The Federal Emergency Administration Company (FEMA) has made Public Help funding for some COVID-19 well being care prices accessible to state, tribal, and territorial authorities entities, and people authorities entities can, in flip, present that funding straight or not directly to well being care suppliers. State, tribal, or territorial governments can apply for and obtain FEMA Public Help funding grants and could possibly use that monetary help to cowl the price of their very own COVID-19-related well being care actions. Non-profit organizations and native authorities entities could also be eligible to obtain FEMA-funded monetary help grants from state, tribal, or territorial governments to defray their prices of performing COVID-19-related well being care actions. Authorities entities and non-profit organizations that obtain FEMA funding could difficulty contracts to for-profit entities to carry out well being care-related companies, equivalent to performing COVID-19 testing, or present health-care associated provides or gear.
To handle the COVID-19 pandemic, FEMA is permitting Public Help funding to reimburse sure prices incurred by well being care suppliers which can be treating sufferers with COVID-19 or are in any other case addressing the COVID-19 pandemic, as defined in additional element under. Nonetheless, FEMA funding can’t be used if it might be duplicative of funding accessible from one other program, public or non-public insurance coverage, or every other supply of funding for a similar goal. For instance, funding obtained by the Supplier Reduction Fund or the Paycheck Safety Program could also be thought-about duplicative of FEMA monetary help.
For current well being care services that obtain FEMA-funded grants, prices referring to COVID-19 therapy that could be eligible to be reimbursed with FEMA funding embody:
Prices straight associated to the therapy of COVID-19 sufferers, together with each emergency and inpatient therapy of COVD-19 sufferers and therapy of each confirmed and suspected circumstances;
Buying and/or leasing specialised medical gear essential to reply to COVID-19;
Buying and delivering Private Protecting Tools, sturdy medical gear, and consumable medical provides essential to reply to COVID-19;
Medical waste disposal associated to COVID-19; and
Sure labor prices related to medical workers offering therapy to COVID-19, if not included in affected person billing or in any other case lined by one other funding supply.
Current well being care services’ prices for well being care associated to therapy of non-COVID-19 sickness or damage are usually not eligible for monetary help or reimbursement.
For non permanent and expanded well being care services that have been created in response to the COVID-19 pandemic and are treating COVID-19 sufferers and non-COVID-19 sufferers, well being care actions and related prices that could be eligible for reimbursement beneath FEMA-funded grants embody:
Prices just like these eligible prices of current well being care services, above, plus well being care prices related to treating non-COVID-19 sufferers;
Lease, buy, or development prices;
Mobilization and demobilization prices;
Working prices (together with gear, provides, staffing, wraparound companies, and medical care not in any other case funded); and
Prices related to sustaining a short lived or expanded medical facility to be accessible for surge capability readiness.
Well being care services ought to remember that FEMA funding for COVID-19 well being care prices presently are restricted to these prices incurred inside six months of the date of the relevant emergency declaration, or till the top of the COVID-19 Public Well being Emergency, whichever comes first; nonetheless, this can be prolonged by FEMA. Organizations and entities taken with receiving FEMA monetary help grants or contracts from recipients of FEMA monetary help funding ought to evaluation their state’s FEMA Public Help web site for extra details about accessible funding, necessities, and procedures for making use of for funding.
© 2020 Foley & Lardner LLPNationwide Legislation Assessment, Quantity X, Quantity 216