Value for Money Audit of the Labour Market Re-entry Program
Transcription
Value for Money Audit of the Labour Market Re-entry Program
Value for Money Audit of the Labour Market Re-entry Program WSIB Executive Summary of Final Report 1 Table of Contents • Background……………………………………………………………………………………..3 • Project Scope & Objectives…………………………………………………………..…….…4 • Summary Audit Findings………………….…………………………………………………...7 • Findings & Conclusions • – Alignment Review…………………………………….…………………………….….....8 – Risk Management & Control……………………………………………………..….....10 – LMR Program Performance Assessment……………………………………………..14 Prioritized Recommendations….…………………………………..……...….……………..28 • Summary Opinion and Auditors’ Report…..………………………………………….….....43 2 Background • To meet legislative requirements, the Workplace Safety and Insurance Board (WSIB) is required to undertake an annual Value for Money Audit (VFMA) of at least one program delivered under the Act. • For 2003, the Labour Market Re-entry (LMR) Program was identified as the focus for this year’s VFMA. Judy Geary, General Manager of Specialized Claim Services, is the executive sponsor for this audit. • Following a formal request for proposal and vendor selection process, Deloitte & Touche LLP was engaged to conduct the VFMA. 3 Project Scope & Objectives Project Scope The audit begins from the point in the RTW process where a referral for LMR services is made, and focuses on WSIB’s involvement and responsibilities in the LMR program. More specifically, these responsibilities include: • Establishing criteria for selecting, approving, and maintaining a roster of LMR Service Providers. • Identifying those workers who may benefit from an LMR assessment • Determining whether an LMR plan is required to enable the worker to re-enter the labour market and that the plan is the most appropriate for the worker, and cost effective. • Reviewing the recommended Suitable Employment or Business (SEB) to ensure that it will enable the worker to reduce or eliminate his/her loss of earnings resulting from the injury. • Monitoring and evaluating the services provided by the LMR Providers. Project Objectives The purpose and main objective of this engagement is to conduct an external VFMA in order to review the outcomes generated by WSIB’s LMR program. Specifically, the audit will: • Provide an audit opinion as to whether there is value for money in the outcomes generated by the LMR program provided by the WSIB and recommend improvements that could be made. • Assess whether WSIB is getting value for money from external providers of LMR services. • Comment on the validity and/or recommend valid performance measurement indicators that relate to the WSIB stated outcomes for the LMR program, and provide opportunities to enhance operations. • Provide practical recommendations on how to improve the Value-for-Money of services that the WSIB provides, and possible implementation plans and options. • As requested by the WSIB, assist WSIB management in the formulation of the WSIB management response. 4 Project Approach: Specific Audit Criteria • From a “statutory” perspective, the purpose of a Value for Money Audit is to examine and report on the following: • The adequacy of management systems (including performance standards and measurement), controls and practices, including those intended to control and safeguard assets, to ensure due regard to cost, efficiency and effectiveness. (SYSTEMS) • The extent to which resources have been managed in conducting relevant activities with due regard to cost and efficiency. (RESOURCES) • The extent to which programs, operations or activities of an entity have been effective. (OUTCOMES) • Our audit approach involves three components, the combined results of which yield our audit conclusions: • Alignment Review • Risk Management & Control • Program Performance Assessment 5 The Journey to LMR Optimal Performance Developmental Stage Optimal Performance X Emerging January 1998 Legislative Change October 1998 Change from VR to Provider Model January 2004 WSIB has made significant progress towards its goals as related to LMR since the introduction of new legislation. This progress is evidenced by initiatives such as the following: • Development and roll out of PBAS system, designed to assist with the day-to-day management and monitoring of LMR Program, including Primary Provider relationships and costs • Development of LMR training initiatives • Formation of LMR Evaluation unit within QI • Initial development of new RTW strategy incorporating LMR • Preliminary conceptual development of RTW unit to include LMR, as well as the associated accountability model • Formation of LMR Protocols Committee • Undertaking the LMR VFM Audit as a checkpoint to confirm that future direction is appropriate WSIB has made steady progress to date. Continued development and greater focus in particular areas is now required to enable WSIB to attain optimal LMR performance. 6 Summary Audit Findings The graphic below portrays our summary audit findings of each component as it relates to the LMR program only. These findings are outlined in more detail in the following report: Strategic Alignment Risk Management & Control (RMC) LMR Program Performance Measurement & Management (LMR Program PMM) Policy and Legislation Systems Systems Resources Resources Outcomes Outcomes Corporate Outcomes & Legislation LMR Activities to Corporate Outcomes LMR Activities & Legislation WPP Expectations & Legislation Key: Acceptable Some Improvements Required Significant Improvements Required Critical 7 Project Approach: Alignment Review Corporate Outcomes • In the absence of a standalone LMR Strategy (combined RTW and LMR strategy document currently under development) Deloitte conducted the alignment review with reference to Legislation • We first performed a higher level alignment review of legislation with corporate outcomes, policy, and WPP expectations • We then conducted the risk self assessment workshop to identify any further areas of misalignment between these components • We then performed a lower level alignment review to assess the extent to which the current LMR Program supports the legislation Policy Legislation Activities WPP Expectations 8 Alignment Review: Conclusions Policy and Legislation – Having completed an analysis exercise to assess the degree of alignment between the WSIB LMR policy and relevant legislation, we assess the policies to be acceptable in keeping with legislation Corporate Outcomes & Legislation – Having reviewed the alignment between the legislation and corporate outcomes, we are satisfied that the level of alignment