cultural influences , and physician
2643referral patterns , result in a wide variation in CMR service
2653utilization between the districts , which influence s the results
2662of AHCAÓs calculations.
266524. For the 2017 batching cycle, application of t he
2675Agency's formula determined that District 1 had an excess
2684capacity of CMR beds, and that no additional beds were needed in
2696District 1 for the January 2023 planning horizon. AHCA
2705published the results, but no challenge w as filed to the
2716published fixed need pool.
2720IV. Statutory and Rule Review Criteria
272625. Section 408.036(1)(f) designates CMR services as a
2734tertiary healthcare service subject to the requirements of CON
2743review.
274426. The CON review criteria applic able to this case are
2755found in s ections 408.035(1)(a) - (i), 408.037, 408.039 , and in
2766r ules 59C - 1.008, 59C - 1.030 , and 59C - 1.039.
2778A. Statutory Criteria
27811. Section 408.035(1)(a) Î The need for the healthcare
2790facilities and health services proposed.
279527. In calculating a zero need under applicable rule
2804methodology, AHCA projected a total need for 56 CMR beds for
2815District 1Ós year 2023 horizon . The overall utilization rate
2825for CMR services in District 1 at the time Encompass submitte d
2837its CON Applica tion was 57.3 percent. Currently, there are
284788 licensed beds in District 1, 58 at West Florida , and 20 at
2860Fort Walton Beach, with an additional 10 beds approved at Fort
2871Walton Beach. On a percentage basis, there are approximately
288040 percent more CMR beds in District 1 than the projected need
2892for year 2023.
289528. Instead of challenging AHCAÓs published need of zero,
2904Encompass submitted its CON Application for the construction of a
291450 - bed CMR hospital in District 1 by asserting that the presence
2927of Ðnot normalÑ circumstances established need for its proposed
2936hospital.
293729. In support of its argument that Ðnot normalÑ
2946circumstances demonstrate need, EncompassÓs CON application
2952asserts a) lack of access , and b) lack of choice, for CMR
2964services in District 1. Regarding lack of access , Enco mpass
2974contends that a ) lower CMR bed supply inhibits access ; b ) when
2987CMR bed supply expands, CMR admissions increase; and c ) referral
2998patterns demonstrate limited access to existing CMR beds. At
3007hear ing, all parties presented evidence and testimony of their
3017respective health planners to address whether the above - listed
3027factors claimed by Encompass support a finding of Ðnot normalÑ
3037circumstances. Each of the above - listed factors is addressed
3047under sep arate headings, below.
3052a. Lack of Access
3056i. Whether Lower CM R Bed Supply Inhibits Access
306530. Encompass argues that Di strict 1 has less access to
3076CMR care because, when compared to other districts, District 1
3086has fewer CMR beds per capita . This argument, however, fails to
3098take into account the difference s in CMR services demand ed and
3110utilized among districts. D emand is often unique to each
3120district. When the data regarding beds per capita is considered,
3130with the understanding that demand and utilization vary from
3139district to district, the data demonstrates that District 1 is
3149not out of the ordinary.
315431. The data for District 1, whether for the population as
3165a whole , or for the population of 65 or older , which uses more
3178CMR services, reflects that the ratio in District 1 is higher
3189than some districts and lower than others. When looking at the
320065 age bracket , District 1 has a ratio of 0.66 CMR beds to every
32141,000 persons, compar ed to the state average of 0 .70. Moreover ,
3227the average for Florida is inflated due to high ratios in some
3239counties around the state, such as Broward County.
324732. Although the need for CMR services is reviewed on a
3258district - wide basis, Encompass proposes to operate its facility
3268in Escambia County. Escambia County has a ratio of 1.12 CMR beds
3280to every 1,000 persons age 65 years and older. Adding the 50 CMR
3294beds requested by Encompass to the existing beds in Escambia
3304Co unty would result in a ratio of two beds for every thousand in
3318population , which is 2.4 times higher than the state average.
3328These ratios do not support a finding that there is in adequate
3340access for CMR services in District 1 , and do not demonstrate
3351need .
3353ii) W hether W hen CMR Bed Supply E xpands,
3363CMR Admissions I ncrease
3367a ) HealthSouthÓs examples
337133. Encompass urges that increasing the number of available
3380CMR beds will increase CMR utilization in District 1 . In
3391support, Encompass presen ted the testimony of its health care
3401planning expert, Ms. Gordo n - Girvin , who presented evidence of
3412HealthSouth Ós experience in other areas of Florida , such as Ocala
3423and Altamonte Springs .
342734. On the other hand , the IntervenorsÓ expert in health
3437planning and finance, Mr. Sullivan, opined that the answer to low
3448utilization is not to add additional beds . He explained that,
3459while new healthcare facilities m a y re sult in additional
3470utilization, th at increase can often be explained by aggressive
3480marketing . Mr. Sullivan also noted that the resulting increased
3490utilization of CMR beds over SNF beds does not necessarily mean
3501that those patients are receiving the most appropriate care for
3511their needs. Mr. Sullivan a lso noted possible detrimental
3520effects to the healthcare delivery system posed by unnecessary
3529utilization of the more expensive CMR services when lower cost
3539SNF services would be more appropriate. Mr. SullivanÓs opinions
3548on this issue are credited.
355335. With respect to Ms. Gordon - GirvinÓs calculations
3562regarding the increases in usage experience d at HealthSouthÓs
3571facilities in Ocala and Altamonte Springs, Mr. Sullivan
3579explained, and Ms. Gordon - Girvin acknowledged, that while that
3589may be true for those facilities, those projects were
3598signific antly different than EncompassÓ s prop osal for District 1.
3609In Ocala and Altamonte Springs , HealthSouth placed a facility in
3619a market where there was relatively high utilization of existing
3629providers, o r an absence of available beds. In contrast,
3639District 1 Ós utilization of CMR services is relatively low.
3649b) Stagnant Use in District 1
365536. The 78 existing beds in District 1, with a current
3666overall utilization rate of 57.3 percent , have not been highly
3676utilized for quite some time. Encompass argues that the
3685utilization rate is artificially low because West Florida denies
3694admission for CMR services to otherwise eligible patients because
3703of medical complexity, physician shortages, and nurse shortages.
3711Encompass argues that the denied admissions to West Florida are
3721Ðnot normalÑ ci rcumstances that justify EncompassÓ s proposed
3730project.
373137. According to data compiled by Ms. Gordon - Girvin from
3742admission logs for West Florida, in year 2015, West Florida
3752denied admission to 199 potent ial CMR patients. Of those
3762199 denials, the logs indicate that 116 were denied because of
3773lack of staff, 76 because of medical complexity, seven for lack
3784of bed availability, and one because the admission would have
3794violated the 60/40 rule which requires that at least 60 percent
3805of pati ents fall into particular diagnosis categories.
381338. For year 2016, the West Florida logs indicate that
3823216 patients were denied CMR admission; 48 due to lack of staff,
3835144 because of medical complexity, and 24 for physician choice.
