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Long Beach Medical Center
Long Beach, NY 11561
Bed count | 162 | Medicare provider number | 330225 | Member of the Council of Teaching Hospitals | YES | Children's hospital | NO |
(as % of functional expenses, which all tax-exempt organizations report on Form 990 Schedule H)
(as % of total functional expenses)
Community Benefit Expenditures: 2013
All tax-exempt organizations file a Form 990 with the IRS for every tax year. If the tax-exempt organization operates one or more hospital facilities during the tax year, the organization must attach a Schedule H to Form 990. On Part I of Schedule H, the organization records the expenditures it made during the tax year for various types of community benefits; 9 types are shown on this web tool. By default, this web tool presents community benefit expenditures as a percentage of the organization’s functional expenses, which it reports on Form 990, Part IX, Line 25, Column A. (The more commonly heard term, ‘total operating expenses’, which organizations report to CMS, is generally about 90% of the ‘functional expenses’). The user may change the default to see the dollar expenditures.
Operating expenses $ 49,958,580 Total amount spent on community benefits as % of operating expenses$ 17,604,239 35.24 %- Amount spent in the following IRS community benefit categories:
Financial Assistance at cost as % of operating expenses$ -956,012 -1.91 %Medicaid as % of operating expenses$ 18,560,251 37.15 %Costs of other means-tested government programs as % of operating expenses$ 0 0 %Health professions education as % of operating expenses$ 0 0 %Subsidized health services as % of operating expenses$ 0 0 %Research as % of operating expenses$ 0 0 %Community health improvement services and community benefit operations*
as % of operating expensesNote: these two community benefit categories are reported together on the Schedule H, part I, line 7e.$ 0 0 %Cash and in-kind contributions for community benefit* as % of operating expenses$ 0 0 %Community building*
as % of operating expenses$ 0 0 %- * = CBI denoted preventative categories
- Community building activities details:
Did tax-exempt hospital report community building activities? Not available Number of activities or programs (optional) 0 Physical improvements and housing 0 Economic development 0 Community support 0 Environmental improvements 0 Leadership development and training for community members 0 Coalition building 0 Community health improvement advocacy 0 Workforce development 0 Other 0 Persons served (optional) 0 Physical improvements and housing 0 Economic development 0 Community support 0 Environmental improvements 0 Leadership development and training for community members 0 Coalition building 0 Community health improvement advocacy 0 Workforce development 0 Other 0 Community building expense
as % of operating expenses$ 0 0 %Physical improvements and housing as % of community building expenses$ 0 Economic development as % of community building expenses$ 0 Community support as % of community building expenses$ 0 Environmental improvements as % of community building expenses$ 0 Leadership development and training for community members as % of community building expenses$ 0 Coalition building as % of community building expenses$ 0 Community health improvement advocacy as % of community building expenses$ 0 Workforce development as % of community building expenses$ 0 Other as % of community building expenses$ 0 Direct offsetting revenue $ 0 Physical improvements and housing $ 0 Economic development $ 0 Community support $ 0 Environmental improvements $ 0 Leadership development and training for community members $ 0 Coalition building $ 0 Community health improvement advocacy $ 0 Workforce development $ 0 Other $ 0
Other Useful Tax-exempt Hospital Information: 2013
In addition to community benefit and community building expenditures, the Schedule H worksheet includes sections on what percentage of bad debt can be attributable to patients eligible for financial assistance, and questions on the tax-exempt hospital's debt collection policy. When searching a specific tax-exempt hospital in this web tool, Section II provides information about bad debt and the financial assistance policy, and whether the state in which the tax-exempt hospital resides has expanded Medicaid coverage under the federal ACA.
Of the tax-exempt hospital’s overall operating expenses, amount reported as bad debt
as % of operating expenses$ 1,295,469 2.59 %Is the tax-exempt hospital considered a "sole community hospital" under the Medicare program? NO - Information about the tax-exempt hospital's Financial Assistance Policy and Debt Collection Policy
The Financial Assistance Policy section of Schedule H has changed over the years. The questions listed below reflect the questions on the 2009-2011 Schedule H forms and the answers tax-exempt hospitals provided for those years. The Financial Assistance Policy requirements were changed under the ACA. In the future, as the Community Benefit Insight web site is populated with 2021 data and subsequent years, the web tool will also be updated to reflect the new wording and requirements. In the meantime, if you have any questions about this section, we encourage you to contact your tax-exempt hospital directly.