is acceptable LMR Activities to Corporate Outcomes – Having reviewed the alignment between LMR activities and Corporate Outcomes, we are satisfied that LMR activities assist with the promotion of broader WSIB objectives, which is an acceptable result. LMR Activities & Legislation WPP Expectations & Legislation – We have also reviewed the alignment between the LMR activities and relevant legislation, which we consider acceptable. – We believe that some improvements are required with respect to the alignment between workplace party expectations and legislation. While WSIB’s activities are clearly in alignment with its legislated mandate, or in some instances exceed the mandate (as indicated by the preceding alignments) this does not meet all workplace party expectations. – There is a disconnect between the workplace parties’ desire for employment and the “employability” mandate of legislation, which is a function of both lack of knowledge and / or fundamental disagreement with the legislation – As such, WSIB may need to develop improved communications to workplace parties to enable better alignment of expectations and/or modify delivery efforts. However, improved communication will not assist those parties who understand the legislation yet fundamentally disagree. 9 Project Approach: Risk Management & Control • Using the input from the documentation review, alignment review and the interview process, we assisted WSIB to perform a self-assessment on the likelihood and potential impact of the risks associated with LMR – respondent scores were averaged and plotted on the matrix below, based on the perceived impact and likelihood of the risk • Following the identification of compensating mitigating controls, we then tested for the adequacy and existence of these controls Average Response to all Polls Audit Opinion Dimensions Impact Systems – “Are controls in place to manage system risks?” Resources – “Are controls in place to manage resource risks?” Outcomes – “Are controls in place to manage outcome risks?” Likelihood 10 Risk Management & Control Self-Assessment: Findings Ris k Re f. L A N M P C J R E B F Q K I O H G D Potential Risk Risk of inadequate performance measurement and monitoring of LMR (system risk) Risk of inappropriate referral to LMR Program (late, early or unnecessary) (system & outcome risk) Risk of WSIB’s reluctance to remove poorly performing Primary Service Providers (outcome risk) Risk that LMR Evaluation Unit audit process is not sufficient to address the risks (system risk) Risk that Primary Service Provider costs are not effectively monitored and contained by WSIB (resource risk) Risk of an inability to obtain buy-in/support from WSIB staff regarding current service model (resource risk) Risk of inadequate Secondary Service Providers service delivery resulting in poor quality outcomes (outcome risk) Risk of adverse public opinion (government, worker, worker representatives, employer, employer representatives) (system risk) Risk of inconsistent application, or absence of, WSIB policy (system risk) Risk of unclear LMR ownership and accountability within WSIB (system risk) Risk of ineffective LMR internal processes, from referral to closure (outcome risk) Risk that WSIB does not know total LMR costs (resource risk) Risk of a failure to ensure that LMR plans are suitable, appropriate and tailored to meet the needs of the worker (system & outcome risk) Risk of inadequate WSIB contract and controls to monitor Primary Service Provider quality and outcomes (system & resource risk) Risk of non-arms length transactions between Primary and Secondary Service Providers (resource risk) Risk of a lack of collaboration between WSIB / Primary Service Providers and the Employer (system risk) Risk of a lack of collaboration between WSIB / Primary Service Providers and the Worker (system risk) Risk of inadequate security and privacy measures (system risk) Score (Impact x Likelihood) 14.1 12.2 11.5 10.9 10.9 10.6 10.6 10.2 9.9 9.9 9.4 9.3 9.0 9.0 8.1 7.6 7.0 5.7 11 Risk Management & Control: Conclusions Systems: • In our opinion, WSIB has demonstrated that controls are in place to manage certain systems risks to an acceptable level of exposure with potentially some improvement opportunities. For other systems risks, the degree of risk exposure was selfassessed as either Significant Improvements Required or Critical. • We believe that although much data has been collected, it has not been appropriately tailored to track meaningful performance measures for the LMR program. Meaningful performance measures would facilitate the management of a number of the top operational risks identified. In addition, the PBAS tool has not been used to its full potential, both due to system issues and a lack of user knowledge and accessibility. • Further, while some activity level roles and accountabilities are clear, there are areas in which it is less clear which may be adversely impacting outcomes. In particular, there is currently no overall program accountability. • Further, there is a need for both PSP (Primary Service Provider) and SSP (Secondary Service Provider) performance to be linked to outcomes. This has not occurred to date. • Overall we deem the risk and controls related to system risks as requiring significant improvement. Systems 12 Risk Management & Control: Conclusions n Resources Resources: • • n Outcomes Most resource risks were self assessed as requiring some improvement. Our testing of controls on these risks revealed an acceptable level of exposure. The key improvement area is the need to ensure the visibility and integrity of all program costs. Overall, we assess risk and control related to resource risks as requiring some improvements. Outcomes: • • Outcome related risks were self-assessed as requiring some or significant improvement. One of the primary driving factors behind this is the fact that PSP and SSP performances are currently not linked to outcomes. For those outcome risks self assessed as “acceptable with some improvements”, we confirmed the existence and adequacy of the controls in place. Overall, we assess risk and control related to outcome risks as requiring some improvements. 