[Federal Register Volume 79, Number 228 (Wednesday, November 26, 2014)]
[Notices]
[Pages 70617-70621]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2014-28055]


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DEPARTMENT OF VETERANS AFFAIRS


Publication of Technology Task Force Review of Scheduling System 
and Software of the Department of Veterans Affairs

AGENCY: Department of Veterans Affairs.

ACTION: Notice.

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SUMMARY: The Veterans Access, Choice, and Accountability Act of 2014 
directs the Department of Veterans Affairs (VA) to publish a report of 
the Northern Virginia Technology Council's review of VA's health care 
scheduling system and software. This Federal Register Notice announces 
VA's publication of the Council's report.

ADDRESSES: The Council's entire report on VA's health care scheduling 
system and software is available at http://www.va.gov/opa/choiceact/.

FOR FURTHER INFORMATION CONTACT: James A. Tuchschmidt, MD, Acting 
Principal Deputy Under Secretary for Health (10A), 810 Vermont Avenue 
NW., Washington, DC 20420, Telephone: 202-461-7008 (this is not a toll-
free number).

SUPPLEMENTARY INFORMATION: Section 203 of the Veterans Access, Choice, 
and Accountability Act of 2014 (Pub. L. 113-146, ``the Act'') directs 
the Department of Veterans Affairs (VA), through the use of a 
technology task force, to conduct a review of VA's needs with respect 
to its scheduling system and scheduling software used to schedule 
appointments for veterans for hospital care, medical services, and 
other health care. The Act requires that the task force provide VA and 
Congress with a report on its review within 45 days of enactment, and 
that the report include:
     Proposals for specific actions to be taken by VA to 
improve its health care scheduling system and scheduling software; and
     A determination as to whether one or more existing off-
the-shelf systems would meet VA's needs to schedule health care 
appointments for veterans and improve the access of veterans to such 
care.
    On September 11, 2014, VA signed a Memorandum of Agreement with the 
Northern Virginia Technology Council to conduct the review. On October 
29, 2014, the Council completed its review and provided VA with a 
report titled, ``Opportunities to Improve the Scheduling of Medical 
Exams for America's Veterans: A Report Based on a Review of VA's 
Scheduling Practices by the Northern Virginia Technology Council 
(NVTC).''
    This Federal Register Notice announces the Council's report on its 
review of VA's scheduling system and software. The Executive Summary of 
the report is as follows:

Executive Summary

    This section provides a brief summary of this Report by answering 
three fundamental questions:
     Why was this review performed for the VA?
     What were the findings that informed the NVTC's 
recommendations to VA?
     What recommendations were rendered by NVTC?