Does the organization have a written financial assistance (charity care) policy? YES Did the tax-exempt hospital rely upon Federal Poverty Guidelines (FPG) to determine when to provide free or discounted care for patients? YES Amount of the tax-exempt hospital’s bad debt (at cost) attributed to patients eligible under the organization’s financial assistance (charity care) policy
as % of operating expenses$ 233,040 17.99 %- Did the tax-exempt hospital, or an authorized third party, take any of the following collection activities before determining whether the patient was eligible for financial assistance:
Reported to credit agency YES Filed lawsuit YES Placed liens on residence Not available Issue body attachments? (an order by the court commanding a sheriff or other official to physically bring before the court a person who is guilty of contempt of court) Not available Under the ACA, states have the choice to expand Medicaid eligibility for their residents up to 138% of the federal poverty guidelines. The Medicaid expansion provision of the ACA did not go into effect until January 2014, so data in this web tool will not reflect each state's current Medicaid eligibility threshold. For up to date information, please visit the Terms and Glossary under the Resources tab.
After enactment of the ACA, has the state in which this tax-exempt hospital is located expanded Medicaid? YES The federal poverty guidelines (FPG) are set by the government and used to determine eligibility for many federal financial assistance programs. Tax-exempt hospitals often use FPG guidelines in their Financial Assistance policies to determine which patients will qualify for free or discounted care.
If not, is the state's Medicaid threshold for working parents at or below 76% of the federal poverty guidelines? Not available In addition to the federal requirements, some states have laws stipulating community benefit requirements as a result of tax-exemption. The laws vary from state to state and may require the tax-exempt hospitals to submit community benefit reports. Data on this web tool captures whether or not a state had a mandatory community benefit reporting law as of 2011. For more information, please see Community Benefit State Law Profiles Comparison at The Hilltop Institute.
Does the state in which the tax-exempt hospital is located have a mandatory community benefit reporting statute? YES
Community Health Needs Assessment Activities: 2013
The ACA requires all 501(c)(3) tax-exempt hospitals to conduct a Community Health Needs Assessment (CHNA) every three years, starting with the hospital's tax year beginning after March 23, 2012. The 2011 Schedule H included an optional section of questions on the CHNA process. This web tool includes responses for those hospitals voluntary reporting this information. The web tool will be updated to reflect changes in these questions on the 2012 and subsequent Schedule H forms.
Did the tax-exempt hospital report that they had conducted a CHNA? Not available Did the CHNA define the community served by the tax-exempt hospital? Not available Did the CHNA consider input from individuals that represent the broad interests of the community served by the tax-exempt hospital? Not available Did the tax-exempt hospital make the CHNA widely available (i.e. post online)? Not available Did the tax-exempt hospital adopt an implementation strategy to address the community needs identified by the CHNA? Not available Did the tax-exempt hospital execute the implementation strategy? Not available Did the tax-exempt hospital participate in the development of a community-wide plan? Not available
Supplemental Information: 2013
- Statement of Program Service Accomplishments
Description of the organization's program service accomplishments for each of its three largest program services, as measured by expenses. Section 501(c)(3) and 501(c)(4) organizations are required to report the amount of grants and allocations to others, the total expenses, and revenue, if any, for each program service reported.
4A (Expenses $ 45310428 including grants of $ 0) (Revenue $ 2728672) FOLLOWING HURRICANE SANDY IN OCTOBER 2012, LONG BEACH MEDICAL CENTER STOPPED PROVIDING INPATIENT SERVICES. THE HOSPITAL CONTINUED TO PROVIDED HOME CARE PROGRAMS, OUTPATIENT SERVICES FOR FAMILY HEALTH, TREATMENT OF ALCOHOLISM, SUBSTANCE ABUSE AND MENTAL HEALTH PROBLEMS.
