97-000389CON Wuesthoff Memorial Hospital, Inc. vs. Agency For Health Care Administration
 Status: Closed
Recommended Order on Friday, July 18, 1997.


View Dockets  
Summary: Application to de-license 100 beds and establish 50-bed satellite. There was no fixed need, no abnormal circumstance, and no need based on alleged need for competition.

1STATE OF FLORIDA

4DIVISION OF ADMINISTRATIVE HEARINGS

8WUESTHOFF MEMORIAL HOSPITAL, INC. , )

13)

14Petitioner , )

16)

17vs. )

19)

20STATE OF FLORIDA, AGENCY FOR HEALTH )

27CARE ADMINISTRATION, )

30)

31Respondent, ) Case No. 97-0389

36)

37and )

39)

40HOLMES REGIONAL MEDICAL CENTER , )

45INC., )

47)

48Intervenor . )

51____________________________________)

52RECOMMENDED ORDER

54On March 17 through 26, 1997, a formal administrative

63hearing was held in this case in Tallahassee, Florida, before

73J. Lawrence Johnston, Administrative Law Judge, Division of

81Administrative Hearings.

83APPEARANCES

84For Petitioner : David C. Ashburn, Esquire

91Gunster, Yoakley, Valdes-Fauli and

95Stewart, P.A.

97215 South Monroe Street, Suite 830

103Tallahassee, Florida 32301

106For Respondent : Mark Thomas, Esquire

112Agency for Health Care Administration

117Office of the General Counsel

1222727 Mahan Drive

125Tallahassee, Florida 32308

128For Intervenor : Stephen K. Boone, Esquire

135Boone, Boone, Boone and Hines, P.A.

141Post Office Box 1596

145Venice, Florida 34284

148and

149R. Terry Rigsby, Esquire

153Blank, Rigsby & Meenan

157204 South Monroe Street

161Tallahassee, Florida 32301

164STATEMENT OF THE ISSUE

168The issue in this case is whether the Agency for Health Care

180Administration (AHCA) should grant the application of Wuesthoff

188Memorial Hospital, Inc. (WUESTHOFF), for a Certificate of Need

197(CON) (CON 8597) to establish a new 50-bed general acute care

208hospital in South Brevard County, District 7.

215PRELIMINARY STATEMENT

217When AHCA gave notice of intent to deny CON 8597, WUESTHOFF

228petitioned for formal administrative proceedings. The case was

236referred to the Division of Administrative Hearings (DOAH) on

245January 13, 1997, and final hearing was scheduled for

254March 17 through 28, 1997. Holmes Regional Medical Center, Inc.

264(HRMC ), was granted leave to intervene and participate as a party

276to the case in support of AHCA’s intent to deny.

286At the outset of hearing, HRMC argued the Motion for Summary

297Recommended Order it filed on March 14, 1997; ruling was deferred

308to give WUESTHOFF time to respond in writing.

316At final hearing, WUESTHOFF called 23 witnesses and had

325WUESTHOFF Exhibits 1 through 10 admitted in evidence. AHCA

334called one witness and had AHCA Exhibit 1 admitted in evidence.

345HRMC called ten witnesses and had HRMC Exhibits 1 through 34

356admitted in evidence.

359During the hearing, HRMC’s Motion for Summary Recommended

367Order was denied; however, it was indicated that the substantive

377issues raised would be addressed in this Recommended Order.

386At the conclusion of the presentation of the evidence, AHCA

396and WUESTHOFF ordered the preparation of a transcript of the

406final hearing, and the parties requested and were given 30 days

417from the filing of the transcript in which to file proposed

428recommended orders. The complete transcript (1550 pages in 13

437volumes) was filed on April 24, 1997, making proposed recommende d

448orders due to be filed on May 27, 1997; later, the parties

460requested and were given an extension until June 2, 1997.

470In addition to the joint proposed recommended order it filed

480with AHCA, HRMC also filed a Motion for Entry of a Recommended

492Order Denying WUESTHOFF’s CON Application on the Merits.

500WUESTHOFF responded in opposition and moved to strike. Since it

510is too late for a summary disposition, the motion to strike is

522granted; however, as previously indicated , the substantive issues

530are addressed in this Recommended Order.

536FINDINGS OF FACT

5391. WUESTHOFF is a 303-bed , acute care hospital in Brevard

549County, Florida. In addition to its hospital, WUESTHOFF has

558three home health locations, eight or nine walk-in clinics, a

568hospice, a durable medical equipment business, an ambulatory

576surgery center, two freestanding diagnostic centers, and

583outpatient labs throughout Brevard County.

5882. HRMC is a JCAHO accredited, 528-bed, regional, not-for-

597profit community hospital based in Melbourne, Brevard County,

605Florida. HRMC is comprised of two acute care campuses : a 468-

617bed tertiary hospital in Melbourne, and a 60-bed, general acute

627care hospital in Palm Bay. The Melbourne campus operates a

63710-bed, Level II, neonatal, intensive care unit, and 428 general

647medical and pediatric beds.

651The Proposed Project

6543. WUESTHOFF chose to establish a satellite hospital

662complex in South Brevard County by applying separately for:

671(1) a certificate of need (CON) to decertify and de-license 100

682general acute care hospital beds and undertake certain

690renovations and improvements at its existing Rockledge hospital

698facility; (2) a CON for a medical office building (MOB); (3) a

710non- reviewability letter for a $35 million diagnostic and

719treatment center (DTC), which would provide all of the ancillary

729services for the new satellite hospital; and (4) the CON to

740establish the 50-bed hospital (CON 8597) which is at issue in

751this case.

7534. In CON 8597, WUESTHOFF has asked AHCA to treat the $35

765million DTC as the “sunk” costs of an existing facility, and to

777review the CON application at issue in this case incrementally—

787i.e. , as consisting of only the inpatient tower and the

797additional ancillary activities that would take place at the

806complex, over and above those that would take place at the DTC

818without the inpatient tower. Viewing CON 8597 in this way,

828WUESTHOFF presented total project costs of only $13 million.

8375. In preparing the financial schedules for CON 8597,

846WUESTHOFF presented the revenues and expenses of the entire

855hospital operation (including the DTC), except for the additional

864activities (inpatient and ancillary) that would result from the

873addition of the inpatient tower, and the revenues and expenses of

884the entire hospital operation, including the additional

891activities (inpatient and ancillary) that would result from the

900addition of the inpatient tower. By presenting the financial

909schedules in this manner, WUESTHOFF never presented the revenues

918and expenses of the entirety of the new satellite hospital it is

930proposing to establish, and AHCA has not had the opportunity to

941review those revenues and expenses.

9466. WUESTHOFF planned to build the MOB, the DTC and the

957inpatient tower in one continual course of construction and to

967open the entire complex at the same time; the complex, when

978completed, was planned to function as a single, integrated

987hospital facility.

9897. AHCA granted the first three applications comprising

997WUESTHOFF’s project but denied CON 8597.

10038. In a subsequent batch, WUESTHOFF filed a letter of

1013intent for a single CON application that the combined the DTC and

1025inpatient tower projects at a total cost of approximately

1034$50,000,000.

