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COVID-19 Telehealth Funds available for Academic Medical Centers

By Cori Turner & Julian Rivera on April 23, 2020
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On April 13, 2020 the Federal Communications Commission (“FCC”) began accepting applications for the COVID-19 Telehealth Program (“Telehealth Program”), money which is part of the recent Coronavirus Aid, Relief, and Economic Security Act (“Cares Act”).  The Telehealth Program will provide $200 million in funding to assist eligible health care providers deliver telehealth services to patients in their homes or other mobile locations to combat novel Coronavirus 2019 (“COVID-19”).  The funding is available for eligible health care providers responding to the COVID-19 pandemic by compensating providers for their telecommunication services, information services, and devices necessary for them to provide critical telehealth services.

The financial assistance comes at a much-needed time for health care providers who are facing numerous challenges in delivering care amid the COVID-19 pandemic and implementing measures to slow the spread of the virus.

As of April 22, 2020, roughly $7 million has been awarded to various health systems, including several academic medical centers.  The recipients thus far plan to develop programs to either aid in treatment of people infected with the COVID-19 virus under quarantine conditions or that maintain care management for vulnerable populations at risk of becoming infected.

Providers who determine themselves eligible should apply as soon as possible, as applications are being selected on a rolling basis until funds have been depleted.

A. Eligibility

Eligible health care providers under the Telehealth Program are currently limited to those non-profit and public eligible care providers who meet the definition of “health care provider” under 47 U.S.C. §254(h)(7)(B), which includes:

  1. Post-secondary educational institutions offering health care instruction, teaching hospitals, and medical schools;
  2. Community health centers or health centers providing health care to migrants;
  3. Local health departments or agencies;
  4. Community mental health centers;
  5. Not-for-profit hospitals;
  6. Rural health clinics;
  7. Skilled nursing facilities (as defined in section 395i-3(a) of title 42; or
  8. Consortia of health care providers consisting of one or more entities described in items 1-7 above.

For purposes of the Telehealth Program, both rural and non-rural health care providers are eligible to receive funding.  While the FCC has limited provider eligibility to the categories set forth in §254(h)(7)(B), the CARES Act does not require such a limitation.  Because of the FCC’s decision, many health care providers do not qualify for Telehealth Program funding.  To expand access to the Program, the American Hospital Association has filed a petition with the FCC requesting the Commission reconsider the scope of the eligible health care providers.

In addition to meeting the requirements above, health care providers must obtain an eligibility determination for each site on the application from the Universal Service Administrative Company (“USAC”) by filing USAC Form 460.  Providers may apply for the Telehealth Program while their USAC eligibility determination is pending.

B. COVID-19 Telehealth Program Application

In advance of filing an application, the following should occur:

Obtain an FCC Registration Number (FRN) from the Commission’s Registration System (“CORES”), as well as a CORES username and password.

File an FCC Form 460, to obtain Universal Service Administration Company (USAC) eligibility.  The form can be found on the USAC webpage.  As a reminder, for purposes of the Telehealth program, both rural and non-rural health care providers may apply.

Register with the federal System for Award Management (SAM).

Once the above information is acquired the online COVID-19 Telehealth Program Application is found on the FCC Website, along with Filing Instructions and an Instructional Video.

C. Eligible Costs

Qualified providers are eligible to seek funding to purchase telecommunications services, information systems, and connected devices that are necessary to provide telehealth services to patients during the COVID-19 pandemic.  The FCC has provided several examples of eligible services and connected devices that are eligible for funding under the Telehealth Program:

Telecommunications Services and Broadband Connectivity Services:  Voice services for health care providers or their patients.

Information Services:  Internet connectivity services for health care provider or their patients; remote patient monitoring platforms and services; patient reported outcomes platforms; store-and-forward services, such as synchronous transfer of patient images and data for physician interpretation; platforms and serves to provide synchronous video consultation.

Connectivity Devices/Equipment:  Tablets, smart phones or connected devices to receive care connected services at home (e.g. broadband-enabled blood pressure monitors; pulse oximetry monitors) for patient or health care providers use; telemedicine kiosks/carts for health care providers sites.  Only device that are inherently connected, such as pulse oximetry, blood pressure monitoring devices, etc., are eligible for funding under the Telehealth Program.  Unconnected devices, i.e., those that patients may use at home and manually report results to their health care providers, are not eligible for funding.

Ineligible expenses include personnel, IT, administrative, training, and marketing costs. Eligible health care providers should take care to exclude any ineligible items from their funding application.  In addition, to receive Telehealth Program disbursements, funded health care providers will be required to submit invoicing information and supporting documentation of their eligible expenses.

Husch Blackwell will continue to monitor funding recipients of the FCC COVID-19 Telehealth Programs Grants. Please contact your Husch Blackwell attorney should you have any questions or if you would like assistance applying.

Photo of Cori Turner Cori Turner

Cori’s experience as a hospital and hospice volunteer inspired her to pursue a legal career that also serves patients. Husch Blackwell, with one of the largest U.S. healthcare practices, was a natural fit.

Read more about Cori TurnerEmailCori's Linkedin Profile
Photo of Julian Rivera Julian Rivera

Julian represents healthcare providers and healthcare technology companies on a wide range of regulatory compliance, operations, transactions, litigation and business matters.

Julian’s work includes representing providers in Texas Medical Board license and federal health program cases. Clients seek his help in maximizing healthcare…

Julian represents healthcare providers and healthcare technology companies on a wide range of regulatory compliance, operations, transactions, litigation and business matters.

Julian’s work includes representing providers in Texas Medical Board license and federal health program cases. Clients seek his help in maximizing healthcare provider opportunities and navigating Food and Drug Administration (FDA) regulation. He also has extensive experience representing clients on matters involving healthcare technology, including emerging technologies with big data, artificial intelligence, telemedicine and telehealth.

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  • Posted in:
    Health Care and Life Sciences
  • Blog:
    Healthcare Law Insights
  • Organization:
    Husch Blackwell LLP
  • Article: View Original Source

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