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Shell has been a technology pioneer for more than a century.

Today, it is one of the largest investors in research and development

among the international oil and gas companies. We test hundreds of

lubricant blends before finding the optimum formulation.

The Shell Marine & Power Innovation Centre in Hamburg, Germany, is home

to a dedicated team of experienced marine engineers and scientists.

Having their own marine engines at this centre enables the Shell experts

to optimise formulations and develop marine engine oils that meet the

requirements of today's engine manufacturers.

We produce lubricants for a wide range of modern marine engines.

Research and development shapes and enhances the technical services we offer.

Our flexible range of service options aims to cover all our customers' needs.

Shell Marine technical services help operators to avoid costly failures by

ensuring that they choose the right lubricants and use them correctly.

Our technical team has more than 30 field- and office-based personnel.

We offer a suite of technical services programmes to help you overcome

operational complexities and reduce your operating costs.

Shell Rapid Lubricants Analysis can alert customers to wear and contaminants by

monitoring the condition of lubricants and equipment over time.

This means you can plan maintenance based on the equipment's actual condition.

Recent advances in engine design and economy tuning, combined with slow-

-steaming practices, can greatly increase the risk of corrosive wear.

Shell Marine offers products that help to protect against acid stress and the

buildup of deposits.

We also give customers an opportunity to monitor how these products are

performing in their engines.

Shell LubeMonitor is a cylinder condition-monitoring programme that can

help to optimise oil feed rates and reduce wear-related maintenance expenses.

Regular monitoring of drain oil samples is a good way to optimise

feed rates and to protect engines against excessive wear.

Using our Marine Connect software, the Shell LubeMonitor system manages all the

data generated by the onboard analysis and then transfers the results easily and

securely to Shell technical engineers.

Combining this data with analyses from the Shell Rapid Lubricants Analysis

laboratories enables the Shell LubeMonitor team to produce a detailed

report about engine performance and running condition.

Shell Marine's technical experts quickly build a complete overview of the data.

This enables them to provide informed updates on your engine's running

condition and make recommendations for optimising the oil feed rate and so

contribute to reduced running and maintenance costs.

We offer world-class lubricant products and services and support to over 10,000

vessels, in 700 plus ports across 59 countries.

For more infomation >> Shell Marine Technical Services - Duration: 3:11.

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This Week in Cincinnati: How Lighthouse Youth Services approaches mental health treatment - Duration: 4:31.

For more infomation >> This Week in Cincinnati: How Lighthouse Youth Services approaches mental health treatment - Duration: 4:31.

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Wiring Rules: Sleeving of conductors and segregation of services - Duration: 1:29.

Hi, I'm Mark Pocock from the Electrical Safety Office. As you aware the Wiring

Rules are being updated so I wanted to talk you through some of the key changes

to the requirements of sleeving of conductors and the segregation of

different services, that will appear in the next edition due for a lease later

this year. There will be changes to the content of sleeving of existing earthing,

bonding and live conductors this recognises existing installations where

bare earth green insulation or yellow insulation for live conductors has been

used. When alterations, additions or repairs are carried out that result in

new terminations or junctions then the existing conductors can be

sleeved with the colors defined in the new clauses. Requirements for different

electrical installations have been altered in a new edition to provide more

clarity. This includes changes to the common enclosure and segregation

requirements. These changes relate to conductors for different installations

or for individual occupancies forming part of a single or multiple electrical

installation that are installed in a common enclosure. For further information

visit our website electricalsafety.qld.gov.au

For more infomation >> Wiring Rules: Sleeving of conductors and segregation of services - Duration: 1:29.

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Electrician Beacon Hill - Morelite Electrical Services 0459 020 182 - Duration: 0:32.

For more infomation >> Electrician Beacon Hill - Morelite Electrical Services 0459 020 182 - Duration: 0:32.

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Underground essential services - Avoiding Utility Strikes series - Duration: 5:55.

Welcome to SafeWork SA's toolbox series

on avoiding utility strikes.

This series has been developed for anyone,

including home renovators,

who are planning on digging

or working near overhead power lines.

So, what are utilities?

Utilities are services that supply electricity,

communications, gas, street lights, water and sewerage.

They are supplied via cables, conduits,

ducts, fibre optics, pipes and wires.

Sometimes you can see signs of them,

but often they are buried, unseen, or forgotten.

The consequences of striking underground

or overhead infrastructure can be significant

such as service interruptions, costly repair bills,

injury and even death can be a real possibility.

Incidents might not happen right away.

They can be delayed,

especially if contact damage

is unreported and goes unrepaired.

Imagine if power was cut to a hospital,

or an emergency call centre

was without communication lines.

Because damage can affect whole communities,

it's essential this network is protected.