1037Need In Relation To State And District Health Plans : Section

1048408.035(1)(a) Florida Statutes

1051a. State Health Plan

10559. The first State Health Plan preference favors applicants

1064who demonstrate that the subdistrict occupancy rate is at or

1074exceeds 75 percent, or in the case of existing facilities, where

1085the occupancy rate for the most recent 12 months is at or exceeds

109885 percent. WUESTHOFF failed to meet this preference. For the

1108applicable period, the subdistrict occupancy was approximately 53

1116percent; however, more recent data shows that occupancy is below

112653 percent, which suggests a continuing decline in inpatient

1135occupancy rates in the subdistrict. During the applicable

1143period, the occupancy rate at WUESTHOFF’s Rockledge facility was

1152only slightly more than 45 percent.

115810. The second State Health Plan preference favors an

1167applicant with a history of providing a disproportionate share of

1177the subdistrict’s acute care and Medicaid patient days, and

1186further meets the Medicaid disproportionate share hospital

1193criteria. WUESTHOFF failed to meet this preference, as it is not

1204a disproportionate share provider.

120811. The third State Health Plan preference favors an

1217applicant that provides or proposes to provide disproportionate

1225share of Medicaid and charity care patient days in relation to

1236other hospitals within the district or subdistrict. WUESTHOFF’s

1244existing facility is not a disproportionate share hospital.

1252(Although WUESTHOFF’s CON application proposes to condition award

1260of the CON setting aside 15 percent of its discharges for

1271Medicaid, charity, and indigent patients, its application does

1279not provide percentages for each category.)

128512. The fourth State Health Plan preference considers the

1294current and projected indigent inpatient case load, the proposed

1303facility size, and the case and service mix, WUESTHOFF’s

1312application partially complies with the preference in that it

1321proposes to provide some indigent care.

132713. The fifth State Health Plan preference favors proposals

1336that would not negatively affect the financial viability of an

1346existing, disproportionate share hospital. This preference is

1353not applicable in this case.

135814. The sixth State Health Plan preference favors

1366applicants with a record of accepting indigent patients for

1375emergency care. WUESTHOFF meets this preference.

138115. The seventh State Health Plan preference favors

1389applicants for any type of hospital project if the facility is

1400verified as a trauma center. WUESTHOFF does not meet this

1410preference. WUESTHOFF claims that it operate the emergency room

1419at the proposed facility with “the same level of services as

1430WUESTHOFF’s existing emergency room.” WUESTHOFF does not

1437currently operate a Level II trauma center at its Rockledge

1447campus.

144816. The eighth State Health Plan preference favors

1456applicants who can document that they provide a full range of

1467emergency services. WUESTHOFF’s Rockledge facility offers a

1474range of emergency services, but the emergency department at the

1484proposed facility will necessarily offer a limited range of

1493services, as the proposed facility will not be a tertiary care

1504hospital, and emergency patients in need of those services will

1514have to be transferred.

151817. The ninth State Health Plan preference favors

1526applicants who can document that it has not been fined by HRS for

1539any violation of the emergency services statutes. WUESTHOFF

1547meets this preference.

1550b. Local Health Plan Preferences

155518. The District 7 Local Health Plan sets forth five

1565preferences to be used in evaluating CON applications for the

1575transfer/relocation/ delicensure of acute care beds. The health

1583plan provides that “[p ]reference shall be given to applications

1593for transfer of existing acute care beds, delicensure/conversion

1601of existing acute care beds and/or relocation of an entire

1611facility if the applicant can provide substantial documentation

1619of:

1620a. The need for acute care beds or specialty beds in

1631the service area proposed to receive the beds. Need

1640should address specific populations, access

1645consideration, etc.

1647b. The impact of the proposed project on the parent

1657facility including projected occupancy declines,

1662curtailing of service effect on operating cost, use of

1671vacated space at the main campus and charge changes.

1680c. The proposed service improving access by at least

168925 minutes to at least 10 percent of the population or

1700a minimum of at least 35,000 people. This should be

1711substantiated by analyses of patient origin to existing

1719providers, physician referral practices and location of

1726physician offices.

1728d. Commitment to provision of care to both no-pay and

1738low-pay medically indigent patients and Medicaid

1744patients at a minimum of no more than 2 percent below

1755the most recent HCB publication for the District of the

1765charity/uncompensated care percentage of net revenues.

1771e. Agreement to participate in any indigent care

1779programs which exist in the county or counties proposed

1788to be served. Participation should be at a rate equal

1798to or greater than the average for the general

1807hospitals also serving that area.

181219. As to the first preference, WUESTHOFF failed to

1821demonstrate a need for the proposed 50-bed general acute care

1831hospital. Even with the delicensure of 100 acute care beds as a

1843result of WUESTHOFF’s companion application, there still is an

1852oversupply of 215 acute care beds in the county. The evidence

1863presented at the final hearing failed to demonstrate any

1872geographic or other barriers to accessing acute care services

1881that would warrant the expenditure proposed by WUESTHOFF to

1890construct the proposed project. Indeed, WUESTHOFF’s own evidence

1898was clear that every resident of Brevard County has access to a

1910general acute care hospital within a maximum drive time of 30-40

1921minutes and, in almost all instances, to two different acute care

1932facilities within a 30-40 minute drive time.

193920. WUESTHOFF contends that its proposed 50-bed general

1947acute care hospital is needed for four reasons: (1) to provide a

1959high quality alternative inpatient health care provider in south

1968Brevard County; (2) to introduce competition into the south

1977Brevard area; (3) to enhance access to care to Medicaid, charity,

1988and indigent population, as well as to enhance access for the

1999managed care segment of the population; and (4) to enable

2009WUESTHOFF to remain competitive in the marketplace.

201621. The evidence is clear that HRMC provides high quality

2026inpatient health care in south Brevard County. See Findings 30-

203644, infra . In addition, WUESTHOFF already serves some patients,

2046residing in south Brevard County, and so does Sebastian River

2056Medical Center, located in the adjacent county to the south.

206622. The evidence also is clear that there already is

2076competition for inpatient hospital services in south Brevard

2084County. HRMC serves a much greater percentage of those patients

2094primarily due to its location and the high quality and low costs

2106of HRMC’s services. In view of the excess capacity of hospital

2117beds in the county, it does not make sense to add a satellite

2130WUESTHOFF hospital in south Brevard County that would duplicate

2139the services of the existing providers.

214523. WUESTHOFF also attempted to show that its proposed

2154acute care hospital was needed in order to provide services for

2165managed care participants. However, WUESTHOFF failed to offer

2173any competent evidence to show that participants in managed care

2183programs are a traditionally underserved population group and did

2192not prove that WUESTHOFF’s ability to participate in managed care

2202networks is a valid basis for determining the need of additional

2213acute care services in south Brevard County. To the contrary,

2223the evidence tended to show that the expansion of managed care

2234programs would result in a decrease in the utilization of

2244inpatient acute care services. Furthermore, there is no barrier

2253to WUESTHOFF’s participating in managed care programs with one or

2263more facilities in the southern portion of Brevard County, and in

2274fact WUESTHOFF has aligned itself with Sebastian River Medical

2283Center in a number of managed care contracts serving residents of

2294southern Brevard County.