384539. At hearing, West Florida adequately addressed its
3853historical admission denials to overcome the implication that
3861there is lack of access or Ðnot normalÑ circumstances in
3871District 1. It was shown that, even though there may have been a
3884logged ÐdenialÑ of admission for one da y, there were instances of
3896other admissions at West Florida that same day. In addition, the
3907data was insufficient to demonstrate that any of the denied
3917patients did not receive CMR services in District 1 or elsewhere.
3928The evidence does not otherwise support a finding that West
3938Florida artificially capped admissions at its CMR facility.
394640. In 2015 and 2016, HCAÓs data collection system utilized
3956by West Florida to document admission denials was not as accurate
3967as its current system , and had limited documenting options . As a
3979result, some of the referrals documented as denied admissions
3988were actually postponed admissions for a day or two. HCA has
3999recently developed a much more robust reporting system , which is
4009used by West Florida and Fort Walton Beach . The new reporting
4021system shows that in 2017, only approximately 50 patients were
4031denied because of staffing.
403541. While there were a number of admissions denied by West
4046Florida in 2015 and 2016 because of lack of staff , those numbers,
4058when compared to the overall daily census for those years, were
4069not significant enough to demonstrate Ðnot normalÑ circumstances .
4078Even if they were, the evidence did not show that such
4089constraints exis t today.
409342. West Florida is now appropriately staffed with
4101physician s and nurs es . West Florida employs an inpatient
4112rehabilitation administrator, a director of therapy, a director
4120of nursing, and a director of therapists who manage therapy for
4131inpatient rehabilitation, acute care , and outpatient therapy.
4138Mr. Ulmer as the CEO for West Florida als o makes rounds on the
4152CMR unit. West Florida currently staffs two physicians including
4161its medical d irector, Dr. Verbois and a mid - level provider to
4174assist Dr. Verbois.
417743. At the time of the hearing, West Florida was in the
4189process of recruiting another physician. West Florida also
4197expects to begin a graduate medical education program in the
4207summer of 2019, and it is expected that the program director for
4219that program and its residents would also be located at West
4230Florida. It is expected that the program director would spend
4240approximately 50 percent of his or her time in clinica l work.
425244. West Florida , as typical in the industry, is staffed to
4263meet the expected average daily c ensus . I t has developed a float
4277pool of approximately 18 full - time nurses who have been trained
4289to be able to cover for other nurses who may be out for whatever
4303reason. The float nurses assist at West Florida when there is a
4315need for additional coverage. West Florida has also brought in
4325additional travel nurses. In addition , West Florida has an
4334internal escalation process in place to review the cases and
4344ensure the patients get the best care possible.
435245. W ith respect to denied admissions at West Florida based
4363on medical complexity , the evidence was insufficient to show that
4373the denials support a finding of Ðnot normalÑ circum stances. The
4384evidence was also inadequate to support a finding that
4393EncompassÓ s program, if approved, would be able to accept the
4404denied patients or would increase access for those patients.
441346. Medicare has stringent guidelines for CMR admissions.
4421Accordingly, West Florida does not admit patients that require
4430certain services due to the medical complexity of the patient ,
4440especially when the facility does not offer additional services
4449necessitated by the medical complexity of the patient.
445747. Whether a patient is appropriate for care in a
4467particular CMR facility is based on the independent professional
4476judgment of the evaluating physic ian. If a patientÓs condition
4486is too medically complex such that the patient requires a level
4497of care not provided at the CMR facility, that CMR facility would
4509not be able to admit the patient .
451748. There is nothing Ðnot normalÑ about a rehabilitation
4526facility , at one time or another , deny ing admission to patients
4537who are too m edically complex.
454349. Dr. Verbois , a p hysiatrist with years of CMR
4553experience , who has been the medical director for West Florida
4563for 18 years , credibly explained her role in reviewing referrals
4573against the CMS criteria for admission . A t West Florida ,
4584Dr. Verbois uses her professional medical judgment to determine
4593the me dical complexity of the patient .
460150. Examples of patients that may be denied admission due
4611to the patientÓs medical complexity include patients that are not
4621stable and not able to withstand the intense therapy , such as
4632severe burn patients; patients who are being monitored by
4641telemetry; venti lator dependent patients; patients who are hooked
4650to a wall suction; patients with trach eotomy s ize of 8 or
4663greater; as well as p atients who are newly placed on a parenteral
4676nutrition through a central line ( total parenteral nutrition or
4686TPN). In addition , patient s with a Ðtotal assistÑ functional
4696independence measure are potentially too medically complex ,
4703depending on their specific circumstances.
470851. Encompass asserts that HealthSouth has a history of
4717accepting medically complex patients as evidence that its
4725proposed facility in Pensacola would be able to accept the
4735patients denied by West Florida due to the ir medical complexity.
4746Ms. Lori Bedard, regional vice president of o perations for
4756Encompass Health for the southeast region, testified as to the
4766experience with HealthSouth accepting high acuity patients
4773including TPN patients, trach eotomy patients, as well as total
4783assist patients. As an example of a mea sure of the high acuity
4796patient s accepted by HealthSouth, Ms. Bedard cited that the
4806HealthSout h Spring Hill facility has a case mix index ( CMI )
4819of 1.3. T he higher the CMI value, the hig her the
4831complexity accepted.
483352. While a CMI of 1.3 for HealthSouthÓs Spring Hill
4843facility is high, the CMI for West Florida is higher at 1.6.
4855Further, although Ms. Bedard testified generally that HealthSouth
4863takes TPN, trach e otomy patients , and total assist patients, with
4874the exception of the trach eotomy patients, Ms. Bedard did not
4885testify or otherwise address whether HealthSouth accepts all of
4894those types of patients , and she did not testify that Encompass
4905would be able to take all of those types of patients . Encompass
4918did not otherwise explain how it intends to accept the type of
4930patient s deemed by West Florida as medically too complex.
494053. According to D r. Verbois, West Florida accepts certain
4950types of TP N patients as well as certain types of total assist
4963patients. In Dr. Verbois Ós opinion, which is credited, Encompass
4973would not be able to take the type of patient s West Florida
4986denie s as too medically complex because those patie nts simply do
4998not meet the CMS c riteria for admission.
500654. In sum, EncompassÓ s reliance on 2015 and 2016 data
5017reflecting a relatively small number of patients not admitted to
5027West Florida does not demonstrate Ðnot normalÑ circumstances,
5035does not represent the experience at West FloridaÓs CMR unit
5045today , and does not demonstrate need in District 1 for additional
5056CMR beds. Rather, the evidence show s , and it is found, that
5068there is no need to increase the number of beds. The addition of
508110 new beds at Fort Walton Beach further supports this finding .
5093c) R atio between CMR beds and SNF beds
510255. SNFs, commonly known as nursing homes, serve
5110post - acute patients but do not offer the same intensive
5121rehabilitation offered in a CMR facility . SNFs typically serve a
5132lower acuity patient population than CMRs . Stays in SNF
5142facilities are typically longer than in a CMR facility. Not
5152every patient that benefits from a SNF woul d be appropriate for
5164treatment in a CMR facility.