Why NVTC Conducted This Review

    The impetus for NVTC's review is found in Section 203 of the 
[Veterans Access, Choice, and Accountability Act of 2014] \1\. Section 
203 called for a Technology Task Force to perform a review of VA's 
scheduling system and software.
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    \1\ Public Law 113-146. Signed into law by President Obama on 
August 7, 2014; the statute's full title is, ``To improve the access 
of Veterans to medical services from the Department of Veterans 
Affairs, and for other purposes.'' Besides Section 203, another key 
provision of this law (Section 101) is relevant to portions of this 
report because it requires hospital care and medical services to be 
furnished to Veterans through agreements with specified non-VA 
facilities if Veterans: (a) Have been unable to schedule an 
appointment at a VA medical facility within the Veterans Health 
Administration's (VHA's) wait-time goals for hospital care or 
medical services and such Veterans opt for non-VA care or services; 
(b) reside more than 40 miles from a VA medical facility; (c) reside 
in a state without a VA medical facility that provides hospital 
care, emergency medical services, and surgical care and such 
Veterans reside more than 20 miles from such a facility; or (d) 
reside within 40 miles of a VA medical facility but are required to 
travel by air, boat, or ferry to reach such facility or such 
Veterans face an unusual or excessive geographical burden in 
accessing the facility. Section 101 also provides for such care 
through agreements with any healthcare provider participating in the 
Medicare program, any federally-qualified health center, the 
Department of Defense (DoD), and the Indian Health Service (IHS).
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    Following the law's enactment, NVTC \2\ began working with VA to 
develop a plan for a team of NVTC member companies to evaluate VA's 
scheduling processes and systems, for the purpose of recommending 
scheduling improvements. In a Memorandum of Agreement (MoA) signed by 
both parties on September 11, 2014, VA accepted NVTC as the Technology 
Task Force required by Section 203 of the [Act]. In a Scope of Work 
statement, attached to the MoA, the agreed latitude of NVTC's Review 
was outlined--i.e., for NVTC to examine and propose improvements to:
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    \2\ In June 2014, Senator Mark Warner sent a letter to President 
Obama offering pro bono private sector assistance to address the 
VA's exam scheduling and workflow challenges. (The pro bono offer to 
help VA leveraged a template established in 2010-11, when NVTC, at 
the request of Senator Warner, partnered with the U.S. Army to help 
address the serious technology and business process challenges being 
encountered at Arlington National Cemetery.)
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     The scheduling of a new patient for his or her first 
visit. This would start with VA's attempt to arrange exam appointments, 
and include the activities required to schedule, communicate, and 
confirm each appointment with the Veteran, concluding with the exam 
itself and the delivery of requested exam results.
     The scheduling of a specialty consult visit from initial 
request from a primary care physician through the appointment being 
scheduled,

[[Page 70618]]

communicated, and confirmed with the veteran (also concluding with the 
exam and effective delivery of its results).
    In examining these two foundational processes, NVTC agreed to an 
approach that is segmented into an analysis of four domains: People, 
process, technology, and performance measurement. The purpose of NVTC's 
review was to identify improvement opportunities and recommend actions 
that will enable VA leaders to restore America's confidence in the 
enduring integrity of VA while servicing the health care needs of those 
who have selflessly served our country. The NVTC Team's approach to 
this assignment has been to discover root causes of VA's scheduling 
challenges in an effort to identify ways to help VA overcome them. The 
