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HCA HEALTH SERVICES OF FLORIDA, INC., D/B/A OAK HILL HOSPITAL vs CITRUS MEMORIAL HEALTH FOUNDATION, INC., AND AGENCY FOR HEALTH CARE ADMINISTRATION, 00-003216CON (2000)

Court: Division of Administrative Hearings, Florida Number: 00-003216CON Visitors: 34
Petitioner: HCA HEALTH SERVICES OF FLORIDA, INC., D/B/A OAK HILL HOSPITAL
Respondent: CITRUS MEMORIAL HEALTH FOUNDATION, INC., AND AGENCY FOR HEALTH CARE ADMINISTRATION
Judges: DAVID M. MALONEY
Agency: Agency for Health Care Administration
Locations: Spring Hill, Florida
Filed: Aug. 04, 2000
Status: Closed
Recommended Order on Thursday, October 4, 2001.

Latest Update: May 21, 2002
Summary: Whether any of the applications of Oak Hill Hospital, Citrus Memorial Hospital, or Brooksville Regional Hospital for adult open heart surgery programs should be granted?One "not normal" circumstance: Certificate of Need approval of open heart program would not affect sub-350 performers. On basis of comparative review, Citrus Memorial prevails over Oak Hill and Brooksville.
STATE OF FLORIDA DIVISION OF ADMINISTRATIVE HEARINGS HCA HEALTH SERVICES OF FLORIDA , ) INC., d/b/a OAK HILL HOSPITAL , ) ) Petitioner , ) ) vs. ) Case No. 00- 3216CON ) AGENCY FOR HEALTH CARE ) ADMINISTRATION , ) ) Respondent. ) __________________________________) CITRUS MEMORIAL HEALTH ) FOUNDATION, INC. , ) ) Petitioner , ) ) vs. ) Case No. 00- 3217CON ) AGENCY FOR HEALTH CARE ) ADMINISTRATION and HCA HEALTH ) SERVICES OF FLORIDA, INC., d/b/ a ) OAK HILL HOSPITAL , ) ) Respondents. ) __________________________________) HERNANDO HMA, INC., d/b/ a ) BROOKSVILLE REGIONAL HOSPITAL , ) ) Petitioner , ) ) vs. ) Case No. 00- 3218CON ) AGENCY FOR HEALTH CARE ) ADMINISTRATION and CITRUS ) MEMORIAL HEALTH FOUNDATION, INC. , ) ) Respondents. ) __________________________________) CITRUS MEMORIAL HEALTH ) FOUNDATION, INC. , ) ) Petitioner , ) ) vs. ) Case No. 00- 3220CON ) AGENCY FOR HEALTH CARE ) ADMINISTRATION and HERNANDO HMA , ) INC., d/b/a BROOKSVILLE REGIONAL ) HOSPITAL , ) ) Respondents. ) __________________________________) CITRUS MEMORIAL HEALTH ) FOUNDATION, INC. , ) ) Petitioner , ) ) vs. ) Case No. 00- 3221CON ) AGENCY FOR HEALTH CARE ) ADMINISTRATION , ) ) Respondent. ) __________________________________) RECOMMENDED ORDER These consolidated cases were heard by David M. Maloney, Administrative Law Judge of the Division of Administrative Hearings, from February 12 through February 16 and February 19 through February 23, 2001, in Tallahassee Florida. APPEARANCES For Petitioner HCA Health Services of Florida, Inc., d/b/a Oak Hill Hospital: Stephen A. Ecenia, Esquire R. David Prescott, Esquire Thomas W. Konrad, Esquire Rutledge, Ecenia, Purnell & Hoffman, P.A. 215 South Monroe Street, Suite 420 Tallahassee, Florida 32302-0551 For Petitioner Citrus Health Memorial Foundation, Inc.: Michael J. Cherniga, Esquire Seann M. Frazier, Esquire Greenberg Traurig, P.A. 101 East College Avenue Post Office Box 1838 Tallahassee, Florida 32302-1838 For Petitioner Hernando HMA, Inc., d/b/a Brooksville Regional Hospital: James C. Hauser, Esquire Susan Hauser, Esquire Metz, Hauser & Husband, P.A. 215 South Monroe Street, Suite 505 Post Office Box 10909 Tallahassee, Florida 32302-2902 For Respondent Agency for Health Care Administration: Richard A. Patterson, Esquire Agency for Health Care Administration 2727 Mahan Drive Fort Knox Building Three, Suite 3431 Tallahassee, Florida 32308-5403 STATEMENT OF THE ISSUE Whether any of the applications of Oak Hill Hospital, Citrus Memorial Hospital, or Brooksville Regional Hospital for adult open heart surgery programs should be granted? PRELIMINARY STATEMENT On August 4, 2000, the Division of Administrative Hearings (the "Division" or "DOAH") received a notice from the Agency for Health Care Administration (the "Agency" or "AHCA"). The notice advised the Division that AHCA had received a request for a formal administrative hearing from HCA Health Services of Florida, Inc., d/b/a Oak Hill Hospital ("Oak Hill"). Attached to the notice were copies of Oak Hill's petition for formal administrative hearing. The petition contests the preliminary denial by AHCA of Oak Hill's Certificate of Need ("CON") Application No. 9296 to establish an adult open heart surgery program in Hernando County. The petition also contests AHCA's preliminary decision to approve CON application No. 9295 submitted by Citrus Memorial Health Foundation, Inc. ("Citrus Memorial") for a like program in Citrus County. Accompanying the notice was a Notice of Related Petitions. This second notice referred to four petitions that were related in that they concerned AHCA action on applications for adult open heart surgery programs in AHCA Health Planning District 3. AHCA's request that the matter be assigned to an administrative law judge to conduct all proceedings required by law including the submission of a recommended order to AHCA was honored. The case was given Case No. 00-3216 and assigned to the undersigned. Six cases concerning challenges to or support for AHCA's preliminary decisions with regard to CON applications for adult open heart surgery programs in District 3 made their way to DOAH. The cases also challenged or supported AHCA's decisions to deny the application for an adult open heart surgery program in Hernando County (CON 9298) filed by Hernando HMA, Inc., d/b/a Brooksville Regional Hospital ("Brooksville Regional" or "Brooksville") and the application of Tenet Healthsystem Hospitals, Inc., d/b/a Seven Rivers Community Hospital ("Seven Rivers"). Beginning with Case No. 00-3216, the six cases were assigned consecutive case numbers through and including Case No. 00-3221. Prior to the issuance of preliminary orders in the cases, Seven Rivers voluntarily dismissed its petition and Case No. 00-3219 was closed. The remaining five cases, Case Nos. 00-3216, 00-3217, 00-3218, 00-3220, and 00-3221, were consolidated. At the initiation of Citrus Memorial, a scheduling conference took place on August 18, 2000. During the conference Oak Hill's motion (a motion for continuance) that the hearing be set beyond the statutory sixty-day period was heard without objection. Citrus Memorial, however, did not waive the statutory time period. Over its strenuous objection, the motion was granted. Final hearing was set to commence on February 5, 2001, through March 2, 2001. On November 6, 2000, Oak Hill moved to place the consolidated cases in abeyance. The motion for abatement was denied. On January 22, 2001, a motion to shorten trial was filed by Citrus Memorial. The motion was granted subject to conditions advanced by Brooksville Regional and Oak Hill. The cause was reset for final hearing to commence February 12, 2001, and to conclude by the following March 2. On February 1, 2001, AHCA filed a notice of change of A gency position. The notice stated that the testimony to be presented by the Agency "will now also support the approval of the certificate of need application filed by [Oak Hill]." Less than two weeks later, final hearing commenced on February 12 as re-scheduled. It concluded February 23, 2001. At final hearing, Citrus Memorial called as witnesses : Charles Blasband, expert in hospital administration; Michael J. Carmichael, expert in cardiovascular surgery and cardiovascular practice management; Rafik Abadier, expert in cardiology and cardiac catheterization; Judy Horowitz, expert in financial feasibility; Rick Knapp, expert in financial feasibility; and Deborah Simmons Kolb, expert in health care planning. Citrus Memorial introduced into evidence 17 exhibits, identified consecutively as Citrus Memorial Exhibit Nos. 1-17. All were admitted into evidence. Oak Hill called as witnesses : Jaime Wesolowski, expert in hospital administration; Sonia Gonzalez, expert in nursing, nursing administration and hospital administration; Walter Joseph Szydlowski, Jr., expert in internal medicine; Gene Nelson, expert in health planning; Raymond S. Waters, expert in cardiovascular surgery; Mowaffak Atfeh, expert in internal medicine and cardiology; and Robert Beiseigel, expert in health care financial analysis and financial feasibility. Oak Hill introduced 23 exhibits, identified as Oak Hill Exhibits 1-22 and 24. All were admitted into evidence. Oak Hill Exhibit 23 was not offered. Brooksville Regional called as witnesses : Peter Kennedy, M.D., expert in internal medicine and oncology; Thomas Barb, expert in hospital administration; Richard Baehr, expert in health care planning, health care financial analysis, and health care economics; Thomas Matthews, expert in caridology and internal medicine; Darryl Weiner, expert in health care financial analysis and financial feasibility; and Sharon Gordon- Girvin, expert in health care planning. Brooksville Regional introduced into evidence 38 exhibits, identified as Brooksville Exhibits 1-10, 12-33 and 35-40. All were admitted into evidence. Brooksville Exhibit 11 was not offered. Brooksville Exhibit 34 was offered but was rejected. Brooksville Regional made a proffer of its Exhibit 34. No witnesses were called at the hearing by the Agency. It offered three exhibits, identified as AHCA Exhibits 1-3. All were admitted into evidence. Joint Exhibit 1, a stipulation among the parties regarding the history of Munroe Regional/Ocala Regional Program, was admitted into evidence. A motion to extend the time for filing proposed recommended orders was granted despite the objection of Citrus Memorial. All parties timely filed proposed orders on June 4, 2001. In addition, Brooksville Regional filed a memorandum of law. Responses to the memorandum were not filed. This R ecommended O rder follows. FINDINGS OF FACT A. District 3 1. Extended across the northern half of the state with a reach from central Florida to the Georgia line, District 3 is the largest in land area of the eleven health service planning districts created by the Florida Legislature. See Section 408.032(5), Florida Statutes. 2. Sites of the three hospitals whose futures are at issue in this proceeding are in two of the sixteen District 3 counties : Citrus County and at the southern tip of the district, Hernando County. The three hospitals aspire to join the ranks of District 3's six existing providers of adult open heart surgery programs. 3. Three of the existing providers are in Alachua County, all within the incorporated municipality of Gainesville : Shands at Alachua General Hospital, Shands at the University of Florida, and North Florida Regional Medical Center. Two of the existing providers are in Marion County : Munroe Regional Medical Center and Ocala Regional Medical Center. The sixth provider, opened in November of 1998 as the most recently approved by AHCA in the district, is in Lake County: the Leesburg Regional Medical Center. 4. The CON status of the two Ocala providers is somewhat unusual. Located across the street from each other in downtown Ocala, they share virtually the same medical staff. Pursuant to a Stipulation and Settlement Agreement with the State of Florida, the two have offered adult open heart surgery services since 1987 under a single certificate of need issued for a joint program that reflects their proximity and identity of medical staff. The Agency's view of the arrangement has evolved over the years. It now holds the position that Munroe Regional and Ocala Regional operate independent programs. Accordingly, AHCA lists each as separate programs on its inventory of adult open heart services in District 3. Nonetheless, the two operate as a joint program pursuant to the Settlement Agreement and under state sanction reflected in the agreement, that is, they derive their authority to offer adult open heart surgery services from a single certificate of need. Other than a change of attitude by the Agency, there is nothing to detract from the status they have enjoyed since the agreement reached with the state in 1987 : two hospitals operating a joint program under a single certificate of need. 5. The three Gainesville providers all operated at an annual volume of less than 350 procedures during the reporting period that was most current at the time of the filing of the applications by the three competitors in this case. Those competitors are: Citrus Memorial, Oak Hill, and Brooksville Regional. B. Citrus Memorial, Oak Hill, Brooksville Regional 6. Citrus Memorial Health Foundation, Inc., is a 171-bed, not-for-profit community hospital located in Inverness, Florida . 7. HCA Health Services of Florida, Inc., d/b/a Oak Hill Hospital is a 204-bed hospital located in Oak Hill, Florida. 8. Hernando HMA, Inc., d/b/a Brooksville Regional is a 91- bed hospital located in Brooksville, Florida. Hernando HMA, Inc. (the applicant for the program to be sited at Brooksville Regional) also operates a second campus under a single hospital license with Brooksville Regional. The 75-bed campus is in southern Hernando County in Spring Hill. C. Citrus and Hernando Counties 9. Citrus Memorial is in Citrus County to the south of the cities of Gainesville and Ocala, the sites of five of the existing providers of adult open heart surgery in the district. Further south, Oak Hill and Brooksville Regional are in Hernando County. 10. Although adjacent to each other along a boundary running east-west, the county line is a natural divide, north and south, with regard to service areas for open heart surgery. Substantially all Citrus County residents, including Citrus Memorial patients, receive open heart surgery and angioplasty services at one of the two Ocala providers to the north. In contrast, almost all Hernando County residents (94 percent) receive open heart services at Bayonet Point, a provider in Health Planning District 5 to the south of Hernando County. 11. The neatness of this divide would be disrupted by the approval of the application of Brooksville Regional. Brooksville's application includes part of south Citrus County in its designated primary service area, an appropriate choice because of Brooksville Regional's location on Route 41 with good access to Citrus County. At present, however, the divide between north and south along the Citrus/Hernando boundary remains a Mason-Dixon line of open heart surgery service areas. 