The Draft Activity-Based Funding Pricing Framework February 2012

Submission to the Independent Hospitals Pricing Authority on
The Draft Activity-Based Funding
Pricing Framework
February 2012
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2
ACT Submission to the
Independent Health Pricing Authority on the
draft activity-based funding pricing framework
Contents
Introduction
4
Diseconomies of scale
5
Cost factors beyond the control of the ACT Government
7
Quality and Safety
9
Block funding
10
Management of private patients
10
In-scope public hospital services
11
Cost indexation
12
Cross-border issues
13
Timing issues
14
Appendices
First Minister correspondence in relation to loading for
ACT specific costs
15
In-scope public hospital services
21
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ACT Submission to the Independent Health Pricing Authority on the draft activity-based funding pricing framework
Introduction
The ACT supports the establishment of a pricing framework that will deliver on the
commitment made by first Ministers to provide for an efficient price for the delivery
of hospital care.
The ACT is also strongly supportive of the work of the Independent Health Pricing
Authority in the development of a nationally consistent counting and funding system
for Australian public hospitals.
However, the ACT is concerned that the draft pricing framework suggests an
approach that, in parts, extends beyond the commitment made by first Ministers or,
in parts, is inconsistent with those commitments.
The ACT would also like to note a number of other issues of concern in relation to
the draft framework.
In summary, our concerns comprise:

The lack of flexibility in the proposed pricing framework to consider issues
such as diseconomies of scale in smaller jurisdictions, where a range of
services are provided as community service obligations in order to meet
community needs;

The lack of flexibility in the proposed pricing framework to consider cost
impositions that are outside of the control of a jurisdiction;

The expansion of the role of the IHPA to consider quality and safety issues;

The proposed treatment of privately-referred non-admitted patient services
where such care is provided in a multi-disciplinary environment.
The ACT submission also includes details of the Territory’s proposed approach in
relation to block funding as sought by the IHPA in January 2012.
This submission provides a summary of the issues the Territory would like to see
reflected in the pricing framework. The ACT Health Directorate would welcome the
opportunity to provide further evidence or to discuss these issues further if required.
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ACT Submission to the Independent Health Pricing Authority on the draft activity-based funding pricing framework
Diseconomies of scale
The ACT Government, as with other state governments, has made a commitment to
provide a comprehensive health service for the ACT Community. As a result, 95% of
hospital services required by ACT residents at public hospitals are provided within
the ACT. This commitment and the diversity of the services required leaves the ACT
vulnerable to diseconomies of scale.
The population of the ACT and nearby Southern Area part of NSW cannot support
the throughput required to ensure certain speciality areas achieve benchmark costs.
However, the lack of such services within the ACT region would increase the
hardships faced by patients and their families during difficult times.
DRGs recording less than 20 separations per annum account for 37% of all public
hospital activity in the ACT. Services with less than 50 separations per annum
account for 63% of all activity. However, a full operational service is required to
provide the (almost) full range of hospital services for ACT residents.
A comparison of The Canberra Hospital’s (TCH) Round 13 (2008-09) data with other
hospitals from its NHCDC peer group reveals that TCH had below average volumes
for 31% of its DRGs. High cost DRGs in the ACT (average DRG cost over $10,000)
account for only 12% of ACT’s inpatient separations.
The Canberra Hospital effectively operates a hospital system within a hospital. It is
the principal referral hospital for the ACT and region.
It also provides resources to enable the functions of a women and children’s
hospital, acute geriatric care, specialised trauma, regional cancer services, cardio
thoracic surgery, renal medicine, adult and neonatal intensive care, psychiatry, subacute care and rehabilitation medicine. Collocation has only a marginal impact on
reducing diseconomies of scale of the various clinical specialities.
Diseconomies of scale interact with the cost of providing appropriate teaching and
research facilities which create an extraordinary burden on the ACT. Achieving
teaching accreditation is a means of attracting clinical staff to the region. In addition
to the expenditure on research and training, to achieve teaching accreditation
hospitals are required to have more infrastructure, facilities and staff than other
hospitals.
The significance for the ACT is that it disperses those costs not only over minimal
throughput in each service category but also over patient profile with an acuity
approximating that of relatively inexpensive non-teaching hospitals (see Table 1
below).
