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Psychiatric Design and Construction Newsletter
| Bernstein
& Assoc., Architects
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December 2006 |
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In This Issue |
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Featured
News Item:
1.
"A
Plan to Stabilize and Strengthen New York's
Healthcare System - Final Report of the Commission
on Health Care Facilities in the 21st Century",
(c) New York Healthcare Commission,
(12/06)
Current
Work:
1.
Highlights of Current Psychiatric Work at *Bernstein
& Assoc., Architects* | |
|
About Bernstein &
Associates, Architects:
Founded in 1990, *Bernstein & Assoc.,
Architects - PLLC* is an award-winning architectural
firm specializing in : health care, with a sub-specialty
in psychiatric design and construction. |
About Empire Projects,
Inc.:
A division of our firm *Empire Projects, Inc.*
(www.EmpireProjects.com), provides "Owner's Rep"
services to facility owners, including management of the
design and construction process to maintain quality
standards, and assure conformance to budget and
schedule.
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Featured News
Item:
"A
Plan to Stabilize and Strengthen New York's Healthcare
System - Final Report of the Commission on Health Care
Facilities in the 21st Century", (c) New York Healthcare
Commission, (12/06)
Summary of Facility
Recommendations
Per its statutory obligation, the
Commission makes the following recommendations to
rightsize and reconfigure health care facilities in each
region of the state. The recommendations apply equitably
across all regions. The acute care recommendations
address 57 hospitals, or one-quarter of all hospitals in
the state. The acute care recommendations include 48
reconfiguration, affiliation, and conversion schemes,
and 9 facility closures. Collectively, the
recommendations will reduce inpatient capacity by
approximately 4,200 beds, or 7 percent of the states’
supply. The long-term recommendations for downsizing or
closing nursing homes will make highly-targeted nursing
bed reductions of approximately 3,000, or 2.6 percent of
the state’s supply. Twice as many nursing homes will be
downsized as closed. In addition, the long-term care
recommendations will create more than 1,000 new
non-institutional slots.
New York City:
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New York Methodist Hospital and New
York Community Hospital of Brooklyn should merge into
a single entity with two campuses, downsize by an
approximate total of 100 beds, and expand ambulatory
services.
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Victory Memorial Hospital should
close in an orderly fashion and the site should be
converted to a diagnostic and treatment center and/or
a facility offering a continuum of long term care
services.
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Peninsula Hospital should downsize
by approximately 99 beds and St. John’s Episcopal
Hospital should downsize by approximately 81 beds.
Contingent upon financing, the two facilities should
merge and rebuild a single facility with approximately
400 beds.
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Queens Hospital Center should add
approximately 40 medical/surgical beds.
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Parkway Hospital should close in an
orderly fashion,
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Westchester Square Medical Center
should close in an orderly fashion.
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Cabrini Medical Center should close
in an orderly fashion.
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Beth Israel Medical Center – Petrie
Campus should convert approximately 80 detoxification
beds to 80 psychiatric beds.
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North General Hospital should enter
into a stronger corporate relationship with Mount
Sinai Medical Center.
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St. Vincent’s Midtown Hospital
should close in an orderly fashion. The psychiatric
beds and ambulatory services operated by St. Vincent’s
Midtown should be transferred and operated by St.
Vincent’s Manhattan or other sponsors.
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New York Downtown Hospital should
decertify approximately 74 medical/surgical beds and 4
pediatric beds, discontinue inpatient pediatric
services, and reorganize its outpatient clinics under
new sponsorship.
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Manhattan Eye Ear and Throat
Hospital should downsize all 150 beds.
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Split Rock Rehabilitation and
Health Care Center should close, downsize or convert
pending a review by the Commissioner of Health.
Long Island:
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Eastern Long Island Hospital,
Southampton Hospital, Peconic Medical Center should be
joined in a single unified governance structure. The
new entity should develop an affiliation with
University Hospital at Stony Brook. Brookhaven
Hospital should continue joint planning with these
hospitals and explore joining the new entity. All of
these hospitals should implement the bed
reconfiguration scheme described in the complete
recommendation.