12. During the year ended September 1999, for example, 408 Citrus County residents received open heart surgery in Florida. Of these, 85 percent received them in Ocala at one of the two providers there. During the same period, 618 Citrus County residents underwent angioplasty, with 89.7 percent of them going to the two Ocala providers. During the year ended March 1999, 698 Hernando County residents underwent open heart surgery at Florida Hospitals. Of the 663 residents of Oak Hill's primary service area, 94.3 percent received services at Bayonet Point in District 5. Similarly, of the 779 Oak Hill primary service area residents receiving angioplasty, 93.8 percent went south to Bayonet Point. 13. Brooksville Regional projects that 10 percent of its OHS/angioplasty volume will be from Citrus County. Still, 90 percent of the volume is projected to b e from Hernando County. Thus, even with the threat posed by Brooksville's application to the divide at the Citrus/Hernando boundary, the overwhelming percentage of Brooksville's patients will be from south of the Citrus-Hernando boundary. 14. In sum, there is de minimis competition between would- be-provider Citrus Memorial and the providers to the north vis- a-vis would-be-providers Oak Hill and Brooksville Regional and the providers to the south in the arena of open heart surgery services needed by residents of the district. D. Bayonet Point 15. Under the umbrella of HCA Health Services of Florida, Inc., Bayonet Point is a provider of open heart surgery services in Pasco County. Only thirty minutes by road from its sister HCA facility Oak Hill and 45 minutes from Brooksville Regional, Bayonet Point captures approximately 94 percent of the open heart surgery patients produced among the residents of Hernando County. 16. Although its location is in a county that is only one county to the south of the two Hernando County hospitals, Bayonet Point is in a different health planning district. It is in District 5 on its northern edge. 17. The residents of Hernando County who receive open heart surgery services at Bayonet Point, a premier provider of adult open heart surgery services in the state of Florida, are well served. Operating at far from capacity, the quality of its open heart program is excellent to the point of being outstanding. E. Position of the Parties re: "not normal" circumstances 18. The Agency's Open Heart Surgery Rule, Rule 59C-1.033, Florida Administrative Code (the "Rule") establishes a need methodology and criteria applicable to review of certificate of need applications for the establishment of adult open heart surgery programs. The Rule also governs a hospital's ability to offer therapeutic cardiac catheterization interventional services ( i.e. , coronary angioplasty). Pursuant to Rule 50C- 1.032, Florida Administrative Code, a cardiac catheterization program that includes the provision of coronary angioplasty must be located within a hospital that provides open heart services. 19. Applying the methodology of Rule 50C-1.033 (the "Rule"), AHCA determined that a "fixed need pool" of zero existed in District 3 for the July 2002 planning h orizon. Calculation under the formula in the Rule produced a fixed need pool of one. Several District 3 programs, however, did not have an annual case volume of 350 or more procedures. The Rule's methodology requires that calculated numeric need be zeroed out whenever there are existing programs in a district with a sub- 350 annual volume. ( See Section (7)(a )2., of the Rule.) As required, therefore, the Agency published a numeric need of zero for the applicable planning horizon. The determination of zero numeric need was not challenged and so became final. 20. Their aspirations confronted with a numeric need of zero, Citrus Memorial, Oak Hill and Brooksville Regional, nonetheless, each filed applications seeking the establishment of adult open heart surgery programs. 21. As evidenced by the A gency's initial decision to grant Citrus Memorial's application and by its change of position with regard to Oak Hill's application, the Agency is in agreement that "not normal" circumstances exist to justify granting the applications of both Citrus Memorial and Oak Hill. 22. Thus, while the parties may differ as to the precise identification of those circumstances, all agree that there are circumstances that support the approval of at least one application (and perhaps two) for an adult open heart surgery in District 3 for the July 2002 planning horizon. 23. It is undisputed that a new OHS program in Hernando County would have no effect on the three existing programs located in Gainesville that perform less than 350 procedures annually. This circumstance is a "not normal" circumstance, as previously found by the Agency. It allows an application's approval in the face of the Rule's dictate that the Agency will not normally approve an application when an existing provider falls below the 350 watermark. 24. It is not, however, a circumstance that compels the award of a CON to any of the parties as in the case of "not normal" circumstances typically recognized by the A gency. (An example of such a circumstance would be an access problem for a specific population.) Rather, it is a circumstance that allows the Agency to overcome the zeroing-out effect of the R ule that demanded a fixed-need pool of zero. It is a circumstance that allows AHCA to award an adult open heart surgery CON to one of the Hernando County hospitals provided there is a demonstration of need. 25. There are no typical "not normal" circumstances that support any of the applications. There are no geographic, economic or clinical access problems for the residents of the any of the primary service areas of the three applicants that rise to the level of "not normal" circumstances. Nor would granting the applications of any of the three support cost efficiencies. In the case of Oak Hill, moreover, granting its application would both reduce the operating efficiencies at Bayonet Point and increase the average operating cost per case at Bayonet Point. Approval of an application is not compelled by the "not normal" circumstance that exists in this case. The "not normal" circumstance simply clears the way for approval provided there is a demonstration of need. F. Stipulated Matters 26. The parties stipulated that all applicants have a good record of providing quality of care and that all sections of the respective applications addressing that issue be admitted into evidence without further proof so as to establish record of quality of care. Accordingly, the parties stipulated that each application satisfies Section 408.035(1)(c) as to "the applicant's record in providing quality of care." 27. The parties stipulated that, subject to proving their ability to generate the open heart surgery and angioplasty volumes projected in their respective applications, each applicant has the ability to provide adequate and reasonable quality of care for those proposed services. Accordingly, subject to the proof involving service volume levels, each application satisfies Section 408.035(1)(c) as the "ability of the applicant to provide quality of care . . . ". 28. The parties stipulated that all applicants have available and adequate resources, including health manpower, management personnel, and funds for capital and operating expenditures in order to implement and operate their proposed projects. Furthermore, they stipulated that all sections of their respective applications relating to those proposed projects and all sections of their respective applications relating to those issues were to be admitted into evidence without proof. Accordingly, all applications satisfy that portion of Section 408.035(1)(h), Florida Statutes (1999) related to the availability of resources. 29. The parties stipulated that all applications satisfy, and no further proof is required to demonstrate, immediate financial feasibility as referenced in Section 408.035(1)(i), Florida Statutes (1999). 30. The parties stipulated that the costs and methods of proposed construction, including schematic design, for each proposed project were not in dispute and were reasonable, and that all sections of each application related to those issues were to be admitted into evidence without further proof. ( Stip., p.3.) Accordingly, each application satisfies Section 408.035(l)(m), Florida Statutes (1999). 31. The parties stipulated that each application contained all documentation necessary to be deemed complete pursuant to the requirements of Section 408.037, except that Section 408.037(b )3. is still at issue regarding operational financial projections (including a detailed evaluation of the impact of the proposed project on the cost of other services provided by the applicant). 32. The parties stipulated that each applicant satisfied all of the operational criteria set forth in the Rule (those operational criteria being encompassed in subsections 3, 4, and 5). Accordingly, it is undisputed that each applicant will have the support services, operational hours, open heart surgery team mobilization, accreditation, availability of health personnel necessary for the conduct of open heart surgery, and post- surgical follow-up care required by the Rule in order to operate an adult open heart surgery program. G. The Hernando County Hospitals a. Oak Hill 33. Oak Hill is located on Highway 50, in the southern part of Hernando County, between the cities of Brooksville and Springhill. Oak Hill's licensed bed compliment includes 123 medical/surgical beds, 24 ICU beds, 50 telemetry beds, and 7 beds for obstetrics. Oak Hill provides an array of medical services and specialties, including : cardiology, internal medicine, critical care medicine, family practice, nephrology, pulmonary medicine, oncology/hematology, infectious disease treatment, neurology, pathology, endocrinology, gastroenterology, radiation oncology, and anesthesiology. Board certification is required to maintain privileges on the medical staff of Oak Hill. 34. Oak Hill's six-story facility is situated on a large campus, and has been renovated over time so that the hospital's physical plant permits the provision of efficient care for patients. Oak Hills's surgery department has five operating rooms, plus a cystoscopy room. The department performs approximately 7,800 surgeries annually, a figure that demonstrates functional efficiency. 35. Oak Hill is JCAHO accredited, with commendation. Recently named one of the nation's top 100 hospitals for stroke care by one organization, it has also received recognition for the excellence of its four intensive care units. Oak Hill's cancer program is the only one to have received full accreditation from the American College of Surgeons within a six-county contiguous area. 36. Oak Hill recently expanded its emergency department and implemented a fast track program called Quick Care. The program is designed to treat lower acuity patients more rapidly. Gallup Organization surveys reflect a 98 percent patient satisfaction rate with the emergency department, the eighth best rate among the approximately 200 HCA-affiliated hospitals. During 1999, the emergency department treated 24,678 patients. During the same period, 376 patients presented to Oak Hill's emergency department with an acute myocardial infarction, and there were 258 such patients during the first eight months of 2000. 37. Oak Hill operates a mature cardiology program with ten B oard-certified cardiologists on staff. Eight of the ten perform diagnostic cardiac catheterizations in the hospital's cath laboratory. 38. Oak Hill's program is active with regard to both invasive and non-invasive cardiology. The non-invasive cardiology laboratory offers a variety of services, including echocardiography, holter monitoring, stress testing, electrocardiography, and venous, arterial and carotid artery testing. The invasive cardiology laboratory has been providing inpatient and outpatient cardiac catheterization services since 1991. During calendar year 1999, Oak Hill saw 1,671 diagnostic cardiac catheterization procedures and transferred 619 cardiac patients to Bayonet Point, 258 for open heart surgery, 311 for angioplasty, and 50 patients for cardiac catheterization. 39. The volume of catheterization procedures at Oak Hill has led to the construction of a second "cardiac cath" laboratory suite, scheduled for completion in May of 2001. The cath lab's medical director (Dr. Mowaffek Atfeh, the first interventional cardiologist in Hernando County) has served in that capacity since inception of the lab in 1991. The cath lab equipment is state-of-the-art. Oak Hill's cath lab provides excellent quality of care through its B oard-certified cardiologists and the dedication and experience of its well- trained nursing and technical staff. b. Brooksville Regional 40. Originally a 166-bed facility operated by Hernando County, 75 of the beds at Brooksville Regional were moved in 1991 to create a second facility at Spring Hill. A few years later, the facilities went into bankruptcy. The bankruptcy proceeding concluded in 1998, with operational control of both facilities being acquired by Hernando HMA, Inc. ("Hernando HMA"). 41. The CON applicant for the adult open heart surgery program to be sited at Brooksville Regional, Hernando HMA is a wholly-owned subsidiary of Health Management and Associates, Inc. ("HMA"), a corporation located in Naples, Florida, and whose shares are traded publicly. Under the arrangement produced by the bankruptcy proceeding, Hernando County retained ownership of the buildings and the land. Hernando HMA, in turn, operates the facilities per a long-term lease with the County. 42. Hernando HMA operates the Brooksville Regional and Spring Hill Campuses under a single hospital license issued by AHCA. The two campuses therefore share key administrative staff, including their chief executive officer. They share a single Medicare provider number and they have a common medical staff. 43. HMA (Hernando HMA's parent) operates 38 hospitals throughout the country, many in the State of Florida. Among the 38 is Charlotte Regional Medical Center in Charlotte County, an existing provider of adult open heart surgery and recently recognized as one of the top 100 OHS programs in the country. Charlotte Regional will be able to assist Brooksville Regional with staff training and project implementation if its application is approved. 44. An active participant in managed care contracting, Hernando HMA is committed to serving all payer groups, including Medicaid and indigent patients. It recently qualified as a Medicaid disproportionate share provider. It also serves patients without ability to pay. In fiscal year 2000, it provided $5 million of indigent care. 45. Under the lease agreement Hernando HMA has with Hernando County, it must continue the same charity care policies as when the facilities were operated by the County. Hernando HMA must report annually to the County to show compliance with this charity care obligation. 