229724. While WUESTHOFF is offering a larger discount to

2306managed care payers, its charges are higher, resulting in net

2316revenue per managed care case that is still higher than HRMC’s.

2327The price the managed care providers pay to HRMC is actually 14

2339percent lower than what they pay to WUESTHOFF. Not only does

2350HRMC provide a better “deal” to managed care payers, but HRMC’s

2361managed care volume is also greater than WUESTHOFF’s, indicating

2370HRMC’s willingness to negotiate and work with managed care

2379companies.

238025. At the time WUESTHOFF submitted its CON application,

2389the penetration of managed care in Brevard County was

2398approximately 8.6 percent. However, more recent data from 1996

2407shows a significant increase in the penetration of managed care

2417to 15 percent, without the allegedly needed new hospital.

242626. A primary thrust of WUESTHOFF’s case for the need for

2437its proposed project was that patients in the southern portion of

2448Brevard County cannot be admitted into HRMC’s Palm Bay facility

2458because its physicians do not enjoy staff privileges at that

2468facility. Each hospital establishes criterion for staff

2475privileges. In order to be eligible for staff privileges, it is

2486normally required that the physician reside or have his or her

2497office within certain geographic boundaries surrounding the

2504hospital. The primary reason for such requirement is to ensure

2514that the physician is capable of responding to patient needs

2524within a time certain and that the physician will be able to

2536provide coverage for his or her patients admitted into a

2546facility. Dr. Arnold, a physician with staff privileges at

2555WUESTHOFF who operates an office in West Melbourne, conceded that

2565if his physician group associated with a physician living within

2575HRMC’s geographic boundaries who was able to meet response time

2585criteria, the physician group could admit patients into HRMC.

2594Dr. Arnold also conceded that his physician group is not eligible

2605for staff privileges at other Brevard hospitals, based on

2614geographic considerations.

2616The Availability, Quality Of Care, Efficiency, Appropriateness,

2623Accessibility, Extent Of Utilization, And Adequacy Of Like And

2632Existing Health Care Services In The Service District : Section

2642408.035(1)(b), Florida Statutes.

264527. There is no need for another hospital in South Brevard

2656County. The county already has more than enough hospitals. Even

2666in light of a 27-29 percent increase in population, utilization

2676of Brevard County hospitals has dropped 10 percent in the last

2687five years.

268928. There has been a marked shift in the Brevard County

2700area away from inpatient services toward outpatient services.

2708That shift is still growing.

271329. HRMC is the only hospital in Brevard County which has

2724been nationally recognized for quality care by the National

2733Research Corporation.

273530. According to AHCA’s hospital report card, HRMC was

2744shown to be a consistent, low-charge provider, operating within

2753the expected range of outcomes.

275831. According to a study done by AHCA, HRMC performs as one

2770of the top five hospitals in Florida for reducing overall

2780C-section births and increasing vaginal births after Cesarean

2788(“ VBAC”). This is important because vaginal births are safer for

2799both mother and baby and save approximately $3,000 per delivery

2810when compared with Cesarean births. HRMC has the lowest Cesarean

2820Section rate and the highest VBAC rate in Brevard County and is

2832one of the five lowest charging hospitals in the State for these

2844services. Wuesthoff, on the other hand, has some of the highest

2855costs in the county for these services.

286232. HRMC is providing efficient hospital services when

2870compared with WUESTHOFF and other markets where competition is a

2880factor.

288133. Of the zip codes addressed in WUESTHOFF’s travel study,

2891there is no zip code in Brevard County that is more than 30

2904minutes from an existing hospital. Of the fourteen intersections

2913tested, the addition of the proposed project would decrease

2922travel times from only three intersections, with the greatest

2931decrease in travel time being only nine minutes. Thus, the

2941construction of WUESTHOFF’s proposed facility would not

2948significantly increase access for Brevard County patients.

295534. HRMC delivers the majority of Medicaid babies in the

2965county and is also a contract provider for Children’s Medical

2975Services.

297635. HRMC worked with the Public Health Department to

2985develop a better system for giving prenatal care and delivery to

2996Medicaid and indigent mothers. HRMC offered to subsidize the

3005salary of a doctor, and eventually two midwives, to work with the

3017Public Health Department for this purpose.

302336. HRMC’s HOPE programs provides access to Medicaid and

3032indigent patients. HOPE clinic and HOPE van expenses are direct

3042expenses of HRMC. In addition to medical care, the HOPE program

3053also provides free medication to those who cannot afford it.

306337. HRMC’s HOPE van provides services to the homeless every

3073Tuesday, seeing as many as 40 patients each visit. Patients are

3084provided with an examination, medications, and referrals to

3092specialists or the hospital, if necessary. This care is provided

3102at no charge to the patient.

310838. HRMC’s HOPE program was given the Nova award by the

3119American Hospital Association for its ground-breaking effort in

3127community health improvement. It is the only program in Florida

3137which has been so recognized. The HOPE program has also received

3148the Heartland Award from Governor Chiles for its work at

3158improving the status of life in Florida.

316539. HRMC supports a variety of agencies to provide care to

3176indigent AIDS patients. HRMC provides services to a nonprofit

3185outpatient AIDS services organization, which offers reduced-rate

3192and free lab services. HRMC, along with the Public Health Unit,

3203funded a dental clinic for the AIDS organization.

321140. The hospitals in Brevard County do a good job in regard

3223to taking care of the patients who are incapable of paying, with

3235HRMC going the extra mile to provide services to the poor.

324641. There was no evidence that persons in need of quality,

3257general acute care services are not able to access those services

3268at any existing provider in Brevard County. There is no lack of

3280availability or access to general acute care services based on

3290either geographic or financial grounds. WUESTHOFF’s proposed 50-

3298bed general acute care hospital is not needed to accomplish this.

3309The Ability Of The Applicant To Provide Quality Of Care And The

3321Applicant’s Record Of Providing Quality Of Care : Section

3330408.035(1)(c), Florida Statutes .

333442. It is clear that WUESTHOFF is capable of providing

3344quality inpatient health care services. However, it is found

3353that HRMC is providing higher quality services (and at a lower

3364cost).

336543. As shown in AHCA’s hospital report card, WUESTHOFF

3374performed in the lowest 15 percent in the State in 5 of 6

3387serviced lines where mortality was measured. On the other hand,

3397HRMC was indicated to be consistently a low-charge provider,

3406operating within expected outcomes.

341044. HRMC’s C-section rate is significantly lower than

3418WUESTHOFF’s, and its VBAC rate much higher. The results of a low

3430C-section rate are lower lengths of stay and less risk to both

3442mom and baby.

3445The Availability And Adequacy Of Other Health Care Facilities And

3455Services In The District Which May Serve As Alternatives For The

3466Services To Be Provided By The Applicant : Section 408.035(1)(d),

3476Florida Statutes .