No matter your project size,

whether for business or private,

you need to get as much information as possible

about the location of all utility services

to prevent you from accidentally damaging them.

You could be installing a sign post,

landscaping a front yard, or building a fence, using a ladder,

or constructing a multi-lane highway.

This series is for you.

We start the series

with how to get information on underground services,

steps that need to be taken to locate those services,

and the risks associated with excavation work.

We continue with safe distances for people and equipment

working in the vicinity of overhead power lines,

and also go through safe distances

when building a structure,

including scaffolds near power lines.

The final toolbox explains what actions to take

if you strike a gas or power line.

This toolbox will show you the process

of getting free underground

essential services information, their limitations,

and why this information is only the first step.

'Dial Before You Dig' is a free national community service

that connects people undertaking excavation work

with the owners of underground services.

To recap, these services include communications,

water, gas and electricity, just to name a few.

Anyone planning to dig,

whether in the city, at home, or on an industrial property

should contact Dial Before You Dig before starting,

no matter what the job - domestic, civil or commercial.

'Dial Before You Dig' helps

with the free exchange of information

between you and the utility owners

to help you get the job done safely.

The service is designed to protect

South Australia's vital underground network

of pipes and cables

and those individuals working around them.

Before you start digging,

the first step is to lodge an enquiry

with Dial Before You Dig at 1100.com.au

on your desktop or mobile device.

You will need to provide information on your project

including location, type of work and timelines.

Not good on a computer?

No problem, call the national call centre on 1100.

Once you have provided the information,

Dial Before You Dig responds directly to you

with an email confirming your enquiry

and sends your information to the owners

of all underground services

who are Dial Before You Dig Members.

The utility owners affected in your proposed area of work

will respond directly to you

with cable and pipe locations,

generally in the form of plans.

You may get a number of separate plans

depending on what services run through your project area.

When you get them, study the plans closely

to make sure they are for the correct location,

and make sure you understand

what the symbols mean before you proceed.

If you don't understand any part of the information,

contact the service owner

Utility owners may provide additional instructions

on locating and working near their underground assets.

This may include Duty of Care statements,

details of accredited locators, permit information,

instructions on using certain equipment around assets,

and how to obtain onsite assistance if required.

All information provided by the utility owners

must be taken into consideration

and kept available with the plans onsite

and referred to before and as you dig.

Ensure you have received all plans before starting work.

Be aware Dial Before You Dig plans alone

do not include service lead-ins to property

and may not identify all underground pipes or cables

Some may be part of a private installation

and some of Australia's underground asset owners

are not members of Dial Before You Dig.

Never assume that the plans you receive from your enquiry

contain exact location of underground assets.

The plans indicate what services are present

and should be used in conjunction with service location,

which is further explained in Toolbox 2:

Locating Underground Utilities.

If you find any errors in the plans you have,

please contact the asset owner and advise them

so they can update their records.

So in summary, contact Dial Before You Dig

at www.1100.com.au or call 1100 before you start work.

Ensure you receive all the plans before you start digging.

Call the service owner

if you don't understand any part of the plans or symbols.

Always keep the plans available on site

and make others aware of them.

Remember underground location plans

provide information about network presence only;

they do not pinpoint the exact location.

Now that you know more about Dial Before You Dig,

the next episode will explain

how to physically find utility assets on site.

For more information on workplace safety,

visit safework.sa.gov.au

or call us on 1300 365 255.

For more infomation >> Underground essential services - Avoiding Utility Strikes series - Duration: 5:55.

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Emergency Services Are Overburdened, And Unprecedented Flooding May Get Worse - Duration: 0:25.

For more infomation >> Emergency Services Are Overburdened, And Unprecedented Flooding May Get Worse - Duration: 0:25.

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GST को हिंदी में सबसे सरल रूप में समझिये | Goods And Services Tax (GST) | One Nation, One TAX | - Duration: 7:04.

For more infomation >> GST को हिंदी में सबसे सरल रूप में समझिये | Goods And Services Tax (GST) | One Nation, One TAX | - Duration: 7:04.

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Referral, Certification and Oversight of Home Health Services (Part 2) - Duration: 4:11.

Hello and welcome to part 2 in our video series regarding referral, certification and oversight

of home health services for the Medicare beneficiary.

It is no longer necessary to utilize a face to face encounter form to document the patients

Need for Skilled Services.

CMS requires contractor review of the actual medical record documentation that supports

the Need for all Skilled Services ordered.

The patients Need for Skilled Services will be verified (along with other eligibility

criteria) in the acute or post-acute care facility medical record documentation.

The Medicare beneficiary patient must have a need for skilled services performed by a

skilled clinician in their home in order to meet eligibility criteria.