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ACT Submission to the Independent Health Pricing Authority on the draft activity-based funding pricing framework
TABLE 1: AVERAGE COST PER SEPARATION, PATIENT ACUITY AND ACUITY
ADJUSTED COST PER SEPARATION, 2008-09
Average Cost
Acuity
Acuity adjusted
average cost
ACT
$4,533
0.9969
$4,547
Teaching hospitals
$4,624
1.0955
$4,221
Non-teaching hospitals
$3,594
0.8954
$4,014
Source: National Hospital Cost Data Collection Cost Report Round 13 (2008-09)
The effect of low average acuity is that teaching accredited hospitals in the ACT such
as Canberra Hospital must achieve far greater throughput to attain the same
economies of scale as other teaching hospitals. Without this extra throughput the
cost per weighted separation remains high to accommodate the expenditure on the
facilities and infrastructure that are necessary to provide a teaching accredited
hospital.
The small ACT population base also affects the capacity of private hospital providers
to provide a comprehensive range of services. Based on estimates of hospital
separations per 1000 population, ACT private hospitals offer about 26% less
admitted patient services than their interstate counterparts, principally due to the
size of the ACT population.
The diseconomies of scale that the ACT experiences, due to its small population,
places increased pressure on the public sector which is required to provide some of
the services not offered in private hospitals.
The National Health Reform Agreement also directs the IHPA to consider potential
loadings for hospital type, size and location. This clause covers the issues noted
above in terms of the location of the ACT and the impact of that location on the
provision of public hospital services.
While some have suggested that the reference to “location” refers to remote or rural
hospitals, it is not defined as such in the NHRA. The ACT does not accept subsequent
attempts to define terms within the NHRA.
The ACT’s position is further strengthened by commitments made to the Territory by
the current Prime Minister, and her immediate predecessor, in relation to the
consideration of the ACT’s unique situation as a former Commonwealth entity with a
responsibility to provide a full range of public hospital services to its citizens.
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ACT Submission to the Independent Health Pricing Authority on the draft activity-based funding pricing framework
ACT Chief Ministers accepted those commitments in good faith in signing up to the
NHRA. Copies of the relevant correspondence are at Appendix A
The pricing framework needs to take into consideration the provision of specialised
“costly” services in smaller jurisdictions in making a determination of an efficient
price.
Consideration should be made in providing loading at hospital level, for example
teaching hospital loading.
Cost factors beyond the control of the ACT Government
The ACT became a self-governing Territory in 1989. The transfer of public servants
from employment by the Commonwealth to employment by the ACT Government
included the transfer of a range of costs required to be met by the Territory.
Benefits and provisions available to Commonwealth public servants were
traditionally higher than those offered by state governments.
The primary additional cost related to the Commonwealth’s defined benefit
superannuation schemes. These legacy costs increase the cost of providing services
within the ACT.
There is an argument that the ACT is responsible for the additional costs by
maintaining the links with the Commonwealth Superannuation Scheme for almost 20
years from self-Government to the establishment of a payment-based
superannuation scheme in 2006 (following the closure of the Commonwealth’s
defined benefits scheme). However , the ACT Self Government (Consequential
Provisions) Act 1989 (Cth) provides that “transitional staff shall be persons appointed
or employed under the Public Service Act 1922” (Cth).
As such, maintenance of access to Commonwealth superannuation schemes was
part of the transitional arrangement provided for at at self-Government to ensure
formerly Commonwealth employees would not be made worse-off as a result of the
transfer to the ACT Government.
Maintenance of the scheme was essential for the ACT Government to maintain and
attract staff within a Territory in which the Commonwealth Government provided
the main employment base.
The capacity to move from the Commonwealth’s scheme to a payments-based
scheme occurred only prospectively from the time of the Commonwealth’s decision
to close the previous defined-benefits arrangements for Commonwealth employees.
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ACT Submission to the Independent Health Pricing Authority on the draft activity-based funding pricing framework
In the lead up to the signing of the National Health Reform Agreement in July 2011,
the Prime Minister, the Hon. Julia Gillard MP, wrote to the then Chief Minister of the
ACT, Mr John Stanhope MLA, noting:
I recognise the unique characteristics that differentiate the Australian Capital
Territory health system including issues relating to scale, the impact of legacy
arrangements from the time of self government and cross border impact on
health services
The Prime Minister went on to note:
In the new national health reform agreement, I fully intend to recognise
parallel arrangement for the [ACT] .... and the unique characteristics of the
[ACT] that formed part of the National Health and Hospitals Network
Agreement (NHHNA)
In the lead up to the agreement of the NHHNA, Prime Minister Rudd noted
It is our intention that the IHPA will also take the specific legacy costs in the
ACT – arising from the Commonwealth’s former responsibilities for hospital
services – into account in the calculation of efficient prices
The National Health Reform Agreement, provides:
B13.