347945. WUESTHOFF already has three home health locations, 8 or

34899 walk-in clinics, a hospice, a durable medical equipment

3498business, an ambulatory surgery center, 2 freestanding diagnostic

3506centers, and outpatient labs in Brevard County. In addition,

3515WUESTHOFF plans to construct a new outpatient and diagnostic

3524center in south Brevard County.

352946. In addition, inpatient surgeries have shifted to

3537private, for-profit outpatient centers and ambulatory surgery

3544centers that have opened in the last five years in Brevard

3555County.

355647. The competent, substantial evidence presented at the

3564final hearing demonstrates that within Brevard County, there are

3573available and adequate alternatives to the inpatient services

3581proposed by WUESTHOFF. First, as discussed above, the existing

3590providers of acute inpatient health care services have capacity

3599to absorb any increase in the utilization of acute care services

3610in the County. Second, data introduced at the final hearing

3620demonstrate that overall utilization for the types of services

3629WUESTHOFF proposes to offer are declining and demonstrate that

3638residents are seeking out alternatives to inpatient hospital

3646services. For example, from 1993-1996, inpatient surgery

3653services in Brevard County showed a marked decline of

3662approximately 20 percent, both in number of patients and

3671procedures. This trend is not unique to Brevard County, but is

3682occurring throughout the state. Health care providers are

3690seeking alternatives to hospitalization, with procedures being

3697performed in physician offices and ambulatory surgical centers.

370548. Likewise, there has been a decline in utilization of

3715several other services WUESTHOFF is proposing for its 50-bed

3724hospital. During the period 1993-1996, while the population of

3733Brevard County was growing at a rate of approximately 2.4 percent

3744per year, the rate of obstetric admissions as a percentage of

3755admissions to Brevard hospitals declined.

376049. There is excess capacity for pediatric and obstetrical

3769services in Brevard County. The average daily census in

3778obstetrical beds has dropped from approximately 34 patients per

3787day to approximately 29 per day. With 66 reported available

3797obstetrical beds in Brevard County, that means that on any day

3808only 44 percent of the available capacity is being utilized.

3818Likewise, pediatric census has gone from approximately 32

3826patients per day to only about 25. With 78 reported pediatrics

3837beds, a demand for only 25 beds means that approximately 32

3848percent of available capacity is utilized.

3854Probable Economies And Improvements In Service That May Be

3863Derived From Operation Of Joint, Cooperative, Or Shared Health

3872Care Resources : Section 408.035(1)(e), Florida Statutes .

388050. WUESTHOFF does not propose the operation of a joint,

3890cooperative, or shared program with any other entity. WUESTHOFF

3899contends that its application is consistent with this criterion

3908because it proposes the sharing of certain resources with its

3918main facility. But the construction of a satellite facility will

3928result in the duplication of certain services. It is actually

3938less efficient for a hospital to operate two campuses.

3947The Need in the Service District for Special Equipment and

3957Services Which Are Not Reasonably and Economically Accessible in

3966Adjoining Areas : Section 408.035(1)(f), Florida Statutes .

397451. WUESTHOFF’s CON application does not propose to provide

3983special equipment. This criterion is not met.

3990The Need For Research And Educational Facilities, Health Care

3999Practitioners, And Doctors Of Osteopathy And Medicine At The

4008Student, Internship, And Residency Training Levels : Section

4016408.035(1)(g), Florida Statutes .

402052. This need is already being met in the community.

4030WUESTHOFF, HRMC, and other Brevard County hospitals are already

4039active in community training programs through their links with

4048Brevard Community College and the University of Central Florida.

405753. HRMC has institutional training programs with the

4065University of Florida, all Children’s Hospital, the local vo-

4074tech, and University of Central Florida, in addition to other

4084community programs.

4086The Immediate And Long-Term Financial Feasibility Of The

4094Proposal : Section 408.035(1)( i), Florida Statutes .

410254. The immediate financial feasibility of a proposed

4110project is satisfied by showing that the applicant has adequate

4120financial resources to fund the capital costs of the project and

4131the financial ability to fund short-term operating losses.

4139WUESTHOFF has demonstrated that its proposed project is

4147financially feasible in the short-term.

415255. Long-term financial feasibility is established by

4159demonstrating that projected revenues can be attained in light of

4169the projected utilization of the proposed service and average

4178length of stay.

418156. WUESTHOFF has not demonstrated that it can achieve its

4191projected revenues by the second year of operation and has,

4201therefore, failed to demonstrate long-term financial feasibility.

4208It is impossible to tell from the information contained in

4218WUESTHOFF’s CON application 8597 what the revenues and expenses

4227of the new hospital will be.

423357. Staffing and supply costs associated with the ancillary

4242building, but which will be used by the hospital when constructed

4253and which amount to millions of dollars, are not broken out in

4265the application.

426758. The application also does not show the totality of the

4278costs associated with the 50-bed hospital WUESTHOFF seeks to

4287establish. For example, provision for bad debt expense does not

4297appear in the application, nor does the indigent care tax

4307expense. Furthermore, the application does not provide for any

4316administrative staff for the new hospital, nor has all other

4326necessary staff been provided for. If these positions are

4335included under “other,” then the salary expense projected is not

4346enough . Also, the salaries listed on Schedule 6 do not include

4358benefits.

435959. The preopening expenses figure shown in WUESTHOFF’s

4367application is reasonable only if the entire facility, the

4376ancillary, outpatient, and inpatient tower would open all at the

4386same time.

438860. It is very difficult to analyze the reasonableness of

4398the financial projections because the revenues and expenses do

4407not match. All the revenue from the proposed new facility

4417appears to be included, but not all of the expenses.

442761. Schedule 8A shows that daily ancillary expenses are

4436$470 at WUESTHOFF’s existing hospital but only $82 at the new,

4447proposed hospital. It is implausible that the new hospital would

4457have costs this much lower than the existing hospital.

446662. WUESTHOFF’s staffing projections do not account for a

4475significant number of nursing and other staff necessary for the

4485operation of the facility as a hospital. The projections only

4495address nursing positions for the 50-bed, inpatient tower. The

4504schedule fails to show those nurses assigned to the ancillary

4514services areas in the outpatient diagnostic center who will be

4524working with inpatients. For example, the scrub nurses in the

4534emergency department who will be working on inpatients are not

4544included in the schedule, and the nurses working in radiology who

4555will be caring for inpatients are not shown. The schedule fails

4566to include a director of nursing at the proposed hospital

4576facility. Although WUESTHOFF claimed that it will assign a

4585director of nursing when patient volumes reach 50%, it failed to

4596include projections for that position in this second year

4605projections, even though patient volumes are projected to reach

461450% in the second year. Wuesthoff also failed to include

4624benefits in its computation of salaries on Schedule 6, even

4634though it expects to pay benefits at a rate of 20% of salary.