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Facility Information
Schedule H, Part V, Section B, Line 20-LONG BEACH MEDICAL CENTER GROSS CHARGES
Schedule H, Part V, Section B, Line 22-LONG BEACH MEDICAL CENTER THE HOSPITAL CHARGES ALL PATIENTS GROSS CHARGES REGARDLESS OF ABILITY TO PAY. HOWEVER, THE REIMBURSEMENT RECEIVED FROM MEDICARE AND MEDICAID IS BASED UPON A PUBLISHED RATE. THE REIMBURSEMENT RECEIVED FROM HMO AND COMMERCIAL INSURANCES ARE BASED UPON AN AGREED-UPON RATE. FOR THOSE PATIENTS WHO ARE UNABLE TO PAY, WE USED THE FEDERAL POVERTY GUIDELINES TO DETERMINE ELIGIBILITY FOR DISCOUNTED OR FREE CARE. ANY PATIENT WHO DOES NOT FIT INTO THE ABOVE CATEGORIES ARE CHARGED GROSS CHARGES.
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Supplemental Information
Schedule H, Part I, Line 3c WE USED THE FEDERAL POVERTY GUIDELINES TO DETERMINE ELIGIBILITY FOR DISCOUNTED OR FREE CARE.
Schedule H, Part I, Line 7 COST TO CHARGE RATIO.
Schedule H, Part III, Section A, Line 4 BAD DEBT EXPENSE IS CHARGED IF THE RECEIVABLE IS DETERMINED TO BE UNCOLLECTIBLE BASED ON PERIODIC REVIEW BY MANAGEMENT. FACTORS USED TO DETERMINE WHETHER AN ALLOWANCE SHOULD BE RECORDED INCLUDE AGE OF THE RECEIVABLE AND A REVIEW OF PAYMENTS SUBSEQUENT TO YEAR END. BAD DEBTS ARE WRITTEN OFF AT GROSS CHARGES. COST IS DERIVED BY CONVERTING CHARGES USING INPATIENT AND OUTPATIENT COST TO CHARGE RATIO. THE HOSPITAL CENTER PROVIDES CARE TO PATIENTS WHO MEET CERTAIN CRITERIA UNDER ITS CHARITY CARE POLICY WITHOUT CHARGE OR AT AMOUNTS LESS THAN ITS ESTABLISHED RATES.
Schedule H, Part III, Section B, Line 8 SOURCE USED IN CALCULATING THE AMOUNT ON LINE 6 IS THE MEDICARE COST REPORT.
Schedule H, Part III, Section C, Line 9b PATIENTS ARE INTERVIEWED AND EVALUATED FOR ABILITY TO PAY. REGISTRARS CONDUCT PERIODIC RE-EVALUATION OF A PATIENT'S ABILITY TO PAY BASED ON THE FINANCIAL AID CHARITY CARE POLICY. BILLS ARE MAILED TO PATIENTS AS PART OF THE MONTHLY CYCLE. A SECOND MAILING IS DONE AFTER 30 DAYS OF THE FIRST MAILING. A THIRD MAILING, AFTER ANOTHER 30 DAYS, ADVISES THE PATIENT THAT THE ACCOUNT WILL BE SUBJECT TO LEGAL ACTION OR COLLECTION. PATIENTS DETERMINED TO BE INDIGENT MAY NOT RECEIVE COLLECTION MAILINGS.
Schedule H, Part VI, Line 2 THE HOSPITAL USES HISTORICAL DATA AS WELL AS ASSESSING CHANGING CONDITIONS IN THE SURROUNDING NEIGHBORHOODS THAT THE HOSPITAL SERVES.
Schedule H, Part VI, Line 3 PATIENTS MEET WITH A FINANCIAL PLANNER DURING THEIR STAY. THE HOSPITAL WEBSITE PROVIDES ADDITIONAL INFORMATION REGARDING AVAILABLE FINANCIAL AID.
Schedule H, Part VI, Line 4 THE HOSPITAL SERVES THE COMMUNITY OF LONG BEACH, LIDO BEACH, POINT LOOKOUT, ATLANTIC BEACH, ISLAND PARK AND OTHER NEIGHBORING COMMUNITIES.