46. Also under the lease, Hernando HMA is obliged to invest $25 million in renovations and improvements to the two facilities over a 5-year period. About $10 million has already been invested. If the adult open heart surgery program is granted this would nearly satisfy the $25 million obligation. 47. The County reserves to itself certain powers under the lease. For example, the County reserves the authority to pre- approve the discontinuation of any services currently offered at these facilities. Also, if Hernando HMA seeks to relocate either of the two, the County retains the authority whether to approve the relocation. 48. The Spring Hill facility is located in the southwest portion of Hernando County, very near the Pasco County line. It is a general acute care facility, offering a full range of cardiology and other acute care services. Spring Hill was recently approved to add the tertiary service of Level II Neonatal Intensive Care. 49. The Brooksville facility is located in the geographic center of Hernando County. Its service area is all of Hernando County and southern Citrus County. Brooksville is a full- service, general acute care facility. It offers services in cardiology, orthopedics, general surgery, pediatrics, ICU, telemetry, gynecology, and other acute services. 50. Brooksville Regional has 91 acute care beds. Normally, the beds are used as 12 ICU beds, 24 telemetry beds, and 55 medical/surgical beds. During its peak annual period of occupancy, Brooksville has the capability to use up to 40 beds for telemetry purposes. The hospital has ample unused space and facilities associated with its 91 beds that resulted from the move of the 75 beds to create the Spring Hill campus. 51. Brooksville Regional offers full scope cardiology services and technologies, including diagnostic cardiac catheterization. Just as in the case of Oak Hill, the cardiac cath lab is state-of-the-art. The only cardiac services not offered at the hospital are open heart surgery and angioplasty. 52. The quality of cardiology and related services at Brooksville Regional are excellent. The equipment, the nursing staff, the allied health professional staff, and the technology support services are very good. The medical staff is broad- based and highly qualified. Brooksville Regional offers substantial educational and training programs for its nursing staff and other personnel on staff. 53. Brooksville Regional routinely treats patients in need of OHS or angioplasty services. Nearly 400 patients per year receive a diagnostic cardiac cath at Brooksville Regional and are then transferred for open heart surgery or angioplasty. The vast majority of these patients are transferred to Bayonet Point, about 45 minutes away. 54. In addition to transfers of patients following diagnostic catheterization, Brooksville Regional transfers about 120 patients per year to Bayonet Point who have not had such services. These patients fall into two categories: (1) high- risk patients, and (2) persons presenting at Brooksville's emergency room in need of angioplasty or open heart surgery. H. The Proposals a. Citrus Memorial 55. By its application, Citrus Memorial proposes to establish a program that will provide adult open heart surgery and angioplasty services. There is no dispute that Citrus Memorial has the ability to provide adequate and reasonable quality of care for the proposed project (just as per the stipulation of the parties, there is no dispute that all of the applicants have such ability.) There is also no dispute that each applicant, including Citrus Memorial, will have all of the staff, equipment and other resources necessary to implement and support adult open heart surgery and angioplasty services. 56. The ability to provide high quality care stems, in part, from Citrus Memorial's contract with the Ocala Heart Institute. Under the contract the Institute will provide supervision of the implementation and ongoing operations of the Citrus Memorial program. This supervision will be provided under the leadership of the president of the Institute, cardiovascular surgeon Michael J. Carmichael, M.D. 57. The contract between Citrus Memorial and the Ocala Heart Institute is exclusive. Citrus Memorial will not extend medical staff privileges to any cardiovascular surgeon not affiliated with the Ocala Heart Institute unless approved by the Institute. 58. The Ocala Heart Institute (whose physician members include not only cardiovascular surgeons, but also cardiovascular anesthesiologists and invasive cardiologists) has similar exclusive contracts for the operation of adult open heart surgery programs at Monroe Regional Medical Center and at Ocala Regional Medical Center and at Leesburg Regional Medical Center. At these three hospitals, the Institute's physicians have consistently produced excellent outcomes. 59. The Ocala Heart Institute produces these results not just through the skills of its physicians but also through the use of the same clinical protocols at each hospital governing the provision of open heart surgery. Citrus Memorial proposes to follow identical protocols at its facility. 60. Excellent open heart surgery outcomes for the Institute's physicians are also the product of standardized facility design, equipment and supplies. The standardization of design, equipment, supplies, and protocols has the added benefit of clinical efficiencies that reduce costs and shorten lengths of stay. 61. Beyond supervision of the initial implementation of the program, the Ocala Heart Institute will provide the medical directorship for Citrus Memorial's program. In cooperation with Munroe Regional, the directorship's 24-hour-a-day, 7-days-a-week coverage of the program will include scheduled case, emergency case, and backup coverage by cardiovascular surgeons, cardiovascular anesthesiologists, perfusionists, and interventional cardiologists. 62. The Ocala Heart Institute will provide education and training to Citrus Memorial's medical staff and other hospital personnel as appropriate. The Institute's obligations will include continually working to improve the quality of, and maintain a reasonable cost associated with, the medical care furnished to Citrus Memorial's open heart surgery and angioplasty patients, consistent with recognized standards of medical practice in the field of cardiovascular surgery. 63. The contract with the Ocala Heart Institute ensures to the extent possible that Citrus Memorial will have a high- quality adult open heart surgery program. b. Oak Hill 64. Through approval of its application to establish an adult open heart surgery program at its facility, Oak Hill hopes Hernando County residents who now must travel outside the county to receive open heart and angioplasty services will be better served. In particular, Oak Hill hopes to provide these services to the residents of the six zip code area that comprise its primary service area ("PSA"). Containing 75 percent of the county's population, Oak Hill's PSA also encompasses the county's concentration of recent growth. 65. Oak Hill's administration is committed to the proposal contained in its application. It has the support of the hospital's Board of Trustees and medical staff. Not surprisingly, the proposal enjoys a measure of popularity in the county. A petition in support of a program at Oak Hill drew 7,628 signatures from residents of Hernando County. 66. This popularity is based in the fact that residents now must leave District 3 (albeit Bayonet Point in District 5 is close to Oak Hill and closer for many residents of south Hernando County) to receive open heart and angioplasty services. The number of affected residents is substantial. In 1999, for example, over 600 cardiac patients were transferred by ambulance from Oak Hill to Bayonet Point. A greater number of patients traveled on a scheduled basis to Bayonet Point for cardiac care. 67. The vast majority of Hernando County residents and Oak Hill primary service area residents in need of OHS services receive them at Regional Medical Center-Bayonet Point. HCA Health Services of Florida, a subsidiary of HCA-The Healthcare Company ("HCA") holds the Bayonet Point license. It also is the licensee of Oak Hill and other hospitals in Florida including North Florida Regional and Ocala Regional. 68. Bayonet Point (Regional Medical Center-Bayonet Point) is an acute care hospital in Hudson. Hudson is in Pasco County, the county immediately to the south of Hernando County. Although in a separate health planning district (District 5), Bayonet Point is relatively close to Oak Hill, 17 miles to the south. Bayonet Point's open heart surgery program experiences the fourth highest case volume in the state. The program is recognized as one of the top two programs in the state. It enjoys a national reputation. For example in July of 1999, it was ranked 50th in the nation in cardiology and heart surgery in U.S. News and World Report 's list of "America's Best Hospitals." 69. Oak Hill, as a sister hospital of Bayonet Point under the aegis of HCA, plans to develop its program in cooperation with Bayonet Point and its cardiovascular surgeons so as to bring the high quality program at Bayonet Point to Oak Hill's community and patients. A prospective operational plan for the adult open heart surgery program has been initiated by Oak Hill with assistance from Bayonet Point. 70. Oak Hill, unlike Citrus Memorial, did not present evidence concerning the specific duties to be imposed on each physician group under contract. Nor did Oak Hill present evidence as to whether and how those groups would create and implement the type of standardization of protocols, facility design, equipment, and supplies that Citrus Memorial's program will rely upon for high quality and reduced costs. Nonetheless, it can be expected that the cooperation of Oak Hill and Bayonet Point, as sister HCA hospitals, will continue through the development and implementation of appropriate staff training, policies, procedures and protocols in the establishment of a high quality program at Oak Hill. 71. Oak Hill's achiev ed volume in its open heart surgery program, if approved, will be at the direct expense of Bayonet Point. Its approval will increase the operating costs per case at Bayonet Point. 72. Patients transferred from Oak Hill to Bayonet Point for OHS and angioplasty receive excellent outcomes. Patients are transferred to Bayonet Point for OHS and angioplasty smoothly and without delay particularly because Bayonet Point operates a private ambulance system for the transport of cardiac patients to its hospital. 73. Two groups of cardiovascular surgeons are the exclusive cardiovascular/thoracic surgeons at Bayonet Point. Although, at present, there are no capacity constraints at Bayonet Point, both groups support a program at Oak Hill and are committed to participate in an open heart surgery program at Oak Hill. If approved, Oak Hill will enter similar exclusive contracts with the two groups. 74. Raymond Waters, M.D., a cardiovascular surgeon, heads one of the groups. He has performed open heart surgery at Bayonet Point since its inception and is largely responsible for the development of the surgery protocols used there. Dr. Waters has consulting privileges at Oak Hill. In addition to consulting there, Dr. Waters presents medical education programs at Oak Hill. Forty to 50 percent of Dr. Waters' patients come from Hernando County and Oak Hill Hospital. 75. Dr. Waters and his group strongly support initiation of an open heart surgery ("OHS") program at Oak Hill. Their support is based, in part, on the excellence of the institution, including its physical structure, cath labs, intensive care units, nursing staff, medical staff, and the state of its cardiology program. Dr. Waters and his group are prepared to assist in the development of an open heart surgery program at Oak Hill, and to assure appropriate surgery coverage. 76. Oak Hill will create a Heart Center at the hospital to house its OHS program. All diagnostic and invasive cardiac services will be located in one area of the hospital to ensure efficient patient flow and access to support services. The center will occupy existing space to be renovated and newly constructed space on the first floor of the facility. Two new cardiovascular surgery suites, with all support spaces necessary, will be constructed, along with an eight-bed cardiovascular intensive care unit. The hospital's two state- of-the-art cardiac catheterization laboratory suites are available for diagnostic procedures and angioplasty procedures. A large waiting area and cardiac education/therapy room will also be constructed. 77. Open heart surgery patients will progress from the OR to the new CVICU for the first 24-28 hours after surgery. From the CVICU, the patient will be admitted to a thirty-bed telemetry monitored progressive care unit, located on the second floor. Currently a 38-bed medical/surgical unit, thirty of the beds will remain as PCU beds. Eight beds will be relocated to create the CVICU. The PCU will provide continued care , education and discharge planning for post open heart surgery and angioplasty patients. Oak Hill will also implement a comprehensive cardiac rehabilitation program for both inpatients and outpatients. c. Brooksville Regional 78. Like Oak Hill, part of the purpose of the Brooksville Regional proposal is to provide more convenient OHS and angioplasty services to Hernando County residents in need of them, 94 percent of whom now travel to Bayonet Point in Pasco County for such services. 79. In addition to proposing improvements in patient convenience and access, Brooksville Regional sees its application as increasing patient choice and competition in the delivery of the services. Indeed, patient choice and competition for the benefit of patients, physicians and payers of hospital services are the cornerstone of Brooksville Regional's application. 80. There is support for the proposed program from the community and from physicians. For example, Dr. Jose Augustine, a cardiologist and Chief of the Medical Staff at Oak Hill since 1997, wrote a letter of support for an open heart program at Brooksville Regional. Although he believes Hernando County would be better served by a program at Oak Hill, he wrote the letter for Brooksville Regional because, "if Oak Hill didn't get it, [he] wanted the program to be here in Hernando County." (Oak Hill No. 12, p. 43.) Consistent with his position, Dr. Augustine finds Brooksville Regional to be an appropriate facility in which to locate an open heart program and he would do all he could to support such a program including providing support from his cardiology group and encouraging support other physicians. But Brooksville Regional offered no evidence regarding the identity of its cardiovascular surgeons. 