13 Project Approach – LMR Program Performance Assessment Using the input from our higher level alignment review, the risk self assessment, the documentation review and the interview process, we determined the extent to which the current LMR program is achieving Value for Money for the WSIB. Audit Opinion Dimensions Systems Selecting/ Managing PSP Performance Management LMR Needs Assessment Performance Management • Accountability • Organization Structure • Activity Alignment With Legislation Resources Performance Measurement • Activity Economy • Activity Efficiency Outcomes Performance Measurement • Activity Effectiveness Case Management 14 LMR Program Performance Assessment - Key LMR Activities Selecting and Managing LMR Service Providers Assessing the Need for the LMR Program LMR Case Management LMR Performance Management Select and Extend Contracts with Primary Service Providers LMR Threshold Decision LMR Plan Implementation Provide Information to Providers Evaluate and Monitor Quality of Services Provided Communicate with Worker and Accident Employer (AE) LMR Addendum Process Manage Quality and Continuous Improvement Manage Relationships with Service Providers Prepare LMR Referral Monitor, Evaluate and Review LMR Plan Manage Costs and Develop Performance Measures LMR Assessment LMR Billings and Invoicing Manage Stakeholders LMR Plan Approval LMR Closure Manage Internal Resources For analysis purposes, we divided the LMR process into four phases and corresponding key activities. These phases and/or activities do not necessarily follow a linear sequence. 15 LMR Program Performance Assessment - Systems Findings (Performance Measures Existence, Role Clarity, Accountability related to LMR) M anag e Relat io ns hip s wit h Service Pro vid ers Pro vid e Info rmat io n t o Pro vid ers X S S S S S LM R Ad d end um Pro ces s S X M anag e Qualit y and Co ntinuo us Imp ro vement S S S S Prep are LM R referral S S M o nito r, Evaluat e and Review LM R Plan S X M anag e Co s t s and Develo p Perfo rmance M eas ures X X LMR As s es s ment S S LM R Billing s and Invo icing S S M anag e St akeho ld ers S S S X LMR Plan Ap p ro val S S LM R Clo s ure S S M anag e Int ernal Res o urces S S S X X Co mmunicate with wo rker and accid ent emp lo yer X S S Key: Measure/Role Accountability Comprehensive/Defined S: Some/Somewhat Defined Efficiency Measures Effectiveness Measures Efficiency Measures Effectiveness Measures Efficiency Measures Effectiveness Measures S Accountability Defined S Role Defined S Accountability Defined LM R Plan Imp lement atio n S Role Defined S LMR Thres ho ld Decis io n S X LMR Performance Management S Accountability Defined S LMR Case Management Accountability Defined Evaluate and M o nito r Qualit y o f Services Pro vid ed Assessing the Need for the LMR Program Role Defined Select and Ext end Co ntract s wit h Primary Service Pro vid ers Role Defined Efficiency Measures Effectiveness Measures Selecting and Managing LMR Service Providers N/A N/A X: None/Overlap, Gap or No Definition Note: •All activities have been assessed only within the scope of LMR. •Refer to Appendix 3 & 4 for detail on measures and roles At the current time, limited performance measures exist. While roles and accountabilities are clear from the point of referral to closure, overall process role and accountability is less clear, particularly with respect to performance management. 16 LMR Program Performance Assessment – Reduction in Loss of Earnings Benefits LMR Closure Phase 3 Benefit Rates at Referral Date to Benefit Rate 30th Date After Closure: October 1998 - October 2002 Benefit Rate on 30th Date After LMR Closure $800.00 Interpreting the 45 Degree Line: • The 45 degree line indicates the range where there has been little to no loss of earnings 30 days after the closure of LMR. $700.00 • Points below the line indicate a reduction in LOE benefits after LMR completion. $600.00 $500.00 • Those points only slightly above the 45 degree line likely represent those workers granted full benefit, adjusted for cost of living allowances. Potential reasons for full benefits include processing lags, 100% LOE awards and cases closed for medical reasons. $400.00 $300.00 • Those points significantly above the line show cases where there has been an increase in LOE. One reasons for this may be the result of non-cooperative cases where the worker has re-entered the program. $200.00 $100.00 $0.00 $0.00 $100.0 $200.0 $300.0 $400.0 $500.0 $600.0 $700.0 $800.0 0 0 0 0 0 0 0 0 Benefit Rate on LMR Referral Date • WSIB should investigate other factors that contribute to variations in LOE% on closure. Source : WSIB Legacy System Data (includes all cases with a closure code) The graph suggests that LMR has been fairly effective in reducing LOE 30 days after closure at an average of approximately $126.60 weekly across all closed cases. However, given various data complexities, it is difficult to draw firm conclusions. Beyond the 30th date after closure, the trend is for further declines in LOE benefits. WSIB should use this concept in its development of performance measures for the LMR program. 17 LMR Program Performance Assessment - Total LMR Cost 1998-2003 Manage Costs and Develop Performance Measures Phase 4 At the current time, all meaningful cost analysis should be done on an aggregate basis for 1998-2003 . • Annual costs have increased year-over-year as more workers have participated in the program. On program maturity, costs will stabilize,making comparison easier year-over-year. • Historically, annual Provider costs have been recognized at time of payment. Given the payment backlog early in the program, the year of payment may not correspond to the year the cost was incurred, again making annual comparisons difficult to perform. 1998-2003 % External Costs Primary Secondary $ 136,588,331 33.4% 185,087,449 45.2% Worker 59,747,316 14.6% $ 381,423,096 93.2% Total External RTW Advisors 1.2% Worker 14.6% Internal Costs RTW Advisors Adjudicators Nurse Case Managers LMR Program Adjudicators 4.7% $ Total Internal 5,092,852 19,226,363 279,341 3,368,444 $ 27,967,001 1.2% 4.7% 0.1% 0.8% 6.8% Total LMR Cost $ 409,390,097 100% Nurse Case Managers 0.1% LMR Program 0.8% Primary 33.4% Secondary 45.2% Over the life of the LMR Program, Primary and Secondary Provider Costs have represented close to 80% of total program costs, which exemplifies the need to have strict monitoring procedures over these areas. Of note though, administration costs represent only 7%, which is low for program administration (10% is a typical benchmark). 18 LMR Program Performance Assessment – Employment vs. Employability Outcomes Manage Costs and Develop Performance Measures Phase 4 Outcomes for Completed LMR Programs Jan 99-Oct 02 100% 90% 80% 33.0% 31.0% 22.7% 23.0% 36.0% 37.0% 23.0% 22.0% 17.0% 16.0% 17.0% 16.0% 32.0% 70% 60% 22.0% 50% 40% 13.0% 14.5% 18.0% 30% 20% 10% 0% 17.0% 17.2% 7.0% 5.8% 6.8% 9.0% Overall Duration 0-12 months 3.0% 4.0% Duration 13-24 months 21.0% 5.0% 4.0% Duration 25-36 months 2.0% 5.0% Duration 37-48 months Employed Accident Employer - No Benefits Employed Accident Employer - Partial Benefits Employed Other Employer - No Benefits Employed Other Employer - Partial Benefits Employable - No Benefits Employable - Partial Benefits Source: Board of Directors Presentation Tracking of outcome data for LMR is still evolving for those completing the program. Overall 44% achieve employment with partial or no benefits. 