NVTC Team \3\ conducted a six-week effort (September 15 to October 29, 
2014) to review VA's current scheduling ``systems,'' which include 
people, processes, technologies, and performance measures. The findings 
and recommendations identified in this report were greatly informed by 
on-site observations at two VA medical centers.\4\ During these visits, 
the NVTC Team met with VA staff to not just solicit information from 
them about the issues and challenges they encounter on the job, but 
also to listen to their ideas on how veterans might be better served by 
making changes to current scheduling processes, procedures, and 
practices.
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    \3\ NVTC selected Booz Allen Hamilton (BAH), HP, IBM, MITRE, and 
SAIC to serve as the core team for coordinating with other member 
companies (MAXIMUS, Qlarion, and Providge Consulting) to conduct 
this Review.
    \4\ The two site visits by the NVTC Team were graciously hosted 
by the VAMC Directors at the VA's Medical Centers in Richmond and 
Hampton, Virginia.
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    During the two site visits the NVTC Team was able to make, it met 
with many dedicated leaders, health care providers, schedulers and 
other specialists, all of whom were remarkably cooperative, clearly 
dedicated to providing high-quality services to veterans, and quite 
generous in terms of the amount of time and information they readily 
shared with NVTC Team members. The NVTC team also observed a number of 
practices that had been put in place in the last six months to improve 
the timeliness of patient appointments. Additional opportunities for 
improvement still exist, however. In addition to the two day-long site 
visits, NVTC team members also examined a library of scheduling related 
information \5\--provided by VA--to gather additional insight on the 
challenges and issues addressed in this report.
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    \5\ From the ``vendor library,'' available on the Federal 
Business Opportunities (FedBizOps, to support VA's solicitation to 
procure a new medical appointment scheduling solution: https://www.fbo.gov/index?s=opportunity&mode=form&id=6672c05c6f046cf98d178d8981884d94&tab=core&tabmode=list&.
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    While this report is based on site visits and data from only two VA 
medical centers, we are reasonably confident that the findings are 
generalizable to many other VA medical facilities. We make this 
assertion because the findings of this Report are very similar to the 
findings of an older but more comprehensive Wait Times study done by 
Booz Allen Hamilton in 2008. That study was much larger and included 
longer site visits to 25 VA medical centers and many of their 
community-based outpatient clinics. The recommendations of this Report 
echo those of the earlier Wait Times report and suggest that the issues 
identified are representative and enduring. We feel that this 
significantly enhances the power of the NVTC Report and the 
recommendations that have been made.\6\
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    \6\ Final Report on the Patient Scheduling and Waiting Times 
Measurement Improvement Study, Booz Allen Hamilton, July 11, 2008 
(hereinafter referred to as the 2008 Booz Allen Hamilton Wait times 
report).
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    It is the consensus of the NVTC Team that the recommendations in 
this report will take a significant amount of time to be fully 
implemented, assuming they are accepted. Indeed, incremental but 
sustained improvements, based on a comprehensive plan of action will be 
needed--subject to persistent monitoring and periodic assessments--to 
ensure that initial gains in accountability and performance quality 
actually lead to results that consistently satisfy the health care 
access and delivery needs of America's veterans.
    NVTC is pleased to present this document with its findings and 
recommendations for improving the scheduling of medical exams for 
America's veterans.