81. Hernando HMA proposes to construct a state-of -the-art building of 19,500 square feet at Brooksville Regional to house its OHS program. Two OHS operating rooms will be built. Eight CVICU beds will be used for the program, to be converted from other licensed beds. A second cath lab will be added. The total project cost is nearly $12 million. 82. Brooksville Regional proposes to serve all of Hernando County. In addition, 10 percent of its volume is expected to come from Citrus County. Brooksville Regional commits to serving all payer groups with the vast majority projected to be Medicare , Medicare HMO/PPO and non-Medicare managed care. 83. Brooksville lists two specific CON conditions in its application. First, it commits to over 2 percent for charity care and 1.6 percent for Medicaid. Second, it commits to establishing the OHS program at Brooksville's existing facility, located at 55 Ponce de Leon Boulevard in the City of Brooksville. The second of these two was reaffirmed unequivocally at hearing when Brooksville introduced testimony that if Brooksville's CON application is approved, its OHS program will be located at Brooksville's existing facility. I. Need a. In Common 84. One "not normal" circumstance exist that supports all three applications : the lack of effect any approval will have on the sub-350 performers in the district. Which, if any, of the three applicants should be awarded an adult open heart surgery program, therefore, is determined on the basis of need and that determination is to be made in the context of comparative review. i. Benefits of Increased Blood Flow 85. Lack of blood flow to the heart caused by narrowed arteries or blood clots during a heart attack, results in a loss heart of muscle. The longer the blood flow is disrupted or diminished, the more heart muscle is lost. The more heart muscle lost, the more likely the patient will either die or, should the patient survive, suffer a severe reduction in the quality of life. 86. The key to prevent the loss of heart muscle in a heart attack is to restore blood flow to the heart through a process of revascularization as quickly as possible. Cardiovascular surgeons and cardiologists make reference to this phenomenon through the maxim, "time is muscle." The faster revascularization is accomplished the better the outcome for the patient. 87. Those who treat heart attack patients seek to restore blood flow within a half hour of the onset of the attack. Revascularization within such a time frame maximizes the chance of reducing permanent damage to the heart muscle from which the patient cannot recover. Achievement of revascularization between 30 minutes and 90 minutes of the attack results in some damage. Beyond 90 minutes, significant permanent damage resulting in death or severe reduction in quality of life is likely. 88. The three primary treatment modalities available to a patient suffering from a heart attack are : 1) thrombolytics; 2) angioplasty and 3) open heart surgery. 89. Thrombolytic therapy is the standard of care for the initial attempt to treat a heart attack. Thrombolytic therapy is the administration of medication, typically tissue plasminogen ("TPA") to dissolve blood clots. Administered intravenously, the thrombolytic begins working within minutes in an attempt to dissolve the clot causing the heart attack and, therefore, to prevent or halt damage to the heart muscle. 90. Thrombolytic therapies are successful in restoring blood flow to the affected heart muscle about 60 to 75 percent of the time. In the event it is not successful or the patient is not appropriate for the therapy, the patient is usually referred for primary angioplasty, a therapeutic cardiac catheterization procedure. 91. Cardiac catheterization is a medical procedure requiring the passage of a catheter into one or more cardiac chambers with or without coronary arteriograms, for the purpose of diagnosing congenital or acquired cardiovascular diseases, and includes the injection of contrast medium into the coronary arteries to find vessel blockage. See Rule 59C-1.032(2)(a), Florida Administrative Code. 92. Primary angioplasty is defined as a therapeutic cardiac catheterization procedure in which a balloon-tipped catheter inflated at the point of obstruction is used to dilate narrowed segments of coronary arteries in order to restore blood flow to the heart muscle. Rule 59C-1.032(2)(b), Florida Administrative Code. 93. More often now, in the wake of cardiac care advances , a "stent" is also placed in the re-opened artery. A stent is a wire cylinder or a metal mesh-sleeve wrapped around the balloon during an angioplasty procedure. The stent attaches itself to the walls of the blocked artery when the balloon is inflated, acting much like a reinforced conduit through which blood flow is restored. Its advantage over stentless angioplasty is improved blood flow to the heart and a reduction in the likelihood that the artery will collapse in the future. In other words, a stent may prevent substantial re-occlusion. The development of stent technology has led to dramatically increased angioplasty procedure volumes in recent years and the trend is continuing. 94. Based on mortality rates, studies suggest that immediate angioplasty, rather than thrombolytic treatment, is the preferred treatment for revascularization. 95. When thr ombolytic therapy is inappropriate or fails and a patient is determined to be not a candidate for angioplasty, the patient is referred for open heart surgery. 96. Under the Open Heart Surgery Rule, Rule 59C-1.032, Florida Administrative Code, a cardiac catheterization program that includes the provision of angioplasty must be located within a hospital that also provides open heart surgery services. Open heart surgery is a necessary backup in the event of complications during the angioplasty. The residents of Citrus Memorial's primary service area (and those of Oak Hill's and Brooksville Regional's), therefore, do not have immediate access (that is access to a hospital in their county of residence) to not just open heart surgery services but to angioplasty services as well. 97. In addition to increased benefits to the residents of the proposed service areas, much of the need in this case is based on a demonstration of geographic access problems. 98. For example, population concentration and historical utilization of open heart surgery services in the district demonstrate that the open heart surgery programs in the district are maldistributed. At the same time, the Bayonet Point program's service by virtue of both superior quality and proximity to Hernando County ameliorates the effect of the maldistribution of the programs intra-district particularly with regard to the residents of Hernando County. 99. The four southernmost of the 16 counties in the district (Citrus, Hernando, Sumter and Lake) account for approximately 41 percent of the total adult population and 53.5 percent of the population aged 65 and over within District 3 as a whole. The super majority of aged 65 and over population in these counties is of great significance since that population is the primary base of those in need of adult open heart surgery and angioplasty. This same base accounts for 57 percent of the total annual open heart surgeries performed on district residents. 100. For District 3 as a whole, 27 percent of the ad ult population is aged 65 and older. In comparison, 38.2 percent of Citrus County residents fall within that age cohort, 37.2 percent of Hernando County residents and 33.3 percent of residents in Lake and Sumter Counties combined fall within that age cohort. 101. In contrast, in the northern part of the district, the counties closest to the three Gainesville open heart surgery programs (Columbia, Hamilton, Suwanee, Alachua, Bradford, Dixie, Gilchrist, Lafayette, Levy, and Union) contain a combined basis of 32.4 percent and Putnam County contains 24.7 percent of the District 3 population aged 65 and over. 102. The overall District 3 open heart surgery use rate (number of surgeries per 1,000 population age 15 and over) is 3.47. Yet, the combined use rate for Columbia, Hamilton, and Suwanee Counties is 1.96, the combined use rate for Alachua, Bradford, Dixie, Gilchrist, Lafayette, Levy, and Union Counties is 1.55, and the Putnam County use rate is 2.05. 103. More specifically, the northern county use ra tes are significantly below the use rates for the remainder of District 3 counties. Marion County is 4.12. Citrus County is at 4.26. Hernando County is at 6.41. Lake and Sumter Counties are at 4.31. ii. Transfers 104. Drive time is but one componen t of the total time necessary to effectuate a patient transfer. Additional time is consumed in making transfer and admission arrangements with the receiving hospital, awaiting arrival of an ambulance to begin transport, and preparing and transferring the patient into and out of the ambulance. Time delays that necessarily accompany hospital-to-hospital transfers can be critical, clinically. The fact that a facility-to-facility transfer is required means that the patient is at relatively high risk. Otherwise, the patient would be sent home and electively scheduled later. 105. The need to travel outside the community carries other adverse consequences for patients and their families. Continuity of care is disrupted when patients cannot receive hospital visits from their regular and trusted physicians. Separation from these physicians increases stress and anxiety for many patients, and patients heal better with lower levels of stress and anxiety. Further, most OHS patients are elderly, and travel by their spouses to another community to visit is stressful and difficult at best, sometimes impossible. The elderly loved ones of the patient also tend to have health problems and, even when able, the drive to the hospital is stressful. iii. District 3 Out-migration 106. A high volume of OHS patients leave District 3 for OHS services. During the year ended March 1999, there were a total of 3,520 District 3 residents discharged from Florida hospitals following OHS. Only 2,428 of those OHS cases were reported by hospitals located within District 3. An outmigration rate of 31 percent, on its face, is indicative of a district geographic access problem. The problem is mitigated, however, by an understanding that most of the outmigration is of Hernando County residents who are able to travel or are transferred to Bayonet Point, a provider within 30 to 45 minutes driving time from the two Hernando County applicants in this proceeding. b. Citrus Memorial i. Volume Projections and Financial Feasibility 107. Citrus Memorial reasonably projects an open heart surgery case volume of 266 for the first year of operation, 313 for the second year, and 361 for the third year. 108. Citrus Memorial reasonably projects an angioplasty case volume of 409 for the first year of operation, 481 for the second year, and 554 for the third year. 109. The Citrus Memorial program is financially feasible in the long term. It will generate approximately $1 million in not-for-profit income by the end of the second year of operation ($327,609 from open heart surgery cases, and $651,323 from angioplasty cases). ii. Increased Access in Citrus County 110. The two Ocala hospitals are approximately 30 miles from Citrus Memorial. With traffic, the normal driving time from Citrus Memorial to the hospitals is 60 minutes. The driving time from Oak Hill to Bayonet Point is normally 29 minutes or about half the time it takes to get from Citrus Memorial to one of the Ocala providers. The drive time from Brooksville Regional to Bayonet Point is approximately 45 minutes, 25 percent faster than the driving time from Citrus Memorial to the Ocala hospitals. Myocardial infarction patients for whom thrombolytic therapy is inappropriate or ineffective who present to the emergency room at Citrus Memorial, on average, therefore, are exposed to greater risk of significant heart muscle damage than those who present to the emergency rooms at either Oak Hill or Brooksville Regional. 111. The delay in transfer for a Citrus Memorial patient in need of angioplasty or open heart surgery can be compounded by the ambulance system in Citrus County. There are only 7 ambulances in the system. If one is out of the county, the provider of ambulance services will not allow another to leave the county until the first has returned. 112. Citrus Memorial presented medical records of 17 cases in which transfers took more than an hour and in some cases more than 3 hours from when arrangements for transfers were first made. There was no testimony to explain the meaning of the records. Despite the status of the records as admissible under exceptions to the hearsay rule and therefore the ability to rely on them for the truth of the matters asserted therein, the lack of expert testimony diminishes the value of the records. 113. For example in the first case, the patient presented at the emergency room on June 14, eatment reduced the patient's chest pain. In other words, thrombolytics appeared to be beneficial. The patient was admitted to the coronary care unit after a diagnosis of unstable angina, and cardiac catheterization was ordered. On June 15, the next day, at about 11:40 a.m., "just prior to going down to Cath Lab, patient developed severe chest pain." (Citrus Memorial Ex. 16, p. 1017.) Following additional treatment, the chest pains were observed half an hour later to be "better." ( Id. ) Several hours later, at 1:45 p.m., that day, transfer to Ocala Regional was ordered. ( Id. , p. 1043). The patient's progress notes show that the transfer took place at 3:45 p.m., two hours after the order for transfer was entered. Whether rapid transfer was required or not is questionable since the patient appears to have been stabilized and had responded to thrombolytics and other therapy. 