464763. Interest expenses are also significantly understated.

4654The project is financed with 100 percent debt, which should

4664amount to an interest expense of approximately $850,000.00 per

4674year. However, the application shows interest in year one as

4684$197,000.00 and for year two, $393,000.00. It is unusual that

4696interest would be higher in year two than year one.

470664. There is no way to tell from looking at the schedules

4718or assumptions in the application what the utilization of the new

4729hospital will be, or how the patient days break out by payor.

4741Therefore, reasonableness of the financial projections cannot be

4749tested.

475065. Without additional information, one cannot determine if

4758the average charges projected are reasonable. There are unusual

4767projections, such as the charges during construction, year one,

4776and year two, in the application which without explanation are

4786not reasonable.

478866. The financial projections as to the whole facility are

4798unreasonable. They show that WUESTHOFF, which currently makes $7

4807or $8 million dollars each year, will lose money once the new

4819facility is open but that, in its second year, the new facility

4831will make $6.9 million. Such a projection is unreasonable.

484067. By focusing only on the incremental effect of adding an

4851inpatient tower to a presumed existing DTC, WUESTHOFF’s financial

4860projections are not sufficient to allow a conclusion to be drawn

4871as to the financial feasibility of the new 50-bed hospital.

4881However, it would appear that, if those schedules had been

4891presented, they would have shown the new satellite hospital,

4900taken in its entirety, not to be financially feasible in the long

4912term.

4913The Special Needs Of Health Maintenance Organizations : Section

4922408.035(1)(j), Florida Statutes .

492668. The application is not mad e on behalf of an HMO, and

4939this criterion is not applicable.

4944The Needs And Circumstances Of Those Entities Which Provide A

4954Substantial Portion Of Their Services Or Resources, Or Both, To

4964Individuals Not Residing In The District : Section 408.035(1)(k),

4973Florida Statutes .

497669. The CON application does not address serving a

4985substantial number of persons or providing a substantial portion

4994of services to individuals residing outside the district, and

5003this criterion is not applicable.

5008The Probable Impact Of The Proposed Project On The Costs Of

5019Providing Health Services Proposed By The Applicant, Including

5027The Effect On Competition : Section 408.035(1)(l), Florida

5035Statutes .

503770. There is significant competition for managed care

5045services in Brevard County. HRMC seeks and desires to enter into

5056managed care contracts and is as competitive in the managed care

5067arena as WUESTHOFF is. In fact, HRMC’s managed-care, patient

5076volume is higher than WUESTHOFF’s.

508171. Managed care penetration in Brevard County has

5089increased over the last five years and especially in the last two

5101years.

510272. One particular HMO in Brevard County that is just

5112getting started has received an acceptable managed care offer

5121from HRMC. If they did not receive an acceptable offer from

5132WUESTHOFF.

513373. Brevard County does not need another inpatient facility

5142to allow the County to achieve higher levels of managed care

5153penetration. There are no barriers in Brevard County to

5162increasing HMO and other managed care penetration.

516974. Even though HRMC has an 82 percent market share in

5180South Brevard County, that by itself does not indicate HRMC is

5191charging non-competitive prices. In fact, HRMC’s charges are

5199much lower than WUESTHOFF’s.

520375. Both the State of Florida and the FTC found that HRMC’s

5215merger with Cape Canaveral when Health First was formed did not

5226create an adverse, competitive effect on the marketplace.

523476. Because HRMC’s charges are so much lower than

5243WUESTHOFF’s, the addition of the proposed hospital would not

5252introduce price competition into the market.

525877. The majority of the proposed hospital’s patients are

5267likely to come from South Brevard County-–an area where HRMC has

5278an 82.5 percent market share. Thus, the bulk of the proposed

5289hospital’s patients will come from HRMC.

529578. If the proposed hospital meets its projected

5303utilization, HRMC stands to lose somewhere between $4 and $5

5313million a year. While that loss may not put HRMC into

5324bankruptcy, it will have a significant adverse effect.

5332The Costs And Methods Of The Proposed Construction And The

5342Availability Of Alternative, Less Costly, Or More Effective

5350Methods Of Construction : Section 408.035(1)(m), Florida

5357Statutes .

535979. WUESTHOFF’s proposal to establish a 50-bed, general,

5367acute care hospital entails the construction of a 3-story, 50-bed

5377patient tower adjoining an outpatient diagnostic center. The

5385outpatient diagnostic center, and not the inpatient tower, will

5394encompass virtually all of the ancillary services necessary for

5403WUESTHOFF to obtain a license to operate its facility as a

5414hospital.

541580. As more fully discussed below, WUESTHOFF’s proposed 50-

5424bed inpatient hospital will require substantial design

5431modification and increased square footage in order to obtain

5440licensure as a general, acute care hospital.

5447The Applicant’s Past And Proposed Provision Of Health Care

5456Services To Medicaid Patients And The Medically Indigent :

5465Section 408.035(1)(n), Florida Statutes .

547081. The evidence showed that all acute care hospitals in

5480Brevard County provide a fair level of Medicaid and indigent care

5491in comparison to the remainder of the state. In its CON

5502application, WUESTHOFF proposes to condition approval of its 50-

5511bed, general, acute care hospital on providing 15 percent

5520Medicaid and charity care, but did not provide a breakdown of

5531each. There was no documented access problems for Medicaid or

5541indigent patients that would warrant a new health care facility.

555182. Because indigent care is reported to the State based on

5562a hospital’s charges, WUESTHOFF and HRMC could be doing the same

5573amount of indigent care, but WUESTHOFF could appear to be doing

5584more because its charges are higher.

5590Whether Less Costly, More Efficient, Or More Appropriate

5598Alternatives To The Proposed Inpatient Services Are Available :

5607Section 408.035(2)(a), Florida Statutes .

561283. HRMC’s average charges are significantly lower than

5620WUESTHOFF’s on both a per case and per patient day basis. HRMC’s

5632costs are also lower , indicating it is more efficient.

5641Therefore, the addition of another less-efficient, higher-

5648charging WUESTHOFF hospital into the market would be more costly

5658and less efficient than what it is there now.

566784. The greater weight of the evidence establishes that

5676denial of WUESTHOFF’s proposed 50-bed, general acute care

5684hospital is the least costly, more efficient, and appropriate

5693alternative. The existing providers of acute care services in

5702Brevard County are operating efficiently and have unused capacity

5711that is available to serve Brevard residents. Data suggests that

5721while the population of Brevard County is growing, there is no

5732corresponding increase in utilization of general, acute care

5740services. While Brevard enjoys a proportionately higher growth

5748rate than the rest of the State, the growth does not translate

5760into higher utilization of general acute care services. Further,

5769the age 65 population, those most likely to use hospital

5779services, has experienced an annual growth of approximately

57873.7 percent between 1990-1996, which is higher than the overall

5797rate of growth for Brevard.

580285. While there has been a sig nificant growth in the number

5814of elderly and Medicaid eligible population, only approximately

582210 percent of those eligible for Medicaid in the 14 zip codes

5834targeted as the service area of WUESTHOFF’s proposed hospital

5843actually use hospital services.