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University Hospital at Stony Brook
should be given operational freedom to affiliate with
other hospitals and create a regional health care
delivery system.
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St. Charles Hospital should
downsize 77 medical/surgical beds, convert the
remaining 37 medical/surgical beds to psychiatric and
alcohol detoxification beds, and discontinue its
emergency department.
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J.T. Mather Memorial Hospital
should convert all 37 of its psychiatric and alcohol
detoxification beds to medical/surgical beds.
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Nassau University Medical Center
should downsize by 101 beds and revise its bed
configuration across service lines.
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Long Beach Medical Center should
downsize by approximately 55 beds. Contingent on
other developments, Long Beach should reconfigure as a
smaller facility focused on emergency and ambulatory
services.
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A. Holly Patterson should downsize
by approximately 589 nursing home beds and transfer
its subacute services to Nassau University Medical
Center. A. Holly Patterson should also rebuild a
smaller facility on its existing campus and add
assisted living and possibly other non-institutional
services.
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Cold Spring Hills Center for
Nursing and Rehabilitation should downsize by
approximately 90 nursing home beds an d add a
ventilator unit, and evening adult program, and a
hemo-dialysis center.
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Brunswick Hospital Skilled Nursing
Facility should close and assisted living and possibly
other non-institutional services should be added in
Suffolk County by another sponsor.
Central:
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Crouse Hospital and SUNY Upstate
Medical Center should be joined under a single unified
governance structure under the control of an entity
other than the State University of New York, and the
joined facility should be licensed for approximately
500 to 600 beds.
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Auburn Hospital should downsize by
approximately 100 beds and discontinue its obstetrical
services.
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Arnot Ogden Hospital and St.
Joseph’s Hospital should participate in discussions
supervised by the Commissioner of Health to explore
the affiliation of such facilities.
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Albert Lindley Lee Hospital should
close all of its 67 beds and convert to an
outpatient/urgent care center with Article 28
diagnostic and treatment center licensure.
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Van Duyn Home and Hospital and
Community General Hospital’s skilled nursing facility
should be joined under a single unified governance
structure under the control of Community General
Hospital and downsize their combined number of beds by
approximately 75.
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Mercy of Northern New York should
downsize 76 nursing home beds, add assisted living,
adult care, and possibly other non-institutional
services.
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Willow Point should downsize by
between 83 and 103 nursing home beds, rebuild its
facility in an appropriate configuration, and add
adult day care.
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Lakeside Nursing Home should close
and assisted living, adult day care, and possibly
other non-institutional services should be added in
Tompkins County by another sponsor.
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United Helpers, Canton should
downsize by approximately 64 nursing home beds,
rebuild its facility, and add assisted living and
possibly other non-institutional services.
Hudson Valley:
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Kingston and Benedictine Hospitals
should be joined under a single unified governance
structure, contingent upon Kingston Hospital
continuing to provide access to reproductive services
in a location proximate to the hospital. The joined
facility should be licensed for approximately 250 to
300 beds.
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Mt. Vernon Hospital should downsize
approximately 32 medical/surgical beds, convert
approximately 20 additional medical/surgical beds into
a transitional care unit, convert approximately an
additional 24 medical/surgical beds into mentally
impaired chemical abusers unit.
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Sound Shore Medical Center should
decertify approximately 9 pediatrics and 60
medical/surgical beds and convert additional
medical/surgical and obstetrics beds into level III
NICU beds and detoxification beds.
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Contingent upon financing, Orange
Regional Medical Center should close its existing
campuses and consolidate operations at a new, smaller
replacement facility that is licensed for
approximately 350 beds.
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Community Hospital at Dobbs Ferry
should close in an orderly fashion.
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Westchester Medical Center should
evaluate establishing the Children’s Hospital as an
independent entity and review its clinical service mix
to identify opportunities for reconfiguration that is
non-duplicative of services in community hospitals.