114. In contrast, the second of the 17 cases is of a patient whose "risk of mortality [was] . . . close to 100%." The physician's notes indicate that at 1:10 p.m. on August 8, 1999, "emergency cardiac cath [was] indicated [with] a view toward revascularization." (Citrus Memorial Ex. 16, p. 1093). The same notes indicate after discussion between the physician and the patient and his spouse "that transfer itself is risky, but that risk of mortality [if he remained at Citrus Memorial] . . . is close to 100 percent." Although these same notes show that at 1:10 p.m., the patient's transfer had been accepted by the provider of open heart surgery, it was not until 3:30 p.m., that the "Ocala team" ( id . , at 1113) was shown to be present at Citrus Memorial and not until 3:45 p.m., that the patient was "transferred to Ocala." ( Id. ) Given the maxim that "time is muscle," it may be assumed that the 2-hour and 45- minute delay in transfer from the moment the patient was accepted for transfer until it occurred and the ensuing time thereafter for the drive to Ocala contributed to significant negative health consequences to the patient. 115. Whatever the value of the 17 sets of medical records, they demonstrate that transfers from Citrus Memorial on occasion take up time that is outside the 30-minute and 90-minute timeframes for avoiding significant damage to heart muscle or minimizing such damage to heart attack patients for whom angioplasty or open heart surgery procedures is indicated. 116. Citrus Memorial also presented twenty sets of recor ds from which the "emergent" nature of the need for angioplasty or open heart intervention was more apparent from the face of the records than in the 17 cases. (Compare Citrus Memorial Ex. No. 16 to No. 17). These records reveal transport delays in some cases, lack of immediate bed ability at the Ocala hospitals in others, and in some cases both transport delays and lack of bed availability. In 16 of the cases, it took over 90 minutes for the patient to reach the receiving hospital and in 13 of the cases, it took 2 hours or more. 117. It would be of significant benefit to some of those who present to Citrus Memorial's emergency room with myocardial infarctions to have access to open heart surgery services on site should thrombolytic therapy be inappropriate or prove ineffective. iii. Other Access Factors 118. Besides time considerations, there are other factors that provide comparisons related to access by Citrus Memorial service area residents on the one hand and Hernando County residents to be served by either Oak Hill or Brooksville Regional on the other. 119. Among the other factors relied on by Citrus Memorial to advance its application is a comparison of use rate. The use rate per 1,000 population aged 15 and over for Hernando County is 6.08, compared to 4.13 for Citrus County. "[B ]y definition" (tr. 458), the use rates show need in Hernando County greater than in Citrus County. But the use rates could indicate an access problem financially or geographically. In the end, there are a lot of components that make up the use rate. One is obviously the age of the population and underlying heart disease, two, . . . is the physician practice patterns in the county. [S ]tudies . . . show that [in] two equivalent populations, . . . one with a very conservative medical community that . . . hospitalizes more frequently . . . [versus] another . . . where the physicians hospitalize less frequently for the same situation or who use a medical approach versus a surgical approach. ( Id. ) While there may be one possible explanation for the lower use rate in Citrus County than in Hernando County that favors Citrus Memorial, a comparison of use rates on the state of this record is not in Citrus Memorial's favor. 120. Other factors favor Citrus Memorial. In su pport of its open heart surgery and angioplasty volumes, for example, Citrus Memorial reasonably projects an 80 percent market share for such services from its primary service areas. In contrast, Oak Hill projected a much lower market share from its primary service area: 58 percent. The lower market share projection by Oak Hill is due to the proximity of the Bayonet Point program to Hernando County. The difference in the two projections reveals greater demand for improved access in Citrus County than in Hernando County. 121. This same point is revealed by projected county outmigration. Statewide data reveals that the introduction of open heart surgery services within a county causes a county resident generally to stay in the county for those services. Yet with a new program in Hernando County, Bayonet Point is still projected reasonably to capture one-half of the open heart surgeries and angioplasties performed on Hernando County residents, further support for the notion that Hernando County residents have adequate access to open heart surgery services through Bayonet Point's program. 122. As to angioplasty demand, Oak Hill projected an angioplasty/open heart surgery ratio of 1.3. Citrus Memorial's ratio is 1.5. 123. Geographic access limitations a lso adversely affect continuity of care. To have open heart surgery performed at another hospital, the patient will have to travel for pre- operative, operative, and post-operative follow-up services and duplication of tests. This lack of continuity of care often results in the patient's primary and specialty care physicians not following the patient and not being involved with all phases of care. 124. In assessing travel time and access issues for open heart surgery and angioplasty services, travel time and distance present not only potential hardship to the patient, but also to the patient's family and friends who accompany and visit the patient. These issues are of particular significance to elderly persons (be they the patient, family member or friend) who do not drive and must rely on others for transport. iv. Financial Access Indigent Care 125. Consistent with its mission as a community not-for- profit hospital, Citrus Memorial will accept any patient who comes to the hospital regardless of ability to pay. 126. In 1999, Citrus Memorial provided approximately $4.9 million in charity care, representing 3.6 percent of its gross revenues. Citrus County provided Citrus Memorial with $1.2 million dollars in subsidization, part of which was allotted to capital construction and maintenance, part of which was allotted to charity care. Subtracting all $1.2 million, as if all had been earmarked for charity care, from the charity care, the dollar amount of Citrus Memorial's out-of-pocket charity care substantially exceeds the dollars for the same period provided by Oak Hill ($1.3 million) and by Brooksville Regional ($935,000). The percentage of gross revenue devoted to charity care is also highest for Citrus Memorial; Brooksville Regional's is 1.1 percent and tellingly, Oak Hill's, at 0.6 percent is less than one-quarter of Citrus Memorial's percentage of out-of- pocket charity care. "[C ]learly Citrus has a much stronger charity care credential than does either Oak Hill or Brooksville Regional." (Tr. 241). 127. But this credential does not carry over into the open heart surgery arena. As a condition to its CON, Citrus Memorial committed to a minimum 2.0 percent of total open heart surgery patient days to Medicaid/charity patients. The difference between Citrus Memorial's commitment and that of Oak Hill's and Brooksville Regional's, both standing at 1.5 percent, is not nearly as dramatic as past performance in charity care for all services. 128. The difference in the comparison of Citrus Memorial to the other applicants between past overall charity care and commitment to future open heart services for Medicaid and charity care is explained by the population that receives open heart and angioplasty services. That population is dominated by those over 65 who are covered by Medicare. v. Competition 129. Citrus Memorial's current charges for cardiology services are significantly lower than comparable charges at Oak Hill or Brooksville Regional. 130. A comparison of the eight cardiology-related DRGs that typically have high volume utilization reveals that Oak Hill's gross charges are 62 percent greater than Citrus Memorial's gross charges. A comparison of gross charges is not of great value, however, even though there are some payers that pay billed charges such as "self-pay" and indemnity insurance. When managed care payments are a function of gross charges then such a comparison is of more value. 131. On a net revenue per case basis for those DRGs, Oak Hill's net revenues are 10 percent greater than Citrus Memorial's. A 10 percent difference in net revenues, a much narrower difference than the difference in gross charges, is significant. Furthermore, it is not surprising to see such a narrowing since most of the utilization is covered by Medicare which makes a fixed payment to the provider. 132. A comparison of projections in the applications reveals that Oak Hill's gross revenue per open heart surgery cases will be 164 percent greater than Citrus Memorial's gross revenue per such case. Oak Hill's net revenue per open heart surgery case will be 32 percent greater than Citrus Memorial's net revenue per such case. 133. A comparison of projections in the applications also reveals that Oak Hill's gross revenue per angioplasty case will be 74 percent greater than Citrus Memorial's and that Oak Hill's net revenues per angioplasty case will be 13 percent greater than Citrus Memorial's. 134. If a program is established at Oak Hill, there will be a hospital within District 3 with a new open heart surgery program. But what Oak Hill, under the umbrellas of HCA, proposes to do in reality is to take a quarter of the volume from [Bayonet Point, a] premier facility to set up in a sense a satellite operation at a facility . . . 16 miles away . . . [when] those patients already have an established practice of going to the premier tertiary facility . . . [ and when the two enjoy] a very strong positive relationship. (Tr. 1434). Such an arrangement will do little to nothing to enhance competition. 135. Comp aring Citrus Memorial and Brooksville Regional gross revenues on the basis of the same cardiology-related DRGs reveals that Brooksville's gross charges are 83 percent greater than Citrus Memorial's charges. 136. A comparison of projections in the applica tions reveals that Brooksville Regional's gross revenue per open heart surgery case will be 147 percent greater than Citrus Memorial's and the Brooksville's net revenue per open heart surgery case will be 45 percent greater than Citrus Memorial's. 137. A comparison of projections in the applications reveals that Brooksville's gross revenue per angioplasty case will be 36 percent greater than Citrus Memorial's and that Brooksville's net revenue per angioplasty case will be 7 percent lower than Citrus Memorial's. vi. Impact of a Citrus Memorial Program on Existing Providers 138. Citrus Memorial reasonably projected that by the third year of operation, a Citrus Memorial program will take away 100 cases from Ocala Regional. 139. In 1999 Ocala Regional h ad an open heart surgery volume of 401 cases. In 2000, its annual volume was 18 cases more, 419. This is a decline from both the immediately prior two-year period, 1997 to 1998 and the two-year period before that of 1995 to 1996. 140. The volume declin e for the two-year period 1999 to 2000 compared to the previous two-year period, 1997 to 1998 is not at all surprising because of "two big factors." (Tr. 97). First, in 1997 and 1998, Ocala Regional was used as a training site for the development of Leesburg Regional's open heart surgery program that opened in December of 1998. In essence, Ocala Regional enjoyed an increase in the volume of cases in 1997 and 1998 when compared to previous years and a spike in volume when compared to both previous and subsequent two-year periods because of the 1997-98 short-term "windfall.) ( Id. ) Second, Ocala Regional was a Columbia-owned facility. In 1999 and thereafter, "Columbia developed a lot of bad publicity because of some federal investigations that were going on of the Columbia system." ( Id. ) The publicity negatively affected the hospital's open heart surgery volume in 1999 and 2000. 141. The second factor also helps to explain why Ocala Regional's volume in 1999 and 2000 was lower than in 1995 and 1996. There are other factors, as well, that help explain the lower volume in 1999 and 2000 than in 1995 and 1996. 142. In any event if impact to Ocala Regional, alone, were to be considered for purposes of the prohibition in Rule 59C- 1.033(7)(c), that a new program will not normally be approved if approval would reduce 12-month volume at an existing program below 350, then the impact might result in veto by rule of approval of a program at Citrus Memorial. But Ocala Regional is but one hospital under a single certificate of need shared with another hospital across the street from its facility : Munroe Regional. Annualization for 1999 of discharge data for the 12 months ending September 30, 1999 shows that Munroe Regional enjoyed a volume of 770 cases. There is no danger that the program carried out by Ocala Regional and Munroe Regional jointly under a single certificate of need will fall below 350 procedures annually should Citrus Memorial be approved. c. Oak Hill i. Need for Rapid Interventional Therapies and Transfers 143. A high number of residents of Oak Hill's proposed service area present to its emergency room with myocardial infarctions. Many of them would benefit from prompt interventional therapies currently made available to them at Bayonet Point. Over 600 patients annually, almost two patients every day, must be transferred by ambulance from Oak Hill to Bayonet Point for cardiac care. A significant number of them would benefit from interventional therapy more rapidly available. The travel time from Oak Hill to Bayonet Point is the least amount of time, however, of the travel time from any of the three applicants in this proceeding to the nearest existing open heart provider; Brooksville Regional to Bayonet Point or Citrus Memorial to one of the Ocala providers. The extent of the benefit, therefore, is difficult to quantify and is, most likely, minimal. 144. As with the other two applicants, thrombolytic therapy is the only method of revascularization currently available to Oak Hill's patients because Oak Hill is precluded by Agency rule and clinical standards from offering angioplasty without on-site open heart surgery backup. 145. The percentage of MI patients who are ineligible for thrombolytic therapy, coupled with the percentages of patients for whom thrombolytic therapy is ineffective, are extremely significant given the high number of MI patients presenting to Oak Hill's emergency room. During 1998, 418 patients presented to Oak Hill's ER with an MI, and 376 MI patients presented in 1999. During the first eight months of 2000, 255 MI patients presented to Oak Hill's ER, an annualized rate of 384. 