47% of Workers with no benefits are either employed or considered employable (the main LMR objective). 19 LMR Program Performance Assessment – Complete vs. Incomplete Outcomes Phase 4 Manage Costs and Develop Performance Measures Status LMR Referrals 1998-2003 Declined Employment 0% No LMR Activity 3% Breakdown of Drop Out Rate for LMR Cases 1200 Open Cases 29% 1000 800 600 Completed LMR 47% Open Cases with Plan End Dates Before January 2004 9% Drop Out Rate 12% 400 200 0 W o rke r Unwilling M e d ic a l Imp a irme nt C o mp e ns a b le M e d ic a l Imp a irme nt - No n C o mp e ns a b le W it hd ra w n De c e a s e d Source :PBAS • Since the inception of the LMR program, 47% of all cases referred have been completed (employable or employed) while the drop out rate was 12% of cases. • Drilling down on the drop out rate, the large number in the “Worker Unwilling” category may indicate a need for improvement around worker involvement in plan preparation. • At the time of analysis, 29% of cases were still open. • Open cases with plan end dates before January 2004 represented 9%. These plans have likely been completed but have not yet been assigned a closure code. Ensuring that closure codes are accurate / up to date and consistently input by Adjudicators is important to enable accurate analysis and interpretation of PBAS data moving forward. 20 LMR Program Performance Assessment – Cost-Benefit Analysis In order to assist with the formation of the Value for Money Audit opinion we developed a high-level cost-benefit model, which should serve as a baseline from which WSIB should develop more sophisticated and accurate analyses. $ Cost - Benefit Theory Years of Benefit Time Difference in LOE benefit pre and post LMR • For each LMR case, WSIB incurs program costs • The financial benefit accruing to WSIB is the difference in cost between LOE benefit paid pre and post LMR – it is assumed that LOE pre LMR would otherwise remain constant • The sum of the net present value of the cash flow streams for each case represents the cost-benefit to WSIB LMR Program Cost $ Cost - Benefit Calculation Assumptions 21 years(1) (3) Time Annual Difference in LOE benefits $117m ($6,583(1) for 13,283(3) completed cases) Cumulative LMR Program Cost Sources: (1) WSIB legacy system (2) LMR Cost Benefit: Net Present Value $363m $409m(2) Deloitte Analysis • Cumulative program costs (1998-2003) have been used in totality in the absence of accurate annual case level costs • Timeframe is based on average age of worker for all LMR closed cases between 1998-2003 • A discount rate of 10% has been applied, which is not material to the analysis. (3) PBAS 21 LMR Program Performance Assessment – Cost-Benefit Analysis Interpretation • This high-level analysis shows that from purely a financial perspective, the WSIB obtains value from the funds invested in the LMR program. • It is a matter of interpretation as to whether this equates to value for money from an outcomes perspective. • WSIB needs to develop and standardize a more robust cost-benefit calculation. Potential enhancements would include: – Segregation of program costs, at a minimum on an annual basis (requires correct accrual accounting) or ideally on a case level. – Completion of full LMR cycle (72 months post injury date) so that LOE is finalized – Individual case level calculation of avoided LOE benefits – Inflation adjustment for historic costs 22 LMR Program Performance Assessment – Resources and Outcomes Findings Phase 4 Manage Stakeholders As part of the VFMA, we conducted a focus group with worker representatives in order to solicit worker input on the LMR Program. Key findings are summarized below: Worker • Skeptical of quality of LMR assessment and expectation of a more holistic assessment of worker impairment. • Desire for WSIB to undertake a more thorough assessment in determining whether a worker is capable of any type of work, in order to make the decision on appropriateness of LMR (vs. benefit payout). • Skeptical of quality of secondary service providers. • Skeptical on profit maximization motives of primary service providers and potential conflict of interest between Primary and Secondary Service Providers. • Expectation that WSIB better manage service provider quality and outcomes. • Desire to shift LMR mandate from “employability” to an assessment of “available and sustainable employment”. • Desire for greater worker involvement in the LMR decision and Program. • Desire for a more direct link between worker and WSIB (versus through Service Provider). • Expectation that where there are worker representatives, there will be an opportunity for their involvement in the LMR Program and plan. • Expectation of Physician involvement in the LMR Plan decision. 23 LMR Program Performance Assessment – Resources and Outcomes Findings Phase 4 Manage Stakeholders As part of the VFMA, we conducted a focus group with employer representatives in order to solicit worker input on the LMR Program. Key findings are summarized below: Employer • Skeptical on level of scrutiny applied to determining appropriateness of LMR decision for worker. • Expectation that LMR should be focused only on those workers that require it. • Desire for improved case and medical management of the worker throughout the LMR Program. • Skeptical of quality/capability and accountability of service providers (Primary and Secondary) to WSIB. • Expectation that WSIB demand greater accountability from service providers including the linking of referrals to service provider outcomes. • Expectation of greater accountability of WSIB to employers including more detailed reports of costs and outcomes of LMR Program to employers. • Desire for information as to how the LMR program fits within the context of other WSIB programs. • Desire for greater involvement of employer in LMR decision and Program. • Expectation of maximum return on investment for employers, based on a thorough cost/benefit analysis. There appear to be some areas of commonality in expectations between workers and employers. 