1 / 29

Mental Health Issues for Foster Children: Katie A. v. Bonta

Mental Health Issues for Foster Children: Katie A. v. Bonta. Alison Barkoff Staff Attorney Judge David L. Bazelon Center for Mental Health Law. What is the problem?. There are approximately 85,000 children in foster care in California; 70-84% suffer from some form of mental health problem

race
Download Presentation

Mental Health Issues for Foster Children: Katie A. v. Bonta

An Image/Link below is provided (as is) to download presentation Download Policy: Content on the Website is provided to you AS IS for your information and personal use and may not be sold / licensed / shared on other websites without getting consent from its author. Content is provided to you AS IS for your information and personal use only. Download presentation by click this link. While downloading, if for some reason you are not able to download a presentation, the publisher may have deleted the file from their server. During download, if you can't get a presentation, the file might be deleted by the publisher.

E N D

Presentation Transcript


  1. Mental Health Issues for Foster Children: Katie A. v. Bonta Alison Barkoff Staff Attorney Judge David L. Bazelon Center for Mental Health Law

  2. What is the problem? • There are approximately 85,000 children in foster care in California; 70-84% suffer from some form of mental health problem • “More than 50,000 children in the foster care system who may need mental health services do not get them” • California is spending more than $540 million to maintain children in high level group homes or institutions, placements which could be avoided if appropriate community-based services were available

  3. The Litigation

  4. Class members • Children in California who are: • in foster care or at risk of foster care placement AND • in need of individualized mental health services • Katie A.v. Bonta could impact more than 50,000 abused and neglected children across the State, many of whom are currently being denied care.

  5. Plaintiffs’ Counsel • Bazelon Center for Mental Health Law • Protection and Advocacy, Inc. • Western Center on Law and Poverty • National Center on Youth Law • The ACLU of Southern California • Heller Ehrman LLP

  6. Defendants • California Department of Health Services (DHS) • California Department of Social Services (DSS) • Los Angeles County Department of Children and Family Services (DCFS)

  7. Legal Claims • EPSDT provisions of the Medicaid Act • Americans with Disabilities Act • Rehabilitation Act • Due Process Clause of the 14th Amendment

  8. Relief Requested Medically necessary • Wraparound Services • Therapeutic Foster Care • Intensive Case Management for all class members

  9. THE BASICS OF EPSDT

  10. EPSDT -- Early and Periodic Screening, Diagnosis and Treatment, 42 USC § 1396d(r) Screening services and such “other necessary health care, diagnostic services, treatment, and other measures . . . to correct or ameliorate defects and physical or mental illnesses and conditions discovered by screening services, whether or not such services are covered under the State plan.

  11. Screening • Screening does not have to be formal. • Any contact with a health care professional can be considered a screen that triggers diagnosis and treatment.

  12. Diagnosis and Treatment

  13. Treatment • All necessary treatment within 1396d(a) • To “correct or ameliorate physical and mental illnesses and conditions” • Even if the service is not covered under the state plan

  14. Medical Necessity • “Necessary” = medically necessary • Generally defined as a decision by a health care professional/provider that a person’s condition requires a service/course of treatment to address or improve a condition

  15. “Correct” means to resolve a health problem or condition. “Ameliorate” means to lessen the burdens of the problem. What does “correct or ameliorate” mean when a problem is found during a screening?

  16. State Plan Issues • States must provide services so long as they could becovered under a state Medicaid plan • For children, states must cover both mandatory services and services that would be optional for adults • Fact that another state is covering a service under Medicaid is evidence that the service could be covered under a state Medicaid plan, and therefore, a child in any state should be able to get that service.

