Start Date
Immediate
Expiry Date
12 Nov, 25
Salary
0.0
Posted On
12 Aug, 25
Experience
3 year(s) or above
Remote Job
Yes
Telecommute
Yes
Sponsor Visa
No
Skills
Color, Reasoning Skills, Regulations, Relocation, Accreditation, Travel, Healthcare Management, Dignity, Compassion
Industry
Hospital/Health Care
INTRODUCTION
Are you passionate about the patient experience? At HCA Healthcare, we are committed to caring for patients with purpose and integrity. We care like family! Jump-start your career as a(an) Manager Medical Staff Services today with Ogden Regional Medical Center.
JOB SUMMARY AND QUALIFICATIONS
GENERAL SUMMARY OF DUTIES: The Facility Manager of Medical Staff Services assists the Division AVP Medical Staff Services with implementation of and compliance with credentialing initiatives/processes. The incumbent is expected to maintain a working knowledge of applicable HCA Healthcare and Parallon Credentialing Processing Center (CPC) policies, accreditation standards and regulations associated with medical staff services, and play a key role in the integration of HCA Clinical Strategies and HCA systems.
WHAT QUALIFICATIONS YOU WILL NEED:
EDUCATION: Bachelor’s degree in healthcare management, business, or related field of study preferred.
CERTIFICATION: Certified Professional Medical Services Management (CPMSM) and/or Certified Provider Credentialing Specialist (CPCS)preferred
EXPERIENCE: Minimum of 3 years credentialing experience in an acute care hospital or CVO setting. Minimum of 2 years supervisory/management experience.
HCA’s Mountain Division offers careers within 11 respected and integrated hospitals within Utah, Idaho and Alaska. While each site is unique in location, size, and community, all Mountain Division facilities share commonalities of compassion, patient-focused, quality care and collaborative teamwork. We know that together, we’re greater. We know that what makes us better makes our patients better. That’s why our facilities consistently receive national recognition for top quality and exceptional safety.
HCA’s Mountain Division hospitals are part of HCA Healthcare - a network of more than 300 affiliate hospitals, outpatient centers and business offices across the country – offering employees the opportunity for travel and relocation. HCA facilities are all about caring for people, and that care extends to patients, families and employees.
HCA Healthcare has been recognized as one of the World’s Most Ethical Companies® by the Ethisphere Institute more than ten times. In recent years, HCA Healthcare spent an estimated $3.7 billion in cost for the delivery of charitable care, uninsured discounts, and other uncompensated expenses.
“The great hospitals will always put the patient and the patient’s family first, and the really great institutions will provide care with warmth, compassion, and dignity for the individual."- Dr. Thomas Frist, Sr.
HCA Healthcare Co-Founder
If you are looking for an opportunity that provides satisfaction and personal growth, we encourage you to apply for our Manager Medical Staff Services opening. We promptly review all applications. Highly qualified candidates will be contacted for interviews. Unlock the possibilities and apply today!
We are an equal opportunity employer. We do not discriminate on the basis of race, religion, color, national origin, gender, sexual orientation, age, marital status, veteran status, or disability status
d. Manage and monitor provider annual education requirements related to credentialing and privileging
d. Participate in facility referral panel meetings – monthly
a. Support and manage up the division centralized credentialing model
b. Serve as a liaison between facility administration and division credentialing team, communicating facility priorities
c. In partnership with CPC and Division credentialing team, communicate with providers and delegates to obtain missing or incomplete information.
d. Manage Type 2 flags at the facility
e. Analyze any available internal data and information for an assessment of qualifications and competencies for each RRFC to include in reappointment applications for facility review.