516956. Encompass asserts that there is an institutional bias
5178for placing patients in nursing homes versus CMR facilities
5187within District 1. A ccording to a ratio analysis presented in
5198the application and ex plained at the hearing by Ms. Gorden -
5210Girvin, when the ratio of the number of CMR beds as compared to
5223SNF beds increases, the number of hospi tal discharges to CMS
5234increases.
523557. Ms. Gordon - Girvin determined that in District 1 there
5246is a ratio of seven discharges to SNFs for every one discharge to
5259a CMR , as compared to a five - to - one statewide average. According
5273to Ms. Gorden - Girvin, this ratio indicates a demand in District 1
5286for more CMR services. The methodology utilized for Ms. Gorden -
5297GirvinÓs ratio analysis is not a standard health - planning tool
5308for calculating or otherwise demonstrating nee d for CMR services.
531858. Looking at the utilization numbers for SNF facilities
5327versus CMR facilities in District 1 does not demonstrate need or
5338Ðnot normal Ñ circumstances for additional CMR beds or the
5348presence of any barriers to access. The data utilized by
5358Ms. Gordon - Girvin to derive the ratio only showed the recommended
5370discharge and did not indicate why the patient may have been
5381recommended for a SNF instead of a CMR. The evidence was
5392otherwise insufficient to show a causal link between the number
5402of SNF beds and CMR beds and a lack of access to CMR beds. There
5417are several plausible explanations for the larger utilization of
5426SNF facilities , inclu ding that there may simply be a greater need
5438for SNF facilities in District 1.
544459. As SNFs and CMRs generally serve different populations,
5453the relevance of a comparative ratio between the two in an
5464attempt to justify need is minimal . Instead of looking at the
5476ratio of discharges to the two different types of facilities, t he
5488proper ratio to be examined relative to need is District 1Ós
5499population to the number of CMR beds , and the proposed location
5510for the requested project. As previo usly noted, while the need
5521for CMR services is reviewed on a district - wide basis , Escambia
5533County, where Encompass proposes to locate the project, has a
5543ratio of 1.12 CMR beds to every 1,000 persons age 65 years and
5557older. Adding another 50 CMR beds propo sed by Encompass would
5568result an inventory of two beds for every thousand in population ,
5579which is 2.4 times higher than the state average. Existing
5589ratios indicate adequate access for CMR services in District 1.
5599iii) Whether Referral Patterns Demonstrate Limited
5605Access to Existing CMR B eds
561160. In addition to other arguments raised by Encompass
5620regarding access, a chart contained in EncompassÓs CON
5628application indicates that only five patients were transferred
5636from West FloridaÓs acute care unit ; virtually no patients were
5646transferred from other acu te care hospitals in District 1; and
56578,155 patients were transferred from clinics and physicianÓs
5666offices. T he information contained in the CON Application on
5676this point is in error and is , therefore , unpersuasive on the
5687issue of access . Rather, a significant majority of CMR patient
5698referrals in District 1 come from acute care hospitals, other
5708than the facilities affiliated with the CMR units themselves.
5717The three main referral centers for West Florid a are the large
5729health providers in Escambia County including Baptist Hospital,
5737Sa cred Heart, and West Florida. Fort Walton Beach receives a
5748significant number of referrals from Sacred Heart of the Emerald
5758Coast, an acute care hospital, other facilities i n Bay and
5769Escambia counties , and the Fort Walton Beach Medical Center. In
57792017, Fort Walton Beach received 50 referrals from the Pensacola
5789area and accepted approximately 20 to 23 of the referred
5799patients.
580061. The evidence does not support a finding that there is
5811lack of access for CMR services in District 1.
5820b. Lack of Choice
582462. In support of its claim that there is a lack of
5836choice, Encompass maintains that low numbers of CMR beds
5845relative to SNF beds , coupled with HCAÓs two facilities having
5855all of the CMR beds in District 1 , limits choice, and suppress es
5868market entry. Encompass as serts tha t additional CMR beds are
5879needed to increase competition and provide choice. However,
5887unlike some other types of healthcare services, CMR services are
5897tertiary services , which , by definition , should be concentrated
5905in a limited number of facilities to ensure quality,
5914availability, and cost - effectiveness. See § 408.032(17),
5922Fla. Stat. (quoted above). L ack of competition for CMR services
5933in District 1 does not support a finding of Ðnot normalÑ
5944circumstances or otherwise demonstrate need for EncompassÓs
5951proposal .
59532. Section 408.035(1)( b) Î The availability, quality of
5962care, accessibility, and extent of utilization of
5969existing healthcare facilities and health services
5975in the service district of the applicant.
598263. C onsistent with the finding that there is no need for
5994the 50 - bed facili ty in Escambia County proposed by Encompass ,
6006t he existing CMR services provided by West Florida and Fort
6017Walton Beach in District 1 are accessible and available . The
6028evidence did not otherwise demonstrate that an award of a CON to
6040Encompass would improve availability or accessibility to quality
6048CMR services in District 1.
605364. Of f urther note , Encompass includes in its application
6063utilization projections based on a hypothetical , which reduces
6071the ratio of SNF to CMR cases from 7:1 to 6:1, rather than
6084directly projecting future CMR demand. Based on this
6092hypothetical ratio, Encompass proj ects that CMR cases in
6101District 1 will increase from 977 in 2016 to 2,541 in 20 23 for a
6117total increase of 160 percent , even though the population growth
6127in this area is only 1.3 percent annually. These are projections
6138that do not accurately reflect utilization and are
6146unrealistically overstated.
61483. Section 408.035(1)(c) Î The ability of the
6156appl icant to provide quality of care and the
6165applicantÓs record of providing quality care .
617265. EncompassÓs CO N application accurately describes
6179quality measures that would be utilized by Encompass if its
6189CON application was approved , including quality metric reports
6197that would track lengths of stay, discharges , and patient
6206improvements . The reports would also track accreditation and
6215regulatory compliance.
621766. Regarding accreditation, the evidence indicate s that ,
6225while one of Encompass HealthÓs facilities in Florida is
6234accredited by the Commission on Accreditation of Rehabilitation
6242Facilities (CARF), E ncompass Health has focus ed on obtain ing
6253accreditation for its facilities from the Joint Commission o n
6263Accreditation of Health Care Organizations (the Joint
6270Commission) .
627267. On the other hand, both West Florida and Fort Walton
6283Beach have accreditation from CARF , described by the
6291Intervenor s Ó expert in CMR administration as intensive and
6301specific to the o perations of rehabilitation hospital s and
6311programs related to rehabilitative care. There is no indication
6320that Encompass would seek CARF certification if its program were
6330approved. In fact, Encompass makes no commitment to seek any
6340particular accreditation in its application . However, all of
6349Encompass Health Ós Florida faci lities are accredited by the
6359Joint Commission, with some holding Joint Commission
6366certifications for various s pecialty treatment programs.
