January 19, 2022

Volume XII, Number 19

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FCC Moves Ahead with Connected Care Pilot Program Notice of Inquiry

The Federal Communications Commission (FCC) today voted to forge ahead on its connected care initiatives by adopting a Notice of Inquiry (NOI) proposing a Connected Care Pilot Program. The program is slated to devote $100 million to support telehealth for low-income Americans. In a press release announcing the initiative, the FCC said the program is particularly intended to advance connected care solutions for both rural Americans and veterans.

The action is largely a culmination of FCC Commissioner Carr’s recent telehealth tour, which took the commissioner to meetings with health care providers around the country. Commissioner Carr has emphasized that, while the FCC has long supported broadband buildout to health care providers, the Connected Care Pilot Program would seek to advance connected solutions on the patient’s end as well.

The FCC’s NOI seeks comment on many important issues for health care providers and consumers in developing cost-effective telehealth solutions. The NOI proposes to allocate $100 million in Universal Service Fund (USF) support for the initiative, along with targeted assistance supporting telehealth solutions for Medicaid recipients and veterans receiving cost-free medical care. The NOI also describes several proposed oversight measures, including limited-duration programs and savings-verification mechanisms.

An earlier FCC press release on the subject cited findings of cost saving reducing the costs of providing health care using connected care solutions, as well as substantially improved patient outcomes. Commissioner Carr also released a statement touting significant bipartisan support on Capitol Hill and elsewhere for the FCC’s efforts in promoting telehealth capabilities. The initiative dovetails with Commissioner Carr’s emphasis on 5G buildout, a topic which is frequently the subject of his public speeches and social media postings.

The FCC’s Fact Sheet on the proposal explains that:

It is critical that all Americans have access to . . . connected care services. However, many low-income consumers, particularly those living in rural areas, lack access to affordable or adequate broad band and might not have the opportunity to benefit from these telehealth services. In this Notice of Inquiry, the FCC would therefore explore launching an experimental “Connected Care Pilot Program” to support the delivery of connected care services to low-income Americans.

The NOI itself observes that the predominant “hub-and-spoke” model of supporting broadband buildout to and among health care providers is no longer the only effective way to facilitate superior patient outcomes and, instead, patients themselves increasingly may need connectivity to support their health care. “By providing care directly to patients in their homes and remotely tracking vital signs and symptoms to detect problems before they arise,” the FCC states, “the new connected health care model is fundamentally changing how patients access treatment.” As a result, the Commission concludes that “universal service support can play a vital role in improving access to cutting-edge digital health resources and bridging the health care divide for low-income patients in particular.”

Among other things, the item will seek public comment on “how the pilot program can improve health outcomes by focusing on particular demographics or geographical areas. Are there particular populations or demographic groups that are more likely to benefit from increased access to and use of broadband-enabled telehealth services?” It also solicits comments on whether the initiatives should focus on particular health conditions that might be substantially improved by access to connected health.In terms of the operational details, the NOI proposes that “each telehealth pilot project could receive up to $5 million in funding to support broadband connectivity to low-income patients and increased capabilities for the health care provider.” Further, “we could permit up to 20 health care providers that serve primarily low-income populations to partner with at least one facilities-based broadband service provider” to deploy enhanced healthcare technologies for these populations.

Finally, the NOI will solicit comment on the types of programs that might be supported by such an initiative. It seeks proposals for specific project models and comments on the potential application process to provide these services, as well as feedback on whether certain categories of proposals should be prioritized over others, and on what bases.

This NOI presents a significant opportunity for health care providers to advance the care of underserved populations by participation in this pilot program; both as it is designed and then as it is rolled out. Initial program participants would likely have the opportunity to support deployment of important technologies and help shape the future of connected care. Further, these projects may have the potential to foster longer-term relationships with telecommunications providers to better serve patients.

Health care providers and telecommunications firms alike should carefully consider how their service models may fit into this pilot program, and may wish to weigh in on this NOI to help frame the conversation in a productive manner. This initiative marks an important new foray into health care by the FCC in a way that seems poised to have wide-reaching ripple effects for years into the future.

© 2022 Faegre Drinker Biddle & Reath LLP. All Rights Reserved.National Law Review, Volume VIII, Number 214
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About this Author

Laura Phillips, Drinker Biddle Law Firm, Washington DC, Communications Law Attorney
Partner

Laura H. Phillips is a partner in and chair of the firm's Government & Regulatory Affairs Practice Group and a member of the Telecommunications & Mass Media Team.  She has over 25 years of experience working in nearly every aspect of the telecommunications market.

Laura counsels wireless and wired technology entrepreneurs and represents these clients on issues related to the development of new technologies, including devoting substantive attention to the development of spectrum auctions, network...

202-842-8891
Anthony Glosson, Drinker Biddle, Privacy & Communications Lawyer
Associate

Anthony D. Glosson assists clients with a range of privacy, communications, and regulatory compliance matters. He is the author of several publications in the field of technology law, and has been selected as a keynote speaker for a Capitol Hill discussion on active cyber defense.

Prior to joining Drinker Biddle, Anthony worked on numerous privacy and communications matters while serving as a law clerk for FCC Commissioner Ajit Pai, technology advocacy group TechFreedom, and state policy forum American Legislative Exchange...

(202) 230-5131
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