i. Volume
ii. Focused or ongoing professional practice evaluations (FPPE/OPPE), performance improvement, utilization patterns, peer review, or other performance information
f. Utilize “paper-lite” procedures to prepare applications (RFC, RRFC, RFINCP) for facility review
g. Monitor provider requests for changes of status, adding to appropriate credentialing reports, forwarding to Credentials Committee (CC), Medical Executive Committee (MEC), and Board of Trustees (BOT)
h. Facilitate review, assessment, and authenticated documentation of an evaluation of each application and request for clinical privileges by the department/section chair
i. Facilitate review, assessment and recommendations for each application and request for clinical privileges by the CC and MEC
j. Forward MEC recommendations to the Board of Trustees for approval
k. Forward BOT approvals to Division credentialing team to perform facility post-BOT processes
l. Verify applicant identity in accordance (referring to MSS-004)
m. In partnership with CPC and Division credentialing team, actively manage each provider’s expiring credentials in accordance with CPC-36 and MSS-003
n. Monitor iResponse records in accordance to HCA Information Sharing Policy
o. Facilitate development of eligibility criteria for each clinical privilege or grouping of clinical privileges that require the same qualifications and competencies
p. Assess the applicability and appropriateness of clinical privileges for each specialty through periodic review
q. Facilitate any required regulatory agency reporting of adverse actions taken against a practitioner’s medical staff membership or clinical privileges, as directed by division and facility leadership
4. Medical Staff Education
a. Participate in new provider onboarding, in partnership with other key stakeholders
b. Facilitate annual orientation for new Medical Staff leaders, committee members and governing body
c. Provide annual education to administrators and department directors regarding CPC operations and MSSD operations, and privileging (including temporary and disaster privileging)
d. Manage and monitor provider annual education requirements related to credentialing and privileging
a. Develop self to serve as the facility subject matter expert regarding relevant accreditation and regulatory requirements related to the medical staff
b. Notify the CPC, Division and corporate teams of any upcoming or ongoing surveys relative to credentialing, privileging and PPE/peer review activities and functions
c. Coordinate accreditation, regulatory, and any internal surveys relative to credentialing, privileging and peer review activities and functions
d. Respond to any accreditation and regulatory compliance citations or deficiencies by developing and implementing corrective action plans
e. Partnering with facility stakeholders, such as administration, department directors, quality, operating room staff, continually audit internal processes and databases to ensure providers are appropriately privileged for the services they are providing within the facility
6. Performance Improvement/Peer Review/Patient Safety
a. Coordinate with the facility’s quality department to facilitate focused professional practice evaluation (FPPE), and any related evaluation at the conclusion of FPPE or a period of provisional status
b. Coordinate with the facility’s quality department to facilitate ongoing professional practice evaluation (OPPE)
c. Coordinate with facility leadership in the conduct of internal and external peer reviews
d. Complete a summary of FPPE, OPPE, and peer review results for evaluation by medical staff leaders as part of the R-RFC process, and ongoing as required by policy
e. Monitor and process concerns related to medical staff professional conduct, in accordance to Medical Staff Professionalism Policy
f. Monitor and process concerns related to medical staff health issues, in accordance to Practitioner Health Policy
7. Ethics & Compliance
a. Partnering with ECO, ensure tokens of appreciation and gifts provided to members of the medical staff are appropriately logged on the Business Courtesy Log, in accordance with Ethics & Compliance Policies LL.022, EC.005, EC.006, and EC.008
b. In accordance with Ethics & Compliance Policy EC.023, and in coordination with the facility’s ECO, submit a Reportable Issue report for any instances of a practitioner providing patient care within the facility without a legally required credential (e.g., license, DEA), or while under a Federal or state sanction, or without having current, approved clinical privileges
c. Routinely monitor pertinent Ethics & Compliance Policies and Procedures
8. National Practitioner Data Bank (NPDB)
a. Manage and maintain the NPDB account as the Data Bank Administrator
b. In collaboration with the facility’s Operations Counsel and appropriate facility leaders, submit reports to the NPDB as required by Federal law
c. Manage and respond to any requests for information made as the result of a NPDB report
d. Coordinate the completion of the NPDB’s Attestation by the facility’s Attesting Official at the time of renewal of the facility’s registration with NPDB
9. Miscellaneous
a. Attend scheduled 1:1 with supervisor
b. Meet with facility CEO/CMO on a regular basis
c. Attend Mountain Division Facility Manager/Director meetings – scheduled as needed (Webcam required)
d. Attend Mountain Division Medical Staff meetings – monthly (Webcam required)
e. Attend scheduled meetings with CPC Client Support Manager – monthly (Webcam required)
f. Work scheduled hours and communicate any changes to supervisor
g. Appropriately manage Paid Time Off (PTO), communicating with supervisor and appropriate facility leadership
h. Collaborate with facility and division leadership on miscellaneous projects as needed
i. Collaborate with division leaders on pertinent projects as needed
j. Other duties as assigned