637368. An a ctual commitment by Encompass to seek
6382accreditation from the Joint Commission or pursue certifications
6390from CARF would have made a stronger showing . Nevertheless , the
6401strength of Encompass HealthÓs programs and systems available to
6410Encompass , together with Encompass HealthÓs history of quality
6418care, was sufficient to support a finding that, if approved,
6428Encompass would have the ability to provide quality CMR
6437services.
64384. Section 408.035(1)(d) Î The availability of
6445resource s, including health and management
6451personnel, for project accomplishment and operation.
645769. The parties stipulated that Encompass has the funds
6466necessary for capital and operating expenditures for its
6474proposed hospital. Currently, however, Encompass does not have
6482any employees dedicated to staff the proposed facility. While
6491Encompass has a track record of recruiting and retaining
6500rehabilitation liaisons, therapists, nurses, and doctors of
6507physical medicine (physiatry), e xisting providers in District 1
6516have experienced difficulty in recruiting physicians and nurses
6524to staff the ir CMR facilities . If approved, Encompass would
6535face the same challenges in recruiting professional staff .
654470. I n addition to West Florida and Fort Walton Beach,
6555District 1 currently has at least two major health systems,
6565Sacred Heart and Baptist, along with numero us SNF facilities.
6575Recently, a new SNF facility opened near West Florida , resulting
6585in two nurses leaving West Florida to work at the new facility.
659771. The ability to recruit professional staff is
6605negatively impacted by the fact that the area is not a major
6617destination with large airports . In addition, District 1 has a
6628large population of military families that tend to move
6637frequently , lead ing to more frequent turnover of professional
6646staff than in areas not as affected by military transfers.
665672. Although EncompassÓs application has a plan outlining
6664recruiting , the plan does not specifically address rec ruiting
6673difficulties in the Pensacola area. Approval of the application
6682would place further demand on an already limited supply of
6692healthcare staff.
66945. Section 408.035(1)(e) Î The extent to which the
6703proposed services will enhance access to healthcare
6710for residents of the service district.
671673. In addition to the access issues related to need
6726already addresse d, r ule 59C - 1.039 (6) provides that geographical
6738access for CMR services Ð should be available within a maximum
6749ground travel time of 2 hours under average travel conditions
6759for at least 90 percent of the districtÓs total population. Ñ
6770Current access to existing providers under this standard is
6779sufficient.
678074. Moreover, a n award of the CON to Encompass will not
6792improve clinical or programmatic access since Encompass does not
6801propose services that are not currently offered in the District
6811at West Florida and Fort Walton Beach. Encompass did not
6821identify any specific subgroup of services that patients are
6830otherwise not able to access from a clin ical standpoint.
684075. Furthermore, b ased on the condition in EncompassÓ s
6850application to serve only 2.25 percent of Medicaid, charity
6859care , and self - pay , coupled with the fact that Encompass Ós
6871facilities (or HealthSouth as a whole) do not serve a high
6882percentage of Medicaid or self - pay patients, Encompass will not
6893enhance access to care for indigent or Medicaid patients as it
6904w ill focus on serving the better paying patients (i.e., Medicare
6915and commercially insured patients).
691976. In sum, the evidence did not show that approval of
6930EncompassÓs application would improve CMR service access for
6938residents in District 1.
69426. Section 408.035(1)(f) Î The long - term financial
6951feasibility of the proposal.
695577. The parties stipulated that Encompass has the funds
6964necessary to fund the construction and opening of its proposed
6974facility, but did not stipulate to the long - term financial
6985feasibility of the project. Long - term financial feasibility is
6995demonstrated by showing a prof it during the projection peri od,
7006based on reasonable and defensible assumptions and data sources.
7015For this project, Encompass used a three - year time period for
7027its projections.
702978. In criticizing EncompassÓs projections as
7035unreasonable, the Intervenor s Ó healthcare finance expert pointed
7044out that EncompassÓ s projections were based on Encompass
7053HealthÓs Ocala facility , which is a different operation than the
7063proposal ; were not reviewed with Encompass to match its
7072expectations for the facility; used a full first - year example
7083instead of a start - up year ; and did not coordinate staffing
7095requirements with EncompassÓ s expectations for staffing the
7103proposed operations . These criticisms are legitimate.
711079. The lack of communication between the experts hired to
7120prepare the application and those who would be responsible for
7130EncompassÓs operations was apparent. While all agreed that
7138Encompass Health Ós facilities in Florida all experience
7146profitability in their second year of operation, that is not
7156sufficient to show long - term financial feasibi lity of the
7167proposed facility.
716980. In addition, while , because of inflated cost
7177projections, it appears that funds would be available to pay for
7188staffing expected by those who would actually run the facility ,
7198even though much different from staffing proposed in the
7207application , the changes between the application and what is
7216expected cannot be ignored. Considering the disconnects between
7224the application and actual expectations , it is concluded that
7233the application financial projections are not based on
7241reasonable and defensible assumptions and data sources so as to
7251provide a reliable basis for determining long - term financial
7261feasib ility of the project.
72667. Section 408.035(1)(g) Î The extent to which the
7275proposa l will foster competition that promotes
7282quality and cost - effectiveness.
728781. Under this statutory criterion, the consideration is
7295whether there is a need for greater competition to stimulate and
7306promote quality and cost - effectiveness. Considering the fact
7315that District 1Ós utilization of existing CMR beds is relatively
7325low a t 57.3 percent , it is apparent that the Encompas s project
7338will not promote cost - effectiveness , but rather would promote
7348unnecessary duplication of services.
735282. I nstead of promoting or enhancing quality, approval of
7362the project would add additional pressure s on limited staffing
7372resources in District 1 necessary to maintain current staffing
7381and qual ity . The evidence was otherwise insufficient to show
7392that additional competition would stimulate quality or cos t -
7402efficiency.
74038 . 408.035(1)(h) - The costs and methods of the
7413proposed construction, including the costs and
7419methods of energy provision and the availability of
7427alternative, less costly, or more effective methods
7434of construction.
743683. Encompass has not chosen a location for its proposed
7446facility within Escambia County nor does it have a letter of
7457intent in place to purchase a particular parcel. However, the
7467architect that designed the proposed facility and testified
7475regarding estimates of project costs, Fred Frederick , provided
7483undisputed, credible testimony that Encompass can construct its
7491proposed facility up to code and at the costs estimated in the
7503CON a pplication.
750684. The number of square feet for the proposed project
7516reflected in the application is consistent with the floor plan
7526Encompass submitted with the application. The estimated cost of
7535$284 per square foot is adequate even if construction does not
7546begin for approximately one year. A 7.9 - acre lot is large
7558enough to accommodate the 50 - bed de sign Mr. Frederick created
7570and EncompassÓs estimated purch ase price of $3 mil lion for
75817.9 acres is reasonable.
758585. T he cost estimates for environmental impact, site
7594survey, site preparation, water , sewer , utility, landscaping,
7601sidewalks and road s , materials , and testing are reasonable and
7611in line with other Encompass Health projects. The architectural
7620fee of $1.3 million, construction supervision of $300,000, other
7630contingencies of $1.15 million, and $3.45 million for equipment
7639reflected on Schedule 1 are reasonable.