In determining adjustments to the national efficient price, the IHPA
must have regard to legitimate and unavoidable variations in wage
costs and other inputs which affect the costs of service delivery,
including:
a. Hospital type and size;
b. Hospital location, including regional and remote status; and
c. Patient complexity, including indigenous status
It appears that the term “location” has been narrowly defined in the development of
the pricing framework, well beyond the original intent of the NHRA. The NHRA
reference to hospital location is inclusive of regional and remote status, but clearly
not confined to it. In addition, the body of paragraph B13 refers directly to
legitimate and unavoidable variations in wage costs, which the legacy
superannuation costs from the Commonwealth administration of hospitals in the
ACT clearly are.
Therefore, both the reference to wage costs in the body of B13, and the ACT
hospitals being “located” in a Territory and thus incurring these legacy costs from
the Commonwealth argue for an interpretation of the NHRA and hence IHPA’s
obligations to include consideration of a specific adjustment , or loading for these
legitimate and unavoidable costs in the ACT.
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ACT Submission to the Independent Health Pricing Authority on the draft activity-based funding pricing framework
The ACT is concerned that IPHA may be inclined towards relying on the
Commonwealth Grants Commission (CGC) process as an alternative to incorporating
appropriate loadings.
The IPHA is tasked with determining the efficient price of hospital services delivered
by LHNs. This should, in principle, involve determination of the cost at which a
bundle of services can be efficiently delivered. In principle, this should take into
account any disabilities an LHN faces, or unavoidable costs it may incur above the
efficient cost.
While the IPHA should have regard to the assessment made by Commonwealth
Grants Commission, a more granular approach to determining the efficient price
should be pursued.
The Commonwealth Grant Commission assessment is based on providing “states”
with capacity to deliver an average level of services, based on average policy. This
will not identify at the ABF funding level differences in disabilities between LHNs, nor
would it consider differences in service delivery policies.
Further, it should be noted that the CGC assessment is not designed to directly funds
states or LHN for the disabilities they face, rather it is a retrospective compensation
payment made in the form of united revenue assistance.
It would not be transparent for the IPHA to take a narrow approach to loadings and
fund each hospital on a similar basis. States will be required to explain and adjust
their funding contributions to LHN’s to reflect their actual costs. There is also risk
that the national efficient price will become irrelevant as it will bear no resemblance
to actual LHN costs.
The pricing framework needs to take into consideration costs that are beyond the
control of a jurisdiction in making a determination of an efficient price.
Quality and safety
The draft pricing framework, at Section 7.5, proposes an addition to the pricing
framework that would adjust funding based on the quality outcome of services.
The ACT does not support this approach.
The National Health Reform Amendment (Independent Hospital Pricing Authority)
Act 2011 clearly defines the role of the IHPA. That role is based on the development
of a model to enable the Commonwealth to determine its funding commitment for
public hospital services based on levels of activity.
The role does not extend to the determination of the quality and safety of public
hospital services.
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ACT Submission to the Independent Health Pricing Authority on the draft activity-based funding pricing framework
All jurisdictions are committed to improvements in the quality and safety of our
public hospitals services. The Commonwealth and the states and territories also
agreed to the establishment of the Australian Commission on Safety and Quality in
Healthcare in 2011. The Commission was established to further improve national
consistency in the safety and quality of the health services delivered to our
community.
The efforts to improve the safety and quality of our services have also resulted in
greater openness from clinicians to report adverse events. The introduction of any
scheme at this time, particularly as part of funding model rather than as a quality and
safety approach, could result in a reduction in the reporting of adverse events by
clinicians (despite the proposed modest approach).
As such, the ACT believes that any consideration of linking the funding of health
services to the quality of that care should be managed through processes and
arrangements being established under the auspices of the Commission, rather than
through the IHPA.
Consideration of any price discount related to quality and safety issues should not be
considered in the early phases of the ABF.
Further consideration of the linking of funding for services to the quality of those
services should be considered by the Australian Commission on Safety and Quality in
Healthcare, rather than by the IHPA
Block funding
The ACT and the Commonwealth agreed to block funding teaching, training and
research and Queen Elizabeth II (QEII) hospital. It was also confirmed that the
Equipment and Appliance Scheme will be block funded. The ACT’s estimate of
proportion of TTR cost over total in-scope hospital services is about 1.3%. In addition
to this, a further 1% of the ACT’s hospital services for block funding (QEII and
Equipment Scheme). It should be noted that these estimates of allocation for
2012-13 were derived based on 2010-11 actual cost and not on what will be the
likely IHPA funding model and pricing principles.