What NVTC Found

    Through its on-site observations and analyses of current business 
processes, available technologies, and a review of industry and 
government best practices, the NVTC Team identified a number of 
findings and recommendations designed to help VA leaders address their 
most critical challenges. During that review period, a common theme 
emerged from the Team's analyses that can be summarized as follows: 
VA's exam-scheduling processes are insufficiently enabled by state of-
the-art technologies or (consistently applied) standard operating 
procedures. This situation has resulted in a counterproductive and 
error-prone working environment that has frustrated staff members for 
years, thus fueling a persistent staff-retention problem, the net 
effect of which has contributed in no small part, it appears, to the 
gradual erosion of public confidence in the Department's ability to 
provide veterans with timely access to needed health care services.
    NVTC's Team confirmed what VA already acknowledges--that the 
current scheduling processes do not adequately meet the needs of 
veterans, health care providers, or scheduling staff members.\7\ Clinic 
grids are inflexible, productivity cannot be accurately measured, not 
enough scheduling resources (staff, rooms, equipment, etc.) are 
available, and linkages among scheduled appointments and ancillary 
appointments (e.g., lab and radiology) are not established. In the 
latter instance, the absence of such links results in appointment 
cancellations and rebookings, additional travel costs, and higher 
levels of veterans' dissatisfaction.
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    \7\ Business Blueprint for VHA Medical Appointment Scheduling 
Solution, Department of Veterans Affairs, May 2014.
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    Though the findings of the NVTC Team may not be all that different 
from those already documented in VA, it is hoped that, with the 
recommendations that follow, VA leaders will better understand how 
issues in one deficiency area (e.g., staff retention) actually cause 
(or exacerbate) persistent issues in other areas (e.g., the non-
standard usage of scheduling processes and procedures). Other examples 
of this cause-and-effect relationship is the impact of inflexible 
clinic grids on the tendency to over-book scheduled appointments, or 
the impact of a scheduler's inability to simultaneously view the 
schedules of multiple providers (a technical resource issue) on the 
ability of a scheduler to appropriately sequence ancillary appointments 
(often perceived as a human performance issue). Yet another is the 
impact of placing too much managerial emphasis on metrics that do not 
have the effect of driving desired scheduling behaviors.
    NVTC Team members also hope that the insights derived from their 
analyses of VA's longstanding scheduling issues will shed a different 
light on the relative weight of individual issues, in terms of their 
respective impacts on scheduling activities, end-to-end. Also, some of 
NVTC's key recommendations may prove to be somewhat more innovative

[[Page 70619]]

than others received by VA leaders in the past.
    At a minimum, the NVTC recommendations should provide a useful 
framework for tackling near term challenges and issues, while at the 
same time motivating VA leaders to work with maximum urgency, to 
significantly enhance the experiences of veterans served by the 
Department, which will lead to a steady rebuilding of public trust in 
both the timeliness and quality of healthcare being provided to 
America's most deserving heroes.