764586. In sum, all of EncompassÓ s project costs were
7655rea sonably estimated and accurate.
76609. Section 408.035(1)(i) Î The ApplicantÓs past and
7668proposed provisions of healthcare services to
7674Medicaid patients and the medically indigent.
768087. EncompassÓs application includes a condition that
7687states: ÐMedicaid, Medicaid Managed Care, Charity Care and Self
7696Pay patients w ill represent a minimum of 2.25 percent of patient
7708days.Ñ Provision of CMR services to only 2.25 percent of
7718services to the self - pay, charity care, and Medicaid population
7729falls well b elow the other existing p roviders in the area. For
7742example, Fort Walton Beach provides 16 percent and West Florida
7752provides 12.4 percent of its services to self - pay, charity care ,
7764and Medicaid patient s.
776888. In addition, f or the past four years, Encompass
7778Health Ós hospitals in Florida combined have provided only
77872.8 percent of services to self - pay, charity care , and Medicaid.
7799This is on the low end of the aver age for the state .
781389. These service levels are not favorable to the
7822application.
7823B. Rule Review Criteria
782790. Rules 59C - 1.008, 59C - 1.030, and 59C - 1.039 govern
7840review of CMR CON applications. The provisions of the rules are
7851generally addressed above as to each of the statutory criteria.
786191. In addition, Encompass asserts entitlement to the
7869application of the rule preference in r ule 59C - 1.039(5)(f)2.,
7880relative to the p rovision of service to Medicaid - eligible
7891persons. The CON application proposes to minimally serve
7899Medicaid patients, although, as previously indicated,
7905EncompassÓs proposed service levels to self - pay, charity care ,
7915and Medicaid patients are low when compared to the levels of
7926those populations currently served by the Intervenors.
7933V. Adverse Impact
793692. In addition to the adverse impact upon recruiting
7945previously discussed, West Florida and Fort Walton Beach
7953provided expert testimony credibly demonstrating the material
7960adverse financial impact that approval of EncompassÓs CON
7968application would have on existing providers .
797593. Given current CMR utilization levels, the addition of
7984another 50 CMR beds in Escambia County would create an
7994oversupply , negatively impacting the existing providers by
8001reducing the number of referrals . As previously noted,
8010EncompassÓs application contains util ization projections that
8017assume dramatic growth in CMR utilization , which are
8025unreasonably overstated . CMR utilization in District 1 is
8034likely to be far slower , and EncompassÓ s patients would likely
8045come primarily from existing providers .
805194. The Intervenor s Ó expert in health planning and
8061finance , Daniel Sullivan , calculated the number of patients that
8070West Florida and Fort Walton Beach would lose to Encompass
8080should the application be approved under three different
8088scenarios . The calculations were on a District - wide basi s, as
8101were the Encompass utilization projections. If Encompass had
8109done their projections on a county basis, the impact on West
8120Florida would be much greater .
812695. If EncompassÓ s project ion to serve 1,095 patients in
81382023 were accurate, Encompass would need to capture 102 percent
8148of the current market of CMR patients in District 1. S cenario
8160one assumes that 100 percent of these 1,095 cases come from
8172existing providers ; s cenario two assumes 75 percent of the
81821,095; and scenario three assumes tha t only 50 percent of the
81951,095 cases come from existing providers. Even under the most
8206conservative 50 - percent estimate, West Florida would lose
8215322 discharges and F ort Walton Beach would lose 174 dis charges.
8227This represents half of each facilityÓs current volumes and
8236would cause a significant adverse impact on both West Florida
8246and Fort Walton Beach.
825096. Any of the three scenarios represents a substantial
8259adverse impact on West Florida and Fort Walton Beach Ós programs.
8270The most conservative 50 - percent loss under scenario three
8280results in a contribution margin loss of $4.9 million for West
8291Florida and of $2.0 million for Fort Walton Beach. Such losses
8302would be significant and material , both financially and
8310operationally , to the survival of the West Florida and Fort
8320W alton Beach program s.
832597. Moreover, i f the Encompass application is approved,
8334West Florida and Fort Walton Beach will be forced to bear a
8346disproportionate share of the lower - paying patient populat ion
8356(i.e., Medicaid, self - pay). EncompassÓs proposal to serve
83652.25 percent of the Medicaid population does not increase
8374financial accessibility and would have a negative effect on
8383financial access to CMR services by prohibiting the existing
8392providers from operating at the same level as the y have
8403historically, further discouraging the facilities from adding
8410new services and equipment.
841498. EncompassÓ s CON application should not be approved.
8423CONCLUSIONS OF LAW
842699. The Division of Administrative Hearings has
8433jurisdiction over the parties and subject matter in this case.
8443See §§ 120.569, 120.57(1) and 408.039(5), Fla. Stat.
8451100. For an existing healthcare facility to have standing
8460to intervene in a CON proceeding, it must show that it will be
8473Ðsubstantially affectedÑ by approval of the CON application at
8482issue. See § 408.039(5)(c), Fla. Stat. In order for a party to
8494be substantially affected by the outcome of a proceeding, a
8504party must show: (1) i njury in fact of sufficient immediacy,
8515and (2) that the personÓs substantial injury is of a type or
8527nature , which the proceeding is designed to protest. Agrico
8536Chem. Co. v. DepÓt of Envtl. Reg. , 406 So. 2d 478 (Fla. 2d
8549DCA 1981).
8551101. The Intervenors established that if EncompassÓs CON
8559Application were approved , there would be adverse impact in the
8569form of significant income losses to both West Florida and Fort
8580Walton Beach. Additionally, West Florida demonstrated that
8587approval of a new 50 - bed CMR unit in Pensacola would have an
8601adverse effect on West FloridaÓs ability to retain and attract
8611staff necessary to continue operating and growing its facility
8620in an already difficult recruiting market.
8626102. The adverse impacts to the Intervenors, as discussed
8635in the Findings of Fact, above, is of the type or nature of
8648injury against which this proceeding is designed to protect, and
8658is clearly substantial enough to establish West Florida and Fort
8668Walton BeachÓs standing in this proceeding.
8674103. As the applicant for a CON, Petitioner bears t he
8685burden of proving, by the preponderance of the evidence,
8694entitlement to the CON. See Boca Raton Kidney Ctr., Inc. v.
8705DepÓt of HRS , 475 So. 2d 260 (Fla. 1st DCA 1985); § 120.57(1),
8718Fla. Stat.
8720104. The standard of review is de novo . See Fla. DepÓt
8732of Transp. v. J.W.C. Co., Inc. , 396 So. 2d 778, 787 (Fla. 1st
8745DCA 1981); § 120.57(1), Fla. Stat. AHCAÓs preliminary
8753determinations on the CON Appli cations, including its
8761findings in the SAAR, are not entitled to a presumption of
8772correctness. Id .
8775105. The award of a CON must be based on a balanced
8787consideration of all applicable statutory and rule criteria.