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Valley View Center for Nursing Care
and Rehab should downsize by approximately 160 nursing
home beds and add assisted living, adult day care and
possibly other non-institutional services. The
facility should also convert 50 nursing home beds to
ventilator-dependent and behavioral step-down units.
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Andrus on Hudson should downsize
all 247 nursing home beds and add assisted living and
possibly other non-institutional services.
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Taylor Care Center should downsize
by approximately 140 nursing home beds.
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Achieve Rehabilitation should
downsize by approximately 40 nursing home beds.
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Sky View Rehabilitation and Health
care Center should close, downsize, or convert pending
a review by the Commissioner of Health
Northern:
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Bellevue Woman’s Hospital should
close in an orderly fashion and its maternity,
neonatal, eating disorders, and mobile outpatient
services should be added to another hospital in
Schenectady County.
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St. Clare’s Hospital and Ellis
Hospital should be joined under a single unified
governance structure and the resulting entity should
be licensed for 300 to 400 beds.
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Ann Lee Infirmary and Albany County
Home should merge, downsize by at least 345 nursing
home beds, rebuild a unified facility, and
simultaneously add or provide financial support for
non-institutional services.
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The Avenue and Dutch manor should
merge and downsize by approximately 200 nursing home
beds in a rebuilt Avenue facility and should add
assisted living, adult day care and possibly other
non-institutional services.
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The Glendale Home should downsize
by approximately 192 beds.
Western:
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Millard Fillmore Hospital – Gates
Circle should close in an orderly fashion.
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St. Joseph Hospital should close in
an orderly fashion.
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DeGraff Memorial Hospital should
downsize all 70 medical/surgical beds. It should
convert to a long term care facility encompassing its
current 80 nursing home beds and the 75 nursing home
beds currently at Millard Fillmore Hospital Gates
Circle.
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Sheehan Memorial Hospital should
downsize 69 medical/surgical beds. The 22 inpatient
detoxification beds currently at Erie County Medical
Center should be added to Sheehan, and Sheehan should
add ambulatory care services, methadone maintenance,
and outpatient psychiatric services.
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The facilities controlled by Erie
County Medical Center Corporation and Kaleida Health
should be joined under a single unified governance
structure under the control of an entity other than
Erie County Medical Center Corporation, Kaleida
Health, or any public benefit corporation. The new
entity should have a single unified board with powers
sufficient to consolidate services into centers of
excellence.
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Lockport Memorial Hospital and
Inter-Community Memorial Hospital at Newfane should
engage in a full asset merger and reconfiguration of
services.
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Bertrand Chaffee Hospital should
downsize by at least 25 beds, seek designation as a
critical access hospital, and affiliate with TLC
Tri-County and TLC Lake Shore.
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Brooks Memorial Hospital should
seek designation as a sole community provider.
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TLC Tri-County should downsize 28
medical /surgical beds and convert the remaining 10
medical/surgical beds to detoxification beds.
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TLC Lake Shore should downsize all
42 medical/surgical beds and 40 nursing home beds and
convert to an Article 28 diagnostic and treatment
center. At its option, Lake Shore should continue to
operate approximately 20 psychiatric beds or these
beds should be added by another local sponsor.
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Westfield Memorial Hospital should
downsize all 32 inpatient beds and convert to an
Article 28 diagnostic and treatment center.
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Mount St. Mary’s Hospital and
Health Center or its sponsoring entity and Niagara
Falls Memorial Medical center should participate in
discussions supervised by the Commissioner of Health
to explore the affiliation of such facilities.
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Mount View Health Facility should
downsize all 172 nursing home beds, rebuild a new
facility on its existing campus, add assisted living,
adult day services and possibly other
non-institutional services.
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Nazareth Nursing Home should
downsize all 125 nursing home beds and convert the
facility for use in the PACE program at the former Our
Lady of Victory Hospital.
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Mercy Hospital Skilled Nursing
facility should add 10 beds and transfer all of its
beds to the former Our Lady of Victory Hospital
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St. Elizabeth’s Home should covert
its adult home beds to an assisted living program.
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Williamsville Suburban should
close.