24 LMR Program Performance Assessment: Conclusions • Systems: – Systems – – – – Having assessed the performance management and accountability systems in place, we find that significant improvements to existing systems are required. It is noted however that WSIB has initiated some work in this direction and is clearly committed to implementing further improvements, as demonstrated by the recent development of a new RTW strategy that has started to integrate LMR, and the planned proposal to develop a corporate level accountability model for LMR. In addition, the on-going development and roll-out of the PBAS system should significantly enhance performance management and accountability. However, it will be critical for PBAS to deliver reliable reporting information and for WSIB to share that information throughout all levels of the organization. Another key area requiring significant improvement is the need to develop performance measures for the LMR Program. This needs to start at the strategic level after the development of clearly defined strategic objectives for LMR, and cascade down through the organization and across service providers at the activity level. While the current service provider audit process is a positive step, WSIB does need to assess the effectiveness of this process and other controls with a view to addressing current limitations of the primary service provider process (e.g. audit sample selection, relationship management versus audit independence), as well as considering options to establish controls over secondary service providers. Given all of the above factors and the importance of this area to the success of the LMR program, we assess this area as requiring significant improvement. 25 LMR Program Performance Assessment: Conclusions • Resources: – Resources – – – – – Given the ‘proxy’ nature of existing performance measures and the limited conclusive data available, we can at this time only provide a limited assessment on the efficiency of the LMR Program. While PBAS does contain information on provider costs, there is currently no capability to track overall program costs (internal and external) and match them to outcomes. As more data becomes available from PBAS and users become more comfortable, it will be important to develop the level of sophistication of cost efficiency analysis, including an assessment of case management cost drivers. Our preliminary review indicates that PBAS also contains the data to monitor other efficiency measures such as the elapsed time between key events in a case. Currently, such measures have not been defined (refer to Systems conclusion) so are not being reported from PBAS. While our cost analysis shows an increase in annual costs, it is difficult to draw firm conclusions since the program has yet to complete a full cycle, resulting in the only meaningful cost analysis being performed at an aggregate level. The preliminary cost-benefit analysis demonstrated that WSIB is obtaining financial value from the LMR program. It will be necessary to reassess ‘efficiency’ (including economy or cost) once appropriate measures are in place and more data available. This also includes the need to review all costs and efficiency measures once WSIB has experienced a complete LMR cycle (referral to 72 months post accident) and has the capability to track this through PBAS. 26 LMR Program Performance Assessment: Conclusions • Outcomes: Outcomes – Given data limitations and the immaturity of the program there is currently limited conclusive data available. We can at this time therefore only provide a limited assessment on the effectiveness of the LMR Program. – Having assessed the current data related to outcomes from the LMR program, we find that performance is satisfactory with some improvements required. The PBAS system has significantly enhanced the ability to track outcome data by case for those workers accepted into LMR. – Although the goal of the program is employability, approximately 44% of completed programs result in actual employment, either with zero or partial wage loss – 47% of workers with no Loss of Earnings Benefits either find employment or become employable. – Current data indicates that, since inception of the LMR Program, 47% of cases have been completed with a 12% drop out rate. Although the balance of cases are still “open”, the drop out rate appears reasonable given that, in some instances, there are legitimate reasons. WSIB must closely monitor the drop out rate and its contributing factors. – The challenge facing WSIB is to establish targets for improving these outcomes over time and link them to service provider performance, both primary and secondary. In addition, WSIB needs to pay close attention to the completion rate for LMR programs and begin to match outcomes to avoided LOE benefits resulting from successful LMR. This would allow comparison to the total cost of providing the LMR program and provide WSIB with a quantified value of the program. – It will be necessary to reassess ‘effectiveness’ once appropriate data is available. This includes the need to review outcomes once WSIB has experienced a complete LMR cycle (referral to 72 months post accident) and has the capability to track this through PBAS. 27 Overall Prioritized Recommendations High Priority (refer to appendix for assessment criteria): • Single Consolidated LMR Strategy • Multi-functional integrated LMR Program performance measurement and management system and processes • Defined LMR accountability mechanism • LMR operating principles and procedures for Service Delivery Teams & other process participants • LMR Service Provider performance and accountability - Development of service provider performance management model - Improvement of PSP Audit Process Medium Priority: • Role clarification • Periodic reassessment of LMR risk management activities • Action plan to introduce controls for risks rated as requiring significant improvement • Internal and external communication strategy on mandate/goals and outcomes of LMR Program • Monitoring and containment of Service Provider costs by WSIB 28 High Priority Detailed Recommendations & Management Responses Single Consolidated LMR Strategy: § The WSIB has already commenced the process of developing a strategy for RTW that incorporates the LMR Program. While we completely support the recognition of the need to view RTW and LMR as integrated processes, we recommend that the current version of the strategy be updated to reflect some of the findings from this audit, including the need for clearly defined LMR strategic objectives, in the context of an integrated RTW and LMR process. Management Response: Management agrees that it will be beneficial to provide more comprehensive strategic direction on the LMR program. This will be developed by end of Q1 2005, and integrated with the RTW Strategy. 