8795Balsam v. DepÓt of HRS , 486 So. 2d 1341 (Fla. 1st DCA 1986).
8808Ð[T]he appropriate weight to be given to each individual
8817criterion is not fixed, but rather, must vary on a case - by - case
8832basis, depending on the facts of each case.Ñ See Collier Med.
8843C tr., Inc. v. DepÓt of HRS , 462 So. 2d 83, 84 (Fla. 1st DCA
88581986); see, e.g. , Morton F. Plant Hosp. Ass Ó n, Inc. v. DepÓt of
8872HRS , 491 So. 2d 586, 589 (Fla. 1st DCA 1986) (quoting North Ridge
8885GenÓl Hosp., Inc. v. NME Hosp. , Inc. , 478 So. 2d 1138, 1139
8897(Fla. 1st DCA 1985)).
8901106. The applicable CO N review criteria are found in
8911s ections 408.035(1)(a) - (1)(i), 408.037, and 408.039 ; and r ules
892259C - 1.008, 59C - 1.030, and 59C - 1.039.
8932107. Pursuant to the rule methodology set forth in
8941rule 59C - 1.039(5), AHCA published a fixed need pool of zero for
8954CMR beds in District 1. AHCAÓs publ ished need of zero creates a
8967rebuttable presumption. See, e.g. , Humhosco, Inc. v. DepÓt
8975of HRS , 476 So. 2d 258, 261 (Fla. 1st DCA 1985); Hum ana, Inc. v.
8990DepÓt of HRS , 469 So. 2d 889, 891 (Fla. 1st DCA 1985) (Ð[S]hould
9003the formula methodology in Rule 10 - 5.11(15) result in an
9014underestimation of the need for additional services in an area,
9024the applicant has the oppor tunity to demonstrate need by . . .
9037provid ing other information to illustrate that the situation is
9047not ÐnormalÑ in the service area.Ñ); see Fla. Admin. Code
9057R. 59C - 1.039(5)(d).
9061108. Encompass bore the burden to rebut the presumption of
9071zero need by demonstrating the existence of Ðnot normalÑ
9080circumstances. The greater weight of the evidence demonstrates
9088that District 1 as a whole has a relatively low utilization rate
9100and that the two existing facilities, West Florida and Fort
9110Walton Beach, do not operate at full capacity. Although
9119Encompass presented arguments that West Florida and Fort Walton
9128Beach have denied admission to some patient s for various
9138reasons, Encompass failed to demonstrate that notwithstanding
9145those denied admissions, West Florida and Fort Walton Beach
9154would have operated at a substantially higher capacity.
9162Instead, the evidence demonstrates that for the past several
9171ye ars, West Florida and Fort Walton Beach have a relatively low
9183utilization rate.
9185109. At hearing, Encompass demonstrated that West Florida
9193denied admissions to some patients based on staffing levels , as
9203well as the complexity of the patient ; and, based on that,
9214argued this resulted in skewing AHCAÓs need calculation.
9222Encompass, however, did no t challenge the published fixed need
9232pool. EncompassÓs argument on this point was an attempt to
9242demonstrate Ðnot normalÑ circumstances to support need despite
9250its failure to challenge the fixed need pool calculation. By
9260not challenging the fixed need pool calculation, Encompass
9268waived its right to argue that AHCA Ós determination of zero need
9280was flawed.
9282110. For all of the reasons set forth in the Findings of
9294Fa ct, Encompass failed to rebut the presumption of zero need.
9305111. Rule 59C - 1.039(5)(f)2. provides for a preference to
9315be given to a CON Application for proposing to serve the
9326Medicaid population. The rule states:
9331Priority Consideration for Comprehensive
9335Medical Rehabilitation Impatient Services
9339Applicants. In weighing and balancing
9344statutory and rule review criteria, the
9350Agency will give priority consideration to:
9356* * *
93592. An applicant proposing to serve
9365Medicaid - eligible persons.
9369In light of the fact that the percentage of patients to be
9381served by Encompass is well below the range of the current
9392providers , coupled with the fact that such a low percentage
9402allows Encompass to choose higher paying patients , which would
9411lead to a negat ive impact on the Medicaid patient population,
9422there is no compelling evidence to support according additional
9431weight regarding this factor. Moreover, because the applicant
9439failed to demonstrate need, the application of this preference
9448is moot.
9450112. The parties stipulated that Encompass has sufficient
9458funds for capital and operating e xpenditures in compliance with
9468s ection 408.035(1)(d) and that EncompassÓ s application is
9477financially feasible in the short term.
9483113. However, t he revised staffing plan pr epared and
9493submitted by Encompass constitutes an improper amendment to
9501EncompassÓs CON Application. Staffing resources are a critical
9509component of a CON application. See § 408.035(1)( d), Fla. Stat.
9520(including in the CON review criteria the Ðavailability of
9529resources, including health personnel, management personnel, and
9536funds for capital and operating expenditures, for project
9544accomplishment and operationÑ). The introduction of eviden ce
9552related to revisions to the staffing resource information
9560submitted in the CON Application and reviewed by AHCA
9569constitutes a substantial change to EncompassÓs CON Application.
9577The revised staffing plan is not simply a correction of
9587typographical error s or correction of mathematical calculations,
9595but instead constitute s a substantial revision to the proposed
9605staffing structure and number of each type of staff members.
9615The revisions substantially change the nature and scope of the
9625staffing plan original ly proposed in the CON Application such
9635that the revised staffing plan constitutes an improper amendment
9644to EncompassÓs CON Application. It is well settled that
9653substantial changes to a CON application are not permitted
9662during the course of the administrative hearing , as any such
9672change constitutes an impermissible amendment to the CON
9680application. See Manor Care, Inc. v. DepÓt of HRS , 558 So. 2d
969226, 28 - 29 (Fla. 1st DCA 1989); Gulf Court Nurs ing Ctr. v. DepÓt
9707of HRS , 483 So. 2d 700, 707 (Fla. 1st DCA 1986); see also All
9721Eighth Fla. Living Options, LLC v. Ag. for Health Care Admin. ,
9732Case No. 15 - 1897CON (Fla. DOAH Feb. 22, 2016; Fla. AHCA Apr. 13,
97462016); NME Hosp., Inc., d/b/a West Boca Med. Ctr. v. DepÓt of
9758HRS , Case No. 90 - 7037 (Fla. DOAH Feb. 25, 1992; Fla. DHRS
9771April 8, 1992); Fla. Admin. Code R. 59C - 1.010(3)(b)
9781(Ð[s]ubsequent to an application being deemed complete or
9789withdrawn by the Agency, no further a pplication information or
9799amendment will be accepted by the Agency.Ñ).
9806114. Considering all of the evidence, review of criteria ,
9815and applicable law, Encompass did not prove that its CON
9825Application meets the applicable statutory and rule criteria.
9833115. In view of the evidence, a balanced consideration of
9843all applicable statutory and rule criteria compels the
9851conclusion that EncompassÓs CON Application should be denied.