What NVTC Recommends \8\
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    \8\ Consistent with findings and Recommendations of 2008 Booz 
Allen Hamilton Wait times report.
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    As a result of its analysis of VA's scheduling processes, 
technologies, people, performance measures, and industry best 
practices, the NVTC team derived a total of 39 recommendations from its 
multi-dimensional review of VA's current medical exam scheduling 
operations. These 39 key recommendations--each of which is identified 
in the body of this Report--are associated with the following 13 groups 
of identified, key issues:

 Appointment Scheduling (Process)
 Appointment Metrics (Process)
 Patient Capacity (Process)
 Communications (Process)
 System Usability (Technology)
 Systems/Data Integration (Technology)
 IT Infrastructure Support (Technology)
 Recruitment/Hiring (People)
 Training/Development (People)
 Staff Retention (People)
 Staff Management (People)
 Patient Wait Times (Performance)
 Management Data Usage (Performance)

    More than half (i.e., 20) of the Team's 39 recommendations were 
derived from the four People-related groups of key issues: Recruitment/
Hiring, Training/Development, Staff Retention, and Staff Management.
    The other 19 recommendations were fairly evenly distributed among 
the Process, Technology, and Performance dimensions of NVTC's Review. 
The fact that 51.3 percent of the Team's recommendations align with 
``people'' issues should not be misinterpreted by readers of this 
Report. More to the point, it must not be seen as an adverse reflection 
on the schedulers, health care providers, and other VA staff members 
currently engaged in scheduling activities at VA's medical facilities, 
who work quite hard--indeed, much harder than should ever be 
necessary--in their creative efforts to compensate for all the issues 
driving the 19 other process-, technology-, and performance-related 
recommendations made by the NVTC Team.
    Furthermore, when it comes to cross-cutting issues discovered as a 
result of this Review, the evidence suggests that virtually all of the 
19 issues driving the process-, technology-, or performance-related 
recommendations (in Section 4 of this Report) demonstrably impact, 
either directly or indirectly, at least one of the people-related 
issues/recommendations.
    Consider, for just one example, the issue identified as 
``Additional Exam Rooms'' under the Patient Capacity group (in 
subsection 4.1 of the full Report):
     The NVTC Team found that at least two exam rooms per 
provider are needed to allow rooming a patient while providing other 
team members (or providers) co-visiting opportunities. And, larger 
rooms would more readily permit efficient engagement of multiple team 
members in real time. Yet, it appears that only one exam room is 
provided in many situations observed at the medical centers visited by 
the NVTC Team during the course of this Review. This process-related 
issue, which resulted in a recommendation that additional exam rooms be 
provided, has a direct impact on one of the People-related issues 
identified (in subsection 4.3 of the full Report), having to do with 
schedulers and providers working together as a team (for the benefit of 
Veterans). It also impacts the productivity of health care providers at 
most VA medical facilities. More significantly, a search of related VA 
documents provided to the NVTC Team revealed that a short supply of 
exam space is a critical infrastructure challenge for many facilities. 
Many sites indicate that primary care and specialty providers almost 
never have two exam rooms during clinic sessions, and site leadership 
commonly noted that one of the most significant interventions they can 
make to improve the timeliness of care is to increase available exam 
space.
    Following a thorough analysis of all 39 of its key recommendations, 
to discover the cross-dimensional (or cross-cutting) implications of 
each of them, NVTC rendered the following set of 11 synthesized 
recommendations to VA:
    Recommendation #1--VA should aggressively redesign the human 
resources and recruitment process. From General Schedule (GS)-5 clerks 
to senior clinicians, the hiring of needed staff proceeds too slowly. 
The causes are complex, but much of the delay can be traced to 
redundant, inconsistent, and inefficient hiring processes. There should 
be a system-wide focus on improving these processes as soon as 
possible. Measures that capture performance from the customer 
perspective should be carefully monitored. Such measures may include 
the time from a request for a position to be filled to the time the 
hired candidate actually begins work.
    Recommendation #2--VA should prioritize efforts to recruit, retain, 
and train clerical and support staff. In many cases, clerical and 
support staff should be hired in anticipation of need rather than after 
vacancies are realized. Job stress, which contributes to turnover, 
should be reduced through careful study of workflow processes; for 
example, separating the call function from the frontline clerk function 
appears to be a prudent strategy. In many instances, ``role creep'' 
results in clerks performing functions that may be beyond their job 
descriptions and GS levels. An inventory of functions should be 
carefully mapped to appropriate GS levels so that individuals are 
properly positioned--and compensated. Better retention will improve the 
impact of training, which should be another area of focus. Training 
should be based on a more standardized and frequently updated 
curriculum, and placed within a more clearly defined management 
infrastructure to support professional growth. A multi-modality 
approach to training should include case-based distance learning that 
leverages a learning management system and permits monitoring both at 
the facility and individual level. Overall, these measures will help to 
ensure that each physician has adequate support from clerical staff, 
which will help to maximize provider productivity.
    Recommendation #3--VA should develop a comprehensive human capital 
strategy that, based on projected needs, addresses impending health 
care provider shortages. In addition to the current shortage of nurses, 
shortages of nurse practitioners, primary care providers, and specialty 
physicians are projected or already realized. VA needs to undertake an 
aggressive strategy that includes increasing provider efficiency (e.g., 
more support staff and exam rooms), using alternate types of providers 
(e.g., family practitioners, doctors of nursing practice, care 
coordinators, coaches), and developing its own aggressive recruitment 
pipeline (e.g., starting the recruitment process in high school, 
providing aggressive tuition forgiveness). Mid-level practitioners, 
especially nurse practitioners, have proven particularly

