DHCS MEDIL I 14-48: Hospital Presumptive Eligibility (HPE) Program Medi-Cal Eligibility Data Systems (MEDS) Pending Application Transaction – Extension of Presumptive Eligibility (PE) Period (10/1/14)

DHCS issued this letter to remind counties to extend eligibility for Hospital Presumptive Eligibility individuals who have applied for Medi-Cal beyond the two months allotted under HPE.  HPE beneficiaries who submit a timely application should not lose coverage.  Counties need to send the appropriate transaction to MEDS in order to prevent MEDS from automatically terminating the HPE beneficiary; CalHEERS should automatically submit the appropriate transaction to MEDS.

DHCS ACWDL 14-35: 2015 Redeterminations for Non-Modified Adjusted Gross Income (MAGI) Cases and Non-MAGI/MAGI Mixed (Medi-Cal Mixed) Cases (9/29/14)

DHCS issued this letter to the counties regarding interim policies and procedures for Non-MAGI and Mixed Medi-Cal cases.  Counties are to conduct ex parte reviews by consulting electronic records and information in other open cases (e.g., CalFresh, CalWORKS).  Potential MAGI beneficiaries must be evaluated for MAGI.  Non-MAGI beneficiaries will need a property evaluation.  Where no MAGI eligibility exists, counties will make a SAWS determination on the case.

Where no member of the household is in LTC, county will send a Medi-Cal Annual Redetermination (MC 210 RV) with a 60 day return period and relevant beneficiary outreach.  With the information, the county will make a MAGI determination (send a RFTHI if potentially eligible) or determine what missing information needs verification (e.g., property supplement).  When a family member is in LTC and ex parte determination is not possible, counties should send out the MC 210 Rv along with an MC 262.

For Mixed Medi-Cal household without LTC members, the county will do an ex parte review.  MAGI members are sent through CalHEERS for eligibility, while non-MAGI members will go through SAWS.  MAGI members are designated ineligible for the Non-MAGI MFBU, while non-MAGI members are designated as “non-applying” household members of the tax filing unit for MAGI determinations.  Where there’s an LTC member in a mixed Medi-Cal household, the household receives a pre-populated MAGI redetermination form and an MC 604 IPS.

The letter also contains a list of “Mega-Mandatory” aid codes that take priority over MAGI codes for non-MAGI eligibility determinations.  These groups follow the pre-ACA rules.

DHCS ACWDL 14-34: Safe at Home Confidential Post Office (P.O.) Box Process (9/25/14)

DHCS issued this letter to the counties about how to proceed with a Safe at Home confidential PO Box address.  MEDS must only display the designated P.O. Box with a four digit Safe at Home identifier.  While all the addresses are in Sacramento, counties must maintain the residence county and county of responsibility in the County where participants are living.  The letter outlines the protections and steps to be taken to update information about a Safe at Home participant.

DHCS ACWDL 14-33: Reviewing Caseloads for Individuals Who are Linked to Medi-Cal Coverage Groups Based Upon Modified Adjusted Gross Income (MAGI) (9/19/14)

DHCS issued this letter instructing counties to search for and identify potential MAGI-eligible individuals.  These individuals need to meet all of the following criteria:

  1. Must not have been evaluated under MAGI rules,
  2. Must be eligible of retroactively eligible for the month of December 2013 or after under specific coverage groups and aid codes (MN/MI with Share of Cost, 250% Working Disabled, State-only funded or limited-scope Medi-CAl), and
  3. Must be MAGI-linked (parents, caretaker relatives, children, or pregnant women, or non-Medicare recipients aged 19-64)

Counties are to search their case loads for MAGI-linked individuals and sent RFTHIs to those who were denied eligibility due to excess property in December 2013 or later, and those who have not been evaluated under MAGI rules.  If an individual is MAGI eligible, the county must rescind the discontinuance notice, reestablish eligibility back to the discontinuance, and send a new notice.

Counties will send a translated version of a letter informing affected Medi-Cal beneficiaries of this process along with the RFTHI.  If the form is returned and the individual is MAGI eligible, the county will take the actions outlined in this letter.  If the beneficiary does not return the RFTHI, counties must keep the beneficiary in the same aid code until the next annual redetermination or a change in circumstances.

Those MAGI-eligible beneficiaries who are later found ineligible at redetermination or change in circumstances must be evaluated under non-MAGI criteria before being discontinued.

DHCS MEDIL I 14-47: Deactivating Aid Code Programming in Medi-Cal Eligibility Data System (MEDS) and Statewide Automated Welfare System (SAWS) (9/19/14)

DHCS issued this MEDIL regarding aid code deactivation in the SAWS and MEDS systems.  Pre-ACA programming will stay active in both systems until further notice.  When all beneficiaries are transferred to MAGI aid codes, counties will receive instructions on the deactivation of the older aid codes.

DHCS ACWDL 14-32: Medi-Cal Annual Redetermination Process for MAGI Beneficiaries (9/19/14)

DHCS has issued this letter to guide SAWS and counties on implemented annual redeterminations for 2015 for MAGI Medi-Cal beneficiaries.

First, counties are to review any ex parte information available to the county about the beneficiary or beneficiary’s immediate family members, including cases that are either open or closed within the last 90 days.  If the ex parte review is sufficient to confirm eligibility, a redetermination form is not required.  This information is entered into SAWS and sent to CalHEERS for a MAGI eligibility determination.  For pre-ACA beneficiaries, counties will attempt to obtain RFTHI information ex parte.  If CalHEERS confirms MAGI eligibility, SAWS will receive the result back with a NOA confirming eligibility.

If a beneficiary is found ineligible through ex parte review, the county will send a pre-populated redetermination form (MC 0216) from SAWS and given at least 60 days to complete and return it.  Beneficiaries may complete this through many methods.  Counties are to contact the beneficiary if they have not yet received the form.  If the beneficiary fails to provide the requested information, county will issue a discontinuance NOA with a 90-day cure period.

When information from MC 0216 is received and entered into SAWS, CalHEERS will determine Medi-Cal eligibility.  MAGI eligible will be sent a NOA for a new 12-month eligibility period.  Those who are not MAGI eligible will go through the process described here.  Where there isn’t enough information, counties will work with beneficiaries to gather the necessary information.