146. Conservatively, thrombolytic therapy is not effective for at least 10 percent of patients suffering from an acute MI, either because patients are ineligible to receive the treatment or the treatment fails to clear the blockage. Accordingly, it may be conservatively projected that at least 104 patients who presented to Oak Hill's ER between 1998 and August 2000 (10 percent of 1049) suffering an MI were in need of angioplasty intervention for which open heart surgery backup is required. 147. Most patients are diagnosed as in need of OHS or angioplasty as a result of undergoing a diagnostic cardiac catheterization. Oak Hill performs an extremely high volume of cardiac cath procedures for a hospital that lacks an OHS program. In 1999, for example, it performed 1,641 cardiac catheterizations. This is a higher volume than experienced by any of six hospitals during the year prior to which they recently implemented new OHS programs. 148. If Oak Hill had an OHS program, most of the patients at Oak Hill determined to be in need of angioplasty or OHS could receive those procedures at Oak Hill. Such an arrangement would avoid the inevitable delay and stress occasioned by a transfer to Bayonet Point or elsewhere. Furthermore, if Oak Hill had an OHS program then those patients in need of diagnostic cardiac catheterization and angioplasty sequentially would have immediate access to the interventional procedure. 149. The need is underscored for those patients presenting to Oak Hill's ER with myocardical infarctions who do not respond to thrombolytics because, as stated earlier in this order, access to angioplasty within 30 minutes of onset is ideal. 150. Oak Hill transfers an extremely high number of cardiac patients for angioplasty and open heart surgery. In 1999, Oak Hill transferred 258 patients to Bayonet Point for open heart surgery, and 311 for angioplasty/stent procedures. Of course, most OHS patients are scheduled on an elective basis for surgery, rather than being transferred between hospitals, as is evident from the fact that during the 12-month period ending March 1999, 698 Hernando County residents underwent OHS. 151. For now, Oak Hill patients determined to be in need of urgent angioplasty or open heart surgery must be transferred by ambulance to an OHS provider which for the vast majority of patients is Bayonet Point. Approximately 17 miles south, the average drive time to Bayonet Point from Oak Hill is 30 minutes but it can take longer when on occasion there is traffic congestion. Once the transfer is achieved and patient receives the required procedure, the drive can be difficult for the patient's family and loved ones. 152. Community members often express to physicians and hospital staff their support and desire for an OHS program at Oak Hill. Many believe travel outside Hernando County for those services is cumbersome for loved ones who are important to the patient's healing process. 153. The community support and demand for these services is evidenced by the 7,628 resident signatures on petitions in support of Oak Hill's efforts to obtain approval for an OHS program. 154. While a program at Oak Hill would be more convenient, Oak Hill did not demonstrate a transfer problem that would rise to the level of "not normal" circumstances. Because of Oak Hill's relationship with Bayonet Point, Bayonet Point's proximity and excess capacity, coupled with the high quality of the program at Bayonet Point, Oak Hill's case is more in the nature of seeking a satellite. As one expert put it at hearing, [Oak Hill] is, in fact, a satellite. And my question is, [ ']What's the wisdom of doing that if you don't have the problems that normally are being addressed when you grant approval of a program?['] In other words, if you don't have transfer issues [that rise to the level of "not normal" circumstances], if you don't have access issues, if you're not achieving any price competition, if it's not particularly cost effective, why would you [approve Oak Hill]? (Tr. 1537-38). ii. Oak Hill's Projected Utilization 155. Oak Hill projected a range of 316 to 348 OHS cases during its first year, and by its third year a range of between 333 and 366 cases. Those volumes are sufficient to ensure excellent quality of care from the beginning of the program, particularly with the involvement of the Bayonet Point surgeons. 156. Oak Hill defined its primary service area (PSA) for OHS based on historic MDC-5 cardiology related diagnosis discharges from its hospital. For the 12-month period ended March 1999, over 90 percent of Oak Hill's MDC-5 discharges were residents of six zip codes, all in the vicinity of Oak Hill Hospital and within Hernando County. Accordingly, that area was chosen as the PSA for projecting OHS utilization. Out-of-PSA residents accounted for only 8.9 percent of Oak Hill's MDC-5 discharges, and of these, 1.5 percent were out-of-state patients, and 4.9 percent were residents from other parts of District 3. For the year ending ("YE") March 1999, Oak Hill had an MDC-5 market share of 40.9 percent within its PSA, without excluding angioplasty, stent, and OHS cases. If angioplasty, stent, and OHS cases are excluded, Oak Hill's PSA market share was 52.7 percent. 157. In order to project OHS service demand, Oak Hill examined the population projections for 1999 and 2004 for District 3, and for Oak Hill's PSA. The analysis was based on age-specific resident populations and use rates, to serve as a contrast to the Agency's projections. 158. The numeric need formula in the OHS Rule utilizes a facility based use rate derived by totaling all of the reported OHS cases performed by hospitals within a District during a given time period, and then dividing those cases by the adult population aged 15 and over. While a facility-based use rate measures utilization in those District hospitals, however, it does not measure out-migration. Nor does it reflect the residence of the patients receiving those services. 159. On the other hand, a resident-based use rate identifies where patients needing OHS actually come from, and permits development of age specific use rates. For example, the resident-based use rates reflects that the southern portion of District 3 has a much higher concentration of elderly persons than does the northern portion of the District, and reveals extremely high migration out of the District for OHS services. Oak Hill's PSA is more elderly than the District 3 population as a whole. In 1999, 32.8 percent of the Oak Hill PSA population was aged 65 or over, as opposed to only 21.5 percent for District 3 as a whole, with similar results projected for the population in 2004, the projected third year of operation of Oak Hill's program. 160. Based on the district-wide use rate resulting from the OHS Rule need methodology, Hernando County would be expected to generate 276 OHS cases in the planning horizon of July 2002 (use rate of 2.3 per 1000 adult population). Application of this OHS Rule use rate to Hernando County clearly understates need if resources to meet the need are considered within the isolation of the boundaries of District 3. For example, the OHS Rule based projection of 276 OHS cases in 2002, is far below the actual 664 Hernando County resident OHS discharges during YE March 1998, and the 698 OHS cases during YE March 1999. While the facility-based district-wide use rate was 2.3, the Hernando County resident-based use rate was 6.45 per 1000 population. The fact of increasing use rates with age is demonstrated by the Hernando County resident use rate of 6.95 for ages 55-64, increasing to 12.01 for ages 65-74, and increasing again to 14.95 for age 75 and over. But focusing on Hernando County use rates within District 3 ignores the reality of the proximity of an excellent program at Bayonet Point. 161. Oak Hill reasonably projected OHS demand in its PSA by examining the age-specific use rates of residents in the southern portion of District 3, which experienced an overall use rate of 4.55 for the year ending March 1999. Those age-specific use rates were then applied to the age-specific population forecast for each of the three horizon years of 2002 through 2004, resulting in an expected PSA demand for OHS of 547 cases in 2002, 561 cases in 2003, and 575 cases in 2004. Those projections are conservative given that 663 actual open heart surgeries were reported among PSA residents during the YE March 1999. The same methodology was used to project angioplasty service demand in the PSA, resulting in an expected demand ranging from 721 cases in 2002 to 758 cases in 2004. 162. Oak Hill then projected its expected OHS case volume by assuming that its first year OHS market share within its PSA would be the same as its MDC-5 market share, being 52.7 percent. Oak Hill next assumed that by the third-year operation its market share would increase to equal its current cardiac cath PSA market share of 57.9 percent. It further assumed that it would have a non-PSA draw of 8.9 percent, which is equal to its current non-PSA MDC-5 market share. Oak Hill reasonably expects that 91.1 percent of its OHS cases would come from within its six zip code PSA, with the remaining 8.9 percent expected to come from outside that area. Oak Hill then projected an expected range of OHS discharges during its first three years of operation by using both a low estimate and a high estimate. The resulting utilization projections reflect a low range of 316 OHS cases in 2002, 324 cases in 2003, and 333 cases in 2004. The high range estimate for the same years respectively would be : 348, 357, and 366 cases. The same methodology was used to project angioplasty cases, resulting in the following low range : 417 cases in 2002; 428 in 2003; and 438 in 2004. The expected high range for the same respective years would be : 458, 470, and 482. 163. Oak Hill's OHS and angioplasty utilization projections are reasonable. iii. Long-term Financial Feasibility 164. Long-term financial feasibility is defined as a demonstration that the project will achieve and maintain financial self-sufficiency over time. 165. Oak Hill's projected gross charges were based on Bayonet Point's charge structure. The projected payer mix was based on Oak Hill's cardiac cath experience. Projected net reimbursement by payor source was based on Oak Hill's experience for Medicare, Medicaid, and contractual adjustment history. 166. Oak Hill's expenses were projected on a DRG specific basis using information generated by the cost accounting system at Bayonet Point. The use of Bayonet Point's expense experience is a reasonable proxy for a number of reasons. Its patient base is comprised of patients who are reasonably expected to be the base of Oak Hill's patients. Management there is similar to what it will be at an Oak Hill program. And, as stated so often, the two facilities are relatively close in location. 167. To account for differences between Bayonet Point's expenses and Oak Hill's project costs, interest and depreciation , adjustments were made by Oak Hill as reflected in its application. 168. As a means of compensating for fixed costs differentials between the two hospitals, Oak Hill added its salary costs projected in Schedule 6 to the salary expenses already included in Bayonet Point's costs. (Schedule 6 nursing, administration, housekeeping, and ancillary labor costs exceeded $3 million in the first year of operations.) This counting of two sets of salary expenses offsets any economies of scale cost differential that may exist between the OHS programs at Bayonet Point and Oak Hill. 169. A reasonable 3 percent annual inflation factor was applied to both projected charges and costs. 170. The reasonableness of Oak Hill's overall approach is supported by Citrus Memorial's use of a substantially similar pro forma methodology in modeling its proposed program on Munroe Regional Medical Center. 171. Oak Hill reasonably projects a profit of $1.38 million in the first year of operation, and that profitability will increase as the case volumes grow thereafter. 172. An Oak Hill program will cost Bayonet Point (a sister HCA hospital) patients and may diminish the corporate profits of the two hospital's parent corporation, HCA Health Services of Florida, Inc. It is clear from the parent's most recent audited financial statements, however, that it has ability to absorb a lower level of profit from Bayonet Point without jeopardizing the financial viability of Oak Hill. 173. Brooksville Regional argues that the financial impact to Bayonet Point of an Oak Hill program demonstrates that the Oak Hill application is nothing more than a preemptive move to stifle competition. Oak Hill, in turn, characterizes its proposal as a sound business judgement to compete with non-HCA hospitals in District 3. Whatever characterization is applied to the Oak Hill proposal, it is clear that it is financially feasible in the long term. iv. Other Statistics 174. The AHCA population estimates for January 1, 1999, show a Hernando County population of 108,687 and a Citrus County population of 98,912. The same data sources show the "age 65 and over" population (the "elderly") in Hernando to be 40,440 and in Citrus to be 37,822. During the year 2000, there were 2,545 more people aged 65 and over in Hernando County than in Citrus County. By the year 2005, the difference is expected to be 3.005. The total change in the elderly population between 2000 and 2005 is projected to be 4,109 in Citrus County and 4,614 in Hernando County. 175. Generally, the older the population, the older the OHS use rate. Comparatively, then, Hernando County has the larger population to be served both now, and in all probability, in the foreseeable future. 176. Oak Hill has the largest cardiology program among the applicants. For the 12-month period ending September 1999, MDC- 5 discharges were 1,130 at Brooksville Regional, 2,077 at Citrus Memorial and 2,812 at Oak Hill. The combined Brooksville and Spring Hill Regional Hospital MDC-5 case volume of 2,238 is below Oak Hill's MDC case volume for the same period. 177. Oak Hill is the largest cardiac cath provider among the applicants. For the 12-month period ending September 2000, Citrus Memorial reported 646 cardiac catheterization procedures and Brooksville Regional reported 812. Oak Hill reported 1,404 such procedures, only sixty shy of a volume double the combined volume at the other two applicants. 