For the purpose of the Medicare home health benefit, skilled services include that of

a licensed professional in: Nursing

Physical Therapy Occupational Therapy

Speech Language Pathology Social Work

In order to meet all five eligibility criteria, the patient must remain under the care of

a physician.

Therefore, the referring acute or post-acute care facility must identify the community

physician that agrees to monitor home health services in their medical records when they

are certifying eligibility.

Similar to physician oversight of home health services, the plan of care is also one of

the five home health eligibility criteria.

The plan of care could be the discharge plan from the referring certifying physician in

an acute or post acute care facility or an initial plan of care signed by the community

physician at the time of referral to home health.

This important patient information identifies the initial plan for home care as per the

physician, as well as ensures an efficient and beneficial home health agency start of

care.

As in the past, the home health agency staff will further develop and evolve the POC with

the community physician.

Per CMS regulations, it is expected that in most instances that the physician who certifies

the patient's eligibility for Medicare home health services, will be the same physician

who establishes and signs the plan of care.

The face-to-face encounter is also a condition of payment for home health agencies.

Therefore, home health agencies require a copy of the face to face encounter documentation.

Currently, there are no mandatory forms for the face-to-face encounter . The face-to-face

encounter must be performed by a physician or non-physician practitioner; When completed

by a non-physician practitioner, it does not require a co-signature.

Documentation of the face-to-face encounter may be that of a discharge summary from an

acute or post-acute facility or the progress note of a physician from an office visit.

In 2014 the face-to-face encounter FORM was required due to the mandatory narrative regarding

the need for skilled services & homebound status.

As of January 2015, this narrative is no longer required during the face to face encounter

and the information regarding homebound status and the need for skilled services can be found

anywhere in the medical record - therefore eliminating the need to use a form.

The only required narrative during a face-to-face encounter beginning last January 2015 is that

of skilled oversight of unskilled care when it is ordered by the physician.

Stay tuned to the National Government Services YouTube Channel for more educational opportunities,

designed for you.

For more infomation >> Referral, Certification and Oversight of Home Health Services (Part 2) - Duration: 4:11.

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Referral, Certification and Oversight of Home Health Services (Part 3) - Duration: 11:48.

Hello and welcome to part 3 in our video series regarding referral, certification and oversight

of home health services for the Medicare beneficiary.

Home health eligibility criteria must be certified via a *certification statement* by a Medicare

enrolled physician.

The Centers for Medicare & Medicaid Services (CMS) do not require a specific form or format

for the certification, however all five eligibility criteria must be attested to by one certifying

physician.

The certifying physician must also document the date of the face-to-face encounter as

part of the certification, as he or she may not have performed the face-to-face encounter

- payment cannot be made for covered home health services that an agency provides without

physician certification.

Once signed by the Medicare enrolled physician, certification of the home health eligibility must

be forwarded and retained by the home health agency.

With regard to physician signatures, rubber stamp signatures are not acceptable.

However, hand written and electronic signatures are acceptable when signing the certification.

This is an example of a complete certification statement because it references all five eligibility

requirements as well as the date that the face-to-face encounter occurred.

It reads, I certify this patient is confined to his/her home and needs intermittent skilled

nursing care, physical therapy and/or speech therapy, or continues to need occupational

therapy.

This patient is under my care, and I have authorized the services on this plan of care,

and will periodically review the plan.

I further certify this patient had a face-to-face encounter that was performed on *insert date*

by a physician or Medicare allowed non-physician practitioner that was related to the primary

reason the patient requires home health services.

This statement would only be utilized by the physician that is overseeing home health agency

services.

The Centers for Medicare and Medicaid Services has offered a revised Plan of Care on their

website with an updated certification statement in locator 26 that includes all five of the

eligibility criteria and a location for the date of the face to face encounter.

As noted, the Centers for Medicare & Medicaid Services require that the date of the face

to face encounter be included as part of the certification.

Refer to locator 26 on the sample plan of care on the CMS.gov website for the example

provided in this presentation.

Per CMS regulations: - The Home health agency's generated medical

record documentation for the patient, by itself, is not sufficient in demonstrating the patient's

eligibility for Medicare home health services.

- It is the patient's medical record held by the certifying referring physician or entity

that must support the patient's eligibility for home health services.

This further illustrates the importance of the collaboration of documentation between

all entities caring for Medicare beneficiary in the home.

The physician recertifying the patient's eligibility is the physician who has been providing oversight

of home health services and plan of care.

Upon recertification, he or she will be attesting to the fact that the Medicare beneficiary

continues to meet all five home health eligibility criteria.

The number of Medicare subsequent episodes is not limited, however, recertification is

required at least every 60 days if home health services are to continue and the patient continues

to meet all five eligibility criteria.