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valuable in providing or augmenting scarce specialty resources. There 
should be an immediate focus on recruiting, training, and retaining 
mid-level practitioners. Finally, there should be a deliberative effort 
within this human capital strategy to support team medicine, further 
enabling non-physicians to partner with physicians to directly 
accommodate patient needs.
    Recommendation #4--VA should create a stronger financial incentive 
structure. This is especially critical for a location like Hampton, VA, 
where VA must compete head-on with the Department of Defense (DoD) in 
the health care provider marketplace. VA should explore the use of more 
aggressive incentive structures in compensation packages, especially 
for providers. VA should develop supply and demand projection models so 
that future staff needs--particularly for specialty physicians--can be 
anticipated. Recruitment cycles for physicians are often very long. 
Waiting until demand has exceeded supply will inevitably lead to 
chronic delays in care. Staffing needs, especially for specialty 
physicians, should be anticipated based on an understanding of how much 
supply is required to meet changing patient demand, and appropriate 
supply models should be created and used across the enterprise.
    Recommendation #5--VA should accelerate steps to improve the 
agility, usability, and flexibility of scheduling-enabling technologies 
that also facilitate performance measurement and reporting 
functions.\9\ Another example of the cross-cutting effect of 
multidimensional issues is provided by IT, which--when optimally 
designed and deployed--is a critical enabler of human processes. 
However, IT that is not well-aligned to scheduling processes (as 
suggested by the System Usability group of key issues detailed in the 
body of this Report) causes costly, stressful human workarounds, and 
undermines system efficiency. The current scheduling software, which 
was first created in the time of paper records, has a non-intuitive 
``roll and scroll'' interface that can be described as cumbersome, at 
best, to use. From a scheduling perspective, it is outdated; from a 
measurement perspective, it is inadequate--it was never intended to 
perform measurement functions. Nonetheless, VA currently must rely on 
this tool to schedule tens of millions of veterans' appointments each 
year.
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    \9\ There are a number of COTS scheduling packages on the 
marketplace that might help meet VA's scheduling needs either by 
themselves or in concert (see, e.g., http://www.capterra.com/medical-scheduling-software/); VA would need to evaluate them to 
determine whether they satisfy the intent of NVTC's Recommendation 
#5.
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    Recommendation #6--VA should take aggressive steps to use fixed 
infrastructure more efficiently. Facilities should use projection 
models to anticipate needs for increased exam space and plan more 
strategically regarding building and/or leasing additional space. 
Facilities should use demand projection models to anticipate changing 
outpatient demand and should plan to increase space as necessary. 
Failure to use such approaches results in chronic undersupplies of 
space and human resources.
    Recommendation #7--VA should evaluate the efficiency and patient 
support gained by centralizing the phone calling functions in facility-
based call centers with extended hours of operation. While it is 
recognized that the best place for a patient to make a follow-on 
appointment is when leaving a clinic, a majority of the appointments 
made in VA are by patients calling for an appointment or receiving a 
call from VA to schedule an appointment. Because the location of in- 
and out-bound patient scheduling calls differs among VAMCs, this 
evaluation would determine the most beneficial placement of the call 
center function and allow for sharing of lessons learned from 
individual VA medical centers VA-wide. Removing the in- and out-bound 
call requirement from the clinic scheduler's responsibility, if 
appropriate for the individual clinic's needs, will increase efficiency 
of communication with veterans and reduce stress on frontline clerks in 
clinics.
    Recommendation #8--VA should invest in more current and usable 
telephone systems and provide adequate space for call center functions. 
Although most facilities have call systems that can track hold times, 
call abandonment, and other key measures, a number of questions were 
raised about these systems. Given the importance of efficient phone 
communications, a standard for functionality should be established and 
all facilities should be required to meet that standard. Centralized 
call centers improve the efficiency of communications significantly. In 
addition to enhanced technology, call centers should be provided 
adequate space and resources. Robust multi-modal communications 
infrastructures are important to support the frequency of contact 
essential to the Patient Aligned Care Team (PACT) concept of continuous 
healing relationships.
    Recommendation #9--VA should take aggressive measures to alleviate 
parking congestion because it appears to have some impact on the 
timeliness of care. While less important than exam space, parking space 
was found to be in short supply at many VA facilities. Obstacles to 
parking may discourage veterans from keeping their appointments and 
cause veterans to be late for their appointments. Late arrivals can 
disrupt clinic flow for the rest of the session.
    Recommendation #10--VA should engage frontline staff in the process 
of change. Successful process redesign requires behavior change. To 
sustain such change, those who do the work must be engaged in 
redesigning the processes that influence their work and behaviors. This 
is the critical, and often weakest, link between people and processes, 
and if it is not made, process improvement will not be optimized or 
sustained. A culture of innovation must be created in which everyone 
sees improving his or her job, and the processes associated with it, as 
part of his or her job. Success requires a critical nexus between 
leadership, culture, process redesign techniques, and employee 
engagement.
    Recommendation #11--VA must embrace a system-wide approach to 
process redesign because this is the means by which many other 
recommendations may be successfully executed. Processes, the 
intermediate steps by which goals are achieved, often determine whether 
goals are achieved efficiently, or at all. To be successful in 
improving the many complex and interrelated processes that influence 
the timeliness of care, sound systematic approaches must be used. An 
integral dimension of success will be to engage Veterans in process 
redesign. Even when conducted in a rigorous fashion, process redesign 
is not always successful. The most common sources of failure are 
related to poor staff acceptance, failure to actually change behaviors, 
and inadequate leadership. VA faces unique challenges in scaling change 
across an enterprise of its size, which stands alone in U.S. health 
care. As mentioned earlier, one of the key elements of success will be 
engaging frontline staff in the redesign and change process, which will 
increase the probability that processes will be properly redesigned and 
the likelihood that frontline staff will modify their behaviors.