584786. In 1993, the last year of available data, the actual

5858county-wide use rate for Medicaid eligible residents was only

58678.4 percent. This is expected to remain constant in subsequent

5877years, as the demand for inpatient acute care services has not

5888increased, but has in fact decreased.

589487. There is insufficient utilization of the inpatient

5902acute care services which already exist in Brevard County, with

5912approximately 50 percent of the available beds unoccupied. The

5921addition of another health care facility will not improve access,

5931improve delivery of services, or make services available to a

5941population that is not presently being adequately and

5949appropriately served by existing providers.

595488. In a market where inpatient volume is going down,

5964length of stay is going down, and utilization is going down, it

5976does not make sense to spend scarce dollars on new inpatient

5987services.

5988Whether The Existing Facilities Providing Similar Inpatient

5995Services Are Being Used In An Appropriate And Efficient Manner:

6005Section 408.035(2)(b), Florida Statutes .

601089. The greater weight of the evidence established that

6019there is available capacity for inpatient services like those

6028proposed by WUESTHOFF at the existing, general, acute care

6037facilities in Brevard County. WUESTHOFF did not demonstrate that

6046any provider is suffering from over utilization or that any

6056patient has not been able to access general acute care services

6067when such services were necessary. On the contrary, there was a

6078consensus among the experts, even WUESTHOFF’s experts, that there

6087is no problem with geographic or financial access to existing

6097providers.

609890. Between 1993 and 1996, hospital utilization dropped

6106from 63 percent to 52 percent. AT WUESTHOFF’s Rockledge campus,

6116utilization fell from a high of 63 percent in 1993, to

6127approximately 46 percent in 1996. During this same period, the

6137population of Brevard County grew at a rate of approximately

61472.4 percent per year, which was proportionately higher than for

6157the rest of the state. At HRMC, its occupancy dropped, but not

6169quite as dramatically. Between 1993 and 1996, HRMC’s occupancy

6178went from 67 percent to approximately 62 percent. The satellite

6188facility, operated by HRMC in Palm Bay and located in the same

6200service area where WUESTHOFF proposes to construct its 50-bed

6209general acute care hospital, has never experienced occupancy

6217above 31 percent.

6220That Patients Will Experience Serious Problems In Obtaining

6228Inpatient Care Of The Type Proposed, In The Absence Of The

6239Proposed New Service: Section 408.035(2)(d), Florida Statutes .

624791. There was no evidence to show that any population group

6258in Brevard County is unable to access quality health care

6268services at any of the subdistrict’s existing facilities.

6276Further, WUESTHOFF failed to establish that its proposed facility

6285was needed to provide general acute care services not currently

6295provided or currently accessible to residents of south Brevard

6304County. WUESTHOFF maintains that participants in managed care

6312contracts may not be able to access WUESTHOFF’s general acute

6322care services without approval of the proposed project, but there

6332was not demonstration that those individuals would not otherwise

6341have access to quality affordable health care in Brevard County.

6351WUESTHOFF also failed to demonstrate that participants in managed

6360care programs are a “traditionally underserved” population group

6368for a determination of need under not normal circumstances.

6377CON Application Content And Procedures: Section 408.037, Florida

6385Statutes And Rule 59C-1.008, Florida Administrative Code .

639392. The parties stipulated as to the timeliness of the

6403submission of WUESTHOFF’s Letter of Intent, initial CON

6411application and response to omissions. However, the board

6419resolution required by Section 408.037, Florida Statutes, and

6427Rule 59C-1.008, Florida Administrative Code, is fatally

6434defective. The applicant is required to provide certification

6442that its governing board enacted a resolution to license and

6452operate the proposed facility. In this case, the proposed 50-

6462bed, inpatient tower cannot be licensed by the applicant as a

6473hospital. In order to obtain hospital licensure, the proposed

6482project would necessarily include the $35 million that WUESTHOFF

6491proposes to spend on its outpatient diagnostic center.

649993. WUESTHOFF’s CON application also fails to comply with

6508Section 408.037(2)(c), which requires detailed financial

6514projection including a statement of the revenues and expense for

6524the period of construction and the first two years of operation

6535after completion of the project. The proposed project is a

6545“hospital.” The hospital will report all of the revenues and

6555expenses of the inpatient and outpatients to the state in its

6566actual report, and those same projected revenues and expenses

6575should be in the pro forma of a certificate of need application

6587for a new hospital project. Instead, the projected revenues and

6597expenses in the pro formas take an “incremental” approach and

6607focus only on the 50-bed tower and an unspecified portion of the

6619diagnostic center. WUESTHOFF’s own financial expert admitted

6626that one cannot determine the revenues and expenses of the new

6637hospital from the information contained in the application. AHCA

6646does not have sufficient information with respect to revenues and

6656expenditures in the pro formas to determine the financial

6665feasibility of the hospital project. The pro formas do not meet

6676the statutory requirement contained in 408.037(2)(c), Florida

6683Statutes, and are fatally defective.

668894. Neither AHCA nor its predecessor agency ever have

6697approved a CON to establish a hospital without ever seeing

6707projections of the revenues and expenses of the hospital as a

6718whole. Additions to hospitals have been approved on a strictly

6728incremental basis; but, in those cases, the revenues and expenses

6738of the hospital as a whole already had been reviewed and

6749approved.

675095. Inpatient cardiac catheterization programs also have

6757been approved, based on a strictly incremental review of the

6767financial impact of converting from an existing outpatient to an

6777inpatient program. But there is a meaningful difference between

6786the approval of a program in a hospital facility that already has

6798been reviewed and approved as a whole and what WUESTHOFF is

6809seeking to have done in this case.

681696. There also is a difference between treating the costs

6826of an existing and operating facility or program as being “sunk”

6837and treating the $35 million capital cost and additional

6846operating costs of the proposed DTC in this case as being “sunk.”

6858In the former, the costs have been or are being spent and truly

6871are “sunk”; in the latter, despite WUESTHOFF’s assurances, the

6880DTC money has not been spent, and the DTC has not been

6892established. Indeed, the decision properly before AHCA in this

6901case is whether those expenditures should be made for purposes of

6912establishing a hospital. If not, the hospital should not be

6922approved. If WUESTHOFF still wants to build and operate its

6932proposed $35 million anyway, as it has assured AHCA that it will

6944do, it is free to do so.

6951Criteria Used In Evaluation Of CON Applications : Rule 59C-1.030,

6961Florida Administrative Code .

696597. AHCA’s rules set forth additional criteria used to

6974evaluate CON applications which focus on whether there is a need

6985for the proposed service in the population to be served and

6996whether the proposed project is accessible to those in need of

7007the service. The evidence in this case showed that there was no

7019unmet need in Brevard County for inpatient, general, acute care

7029services and that the target population is adequately served by

7039the existing providers of general acute care services.