Block funding arrangement should be revisited in line with issues discussed above; ie
hospital loading and diseconomies of scale. Analysis of each service units affected by
“availability” cost factor and low throughput level will be required upon release of the
national efficient price and the pricing framework.
It is of concern to the ACT that there is short timeframe allocated to internalise and
assess the impact of the national efficient price, funding model and pricing
framework.
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ACT Submission to the Independent Health Pricing Authority on the draft activity-based funding pricing framework
Management of private patients
The proposed management of private patients under the pricing framework removes
an incentive for public hospital systems to maximise patient revenues.
Under the current special purpose payment arrangements, for the support of public
hospital services by the Commonwealth, funding for state and territory health
funding is based on a formula that does not consider the mix of patients treated
within the public hospital system.
The SPP paid to the ACT is not reconciled against the number of patients who are
funded via third-party sources.
As such, the proposed management of private patients under the pricing framework
will remove any incentive for public hospitals to increase the level of private patients
as under the proposed new arrangements the revenue from the Commonwealth for
private patient care will be net of the contribution provided by the third-party
source.
The ACT does not accept that all privately referred outpatient services should be
excluded from funding under ABF arrangements. Increasingly, non-admitted patient
services are provided within a multi-disciplinary approach which includes more than
the services of a doctor.
Where other services are provided as part of a multi-disciplinary privately-referred
outpatient service, and where those subsequent services are provided by public
hospital employees, those services should be considered as a cost of a public hospital
service within the ABF pricing framework.
The draft pricing framework suggests that the adoption of ABF will not change
incentives in relation to private patients. However, as this is not the case, the report
should be amended.
Privately-referred non-admitted services that are provided as a multi-disciplinary
service with more than one clinician should be considered for inclusion within the ABF
arrangements where the second or subsequent service(s) is provided by a hospital
employee (eg in the case of an allied health consultation)
In-scope services for ABF funding
Clause A11 of the National Health Reform Agreement stipulates “States will provide
the IHPA with recommendations for other services that could reasonably be
considered to be a public hospital service and which are not captured by clause A10
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ACT Submission to the Independent Health Pricing Authority on the draft activity-based funding pricing framework
(a) and A10 (b) that they consider should be eligible for a Commonwealth funding
contribution”.
Clause A12 of the NHRA further states “The IHPA will develop and publish criteria for
assessing services for inclusion on a general list of hospital services eligible for
Commonwealth growth funding. The IHPA will consider each State’s
recommendations against the published criteria and establish a general list of other
services eligible for a Commonwealth funding contribution”.
Clauses A10 (a) and A10 (b) define all admitted services and all emergency
department services to be eligible for a Commonwealth funding contribution under
activity basis or block funded basis.
The table at Appendix B provides a general list of ACT public hospital services that
are considered eligible for a Commonwealth funding contribution, as assessed
against the draft criteria published in Table 5.1 of the Activity Based Funding Pricing
Framework.
Cost indexation
The ACT supports the suggested method of determining indexation under the pricing
framework. However, as the Government Final Consumption Expenditure (GFCE)
reported by the AIHW for health services, which is the basis for the recommended
index, is only available publicly up to 2008-09, the ACT would like the IHPA to include
the actual value of deflators to be used for the calculation of a 2012-13 price for
hospital services.
Clause A34 of the National Health Reform Agreement states: “In 2014-15, 2015-16
and 2016-17, the Commonwealth’s funding for each ABF service category will be
calculated individually for each State by summing:
a. Previous year amount: the Commonwealth’s percentage funding rate for the
relevant State in the previous year multiplied by the volume of weighted
services provided in the previous year multiplied by the national efficient
price in the previous year;
b. Price adjustment: the volume of weighted services provided in the previous
year multiplied by the change in the national efficient price relative to the
previous year multiplied by 45 percent; and
c. Volume adjustment: the net change in volume of weighted services to be
provided in the relevant State (relative to the volume of weighted services
provided in the previous year) multiplied by the national efficient price
multiplied by 45 per cent.
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ACT Submission to the Independent Health Pricing Authority on the draft activity-based funding pricing framework
The draft Activity Based Funding Pricing Framework is deficient in its articulation and
interpretation of this Clause A34. The Framework clearly states that in 2012-13 and
2013-14, the Commonwealth payments are fixed, and for 2014-15 and beyond, the
Commonwealth will contribute additional funding for extra patients treated.