Financing
The Commission’s recommendations will
benefit New Yorkers and the health care system. First,
they will promote stability of health care providers
thereby ensuring access to care and the provision of
public goods. Second, they will reduce unnecessary
public and private spending and produce overall cost
savings for all payors. Third, they will produce
numerous opportunities for reinvestment in the system
thereby providing substantial financial benefits to
providers and the patients served by them.
System restructuring also provides
many savings for payors, both in terms of actual
reductions in current expenditures and avoided future
costs. Such opportunities for savings include reductions
in inappropriate utilization, avoided capital investment
and leveraged savings. The total estimated savings for
payors is around $806 million annually or $8 billion
over ten years. This includes an annual savings to
Medicaid of around $249 million, or $2.5 billion over
ten years, and an annual savings to Medicare of around
$322 million, or $3.2 billion over ten years. The total
estimated benefit to providers is around $721 million
annually or $7.2 billion over ten years. Together, these
calculations yield a total benefit to payors and
providers of over $1.5 billion annually, or $15 billion
over ten years.
The realization of these savings will
also entail costs. Broad systemic changes must be
supported with appropriate resources and investments are
required to implement these recommendations. Potential
costs are associated with closures, new construction,
and affiliations. Not all of these costs will be borne
by the State. It is estimated that implementation will
entail a total cost of approximately $1.2 billion,
including approximately $350 million in closure costs,
$1.1 billion in construction costs, $11 million in
affiliation planning costs, and $300 million in offsets
from the sale of facility real property. Almost $606
million of these costs are attributable to two
contingent projects that the Commissioner will not be
required to implement absent available funding.
Vast and unprecedented sums are
available to support the restructuring of New York’s
health care system and cover costs associated with
implementing the Commission’s recommendations. The
Health Care Efficiency and Affordability Law for New
Yorkers (HEAL-NY) allocates $1 billion over four years
for capital grant funds to finance physical
reconfiguration, conversion, downsizing, or closure of
hospitals and nursing homes. Additionally, the
Federal-State Health Reform Partnership (F-SHRP)
allocates an additional $1.5 billion for similar
purposes.
Although HEAL-NY and F-SHRP and
critical to financing the Commission’s recommendations,
they are not and should not be the only sources of
funding. Indeed, public funds should be used in the most
prudent possible manner. Insofar as facilities are
capable of funding their own closure, conversion,
affiliation, or rightsizing, they should be expected to
do so. The Commission believes it to be appropriate that
costs will be shared among all interested parties.
Taxpayer dollars should be used judiciously and
equitably.
For full text of the report, go to:
http://www.bernarch.com/nys-commissionfinalreport-11-29-06.pdf
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*Highlights
of Current Psychiatric Work at *Bernstein & Assoc.,
Architects*
"Recently Completed":
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The Menninger Clinic – Topeka,
Kansas
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North Kansas City Medical Center
- North Kansas City, Missouri
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Menorah Medical Center - Overland
Park, KS
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Mills Peninsula Medical Services
- Burlington, California (San Francisco Bay Area)
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St. Joseph’s Hospital & Medical
Center - Phoenix, Arizona
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Providence Medical Center -
Kansas City, Kansas
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St. Joseph’s Hospital - Tampa,
Florida
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Mental Health Department - Credit
Valley Hospital Mississauga, Ontario
-
Mental Health Department -
Interfaith Medical Center Brooklyn, NY
-
Psychiatric Institute - Executive
Offices - Creedmoor Psychiatric Center, Queens, NY
-
Rooftop Recreation Facility -
Creedmoor Psychiatric Center, Queens, NY
"In Construction":
-
South Beach Psychiatric Center -
Staten Island, NY
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Bernstein & Assoc., Architects – PLLC 59
West 19th Street - 6A, New York, NY 10011 Ph : 212-463-8200
/ Fx : 212-463-9898 / info@bernarch.com
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Bernstein
& Associates, Architects – PLLC / 59 West 19th St. - 6A,
NY, NY / Telephone
: 212-463-8200
/ Fax : 212-463-9898 10011 /
Email : info@bernarch.com
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