Conclusion

    Improving the timeliness of veterans' care depends upon the 
readiness, willingness, and organizational and personal commitments to 
improve multiple dimensions of a complex, system-of-systems challenge. 
All aspects of the VA enterprise must be

[[Page 70621]]

considered, and proven approaches to ``systems'' engineering and 
redesign must be implemented and scaled across the entire Department. 
This will require strong leadership and engagement of staff who have 
been empowered to affect real and lasting change.
    However, improving the timeliness of care may be viewed in a 
broader context that extends beyond examination of VA's scheduling 
operations. Indeed, it goes to the intent of the Department's attempts 
to institutionalize, since 2010, a different relationship with the 
patient-with the launching of an initiative to transform the primary 
care system into a team-based care model (PACT). The PACT system of 
care shares many features with patient-centered medical homes (PCMH). 
In addition to improving chronic disease management, the VA initiative 
aims to increase veterans' accessibility to their primary care 
providers, improve continuity with the primary care team, intensify 
preventive health services, integrate mental and behavioral health into 
primary care, and enhance coordination of care as veterans transition 
between primary and specialty care providers, hospital and ambulatory 
settings, and VA and private health care systems. The PACT model is 
meant to be proactive, personalized, and veteran-driven, focusing not 
just on the management of disease but also more holistically on the 
veteran's physical, psychological, social, and spiritual well-being. 
The model requires effective communication and coordination among team 
members for acute, preventive, chronic, and end-of-life care to achieve 
improved continuity and efficiency--an aspirational goal in itself that 
remains unfilled across parts of the enterprise.
    Such intensely veteran-focused care would be delivered in many 
forms--not just through face-to-face visits. In this paradigm, the 
health care system would be responsive 24 hours per day, every day, 
whether by phone, email, e-consults, telemedicine, expanded use of 
personal health records, or other means. This vision is expected to 
include individual and group visits, as well as an expanded role for 
team medicine that includes the coordinated efforts of physicians, mid-
level practitioners, care coordinators, and care coaches. Assessments 
of access in this paradigm would not be limited to traditional VA 
measures of wait times and drive times.
    While this model is still somewhat aspirational, it is an 
aspiration that VA is uniquely positioned to achieve. Yet, full 
accomplishment of this objective is what will be needed, at a minimum, 
to restore America's trust in VA's ability to serve the health care 
needs of its veterans.
    NVTC is reminded that VA has a strong history and longstanding 
tradition of innovation--its enterprise-wide electronic health record; 
mail-order pharmacy system; clinical quality measurement and 
improvement programs; barcode drug dispensing system; telemedicine 
efforts; home-based care programs; and a broad array of clinical care 
innovations for special populations such as blind rehabilitation, 
posttraumatic stress disorder (PTSD) care, spinal cord injury care, and 
prosthetic expertise are but a few examples.
    In the past, however, emphasis on innovation has, understandably, 
been more typically geared toward clinical processes. That emphasis 
must be sustained. At the same time, a similar focus must be also be 
placed on innovations that support customer-centric process redesign. 
This will require excellence in executive leadership distributed 
broadly and deeply across the enterprise; correspondingly, this will 
require appropriate levels of empowerment conferred from the top-down.
    Only by persistently staying the course will VA be positioned 
again, to blaze new trails for other health care systems to follow.

Signing Authority

    The Secretary of Veterans Affairs, or designee, approved this 
document and authorized the undersigned to sign and submit the document 
to the Office of the Federal Register for publication electronically as 
an official document of the Department of Veterans Affairs. Jose D. 
Riojas, Chief of Staff, approved this document on November 21, 2014, 
for publication.

    Dated: November 21, 2014.
Jeffrey M. Martin,
Program Manager, Office of Regulation Policy & Management, Office of 
the General Counsel, Department of Veterans Affairs.
[FR Doc. 2014-28055 Filed 11-25-14; 8:45 am]
BILLING CODE 8320-01-P