Washington Health Care Association et al v. Dreyfus et al

Filing 57

STIPULATION AND ORDER STAYING CASEby Judge Ronald B. Leighton. (JAB)

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1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 The Honorable Ronald B. Leighton UNITED STATES DISTRICT COURT WESTERN DISTRICT OF WASHINGTON AT TACOMA WASHINGTON HEALTH CARE ASSOCIATION, a Washington non-profit corporation, et al., ) ) ) ) Plaintiffs, ) v. ) ) SUSAN N. DREYFUS, Secretary of the ) Washington Department of Social and Health ) Services, et al., ) ) Defendants. ) ) No. CV09-5395-RBL STIPULATION AND ORDER STAYING PROCEEDINGS IT IS HEREBY STIPULATED AND AGREED BETWEEN THE PARTIES AS FOLLOWS: 1. On July 2, 2009, Plaintiffs filed a Motion for Temporary Restraining Order ("Motion") [Dkt. No 4]. The Court granted the Motion on July 9, 2009, and entered its Order Granting Plaintiffs' Motion For Temporary Restraining Order on July 13, 2009 (herein called the "TRO") [Dkt. No. 28]. 2. By its terms, the TRO enjoined Defendants from implementing a 7.29% reduction in nursing facility Medicaid reimbursement rates for fiscal year 2010 (July 1, 2009, through June 30, 2010) pursuant to Washington's "budget-dial" statute, RCW 74.46.421, as triggered by the $156.37 budget-dial rate set forth in ESHB 1244, § 206(1). STIPULATION AND ORDER STAYING PROCEEDINGS - 1 NO. CV09-5395RBL 120338.0012/1778425.1 LANE POWELL PC 1420 FIFTH AVENUE, SUITE 4100 SEATTLE, WASHINGTON 98101-2338 206.223.7000 FAX: 206.223.7107 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 3. Also by its terms, the TRO shall remain in force until thirty (30) days following a decision by the federal Centers for Medicare & Medicaid Services ("CMS") either approving or disapproving a proposed amendment to the Washington Medicaid State Plan (herein called the "SPA") relating to the establishment of a $156.37 budget-dial rate. Defendants subsequently proposed a SPA to CMS regarding the $156.37 budget-dial rate set forth in ESHB 1244, § 206(1). 4. On October 13, 2009, CMS made a formal request for additional information ("RAI") to Defendants in connection with the SPA. In the RAI, CMS asked Defendants to provide additional information within ninety (90) days of the date of the RAI, i.e., on or before January 11, 2010. The practical effect of the RAI is to delay CMS's consideration of the SPA and, thus, extend the duration of the TRO. 5. The 2010 Legislative Session is scheduled to commence on January 11, 2010, and is expected to adjourn sixty days later. 6. The parties stipulate and agree that it is in their mutual best interest to work toward a legislative solution to issues regarding Medicaid payment rates for nursing facility services, rather than invest more resources into this litigation. 7. In order to achieve that result, Defendants will seek to obtain from CMS ninety (90) additional days to respond to the RAI. If the request is granted, Defendants will not submit a response to the RAI until after the close of the 2010 Legislative Session. Plaintiffs. 8. Plaintiffs and Defendants will suspend all current discovery including outstanding requests for discovery and deposition notices or other discovery requests until after the close of the 2010 Legislative Session. If the request is not granted, the Defendants will confer with the STIPULATION AND ORDER STAYING PROCEEDINGS - 2 NO. CV09-5395RBL 120338.0012/1778425.1 LANE POWELL PC 1420 FIFTH AVENUE, SUITE 4100 SEATTLE, WASHINGTON 98101-2338 206.223.7000 FAX: 206.223.7107 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 9. Neither Plaintiffs nor Defendants will file any motions until after the close of the 2010 Legislative Session, including but not limited to a motion for preliminary or permanent injunction as it relates to the TRO and/or the validity of the Medicaid rate cuts as set by the "budget-dial" statute, RCW 74.46.421, as triggered by the $156.37 budget-dial rate set forth in ESHB 1244, § 206(1). 10. During the stay, Plaintiffs will cease communication with CMS directly or through third parties. 11. Nothing herein shall be construed as inconsistent with the TRO which shall remain in full force and effect by its terms. DATED this 23rd day of November, 2009. LANE POWELL PC _____ Barbara J. Duffy, WSBA No. 18885 Robin Dale, WSBA No. 22166 Ryan P. McBride, WSBA No. 33280 Theodore A. Sheffield, WSBA No. 35874 Attorneys for Plaintiffs ROBERT M. MCKENNA-Attorney General William T. Stephens, WSBA No. 24254 R. Timothy Crandall, WSBA No. 12178 Assistant Attorneys General Attorneys for Defendants ORDER Based on the foregoing Stipulation, it is IT IS SO ORDERED this 24th day of November, 2009. A RONALD B. LEIGHTON UNITED STATES DISTRICT JUDGE STIPULATION AND ORDER STAYING PROCEEDINGS - 3 NO. CV09-5395RBL 120338.0012/1778425.1 LANE POWELL PC 1420 FIFTH AVENUE, SUITE 4100 SEATTLE, WASHINGTON 98101-2338 206.223.7000 FAX: 206.223.7107 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 Presented by: LANE POWELL PC ____________________________________ _____ Barbara J. Duffy, WSBA No. 18885 Robin Dale, WSBA No. 22166 Ryan P. McBride, WSBA No. 33280 Theodore A. Sheffield, WSBA No. 35874 Attorneys for Plaintiffs Approved as to Form; Notice of Presentation Waived: ROBERT M. MCKENNA Attorney General William T. Stephens, WSBA No. 24254 R. Timothy Crandell, WSBA No. 12178 Assistant Attorneys General Attorneys for Defendants STIPULATION AND ORDER STAYING PROCEEDINGS - 4 NO. CV09-5395RBL 120338.0012/1778425.1 LANE POWELL PC 1420 FIFTH AVENUE, SUITE 4100 SEATTLE, WASHINGTON 98101-2338 206.223.7000 FAX: 206.223.7107

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