While Clause A34 (c) is clear with regard to growth funding, what is unclear is how
Clauses A34 (a) & (b) will translate into Commonwealth funding to States. It seems
the intention of these two clauses is to produce a funding contribution that would
equate to at least the Specific Purpose Payment amount that otherwise would have
been paid under the previous arrangements, though adjusted for cost indexation. To
this end, it will be prudent to set the national efficient price at a level that achieves
this result and intended consequence.
The ACT is seeking further clarification on this issue to better understand the likely
Commonwealth funding contribution for base activity starting in 1 July 2014. The
ACT would like to bring to IHPA’s attention Clause A68 of the NHRA that guarantees
States will receive at least the amount of the funding it would have received under
the former National Healthcare SPP. Our interpretation and the correct
interpretation of this we think should be that the base funding constituting ABF
funding from 1 July 2014 should at the very least equate to the SPP amount in 201314 that has been cost indexed for the next year. Growth funding would be added to
this component to make total Commonwealth funding contribution under ABF
payments.
There should be a clear statement within the pricing framework in relation to the
method for indexation of the SPP into the future.
Cross-border issues
Approximately one –quarter of cost-weighted activity at ACT public hospitals relates
to services to patients resident in NSW. NSW patients in many DRGs have longer
lengths of stay than ACT patients due to issues with discharging patients to services
back in their home state. The delays are not due to comorbidities or acuity but
simply due to access to appropriate step-down or community-based care in Southern
NSW. As such, the DRG will not change, but the cost to the Territory will be higher
than would otherwise be the case.
NSW also pays a capital charge for the use of ACT public hospital services given the
significant proportion of NSW patients using those services. It is not clear how these
costs would be managed under ABF arrangements.
The efficient ACT price needs to take into consideration the additional impost on ACT
services through the management of NSW patients
There needs to be greater clarity to how the current capital charge for the use of ACT
services by NSW patients will be managed under ABF arrangements
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ACT Submission to the Independent Health Pricing Authority on the draft activity-based funding pricing framework
Timing issues
While the IHPA does not have the authority to amend the agreed timeframe for the
implementation of the pricing framework, the ACT remains concerned about the
capacity of all jurisdictions to implement the necessary legislative arrangements to
give effect to the new national health funding arrangements by 1 July 2012.
This timetable is further at risk for jurisdictions such as Queensland, where the
election timing provides additional logistical issues.
Without the necessary legislative infrastructure, no funding will be able to be paid to
Local Health Networks from 1 July. The absence of the legislation would result in an
inability of health services to pay for public health services (including wages) without
supplementary appropriation processes.
The ACT believes that a “Plan B” needs to developed to provide certainty for health
services, should there be any delays to the implementation of the legislation
required to enact the new funding arrangements across the nation.
The ACT is also concerned about the operation of the model from 1 July 2012 when
Ministers will not have access to national comparisons of the impact of the pricing
framework until May 2012. The ACT has some concerns about the application of the
costing framework across all jurisdictions based on draft national average cost
figures available in late 2011. The timing of the release of national comparisons
provides little time for fine tuning or auditing of costing arrangements to ensure
consistent application
The ACT will seek to bring this issue to the relevant national fora.