178. The level of ischemic heart disease in an area is indicative of the level of open heart surgery needed by residents of the area. The number of ischemic heart disease cases by county during the 12-month period ending September 1999 were : 1,038 for Alachua; 1,978 for Citrus; 2,816 for Marion; and, Hernando, 3,336. 179. During the 12-month period ending September 1999, 657 Hernando County residents underwent OHS at Florida hospitals, while only 408 residents of Citrus County did so. Similarly, 948 Hernando County residents had angioplasty, while only 617 Citrus County residents underwent angioplasty. 180. For the year ending June 30, 1999, the Citrus County OHS use rate was 4.26 per 1,000 population, substantially lower than the Hernando County use rate of 6.41. A comparison of the use rates for the year ending September 30, 1999, again shows Hernando County's use rate to be higher : 4.13 for Citrus, 6.08 for Hernando. 181. Hernando County also experiences a higher cardiovascular mortality rate than does Citrus County. During 1998, the age-adjusted cardiovascular mortality rate per 100,000 population for Citrus was 330.88 and 347.40 for Hernando. During 1999, those mortality rates were 304.64 in Citrus and 313.35 in Hernando (consistent with the decline between 1998 and 1999 for the state as a whole). The Hernando mortality rates greater than Citrus County's indicate a greater prevalence of heart disease in Hernando County than in Citrus County. 182. Most importantly, during 1999, Oak Hill transferred 619 patients to Bayonet Point for cardiac intervention 258 for open heart surgery, 311 for angioplasty/stent, and 50 for cardiac cath. 183. Brooksville Regional transferred a combined 383 patients after diagnostic cardiac catheterization to other hospitals for either angioplasty or OHS. 184. Brooksville Regional has 91 licensed beds, Citrus Memorial has 171 beds and Oak Hill has 204 beds. Although with Spring Hill one could view Brooksville Regional as "two hospital systems with 166 beds under common ownership and control" ( T r. 1544), at 91 beds, Brooksville would become the smallest OHS program in the state in terms of licensed bed capacity, Hospitals of less than 100 beds are not typically of a size to accommodate an OHS program. There might be dedicated cardiovascular hospitals of 100 beds or less with capability to support an open heart surgery program, but "open heart surgical services in [a general, surgical-medical hospital of less than 100 beds] would overwhelm the hospital as far as the utilization of services." (Tr. 126). 185. Oak Hill's physical plant, hospital size, number of beds, medical staff size, number of cardiologists, cath lab capacity, number of cath procedures, number of admissions, and facility accessibility to the largest local population are all factors in its favor vis-à-vis Brooksville Regional. In sum, Oak Hill is a hospital more ready and appropriate for an adult open heart surgery program than Brooksville. v. Alternatives 186. As an alternative to its CON application, Oak Hill considered the possibility of seeking approval of a program to be shared with Bayonet Point. Learning that the A gency looks with disfavor on inter-district shared adult open heart surgery programs, Oak Hill decided to seek approval of a program independent of Bayonet Point but one that would rely on Bayonet Point's experience and expertise for development, implementation and operation. vi. Bed Capacity 187. Brooksville contends that Oak Hill lacks sufficient bed capacity to accommodate the implementation of an OHS program in conjunction with its projected-related increased admissions. Brooksville relied on an Oak Hill daily census document, focusing on the single month of January, arguing that the document reflected that Oak Hill exceeded its licensed bed capacity on 5 days that month. The licensed bed capacity, however, was not exceeded. Observation patients, who are not inpatients, and not properly included in the inpatient count, were included in the counts provided by Brooksville. 188. Seasonal peaks in census during the winter months, particularly January, are common to all area hospitals. Similarly, all hospitals experience a higher census from Monday through Thursday, than on other days. Oak Hill has adequate capacity and flexibility to accommodate those rare occasional days during the year when the number of patients approaches its number of beds. Patients are sometimes hospitalized for "observation," and when so classified are expected to stay less than 24 hours. Typically, Oak Hill places such patients in a regular "licensed" bed, so long as such beds are available. There are other areas in the hospital suitable for observation patients, including : 12 currently unused and unlicensed beds adjacent to the cardiac cath recovery area; six beds in the ER holding area; eight beds in the ER Quick Care Unit; and additional beds in the same day surgery recovery area. Observation patients can be cared for appropriately in these other areas, a routine hospital practice. 189. Peak season census is "a fact of life" for hospitals, including Oak Hill and Brooksville. Oak Hill has never been unable to treat patients due to peak season demands. January is the only month during the year when bed capacity presents a challenge at Oak Hill. If necessary, Oak Hill could coordinate patient admissions with Bayonet Point to ensure that all patients are appropriately accommodated. 190. Oak Hill can successfully implement a quality OHS program with its current bed capacity. In fact, all parties have stipulated to Oak Hill's ability to do so. Moreover, should it actually come to pass in future years that Oak Hill's annual average occupancy exceeds 80 percent, it may add up to 20 licensed beds on a CON exempt basis. d. Brooksville Regional i. Factors favoring Brooksville over Oak Hill 191. Bayonet Point is the dominant provider of OHS/angioplast to residents of Hernando County. As a non-HCA hospital, a Brooksville program (in contrast to one at Oak Hill) would enhance patient choice in Hernando County for hospitals and physicians, and would create an environment for price and managed care competition. 192. Other health planning factors that support Brooksville Regional over Oak Hill are the locations of the two Hernando County hospitals and the ability of the two to transfer patients to Bayonet Point. ii. Patient Choice and Competition 193. Of the OHS/angioplasty s ervices provided to Hernando County residents, Bayonet Point provides 94 percent, the highest county market share of any hospital that provides OHS services to residents of District 3. Indeed, it is the highest market share provided by any OHS provider in any one county in the state. 194. The importance of patient choice and managed care competition has been acknowledged by all the parties to this proceeding. If Brooksville Regional's program were approved, Hernando County residents would have choice of access to a non- HCA hospital for open heart and angioplasty services and to physicians and surgeons other than those who practice at Bayonet Point. This would not be the case if Oak Hill's program was approved instead of Brooksville's. iii. Price Competition 195. Although Brooksville is not a "low-charge provider for cardiovascular services" (tr. 1347), approving Brooksville creates an environment and potential for price competition. A dominant provider in a marketplace has substantial power to control prices. Adding a new provider creates the motivation, if not the necessity, for that dominant provider to begin pricing competitively. 196. A dominant provider controls prices more than hospitals in a competitive market. Bayonet Point's OHS charges illustrate this. 197. Approving Brooksville's application creates an environment for potential price competition with Bayonet Point, whereas approving Oak Hill's application, whose charges are expected to be the same as Bayonet Point's, does not. iv. Managed Care Contracting 198. Just as competitive effects on pricing are reduced in an environment in which there is a dominant provider, so managed care contracting is also affected. Managed care competition depends not just on competition between managed care companies but also on payer alternative within a market. If a managed care company is forced to deal with one health care provider or hospital in a marketplace, its competitive options are reduced to the benefit of the hospital that enjoys dominance among hospitals. "[T ]he power equation moves much more strongly in that type of environment towards the provider [the dominant hospital] and away from the managed care companies." (Tr. 1471). 199. Managed care companies who insure Hernando County residents have no alternative when it comes to open heart surgery and angioplasty services but to deal with Bayonet Point. With a 94 percent share of the Hernando County residents in need of open heart and angioplasty services, there is virtually no competition for Bayonet Point in Hernando County. 200. The managed care contracting for both Bayonet Pont and Oak Hill is done at HCA's West Florida Division office, not at the individual hospital level. Approving Oak Hill will not promote or provide competition for managed care. 201. Approving Brooksville, on the other hand, will provide managed care competition over open heart and angioplasty services in Hernando County. v. Ability to Transfer Patients 202. While transfers of Hernando County patients always produce some stress for the patient and are cumbersome as discussed above for the patient's loved ones, there is no evidence of transfer problems for Oak Hill that would rise to the level of "not normal" circumstances. Outcomes for patients transferred from Oak Hill to Bayonet Point on the basis of morbidity statistics, mortality statistics, length of stay, patient satisfaction, and family satisfaction are excellent. 203. It is not surprising that sister hospitals situated as are Oak Hill and Bayonet Point would enjoy minimal transfer delays and access problems encountered when patients are transferred. ansfers between unaffiliated hospitals are not normally as smooth or efficient as between those that have some affiliation. Unlike Oak Hill's patients, Brooksville patients, for example, are never transported for OHS/angioplasy by Bayonet Point's private ambulance. Other than in emergency cases, Bayonet Point decides the date and manner when the patient will be transferred. But just as in the case of Oak Hill, there is no evidence of transfer problems between Brooksville Regional and Bayonet Point that would amount to an access problem at the level of "not normal" circumstances. vi. Outmigration 205. As detailed earlier, there is extens ive outmigration of Hernando County residents to District 5 for open heart and angioplasty procedures. 206. The outmigration pattern on its face is in favor of both applications of Oak Hill and Brooksville. 207. The outmigration from Hernando County, h owever, is of minimal weight in this proceeding since Bayonet Point is so close to both Oak Hill and Brooksville. The patients at the two Hernando hospitals have good access to Bayonet Point, a facility that provides a high level of care to Hernando County residents in need of open heart surgery and angioplasty services. The relationship is inter-district so that it is true that there is outmigration from District 3. Outmigration statistics showing high outmigration from a district have provided weight to applications in other proceedings. They are of little value in this case. vii. Location of the Two Hernando Hospitals 208. Brooksville is located in the "dead center" ( T r. 1290) of Hernando County. With good access to Citrus County via Route 41, it is convenient to both Hernando County residents and some residents of Citrus County. It reasonably projects, therefore, that 90 percent of its open heart/angioplasty volume will be from Hernando County with the remaining 10 percent from Citrus. 209. Oak Hill is located in southwest Hernando County, closer to Bayonet Point than Brooksville. Oak Hill's primary service area is substantially the same as that part of Bayonet Point's that is in Hernando County. Oak Hill does not propose to serve Citrus County. 210. Brooksville, then, is more centrally located in Hernando County than Oak Hill and proposes to serve a larger area than Oak Hill. viii. Financial Feasibility (long-term) 211. Brooksville has operated profitably since its bankruptcy. In its 1999 fiscal year, the first year out of bankruptcy, Hernando HMA earned a profit of $3 million. In fiscal year 200, Brooksville's profit was $6 million. 212. OHS programs are generally very profitable. There is no OHS program in Florida not generating a profit. Brooksville's projected expenses and revenues associated with the program are reasonable. 213. Schedule 5 in the Brooksville application contains projected volumes for OHS/angioplasty. The payer mix and length of stay were based on 1998 actual data, the most recent data for a full year available. The projected volumes are reasonable. 214. The projected volumes are converted to projected revenues on Schedule 7. These projections were based on actual 1998 charges generated for both Hernando and Citrus County residents since Brooksville proposes to serve both. These averages were then reasonably projected forward. Schedule 7 and the projected revenues are reasonable. 215. These projected volumes and revenues account for all OHS procedures performed in Hernando and Citrus Counties in 1998 even though effective October 1, 1998, the DRG procedure codes for OHS procedures were materially redefined. Thus, when Brooksville's schedules were prepared using 1998 data, only 3 months of data were available using the new DRG codes. Brooksville opted to use the full year of data since using a full year's worth of data is preferable to only 3 months. Similarly, the DRGs for angioplasty both as to balloon and with stent were re-classified. Again, Brooksville opted to use the full year's worth of data. 216. Brooksville's expert explained the decision to use the full year's worth of data and the effect of the DRG reclassification on Brooksville's approach, "We've captured all the revenues and expenses associated with these open heart procedures and just because the actual DRGs have changed, doesn't . . . impair the results because both revenues and expenses are captured in these projections." (Tr. 1651). 