29 High Priority Detailed Recommendations & Management Responses Multi-Functional Integrated LMR Program Performance Measurement and Management System & Process Performance Management System § Develop an integrated multi-functional performance management framework that aligns with LMR strategic principles (refer to Alignment conclusions for the need to develop clearly defined LMR objectives) and facilitates effective monitoring of performance towards defined LMR goals and outcomes. This will require significant effort on the part of WSIB. – Define LMR outcome measures at a corporate, functional and provider level. This is an iterative process that should be revisited with business changes. – Critically select/develop those process measures that are essential to achieving LMR program objectives. – Ensure measures are defined and tracked in a consistent manner throughout WSIB. – Link outcomes to service provider performance. – Monitor key measures on an ongoing basis (may be more frequent than annually). – Develop formalized cost/ benefit calculation for LMR program, ensuring that all costs can be tracked on an annual basis. Performance Management Process § Develop appropriate performance management mechanisms/processes/systems to ensure performance results are used to alter practices to facilitate continuous improvement. – Build upon, integrate and ensure coordination among existing functional and other performance management initiatives (e.g. QI, Global and External Audits, functional area specific projects, corporate outcomes initiative). – Leverage PBAS for reporting and maximize availability of information as required throughout the organization. – Provide users with sufficient and appropriate training of PBAS. Establish a database of identified user problems and provide training to address these gaps, whenever necessary. – Provide PBAS user one-stop user technical support. 30 High Priority Detailed Recommendations & Management Responses Performance Management and Monitoring of LMR (continued): Management Response: § While performance measures for LMR do exist, management agrees that a systematic review will be appropriate in conjunction with setting strategic direction for LMR. § The WSIB will develop an integrated, multi-functional performance management framework and process for LMR, including both process and outcome measures to supplement those we currently have. This will be done by the end of Q2, 2005. The new RTW/LMR unit will be responsible for tracking and monitoring these measures, and for using the results to continuously improve the LMR programs. Leveraging PBAS will be necessary to this endeavor. § The WSIB now has a significant amount of data on LMR in the new PBAS system. A data "cube" is currently being created in the Enterprise Information Warehouse (EIW) to store the data. A data extraction tool will be in place by the second quarter of 2004 and will help us translate that data into information. Management will also identify methods to make information on LMR program performance readily available throughout the organization and to stakeholders. § Several activities are already underway to improve user knowledge of PBAS. Also, significant strides have been made to improve the functioning of PBAS, and these efforts will continue throughout 2004. Once these are complete, in 2004, it is anticipated that users will experience improvements as the system continues to be enhanced. User problems are and will continue to be logged. 31 High Priority Detailed Recommendations & Management Responses Defined LMR Accountability Mechanism: • Develop an accountability mechanism/structure with more defined accountability at the strategic level for the LMR program. Integration and coordination of all activities and functional and service provider areas related to LMR is critical. - Building upon the on-going work in this area, ensure integration with RTW is achieved to recognize the continuum from RTW to LMR. - Ensure definition of overall program strategic ownership to include responsibility for all phases in the program. - Clarify and potentially redesign and communicate the accountability of the LMR Evaluation unit to ensure fair, appropriate and consistent organizational expectations of this group. • Defined ownership at the strategic level for the LMR program level will also facilitate a focus on initiatives such as investigating the impact of various variables on LMR outcomes and developing best practice protocols to impact these outcomes. Management Response: In 2003, an accountability mechanism/structure for both RTW and LMR was developed and approved for implementation in 2004. Program level ownership of LMR has been identified and approved in the proposal to create a RTW/LMR unit to provide integrated program leadership, development and oversight to these two key business activities. It will be responsible for researching factors and practices contributing to better outcomes, and building these findings into program delivery. During the implementation of the new unit in 2004, the accountability of the LMR evaluation unit will be articulated and communicated within the context of the mandate for the new RTW/LMR unit. Implementation of the unit began in Q1, 2004, and will be substantially completed by year-end. 32 High Priority Detailed Recommendations & Management Responses LMR Operating Principles and Procedures for Service Delivery Teams & Other Program Participants: § § § The LMR legislation is high level and as such does not define a specific operating model, and detail on how to operationalize its intent. Improved clarity would be achieved by the development of operating principles and procedures around: the desired balance between WSIB’s social / public policy mandate and cost efficiency, recognizing that these are not necessarily mutually exclusive. For example, when reviewing a case, is the first assessment filter applied by an adjudicator to consider how to maximize the outcome for the worker (employability at the highest possible wage), or is it to successfully complete the LMR program at the lowest cost to WSIB? the manner in which it wishes to operationalize this mandate such that staff can link individual actions and decisions to LMR objectives the roles, responsibilities and communications with service providers Operational principles and procedures should also define guidelines related to regular and timely worker involvement. In addition, it will be beneficial to consider developing case management guidelines along the most significant complexity factors (e.g. injury type/severity, worker age . Education etc.) which would promote internal consistency and assist with service provider communications and monitoring. This leverages the concept of performing research analytics to help develop case management standards. 