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ACT Submission to the Independent Health Pricing Authority on the draft activity-based funding pricing framework
Appendix A
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ACT Submission to the Independent Health Pricing Authority on the draft activity-based funding pricing framework
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ACT Submission to the Independent Health Pricing Authority on the draft activity-based funding pricing framework
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ACT Submission to the Independent Health Pricing Authority on the draft activity-based funding pricing framework
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ACT Submission to the Independent Health Pricing Authority on the draft activity-based funding pricing framework
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ACT Submission to the Independent Health Pricing Authority on the draft activity-based funding pricing framework
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ACT Submission to the Independent Health Pricing Authority on the draft activity-based funding pricing framework
Appendix B
Activity Basis
Acute Admitted
Services
Canberra Hospital & Health
Services
Calvary Public Hospital
Alcohol & Drug
Anaesthetics
Anaesthetics
Cardiology
Cardiology
Dental
Cardio-Thoracic Surgery
Ear Nose and Throat
Dental
Emergency Medicine
Dermatology
General Medicine
Ear Nose and Throat
General Surgery
Emergency Medicine
Gynaecology
Endocrinology
Haematology
Gastroenterology
Head & Neck Surgery
General Medicine
Neonatology
General Surgery
Neurology
Gynaecology
Obstetrics
Haematology
Oncology
Immunology
Ophthalmology
Infectious diseases
Oral Surgery
Neonatology
Orthopaedics
Neurology
Paediatrics
Neurosurgery
Plastic Surgery
Nuclear Medicine
Psychiatry
Obstetrics
Urology
Oncology
Vascular Surgery
Qualification
Criteria
Criterion 1
Ophthalmology
Oral Surgery
Orthopaedics
Paediatric Surgery
Paediatrics
Plastic Surgery
Psychiatry
Radiation Oncology
Radiology
Renal Medicine
Respiratory Medicine
Rheumatology
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ACT Submission to the Independent Health Pricing Authority on the draft activity-based funding pricing framework
Thoracic Surgery
Urology
Vascular Surgery
Emergency
Department
Services
Triage categories 1 to 5
Triage categories 1 to 5
Criterion 2
Outpatients’
Services
AborigLiaisonOfficer
Adolescent health
AborigMedicalServCaseload
Aged care
Criteria
{3, 4 or 5}
ACRS - 12B Circuit Class
Allergy
Acute ED caseload
Antenatal
After Hours
Anti-coagulant
Aged Care Caseload
Assisted reproduction, infertility
Antenatal Clinic
Asthma
Antenatal Ward
Asthma education
AntenatalClinic&PostNatalFollowup
Audiology
Audiometry
Breast
Birthing centre
Burns
Burn & Scar caseload
Cardiac
Burns
Cardiac catheterisation
Cardiac Caseload
Cardiac rehabilitation
Cardiac Rehabilitation Nurse
Cardiac stress test
Cardiac Surgery
Cardiology unspecified
Cardiology
Cataract extraction
Central Outpatients Audiology Clinic
Chemotherapy
Children's Feeding Clinic
Childbirth education
Clinical Haematology
Clinical measurement
Clinical Pharmacology
Clinical Pharmacology
Community Clinic MidwifeGungahlin
Colorectal
Continence Caseload
Cystic fibrosis
CSII Therapy Caseload
Dementia
Cystic Fibrosis
Dental
Cystic Fibrosis Caseload
Dermatology
Delivery Suite
Development disability
Dermatology
Diabetes
Diabetes
Diabetes education
Diabetes and Pregnancy Caseload
Dialysis
Diabetes Antenatal Clinic
Dietetics
Diabetes Clinical Trials
Doppler
Craniofacial
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ACT Submission to the Independent Health Pricing Authority on the draft activity-based funding pricing framework
Diabetes Education Inpatient
Ear, nose and throat
Diabetes GDM caseload
ECG
Diabetes GDM Nutrition Group
Endocrine
Diabetes HighRiskFoot caseload
Endoscopy
Diabetes New Start Insulin caseload
Epilepsy
Diabetes Nutrition
Falls
Diabetes Nutrition Carbohydrate
Counting Group
Family planning
Diabetes Nutrition Clinic
Gastroenterology
Diabetes Nutrition
General medicine
Diabetes Periodic Review Nutrition
Group TCH
General practice
Diabetes Podiatry
Diabetes Puzzle Group
Diabetes Social Work
Fracture
General surgery
Genetic
Gestational diabetes
Diabetes Starting Insulin Group