Recertification is also dependent on whether or not the initial certification was valid

and met all eligibility criteria.

Regulations state that if the requirements for certification of eligibility are not met

during the initial episode, then subsequent episodes of care which require home health

recertification, will be non-covered - even if the requirements for the recertification

are met.

The home health agency should submit that specific documentation from the initial certification

to support a claim reviewed for recertification eligibility.

We recommend home health agencies submit the face-to-face encounter and the initial

plan of care to support that the beneficiary was initially eligible for home health services

in order to support the recertification.

Recertification must be obtained at least every sixty days since the same interval is

required for the review of the plan of care.

All recertifications must be signed and dated by the physician monitoring the plan of care,

indicate the continuing need for skilled services, and estimate in writing how much longer the

skilled services may be required.

This estimate should be patient specific and measurable.

Consider this example This is an example of a complete recertification

statement because it includes all required elements.

It is not required that your recertification statement look exactly like this, however,

it is an example for those of you struggling to document a complete recertification statement.

Notice it includes the estimate that is required at the time of recertification.

It is not required that this be part of your recert statement.

However it is required at the time of recertification, and perhaps incorporating it into your statement

that the recertifying physician signs will assist you in meeting this part of the regulation

as well.

The estimate should be patient specific, as with all documentation, and measurable.

It would not be expected that the estimate would simply state that home health services

are estimated to be required for 60 days (the length of the home health episode); rather

the estimate should reflect the expected timeframe based on the individual's need and the physician's

clinical judgment as to how long he estimates home health services would be needed.

Make sure the MD circles either weeks, months, or years, and fills in the number.

The form of the recertification and the manner of obtaining timely recertifications is up

to the individual home health agency and the physician monitoring the patients care in

the community.

The Medicare Conditions of Participation require that the recertification assessment be done

during the last 5 days of the previous episode, which are days 56-60.

Did you know that the physician providing the certification or recertification of home

health services can be reimbursed by Medicare for their services?

The Certification is a physician signed statement attesting to the fact that the patient meets

all five eligibility criteria for the first 60 days of home health services.

Certification is billed with code G0180.

Recertification is a statement signed by the physician overseeing home health services

attesting to the fact that the patient continues to meet all five eligibility criteria for

any subsequent 60 day episode.

Recertification is billed with code G0179.

The descriptions for these codes indicate that they are used to bill for certification

or recertification of patient eligibility for Medicare-covered home health services

under a home health plan of care (patient not present), including contacts with the

home health agency and review of reports of patient status required by physicians to affirm

the initial implementation of the plan of care that meets patient's needs, per certification

period.

Please see Chapter 7 of the Medicare Benefit Policy Manual for further information.

Remember, when using the HCPCS codes G0180 or G0179 for certification and recertification

there must be valid documentation in the medical record to support that these situations have

occurred and that the patient meets eligibility criteria.

Claims for these codes will not be covered if the home health agency claim itself is

non-covered due to certification/recertification ineligibility or because there was insufficient

documentation to support that the patient was eligible.

Remember that the medical record from that certifying physician is what is utilized to

support patient eligibility at the time of the SOC.home health agencies require all of

your documentation that may support the 5 eligibility criteria have been met.

Best Practices by the referring entity: Some hospitals are naming the community physician

who agrees to follow the patients home care services right in their discharge summary

documentation.

They are also including cues in the discharge summary for documentation of the homebound status,

need for skilled service and adding the discharge plan directly to their discharge summary as well

as a certification statement and physician signature at the bottom. This makes it significantly

easier for their case managers, discharge planners, social workers to ensure the proper

documentation to support that the 5 eligibility criteria are met and this documentation is

easily forwarded to the HHA with the referral for a SOC.

In conclusion, as per CR 9189: - The HHA's generated medical record documentation

for the patient, by itself, is not sufficient in demonstrating the patient's eligibility

for Medicare home health services.

- It is the patient's medical record held by the certifying referring physician or entity

that must support the patient's eligibility for home health services.

CMS has stated that It is the sole responsibility of the referring, certifying & community physicians

to record all pertinent HH information in the medical record and share the documentation

with the HHA.

The certifying physician must review and sign off on anything generated by the HHA and incorporated

into the patient's medical record that is used to support the certification of patient

eligibility (that is, agree with the material by signing and dating the entry).

HHA documentation should also be shared, as it compliments & supports documentation in

referring, certifying & community physicians records.

It is imperative that all documentation from all entities align and corroborate the eligibility

criteria for home health services.

In conclusion, collaboration of documentation pertinent to patient eligibility from all

entities is pertinent to the patient care continuum and transition to home health services.

Stay tuned to the National Government Services YouTube Channel for more educational opportunities,

designed for you.

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