9859RECOMMENDATION
9860Based on the foregoing Findings of Fact and Conclusions of
9870Law it is, RECOMMENDED that the Agency for Health Care
9880Administration enter a final order denying CON Application
9888Number 10495 filed by Encompass.
9893DONE AND ENTERED this 31st day of January , 201 9 , in
9904Tallahassee, Leon County, Florida.
9908S
9909JAMES H. PETERSON, III
9913Administrative Law Judge
9916Division of Administrative Hearings
9920The DeSoto Building
99231230 Apalachee Parkway
9926Tallahassee, Florida 32399 - 3060
9931(850) 488 - 9675
9935Fax Filing (850) 921 - 6847
9941www.doah.state.fl.u s
9943Filed with the Clerk of the
9949Division of Administrative Hearings
9953this 31st day of January , 2019 .
9960ENDNOTE
99611 / Unless otherwise noted, all citations to the Florida Statutes
9972and Florida Administrative Code are to current versions.
9980COPIES FURNISHED :
9983Seann M. Frazier, Esquire
9987Marc Ito, Esquire
9990Parker, Hudson, Rainer & Dobbs, LLP
9996Suite 750
9998215 South Monroe Street
10002Tallahassee, Florida 32301
10005(eServed)
10006Lindsey L. Miller - Hailey, Esquire
10012Richard Joseph Saliba, Esquire
10016Kevin Michael Marker, Esquire
10020Agency for Health Care Administration
100252727 Mahan Drive , Mail Stop 7
10031Tallahassee, Florida 32308
10034(eServed)
10035Elina Valentine, Esquire
10038Agency for Health Care Administration
100432727 Mahan Drive , Mail Stop 7
10049Tallahassee, Florida 32308
10052Stephen A. Ecenia, Esquire
10056Craig D. Miller, Esquire
10060Rutledge Ecenia, P.A.
10063Suite 202
10065119 South Monroe Street
10069Tallahassee, Florida 32301
10072(eServed)
10073Richard J. Shoop, Agency Clerk
10078Agency for Health Care Administration
100832727 Mahan Drive, Mail Stop 3
10089Tallahassee, Florida 32308
10092(eServed)
10093Stefan Grow, General Counsel
10097Agency for Health Care Administration
101022727 Mahan Drive, Mail Stop 3
10108Tallahassee, Florida 32308
10111(eServed)
10112Mary C. Mayhew, Secretary
10116Agency for Health Care Administration
101212727 Mahan Drive, Mail Stop 1
10127Tallahassee, Florida 3230 8
10131(eServed)
10132Shena Grantham, Esquire
10135Agency for Health Care Administration
101402727 Mahan Drive, Mail Stop 3
10146Tallahassee, Florida 32308
10149(eServed)
10150Thomas M. Hoeler, Esquire
10154Agency for Health Care Administration
101592727 Mahan Drive, Mail Stop 3
10165Tallahassee, Florida 32308
10168(eServed)
10169NOTICE OF RIGHT TO SUBMIT EXCEPTIONS
10175All parties have the right to submit written exceptions within
1018515 days from the date of this Recommended Order. Any exceptions
10196to this Recommended Order should be filed with the agency that
10207will issue the Final Order in this case.
- Date
- Proceedings
- PDF:
- Date: 01/31/2019
- Proceedings: Transmittal letter from Claudia Llado forwarding confidential portion of Transcript to Petitioner.
- PDF:
- Date: 01/31/2019
- Proceedings: Recommended Order cover letter identifying the hearing record referred to the Agency.
- PDF:
- Date: 01/31/2019
- Proceedings: Recommended Order (hearing held July 16 through 18, 24, 26, 30 and 31, and August 1, 2018). CASE CLOSED.
- PDF:
- Date: 10/19/2018
- Proceedings: Notice of Filing Joint Preliminary Statement and Agreed Outline for Proposed Recommended Order filed.
- PDF:
- Date: 10/16/2018
- Proceedings: Motion to Extend the Deadline for Post-hearing Submissions filed.
- PDF:
- Date: 10/03/2018
- Proceedings: Joint Motion to Extend the Deadline for Post-Hearing Submissions filed.
- Date: 08/21/2018
- Proceedings: Transcript of Proceedings Volumes 1-10 (not available for viewing) filed.
- Date: 07/16/2018
- Proceedings: CASE STATUS: Hearing Held.
- PDF:
- Date: 07/16/2018
- Proceedings: Motion Hearing, Motion in Limine, Motion for Judical Notice, Agency for Health Care Administration's Trial Exhibits filed.
- PDF:
- Date: 07/13/2018
- Proceedings: Encompass Health's Response in Opposition to AHCA's Motion in Limine filed.
- PDF:
- Date: 07/13/2018
- Proceedings: Encompass Health's Response in Opposition to AHCA's Motion for Official Recognition filed.
- PDF:
- Date: 07/11/2018
- Proceedings: Encompass Health's Response in Opposition to Intervenors' Motion in Limine filed.
- PDF:
- Date: 07/05/2018
- Proceedings: West Florida Hospital and Fort Walton Beach Medical Center Notice of Telephonic Deposition filed.
- PDF:
- Date: 06/27/2018
- Proceedings: Encompass Health's Notice of Taking Depositions Duces Tecum of Marisol Fitch filed.
- PDF:
- Date: 06/26/2018
- Proceedings: West Florida Hospital and Fort Walton Beach Medical Center's Notice of Taking Telephonic Deposition Duces Tecum filed.
- PDF:
- Date: 06/22/2018
- Proceedings: Encompass Health's Notice of Taking Depositions Duces Tecum filed.
- PDF:
- Date: 06/22/2018
- Proceedings: Protective Order Governing Production of Proprietary Trade Secret Documents.
- PDF:
- Date: 06/22/2018
- Proceedings: Encompass Health's Amended Notice of Taking Depositions Duces Tecum as to the Time of Erin Wright filed.
- PDF:
- Date: 06/21/2018
- Proceedings: West Florida Hospital and Fort Walton Beach Medical Center Notice of Taking Deposition Duces Tecum filed.
- PDF:
- Date: 06/21/2018
- Proceedings: Encompass Health's Notice of Taking Depositions Duces Tecum filed.
- PDF:
- Date: 06/21/2018
- Proceedings: Encompass Health's Notice of Taking Depositions Duces Tecum filed.
- PDF:
- Date: 06/19/2018
- Proceedings: West Florida Hospital and Fort Walton Beach Medical Center's Notice of Taking Telephonic Deposition filed.
- PDF:
- Date: 06/19/2018
- Proceedings: West Florida Hospital and Fort Walton Beach Medical Center Amended Notice of Taking Deposition Duces Tecum filed.
- PDF:
- Date: 06/19/2018
- Proceedings: West Florida Hospital and Fort Walton Beach Medical Center Notice of Taking Deposition Duces Tecum filed.
- PDF:
- Date: 06/15/2018
- Proceedings: West Florida Hospital and Fort Walton Beach Medical Center Notice of Taking Deposition filed.