Gynaecological oncology (excluding
chemotherapy)
Diabetes SW Adult caseload
Gynaecology
Diabetes Type 2 New Starting
Incretins
Haematology/Haemophilia
Diabetes Visit
DiabetesNutritionAdult caseload
Ear Nose & Throat Clinic
Endocrine
Endocrinology(Diabetes Education)
Evening Service
Falls - Physiotherapy Clinic
Fastrack caseload
Fastrack Physiotherapy
Foetal Medicine Unit
Fracture Clinic & Orthopaedics
Gastroenterology
Hand
Hepatobiliary
Home based palliative care
Hyperbaric medicine
Hypertension
Imaging
Immunology, HIV
Infectious diseases
Lens insertion
Lymphoedema
Melanoma
Menopause
Mens health
GDM - New Starting Insulin
Caseload
Metabolic
GDM/ Diabetes in Pregnancy
Caseload
Neck of femur
General Caseload
General Medicine
General Paediatric Clinic
General Surgery
Genetic
Gestational Diabetes Nutrition Clinic
Metabolic bone
Neonatology
Nephrology, renal; excludes dialysis
Neurology/Neurophysiology
Neuropsychology
Neurosurgery
Infectious diseases/communic
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ACT Submission to the Independent Health Pricing Authority on the draft activity-based funding pricing framework
Gynaecology
Obstetrics
Gynaecology Caseload
Occupational medicine
Gynaecology Oncology
Occupational therapy
Haematology
Oncology
Hand Clinic Occupational Therapy
Ophthalmology
Hands caseload
Optometry
Head and Neck Caseload
Oral
Hospital In The Home
Orthopaedics surgery
Hospital in the Home Orthopaedic
Program
Orthotics
Hydrotherapy caseload
Otitis media
Immunology
Pacemaker
Infectious Diseases
Paediatric medicine
Initial Home Visit
Paediatric surgery
Juvenile Arthritis Caseload
Pain management
Lymphoedema Caseload
Pastoral Care
Medical Oncology
Pathology
Midcall (OFF CAMPUS)
Pharmacy
Midwives Pre-Admission Clinic
Physiotherapy
Musculoskeletal
Plastic surgery
Musculoskeletal Student
Podiatry
Neonatal Int Care Unit
Postnatal
Nephrology
Pre-admission
Neurology
Pre-anaesthesia
Neurology Caseload (except CNC)
Primary care
Neurosurgery
Prosthetics
Neurosurgery Caseload
Psychology
Nutrition Allergy Clinic
Pulmonary
Nutrition Disability Visit
Radiation oncology
Nutrition Gastroenterology Clinic
Radiology
Nutrition
Refugee clinic
Nutrition Oncology Caseload
Renal medicine/Nephrology
Nutrition Paediatric Clinic
Respiratory (excludes tuberculosis)
Nutrition Renal Clinic
Rheumatology
Nutrition Renal Multidisciplinary
Clinic
Scoliosis
Nutrition TPN
Nutrition Visit
Oasis Clinic
Obstetric caseload
Other medical
Sexual health
Sleep
Social work
Speech pathology
Spinal
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ACT Submission to the Independent Health Pricing Authority on the draft activity-based funding pricing framework
Occupational Therapy
Stoma therapy
Occupational Therapy Visit
Thoracic surgery
Ophthalmology
Thyroid
Oral & Maxilliofacial Surgery
Transplants
Orthopaedics Caseload
Upper GI surgery
Other caseload
Urology
Videofluoroscopy
Vascular
Paediatric
Wound dressing clinic
Paediatric Arthritis caseload
Paediatric CSII Education Clinic
Paediatric CysticFibrosis Clinic
Paediatric Diabetes caseload
Paediatric Diabetes CGMS caseload
Paediatric Diabetes Group
Paediatric Diabetes New Children
Paediatric Diabetes Nutrition Clinic
Paediatric Diabetes Periodic Review
caseload
Paediatric Diabetes SW caseload
Paediatric Diabetes Transition Clinic
Paediatric Diabetic Clinic(Paediatric
Nurse)
Paediatric Feeding Clinic
Paediatric Multidisciplinary Diabetes
Clinic
Paediatric Nutrition Follow-up Clinic
Paediatric Orthopaedic caseload
Paediatric Respiratory caseload
Paediatric Surgery
PaediatricDiabetesPodiatryClinic
Paediatrics
Paediatrics Caseload
Paediatrics Diabetes Nutrition Clinic
Pain Management
Pain Management - Psychology
Clinic
Pain Management caseload
Pain Management Unit - CBT Full
Time Program
Pain Management Unit - CBT Part
25
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Time Program
Parent Educ Unit
PDS Diabetes CSII Therapy caseload
Physiotherapy Hydrotherapy
Physiotherapy
Physiotherapy Paediatric
Physiotherapy Pulmonary Rehab
Physiotherapy Respiratory
Physiotherapy Visit
Physiotherapy Women's Health
Planning
Plastic Surgery
Plastics Caseload
PMU Physiotherapy
Podiatry
Pre-admission
Pre-Diabetes caseload
Primary care
Primary Joint Replacement Caseload
Psychology
QEII Caseload
Radar OT Case Management
Radar OT Cognitive/Perceptual
Assessment