  17. Examples of Services Medicaid Must Provide to Children: • Rehabilitation services • Case management • Personal care services • Prescription drugs • Dental Services • Physical or other therapies • Private duty nursing • Home health care • Transportation

  18. Services not listed in 1396d(a) • Services do not specifically have to be listed in 1396d(a) • But they must be able to fit into a Medicaid category listed in 1396(d)

  19. Plaintiffs’ Motion for Preliminary Injunction • Moved on Medicaid and ADA claims • Presented evidence to the court, through expert declarations, on (1) the medical necessity of wraparound and TFC; and (2) the ability of Medicaid to covered component services of wraparound and TFC • Presented evidence, through declarations, of other states whose Medicaid systems cover wraparound services and TFC

  20. Katie A. Appendices A & B • Appendix A: defines wraparound services, its components, potential providers, and federal statutory authority • Appendix B: defines therapeutic foster care, its components, potential providers, and federal statutory authority

  21. Highlights of Appendix B: Definition of TFC • TFC is an intensive, individualized mental health service provided to a child in a family setting, utilizing specially trained and intensively supervised foster parents. • TFC programs involve: • Specially trained foster parents • Development, through a team approach, of a strength-based individualized treatment plan • Therapeutic foster parent acting as a central agent in implementing the child’s treatment plan • Intensive oversight of the child's treatment through frequent contact with the foster parent • Availability of an array of therapeutic interventions to the child, the child's family, and the foster family • Transitioning from therapeutic foster care to placement with the child's family or alternative family placement by continuing to provide therapeutic interventions.

  22. Highlights of Appendix B: Components of TFC • Recruitment and matching • Therapeutic foster care training • Development of a treatment plan • Tracking and adapting the treatment plan • Plan implementation – individualized child treatment • Plan implementation – family treatment • Transition

  23. District Court Order • On March 14, 2006, a federal district court judge ordered the State of California to provide needed mental health services to thousands of Medi-Cal eligible children who are in foster care or at risk of foster care placement • The order requires the State to provide Wraparound and TherapeuticFoster Care on a consistent statewide basis as medically needed.

  24. District Court order (cont’d) • Found that components of wraparound services and TFC fall within categories of services listed in 1396d(a) • Fact that other states are using Medicaid funds to cover wraparound and TFC is evidence of Medicaid-coverability • Found that services medically necessary for many children with mental health needs in foster care • Ordered the parties to develop an implementation plan

  25. Implementation Plan • Define Affected Class & Desired Outcomes • Set Eligibility Criteria • Create Access Pathways • Coordinate State Agencies, MHPs, and Providers • Develop Practice Standards & Protocols • Amend Medicaid Rules • Provide Training & Technical Assistance • Expand Capacity • Institute Evaluation/oversight • Implement Continuing System Improvements

  26. Principles • Partnership with the child and family • Ready Access to Wraparound and Therapeutic Foster Care • Outcome-focused system with transparency • Home and Community-based Service Settings • Stability • Coordinated Services • Comprehensive and Strength-based Plans Emphasizing Parent and Child Training and Natural Supports • Respect for the child and family's unique cultural heritage • No Eject; No Reject from Services • Provider capacity • Full funding

  27. Rosie D. v. Romney • Medicaid EPST case regarding “home-based services” (aka wraparound services) • “Home-based services” include: assessment and decision-making by child and family team; intensive care coordination; and home- and community-based support services • Court found home-based services are medically necessary to prevent unnecessary removal from home and unnecessary institutionalization of class members and can be covered by Medicaid

  28. Implications of the Katie A. decision • Children in any state are entitled to wraparound services and therapeutic foster care when medically necessary. • Increased availability of Medicaid funding for wraparound and therapeutic foster care will increase service capacity. • Development of clear rules regarding coverable component services and exclusions, which can be used as a model in other state.

  29. Additional Information on Katie A. and EPSDT available at: • Bazelon Center webpage and publications at www.bazelon.org • National Health Law Program webpage at www.healthlaw.org Contact information: Alison Barkoff, Bazelon Center for Mental Health Law alisonb@bazelon.org 202-467-5730 x 115

More Related