33 High Priority Detailed Recommendations & Management Responses LMR Operating Principles and Procedures for Service Delivery Teams & Other Program Participants (continued): Management Response: In 2003, work was conducted through the LMR Roles Protocols Committee to improve role clarity for those involved in administering the LMR process, and to more clearly explain to staff how LMR decisions are to be case managed. In 2003 an LMR policy and process refresher-training program was given to staff who required it. We do agree, though, that further work needs to be done on an operating model. The model will be developed by the end of Q2, 2005, and will contain all of the components identified by the auditors. In addition, Operational principles and key concepts/definitions will be included in the strategic direction document for LMR. More detailed procedures and case management guidelines will be developed by the RTW/LMR unit during the course of their normal work. 34 High Priority Detailed Recommendations & Management Responses Development of a Service Provider Performance Management Model • Develop and enforce a formal performance management model to link accountability to provider outcomes and assist with the removal of poorly performing service providers (Primary and Secondary). This requires a shift from WSIB’s current “behavioural modification” model to a more compliance based “business outcomes” model. • Formally monitor Primary Service Provider (PSP) outcomes to drive PSP performance and accountability (of PSP directly and Secondary Service Provider (SSP) indirectly). • Establish a formal schedule to reissue RFP for service providers. • Continually review existing accountability contracts with Primary Service Providers to ensure accurate reflection of changing business needs. Link accountability to provider outcomes. Management Response: We now have six years experience managing the primary service providers, and more data with which to assess their performance. We agree that the process needs to be better defined to tie evaluation to outcomes and to ensure that standards are met. This will be included in a revised provider management model. This model will be developed and implemented in 2005. 35 High Priority Detailed Recommendations & Management Responses Improvement of LMR Primary Service Provider Audit Process: • There is a need to improve the LMR Primary Service Provider Audit process: – The current system involves annual audits for each provider. The annual timing of these audits may enable the primary providers to anticipate these. It would therefore be useful to supplement these audits with other control mechanisms. – There is an element of self reporting at the moment in that primary providers are responsible for entering case information into PBAS. Since the audit sample is selected from PBAS, there is no control over the completeness of cases within PBAS, from which to select the sample. – At the current time, limited financial analysis is performed to identify high risk audit targets. Such analysis would lead to the development of a more risk-based audit approach which would allow for a more efficient deployment of audit resources and potentially a higher return. – Examine other audit opportunities for the Unit, similar to some of those undertaken in 2003, e.g. look at specific audit subjects such as claims receiving a specific type of service vs. the more global audit generally performed. – PBAS has great potential for data mining to tie service providers, both primary and secondary, to specific outcomes and cost. • Since secondary service provider costs represent the largest component of overall LMR program costs, it is imperative that WSIB examine various audit and control possibilities for these providers. 36 High Priority Detailed Recommendations & Management Responses Improvement of LMR Primary Service Provider Audit Process (continued): Management Response: Management agrees with this recommendation. The audit process will be revised to reflect a revised provider management model. The LMR evaluation unit will strengthen the audit program and will continue to develop a range of audit opportunities, such as random audits, and subjects, such as audits on specific types of program or issue. WSIB does currently independently select the audit sample. In addition, the development of the proposed service provider performance management model will address audit sample selection, methods, and targeting. It will also identify other mechanisms to be used in managing provider performance. The model will also describe the method by which the WSIB will exert greater control over secondary service providers. PBAS data will be valuable in managing providers once it is more available and accessible. 37 Medium Priority Detailed Recommendations & Management Responses Role Clarification: • Closely linked to the definition of accountabilities, define and clarify roles and case management responsibilities in the LMR Program. – While the broad role definition related to the case management component of the LMR Program is relatively clear, particular focus is required for Phase 1 (Selecting & Managing LMR Service Providers) and Phase 4 (LMR Performance Management). – Define all required activities for all phases. – In defining the role of the adjudicator in LMR, it will be important for the WSIB to take into account workload and job complexity of current duties. Management Response: In 2003, work was conducted through the LMR Roles Protocols Committee to improve role clarity for those involved in administering the LMR process, and to more clearly explain to staff how LMR decisions are to be case managed. We agree that further work is required to clarify roles and accountabilities, particularly in Phases 1 and 4 of the program. This will be included in the accountability and operating models and the Performance Measurement framework recommended earlier. 