7047Furthermore, the evidenced showed that the anticipated population

7055growth in Brevard County is not likely to generate additional

7065numbers of inpatient admissions, based on the decline in

7074utilization during a period when Brevard County was experiencing

7083unprecedented annual growth at a rate of 2.4 percent overall and

70943.7 percent in the 65 population. Any attendant increase in

7104demand for inpatient general acute care services can be easily

7114accommodated by the existing providers in Brevard County. The

7123rule also examines the extent to which an applicant provides

7133services to Medicare, Medicaid, and the medically indigent

7141patients. The evidence showed that WUESTHOFF provides a fair

7150amount of general acute care services to Medicare, Medicaid, and

7160charity patients, as do the other existing providers in Brevard

7170County.

7171Hospital Physical Plant Requirements For Licensure : Rule 59A-3,

7180Florida Administrative Code .

718498. WUESTHOFF’s 50-bed, general, acute care hospital, as

7192proposed, cannot meet licensure standards without significant

7199adjustment to the design to bring it into compliance with the

7210licensure rules.

721299. Rule 59A-3.081(4)(c), Florida Administrative Code,

7218specifically requires that the critical care nurse’s station be

7227situated so that nurses have visual control of each patient from

7238common spaces. The schematics provided by WUESTHOFF indicate

7246that there is no visual control of two patient rooms located in

7258the northwest end of the unit.

7264100. As to functionality of the space, there is no

7274observation from the nurses station to trauma rooms located at

7284the end of the unit and inadequate proximity to support spaces,

7295such as soiled and clean utility and med prep, to the trauma

7307rooms. Seriously injured patients would necessarily be

7314transported up to surgery through what would be public corridor

7324spaces in order to access elevators and then through additional

7334public spaces on the second floor.

7340101. Inpatient access to the CT scan room and MRI room

7351appears to be made through a narrow, 5-foot wide corridor.

7361Hospital licensure regulations require inpatient access through

7368an 8-foot corridor. The only 8-foot corridors available for

7377inpatient use, the service corridor off the housekeeping and

7386staff facilities area to the rear of the unit and the corridor

7398located between radiology and dietary, do not appear to be

7408appropriate means for inpatients to access these rooms.

7416102. On the third floor of the facility, WUESTHOFF proposes

7426to locate an aerobics and exercise room, directly above the

7436second floor patient recovery area and two of the operating

7446rooms. With an exercise area located above such critical areas,

7456there is the possibility that vibrations would transmit to

7465operating room lights, ceiling mounted microscopes, and other

7473instruments. It would be costly to sufficiently stiffen the

7482structure to minimize vibrations.

7486103. In order to bring the proposed project into compliance

7496with hospital licensure regulations, material changes to the

7504plans must be made, which will necessarily increase the square

7514footage of the facility. The square footage of the facility

7524would likely be increased by approximately 5,000 square feet, and

7535many of the areas would have to be significantly redesigned to

7546accommodate concerns with compliance to ADA and hospital

7554licensure regulations.

7556CONCLUSIONS OF LAW

7559104. As the applicant challenging AHCA’s preliminary

7566decision to deny its CON application, WUESTHOFF bears the burden

7576of establishing its entitlement to a certificate of need to

7586establish a new, 50-bed, general acute care hospital in Brevard

7596County, District 7. Boca Raton Artificial Kidney Center, Inc.

7605vs. Department of Health and Rehabilitative Services , 475 So. 2d

7615260 (Fla. 1st DCA 1985) ; Humana, Inc. vs. Department of Health

7626and Rehabilitative Services , 469 So. 2d 889 (Fla. 1st DCA 1985).

7637105. Section 408.037(2)(c), Florida Statutes, requires that

7644an applicant for a CON include a statement of the projected

7655revenue and expenses for the period of construction and for the

7666first 2 years of operation. As found, WUESTHOFF’s application

7675did not present the revenue and expenses associated with all

7685portions of the new hospital during its first two years of

7696operation. Because WUESTHOFF’s application fails to satisfy

7703minimum statutory requirements, it must be denied. Humhosco vs.

7712Department of Health and Rehabilitative Services , 561 So. 2d 388,

7722(Fla. 1st DCA 1990).

7726106. Even disregarding the fatal flaw in WUESTHOFF’s

7734application, WUESTHOFF’s application also must be denied, based

7742on a balanced consideration of the review criteria.

7750107. A CON application is evaluated according to the

7759statutory criteria set forth in Section 408.035, Florida

7767Statutes, and the valid rules properly promulgated thereunder. A

7776balanced consideration of the applicable statutory and rule

7784criteria must be made. Balsam v. Dept. of Health and Rehab.

7795Services , 486 So. 2d 1341 (Fla. 1 st DCA 1986) ; Humana, Inc. vs.

7808Department of Health and Rehabilitative Services , 469 So. 2d 889

7818(Fla. 1st DCA 1985). “[T ]he appropriate weight to be given to

7830each individual criterion contained in the statute regarding CON

7839applications is not fixed, but rather must vary on a case-by-case

7850basis, depending on the facts in each case.” Collier v. Dept. of

7862Health and Rehab. Services , 462 So.2d 83 (Fla. 1 st DCA 1985).

7874108. As reflect ed in the Findings of Fact, a balanced

7885consideration of the pertinent statutory and rule criteria

7893requires denial of CON 8597. Under those criteria, a new, 50-bed

7904hospital is not needed in south Brevard County. Besides,

7913WUESTHOFF has not proven that such a project is financially

7923feasible in the long term.

7928RECOMMENDATION

7929Based upon the foregoing Findings of Fact and Conclusions of

7939Law, it is

7942RECOMMENDED that the Agency for Health Care Administration

7950enter the final order denying WUESTHOFF’s CON 8597.

7958RECOMMENDED this 18 th day of July, 1997, in Tallahassee,

7968Leon County, Florida.

7971___________________________________

7972J. LAWRENCE JOHNSTON

7975Administrative Law Judge

7978Division of Administrative Hearings

7982The DeSoto Building

79851230 Apalachee Parkway

7988Tallahassee, Florida 32399-3060

7991(904) 488- 9675 SUNCOM 278-9675

7996Fax FILING (904) 921-6847

8000Filed with the Clerk of the

8006Division of Administrative Hearings

8010this 18th day of July, 1997.

8016COPIES FURNISHED:

8018David C. Ashburn, Esquire

8022Gunster, Yoakley, Valdes-Fauli and

8026Stewart, P.A.

8028215 South Monroe Street, Suite 830

8034Tallahassee, Florida 32301

8037Mark Thomas, Esquire

8040Agency for Health Care Administration

8045Office of the General Counsel

80502727 Mahan Drive

8053Tallahassee, Florida 32308

8056Stephen K. Boone, Esquire

8060Boone, Boone, Boone and Hines, P.A.

8066Post Office Box 1596

8070Venice, Florida 34284

8073R. Terry Rigsby, Esquire

8077Blank, Rigsby & Meenan

8081204 South Monroe Street

8085Tallahassee, Florida 32301

8088Douglas M. Cook, Director

8092Agency for Health Care Administration

80972727 Mahan Drive

8100Tallahassee, Florida 32308

8103Jerome W. Hoffman, General Counsel

8108Agency for Health Care Administration

81132727 Mahan Drive

8116Tallahassee, Florida 32308

8119Sam Power, Agency Clerk

8123Agency for Health Care Administration

81282727 Mahan Drive

8131Tallahassee, Florida 32308

8134NOTICE OF RIGHT TO SUBMIT EXCEPTIONS

8140All parties have the right to submit written exceptions within 15

8151days from the date of this Recommended Order. Any exceptions to

8162this Recommended Order should be filed with the agency that will

8173issue the final order in this case.