- PDF:
- Date: 06/12/2018
- Proceedings: Order Granting, in Part, Encompass Health's Motion for Protective Order.
- PDF:
- Date: 06/08/2018
- Proceedings: Encompass Health's Motion for Protective Order and Objections to West Florida's and Fort Walton's Notice of Taking Depositions Duces Tecum filed.
- PDF:
- Date: 06/06/2018
- Proceedings: West Florida Hospital and Fort Walton Beach Medical Center's Notice of Taking Depositions Duces Tecum filed.
- PDF:
- Date: 04/13/2018
- Proceedings: West Florida Hospital and Fort Walton Beach Medical Center Final Witness List filed.
- PDF:
- Date: 03/14/2018
- Proceedings: Order Granting Continuance and Rescheduling Hearing (hearing set for July 16 through 18, 23, 24, 26, 27 and July 30 through August 1, 2018; 9:00 a.m.; Tallahassee, FL).
- PDF:
- Date: 02/23/2018
- Proceedings: Encompass' Responses and Objections to Intervenors First Request for Production of Documents filed.
- PDF:
- Date: 02/23/2018
- Proceedings: Encompass' Answers to the Agency for Health Care Administration's First Set of Interrogatories filed.
- PDF:
- Date: 02/23/2018
- Proceedings: Encompass' Notice of Serving Answers to the Agency for Health Care Administration's First Set of Interrogatories filed.
- PDF:
- Date: 02/23/2018
- Proceedings: Encompass' Responses to the Agency for Health Care Administration's First Request for Production filed.
- PDF:
- Date: 02/21/2018
- Proceedings: West Florida Hospital and Fort Walton Beach Medical Center Preliminary Witness List filed.
- PDF:
- Date: 02/19/2018
- Proceedings: West Florida Hospital's Response to Encompass Health Rehabilitation Hospital of Escambia County, LLC's First Request for Admissions filed.
- PDF:
- Date: 02/19/2018
- Proceedings: Fort Walton Beach Medical Center's Response to Encompass Health Rehabilitation Hospital of Escambia County, LLC's First Request for Admissions filed.
- PDF:
- Date: 02/19/2018
- Proceedings: West Florida Hospital's Notice of Service of Answers and Objections to Encompass Health Rehabilitation Hospital of Escambia County, LLC's First Interrogatories filed.
- PDF:
- Date: 02/19/2018
- Proceedings: Fort Walton Beach Medical Center's Notice of Service of Answers and Objections to Encompass Health Rehabilitation Hospital of Escambia County, LLC's First Interrogatories filed.
- PDF:
- Date: 02/19/2018
- Proceedings: West Florida Hospital's Response to Encompass Health Rehabilitation Hospital of Escambia County, LLC's First Request for Production of Documents filed.
- PDF:
- Date: 02/19/2018
- Proceedings: Fort Walton Beach Medical Center's Response to Encompass Health Rehabilitation Hospital of Escambia County, LLC's First Request for Production of Documents filed.
- PDF:
- Date: 02/02/2018
- Proceedings: Notice of Filing Joint Proposed Order of Pre-hearing Instructions filed.
- PDF:
- Date: 01/24/2018
- Proceedings: Agency for Health Care Administrations Responses to Encompass Health Rehabilitation Hospital of Escamiba County, Inc.s First Request for Production of Documents filed.
- PDF:
- Date: 01/24/2018
- Proceedings: Notice of Service of the Agency for Health Care Administration's Responses to Encompass Health Rehabilitation Hospital of Escambia County, LLC First Set of Interrogatories filed.
- PDF:
- Date: 01/23/2018
- Proceedings: The Agency for Health Care Administration's Preliminary and Final Witness List filed.
- PDF:
- Date: 01/23/2018
- Proceedings: Notice of Hearing (hearing set for April 30 through May 4 and 7 through 11, 2018; 9:00 a.m.; Tallahassee, FL).
- PDF:
- Date: 01/18/2018
- Proceedings: Intervenors' First Request for Production of Documents to Encompass filed.
- PDF:
- Date: 01/11/2018
- Proceedings: Encompass' First Request for Admissions to West Florida Regional Medical Center filed.
- PDF:
- Date: 01/11/2018
- Proceedings: Encompass' First Request for Production of Documents to West Florida Regional Medical Center filed.
- PDF:
- Date: 01/11/2018
- Proceedings: Notice of Serving Encompass' First Set of Interrogatories to West Florida Medical Center, Inc. filed.
- PDF:
- Date: 01/11/2018
- Proceedings: Encompass' First Request for Admissions to Fort Walton Beach Medical Center, Inc. d/b/a The Rehabilitation Institute of Northwest Florida and Fort Walton Beach Medical Center filed.
- PDF:
- Date: 01/11/2018
- Proceedings: Encompass' First Request for Production of Documents to Fort Walton Beach Medical Center, Inc. d/b/a The Rehabilitation Institute of Northwest Florida and Fort Walton Beach Medical Center filed.
- PDF:
- Date: 01/11/2018
- Proceedings: Notice of Serving Encompass' First Set of Interrogatories to Fort Walton Beach Medical Center, Inc. d/b/a The Rehabilitation Institute of Northwest Florida and Fort Walton Beach Medical Center filed.
- PDF:
- Date: 01/08/2018
- Proceedings: The Agency for Health Care Administration's First Request for Production Documents to Encompass Health Rehabilitation Hospital of Escambia County, LLC filed.
Case Information
- Judge:
- JAMES H. PETERSON, III
- Date Filed:
- 01/05/2018
- Date Assignment:
- 01/08/2018
- Last Docket Entry:
- 03/28/2019
- Location:
- Tallahassee, Florida
- District:
- Northern
- Agency:
- Other
- Suffix:
- CON
Counsels
-
Stephen A Ecenia, Esquire
119 South Monroe Street, Suite 202
Post Office Box 551
Tallahassee, FL 32301
(850) 681-6788 -
Seann M. Frazier, Esquire
Suite 750
215 South Monroe Street
Tallahassee, FL 32301
(850) 681-0191 -
Marc Ito, Esquire
Suite 750
215 South Monroe Street
Tallahassee, FL 32301
(850) 681-0191 -
Kevin Michael Marker, Esquire
Mail Stop 7
2727 Mahan Drive
Tallahassee, FL 32308
(850) 412-3496 -
Craig D. Miller, Esquire
Suite 202
119 South Monroe Street
Tallahassee, FL 32301
(850) 681-6788 -
Lindsey L. Miller-Hailey, Esquire
Mail Stop 7
2727 Mahan Drive
Tallahassee, FL 32308
(850) 412-3941 -
Richard Joseph Saliba, Esquire
Fort Knox Building III, Mail Stop 7
2727 Mahan Drive
Tallahassee, FL 32308
(850) 412-3666 -
Stephen A. Ecenia, Esquire
119 South Monroe Street, Suite 202
Post Office Box 551
Tallahassee, FL 32301
(850) 681-6788 -
Elina Valentine, Esquire
Address of Record -
Elina Gonikberg Valentine, Esquire
Address of Record