38 Medium Priority Detailed Recommendations & Management Responses Periodic Reassessment of LMR Risk Management Activities: • Develop / put in place a mechanism to proactively, systematically and periodically assess risks and risk management activities of LMR to be consistent with overall WSIB Risk Management practices: • Continue to monitor the effectiveness of current controls so that the degree of exposure is not increased. • Continue to refine and evolve risk management processes, always aligning such efforts with Corporate and Divisional LMR outcomes in the context of efficiency, effectiveness and cost benefit (economy). • Incorporate gaps / exposure areas and corresponding risk management efforts into the annual business planning process. Management Response: The WSIB has developed and implemented a corporate risk management program. In addition, risk assessment and management are built into the WSIB project management methodology. The new RTW/LMR unit will incorporate these risk management methods into the annual business planning process. 39 . Medium Priority Detailed Recommendations & Management Responses Action Plan to Introduce Controls for Risks rated as requiring Significant Improvement : • Identify and implement action plans to introduce controls to effectively manage those risks assessed as requiring significant improvements and critical during the risk selfassessment. These action plans then need to be monitored to ensure the effectiveness of these controls on a go-forward basis. Management Response: An action plan to mitigate the self-assessed risks will be developed in 2004. The RTW/LMR unit will then be responsible for implementing them and monitoring their effectiveness. The development and tracking of performance measures and clarifying LMR ownership and accountability will substantially address all of the self-assessed risks. 40 Medium Priority Detailed Recommendations & Management Responses Internal & External Communication Strategy: § Develop a mechanism to ensure the organization-wide communication of the integrated RTW and LMR Strategy and its links to policies & performance outcomes to facilitate “buy-in”. § Develop a mechanism to enable better alignment between WPP expectations and WSIB’s legislated mandate and the operationalization of this mandate, and to communicate performance outcomes and cost related information. Management Response: Management agrees that there is a need to develop communication plans to inform staff and stakeholders of program performance and new developments as they occur. The Communications Division is currently developing a plan to communicate LMR outcomes and associated costs to stakeholders. Internal and external communication plans will be developed as other major milestones are met. The internal and external communication of an integrated LMR strategy will be a mechanism to better align WPP expectations and the WSIB’s operationalization of its mandate. In 2004, the WSIB will be increasing communications about return to work, providing an additional opportunity to communicate LMR information. 41 Medium Priority Detailed Recommendations & Management Responses Monitoring and Containment of Service Provider Costs by WSIB: • Formally compare Primary Service Provider (PSP) fees to market, determining whether the fees are appropriate and in line with current market conditions. • Identify whether there are any programs for which a fixed pricing structure could be implemented e.g. ESL, Creative Job Search Training. • Ensure worker involvement and agreement with plan prior to implementation. This may or may not include the requirement to sign their LMR plan. Management Response: Management is currently conducting a market value assessment to determine the appropriateness of PSP and Secondary Service Provider (SSP) fees. The results of this survey will be reflected in the next RFP for LMR services. The RTW curriculum, LMR refresher training and LMR protocols all speak to the importance of worker involvement and agreement with the LMR plan. The RTW training is also providing staff with improved techniques for managing the transition between the esRTW and LMR phases of return to work. The issue will continue to be monitored, and additional steps taken to ensure worker involvement and agreement if required. 42 Summary Opinion • A key audit objective was to provide an opinion as to whether there is value for money in the outcomes generated by the LMR program. In this regard, we present the following summary conclusions: – WSIB is already achieving financial value from the program because the benefits of avoided future loss of earnings benefits exceed the costs of the program. – Notwithstanding the fact that the program has yet to reach maturity, the current data reveals outcomes that are consistent with WSIB’s legislated mandate for LMR: – Recognizing that the legislated mandate of the program promotes “employability” for workers in contrast to “employment”, 44% of completed plans actually achieved employment, either with zero or partial loss of earnings. – The percentage of workers that are considered able to achieve zero loss of earnings, both employed and considered employable, and have completed their plans is 47%. – The percentage of workers failing to complete their plans is 12%. – However, given that the program is still relatively new, at this time there is not enough consistent data available for us to conclude definitively whether the outcomes are sufficient. • In our view, the implementation of the recommendations contained throughout this report will assist WSIB to expedite the improvement of its LMR outcomes. 43 Auditors’ Report To the Directors, Workplace Safety & Insurance Board: • We have conducted a value for money audit of the LMR program at the Workplace Safety & Insurance Board (WSIB) of Ontario in accordance with WSIB’s request for proposals No. 2003-016. The objective of the audit, as stated in the request document, was “to perform a review on the cost, efficiency and effectiveness of the LMR program” (Please see page 4 of this report for a full description of the project’s scope and objectives). • We conducted our audit in accordance with the value for money audit standards recommended by the Canadian Comprehensive Auditing Foundation and accordingly included such tests and other procedures as we considered necessary in the circumstances. • Specific criteria encompassed by this audit are identified on page 5 of this report. Our findings, conclusions & recommendations are detailed throughout the report, starting on page 7. 44 Appendix - Prioritizing Recommendations Recommendations were prioritized on the following criteria: • Critical success factors in meeting organization goals (greatest impact on outcomes) • Degree of deficiency/need for improvement in current Program • Consistency of recommendations across Alignment, Risk Management & Control and LMR Program Performance Measurement & Management assessments • Ability to leverage appropriate on-going work • Time lag for realization of impact • Time, cost, difficulty to implement 45