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Date
Proceedings
Date: 12/06/1999
Proceedings: Appellant`s Motion for Clarification and Agreed Motion for Extension of Time to Serve Initial Brief (filed with the First DCA) filed.
Date: 10/11/1999
Proceedings: Opinion filed by the First DCA (Reverse the ALJ`s order dismissing the petition as moot an Remand for proceedings consistent with this opinion) filed.
Date: 09/29/1999
Proceedings: Notice of Appeal filed. (filed by: M. Nagel)
Date: 08/23/1999
Proceedings: BY ORDER OF THE COURT (respondent`s have untill 08/30/99 to file a response to the petition showing cause why the relief requested should not be granted) filed.
Date: 07/18/1999
Proceedings: Opinion from the First DCA (Reversed and Remanded) filed.
Date: 07/18/1999
Proceedings: Agency Appeal DCA Case No. 98-1718 filed.
Date: 05/01/1998
Proceedings: Notice of Appeal (agency) filed.
Date: 04/07/1998
Proceedings: Final Order filed.
PDF:
Date: 04/02/1998
Proceedings: Agency Final Order
PDF:
Date: 04/02/1998
Proceedings: Recommended Order
PDF:
Date: 07/18/1997
Proceedings: Recommended Order sent out. CASE CLOSED. Hearing held 03/17-26/97.
Date: 06/09/1997
Proceedings: Wuesthoff`s Response to Holmes` Motion for Entry of a Recommended Order Denying Wuesthoff`s Con Application on the Merits, and Motion to Strike (filed via facsimile).
Date: 06/02/1997
Proceedings: Respondent, Agency for Health Care Administration, and Intervenor, Holmes Regional Medical Center`s Joint Proposed Recommended Order filed.
Date: 06/02/1997
Proceedings: Holmes` Motion for Entry of a Recommended Order Denying Wuesthoff`s CON Application on the Merits filed.
Date: 06/02/1997
Proceedings: Wuesthoff Memorial Hospital, Inc.`s Proposed Findings of Fact and Conclusions of Law filed.
Date: 05/21/1997
Proceedings: Letter to Judge Johnston from D. Ashburn Re: Extending the deadline for filing proposed recommended orders filed.
Date: 05/09/1997
Proceedings: Letter to Judge Johnston from David Ashburn (RE: parties agreed that additional depositions not be taken) filed.
Date: 04/28/1997
Proceedings: (From D. Ashburn) Notice of Change of Address filed.
Date: 04/24/1997
Proceedings: Notice of Filing; (Volumes 9-13 of 13) DOAH Court Reporter Final Hearing Transcript filed.
Date: 04/22/1997
Proceedings: Notice of Filing; (Volumes 6 - 8 of 13) DOAH Court Reporter Final Hearing Transcript filed.
Date: 04/16/1997
Proceedings: Notice of Filing; Volumes 1 -5 of 13 DOAH Court Reporter Final Hearing Transcript filed.
Date: 04/15/1997
Proceedings: (From D. Ashburn) Attachment to Holmes Regional Medical Center`s exhibit w/cover letter filed.
Date: 04/11/1997
Proceedings: (From J. Doherty) Notice of Filing; Excerpt of Proceedings Direct Examination of Elizabeth Dudek ; Excerpt of Proceedings Direct Examination of Judith L. Horowitz filed.
Date: 03/26/1997
Proceedings: (From M. Whiddon) Notice of Filing; Excerpt of Proceedings filed.
Date: 03/21/1997
Proceedings: (Petitioner) Response in Opposition to Holmes` Motion for Summary Recommended Order filed.
Date: 03/18/1997
Proceedings: (Holmes Regional Medical Center, Inc.) Petition to Intervene filed.
Date: 03/17/1997
Proceedings: Hearing Held; applicable time frames have been entered into the CTS calendaring system.
Date: 03/17/1997
Proceedings: Holmes Regional Medical Center, Inc.`s Second Amended Witness List (Additional Witnesses and Information Only) filed.
Date: 03/17/1997
Proceedings: Holmes Regional Medical Center, Inc.`s First Amended Witness and Exhibit List filed.
Date: 03/14/1997
Proceedings: Order Granting Leave to Intervene sent out. (leave is granted to Holmes Regional Medical Center to intervene)
Date: 03/14/1997
Proceedings: Holmes` Motion for Summary Recommended Order; Prehearing Stipulation filed.
Date: 03/07/1997
Proceedings: (Petitioner) Amendment to Wuesthoff Memorial Hospital, Inc.`s Witness and Witness List filed.
Date: 03/05/1997
Proceedings: Order (Motion to change hearing location is Denied) sent out.
Date: 03/05/1997
Proceedings: (F. Philip Blank) Notice of Appearance; Holmes Regional Medical Center, Inc.`s Preliminary Witness and Exhibit List filed.
Date: 03/04/1997
Proceedings: Amendment to Wuesthoff Memorial Hospital, Inc.`s Witness List filed.
Date: 03/03/1997
Proceedings: (Holmes Regional Medical Center) Petition to Intervene; Letter to EMH from David Ashburn (RE: hearing room availability) filed.
Date: 02/28/1997
Proceedings: Addendum to Wuesthoff Memorial Hospital, Inc.`s Witness List; (Petitioner) Notice of Cancellation of Video Deposition; Wuesthoff Memorial Hospital, Inc.`s Witness & Exhibit List; (Petitioner) Notice of Telephone Hearing filed.
Date: 02/24/1997
Proceedings: (Petitioner) Renotice of Taking Video Deposition filed.
Date: 02/21/1997
Proceedings: Notice of Taking Video Deposition; Motion to Change Location for First Three Days of Hearing (Petitioner`s) filed.
Date: 02/13/1997
Proceedings: Notice of Hearing sent out. (hearing set for March 17-28, 1997; 10:00am; Tallahassee)
Date: 02/10/1997
Proceedings: (Wuesthoff Memorial Hospital, Inc.) Response to Prehearing Order filed.
Date: 02/04/1997
Proceedings: Prehearing Order sent out.
Date: 01/30/1997
Proceedings: Notification card sent out.
Date: 01/28/1997
Proceedings: Notice; Wuesthoff Memorial Hospital, Inc.'s Petition for Formal Administrative Proceedings filed.

Case Information

Judge:
J. LAWRENCE JOHNSTON
Date Filed:
01/28/1997
Date Assignment:
04/15/1997
Last Docket Entry:
12/06/1999
Location:
Tallahassee, Florida
District:
Northern
Agency:
ADOPTED IN TOTO
Suffix:
CON
 

Related DOAH Cases(s) (1):

Related Florida Statute(s) (2):

Related Florida Rule(s) (3):