Radar OT Consultation/Liaison
Radar OT Equipment Planning
Radar OT Functional
Assessment/Retraining
Radiation Oncology
Radiology
Rador OT follow up visit/phone call
Rador OT Home assessment
Renal Medicine
Respiratory Caseload
Rheumatology
Rheumatology Caseload
Scar Management
School Clinics Caseload
Social Work
Social Work Visit
26
ACT Submission to the Independent Health Pricing Authority on the draft activity-based funding pricing framework
Speech Pathology
Speech Pathology Visit
Starting Insulin Group (Nutrition)
Stroke Unit Caseload
Thoracic Dietician Clinic
Thoracic Medicine (Respiratory)
Thoracic Medicine-CPAP Clinic
Type 1 - New Starting Insulin
Caseload
Type 1 Caseload
Type 2 - New Starting Insulin
Caseload
Type 2 Caseload
Urology
Vascular Surgery
Vision Screening Service
Voice Caseload
VPI and cleft caseload
Walk-In Centre
Mental Health
Services:
Designated PSU psychiatric ward
- Admitted
Patients
- ED Patients
Ward 2N
Criterion 1
Older Persons Mental Health Unit
Psychiatric/social problem/other
presentation URG
Psychiatric/social problem/other
presentation URG
Criterion 2
Psychiatry
Criterion 3
Mental Health Assessment Unit
- Outpatients
Clinical Psychiatry
- Non-Admitted
Specialised
Mental Health
Care Patients
Adult Step Up Step Down Unit
Criterion 7
Belconnen - Adult Mental Health
Service
Better General Health Programme
Brian Hennessy Rehabilitation
Centre
CAMHS Consultation And Liaison
CAMHS Cottage
CAMHS Dialectical Behaviour
Therapy Program
CAMHS Early Intervention
27
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CAMHS Intake
CAMHS Northside
CAMHS Perinatal Program
CAMHS Southside
Crisis Assessment Treatment Team
CATT AFP Communications Team
City - Adult Mental Health Service
Clozapine
Consultation Liaison
Dept of Psychological Medicine
Dual Disability Service
Eating Disorders Program
Forensic AMC MH Service
Forensic Bimberi MHS
Forensic CA Service
Forensic CO Service
Headspace ACT
MHS Neuropsychology
Mobile Intensive Treatment
Team/North Group Houses
Mobile Intensive Treatment
Team/North Medication
On Call Doctor
Older Persons Mental Health
Service
Triage
Tuggeranong - Adult Mental Health
Service
Woden - Adult Mental Health
Service
Subacute and
Non-Acute
Services:
- Admitted
Patients
Rehab in designated unit
Rehab in designated unit
Rehab as designated program
Rehab principal clinical intent
Rehab principal clinical intent
Palliative in designated unit
Palliative principal intent
Palliative principal intent
Geriatric evaluation and
management
Geriatric evaluation and
management
Psychogeriatric care
Psychogeriatric care
Maintenance care
Maintenance care
Geriatric
Gerontology
Criterion 1
Criterion 3
28
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- Outpatients
- Non-Admitted
Community
Based Patients
Palliative Care Nurse Practitioner
Geriatric
Palliative Care Psychologist
Home based palliative care
Rehab Co-Ord
Palliative care
Rehabilitation
Rehabilitation; excludes cardiac
Geriatric
Home based palliative care
Geriatric Medicine
Palliative care
Criterion 6
Palliative Care Clinical Nurse
Consultant
Palliative Care Nurse Practitioner
Palliative Care Registered Nurse
Rapid Assessment of DeterioratingPt At Risk (RADAR) - Geriatric
Medicine
Rehabilitation
Rehabilitation Care Coordinator
Rehabilitation Nurse Practitioner
Residential Aged Care Liaison Nurse
Vocational Assessment
Rehabilitation Service
Other
Aged Care Nurse Practitioner
Non-Admitted
Services:
Aged Day Centre Care Coordinator North
- Community
Based Patients
Aged Day Centre Care Coordinator –
South
Criterion 8
Continence Service
CRC Dementia Group
Breast Cancer Treatment
Rapid Assessment of DeterioratingPt At Risk (RADAR) - Aged Care
Nurse Practitioner
Independent Living Centre Registered Nurse
Falls - Registered Nurse - North
29
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Block Funded
Basis
Canberra Hospital & Health
Services
Calvary Public Hospital
Qualification
Criteria
Admitted
Services
Queen Elizabeth II Mothercraft
Hospital
Criterion 1
Other
Medical Equipment and Oxygen &
Sleep Apnoea Scheme
Criterion 8
Non-Admitted
Services
Admitted, ED,
Outpatients &
Non-Admitted
Specialised
Services
Teaching, Training & Research
Criteria
{any 1-8}
30
ACT Submission to the Independent Health Pricing Authority on the draft activity-based funding pricing framework