217. Schedule 8 includes the projected expenses. I t included the health manpower expenses from Schedule 6 and the project costs from Schedule 1. The remaining operating expenses were based upon the actual costs experienced by all District 3 OHS providers generated from a publicly-available data source, and then projected forward. As to these remaining operating costs, consideration of an average among many providers is far preferable to relying on just one provider. 218. Schedule 8 was reasonably prepared. It accounts for all expense to be incurred for all types of OHS and angioplasty procedures. It is based on the best information available when these projections were prepared and are based on 12 months of actual data. 219. Even if the projections of the schedules are not precise because of the re-classification of DRGs, they contain ample margins of error. Brooksville's financial break-even point is reached if it performs 199 OHS and 100 angioplasty procedures. This low break-even point provides additional confidence that the project is financially feasible. 220. Brooksville demonstrated that its proposed program will be financially feasible. CONCLUSIONS OF LAW 221. The Division of Administrative Hearings has jurisdiction over the parties to and the subject matter of these proceedings. Sections 120.569, 120.57(1), and 120.60(5), Florida Statutes. 222. An applicant for a certificate of need has the burden of demonstrating that its application should be granted. Boca Raton Artificial Kidney Center v. Department of Health and Rehabilitative Services , 475 So. 2d 260 (Fla. 1st DCA 1985). The award of a CON must be based on a balanced consideration of all statutory and rule criteria. Department of Health and Rehabilitative Services v. Johnson and Johnson Home Healthcare, Inc. , 447 So. 2d 261 (Fla. 1st CA 1984) ; Balsam v. Department of Health and Rehabilitative Services , 486 So. 2d 1341 (Fla. 1st DCA 1988). The weight to be given each criterion is not fixed but depends on the facts and circumstances of each case. Collier Medical Center, Inc. v. Department of Health and Rehabilitative Services , 462 So. 2d 83 (Fla. 1st DCA 1985). 223. None of the applications may be granted under the proscription of Rule 59C-1.033(7)(a), Florida Administrative Code (the "Rule"), unless supported by a "not normal" circumstance. The record demonstrates that there will be no impact on the volume of OHS cases performed at the three existing sub-350 providers if any of the three applications is granted. This, in itself, is a "not normal" circumstance that renders inoperative the dictate in the rule that "[a] new adult open heart surgery program shall not normally be approved in the District" when a program in the district performs less than 350 adult open heart surgery operations during a qualifying period. See Halifax Hospital Medical Center v. AHCA , 19 FALR 2484, 2496. 224. The lack of impact to performers below the 350 threshold is not the type of "not normal" circumstance typically recognized by the A gency, and which urges the granting of an application. It is a "not normal" circumstance that does no more than eliminate the "zeroing out" effect of (7)(a) of the Rule. 225. Ultimately, then, the issue in this case is, in the presence of the "not normal" circumstance of an approval having no effect on the volume of the sub-350 existing providers, which of the three applicants, based on comparative review, meets the need criteria to support approval of its application? 226. The answer is Citrus Memorial. 227. The concerns of Oak Hill and Brooksville Regional that a program at Citrus Memorial will bring Ocala Regional's volume of procedures below 350 annually are misplaced. Given the number of procedures conducted at Ocala Regional and Munroe Regional Medical Center that together comprise a single established program, there is no danger of a violation of the Rule's prohibition against approval if a provider were reduced below an annual volume of 350. See the definition of "established programs" in Rule 59C-1.002(16), Florida Administrative Code. The application of this definition is supported by the legal status of the joint program conducted by the two Ocala existing providers. It is also supported by the proximity of the two Ocala facilities and the identity of their medical staffs, two factors no doubt that permitted the unusual arrangement sanctioned by AHCA, despite its contrary method of inventory, for more than a decade. 228. Among other factors favoring its application, Citrus Memorial provided the best demonstration of its ability (in cooperation with the Ocala Heart Institute) to provide an open heart surgery program of high quality. This does not diminish Oak Hill's proposed reliance on Bayonet Point and the excellence of Bayonet Point's program as attested to by Dr. Waters. Nor is it any reflection on Brooksville's asserted intention to rely on Charlotte Regional Medical Center in developing and implementing its program if approved. It is a conclusion based solely on the evidence provided in this proceeding, evidence that was most convincing and most comprehensive in the case of Citrus Memorial. 229. Citrus Memorial's application is also superior on the basis of care provided to Medicaid patients and the medically indigent in the past and its commitment and ability as a not- for-profit hospital with clinics dispersed throughout the county to reach underserved populations. 230. Citrus County residents do not have a geographic access problem to open heart surgery services that would rise to the level of a "not normal" circumstance in and of itself. Nonetheless, Citrus Memorial demonstrated that the residents of its service area have a greater geographic access problem than the residents of the service areas of the other two applicants. That is to say, Citrus Memorial demonstrated something of an access problem for the residents in its primary service area. In contrast, the residents of Hernando County who would be served by an adult open heart surgery program in their county have more than adequate access to open heart surgery services. Considering that Bayonet Point, a premier open heart facility, is less than an hour away from the emergency rooms of either of the two Hernando County hospitals, that access is excellent. 231. Unlike Citrus Memorial, under present criteria for consideration of open heart surgery CONs, neither Oak Hill nor Brooksville Regional demonstrated need to justify approval of their applications. 232. However convincing its case for improved competition, Brooksville's 91-bed facility (even if operated under a single hospital license with a facility on another campus that in the aggregate equals 160 beds) is not a facility large enough to adequately support an open heart surgery program. 233. In contrast Oak Hill's facility would support an open heart surgery program. But, there is little to commend the creation of a satellite open heart program 30 minutes away from a premier open heart program conducted under the same corporate structure. It is true that there may be benefit to some patients presenting to Oak Hill's emergency room with myocardial infarctions if they could receive speedier open heart services if diagnosed in need of them, just as some benefit would accrue to Brooksville's patients in the same situation. But this record does not establish the degree of benefit in the case of Oak Hill or Brooksville Regional to any amount more than a modicum. Certainly, this case does not show Oak Hill or Brooksville patients to be beset with the extent of transfer difficulties demonstrated for the substantial number of cases that served as a basis for recommending approval of an open heart program at Brandon Regional Medical Center in Florida Health Science Center, Inc. v. Agency for Health Care Administration, DOAH Case No. 00-0481, Recommended Order, March 30, 2001. 234. In sum, this case presents one "not normal" circumstance that overcomes the proscription of the Rule against approval of another open heart surgery program in District 3, opening the way for comparative review of the three competing applicants. Of the three applicants, Citrus Memorial is the superior applicant under a balanced consideration of all applicable CON criteria. Citrus Memorial, moreover, demonstrated need for its proposed program; the other two applicants did not. RECOMMENDATION Based on the foregoing Findings of Fact and Conclusions of Law, it is RECOMMENDED that the Agency for Health Care Administration enter a final order that grants the application of Citrus Memorial (CON 9295) and denies the applications of Oak Hill (CON 9296 )and Brooksville Regional (CON 9298). DONE AND ENTERED this 4th day of October, 2001, in Tallahassee, Leon County, Florida. ___________________________________ DAVID M. MALONEY Administrative Law Judge Division of Administrative Hearings The DeSoto Building 1230 Apalachee Parkway Tallahassee, Florida 32399-3060 (850) 488- 9675 SUNCOM 278-9675 Fax Filing (850) 921-6847 www.doah.state.fl.us Filed with the Clerk of the Division of Administrative Hearings this 4th day of October, 2001. COPIES FURNISHED: Diane Grubbs, Agency Clerk Agency for Health Care Administration 2727 Mahan Drive Fort Knox Building Three, Suite 3431 Tallahassee, Florida 32308-5403 William Roberts, Acting General Counsel Agency for Health Care Administration 2727 Mahan Drive Fort Knox Building Three, Suite 3431 Tallahassee, Florida 32308-5403 Michael J. Cherniga, Esquire Seann M. Frazier, Esquire Greenberg Traurig, P.A. 101 East College Avenue Post Office Box 1838 Tallahassee, Florida 32302-1838 Stephen A. Ecenia, Esquire Rutledge, Ecenia, Purnell and Hoffman, P.A. 215 South Monroe Street, Suite 420 Tallahassee, Florida 32302-0551 James C. Hauser, Esquire Metz, Hauser & Husband, P.A. 215 South Monroe Street, Suite 505 Post Office Box 10909 Tallahassee, Florida 32302 John F. Gilroy, III, Esquire Agency for Health Care Administration 2727 Mahan Drive Fort Knox Building Three, Suite 3431 Tallahassee, Florida 32308-5403 NOTICE OF RIGHT TO SUBMIT EXCEPTIONS All parties have the right to submit written exceptions within 15 days from the date of this Recommended Order. Any exceptions to this Recommended Order should be filed with the agency that will issue the Final Order in this case.

Docket for Case No: 00-003216CON
Issue Date Proceedings
May 21, 2002 Final Order (filed via facsimile).
Oct. 04, 2001 Recommended Order issued (hearing held February 12 through 16, and 19 through 23, 2001) CASE CLOSED.
Oct. 04, 2001 Recommended Order cover letter identifying hearing record referred to the Agency sent out.
Aug. 30, 2001 Notice of Appearance and Substition of Counsel (filed by Respondent via facsimile).
Aug. 02, 2001 Letter to R. Gordon from S. Cartwright regarding enclosing page 46 of Hernando HMA`s Proposed Findings of fact and Conclusions of Law, Page 46 filed.
Jun. 28, 2001 Brooksville`s Response in Opposition to Oak Hill and Citrus Memorial Hospitals` Motion for Official Recognition filed.
Jun. 18, 2001 Order issued. (Hernando HMA, Inc., shall have up to 6/28/01 to file its written response to the joint motion for official recognition)
Jun. 15, 2001 Brooksville`s Unopposed Motion for Extansion of Time to File Response to Joint Motion for Official Recognition filed.
Jun. 14, 2001 Oak Hill Hospital`s and Citrus Memorial Hospital`s Motion for Official Recognition filed.
Jun. 04, 2001 Oak Hill Hospital`s Proposed Recommended Order filed.
Jun. 04, 2001 Citrus Memorial Health Foundation, Inc. and Agency for Health Care Administration`s Joint Proposed Findings of Fact and Conclusions of Law filed.
Jun. 04, 2001 Letter to Judge Maloney from M. Cherniga (regarding discrepancies in exhibit list) filed.
Jun. 04, 2001 Petitioner`s Proposed Findings of Fact and Conclusions of Law filed.
Jun. 04, 2001 Brooksville`s Memorandum of Law filed.
May 04, 2001 Order issued (the parties shall file their proposed recommended orders by June 4, 2001).
May 03, 2001 Citrus Memorial`s Response in Opposition to Two Week Extension Request (filed via facsimile).
May 01, 2001 Request for Two-Week Extension of Time to file Post-Hearing Briefs filed by Petitioner.
Mar. 22, 2001 Amended Notice of Filing Transcript filed.
Mar. 20, 2001 Transcript (Volume 15 of 15) filed.
Mar. 19, 2001 Transcript filed. (14 Volumes)
Mar. 19, 2001 Notice of Filing Transcript filed.
Feb. 26, 2001 Notice of Filing Stipulation filed.
Feb. 19, 2001 Oak Hill Hospital`s Motion to Compel Deposition Question Answer from a Brooksville Regional Hospital Witness, or Alternative Motion to Compel Production filed.
Feb. 19, 2001 Oak Hill Hospital`s Motion to Preclude Testimony of a Brooksville Regional Hospital Witness, or Alternatively, Motion to Compel the Taking of a Deposition filed.
Feb. 12, 2001 Brooksville`s Response in Opposition to Motion to Compel Discovery filed.
Feb. 09, 2001 Citrus Memorial Health Foundation Inc.`s Exhibit List (filed via facsimile).
Feb. 09, 2001 Brooksville`s Cross Notice of Taking Deposition Duces Tecum filed.
Feb. 09, 2001 Supplement to Amended Witness List filed.
Feb. 08, 2001 HCA Health Services of Florida, Inc. d/b/a Oak Hill Hospital`s Supplement to its Exhibit List filed.
Feb. 07, 2001 HCA Health Services of Florida, Inc. d/b/a Oak Hill Hospital`s Exhibit List filed.
Feb. 07, 2001 Amended Brooksville Witness List and Exhibit List filed.
Feb. 07, 2001 Notice of Taking Deposition filed.
Feb. 07, 2001 HCA Health Services of Florida, Inc. d/b/a Oak Hill Hospital`s Amended Witness List filed.
Feb. 07, 2001 Notice of Taking Deposition filed.
Feb. 06, 2001 Amended Cross Notice of Taking Deposition Duces Tecum filed.
Feb. 06, 2001 Second Amended Notice of Taking Deposition Duces Tecum filed.
Feb. 06, 2001 Cross Notice of Taking Deposition Duces Tecum filed.
Feb. 06, 2001 Notice of Taking Deposition 2 filed.
Feb. 06, 2001 Notice of Taking Deposition Duces Tecum filed.
Feb. 06, 2001 Brooksville`s Motion to Compel Discovery Against Oak Hill filed.
Feb. 06, 2001 HCA Health Services of Florida, Inc. d/b/a Oak Hill Hospital`s Witness List filed.
Feb. 06, 2001 Notice of Taking Deposition filed.
Feb. 06, 2001 AHCA`s Amended Final Witness and Exhibit List (filed via facsimile).
Feb. 06, 2001 Second Amended Notice of Taking Deposition Duces Tecum filed.
Feb. 06, 2001 Notice of Taking Deposition Duces Tecum filed.
Feb. 05, 2001 Amended Notice of Taking Deposition Duces Tecum filed.
Feb. 05, 2001 Notice of Taking Deposition Duces Tecum 2 filed.
Feb. 05, 2001 CASE STATUS: Hearing Held; see case file for applicable time frames.
Feb. 05, 2001 Oak Hill Hospital`s Motion to Compel Discovery Against Brooksville filed.
Feb. 05, 2001 Notice of Taking Deposition Duces Tecum filed.
Feb. 05, 2001 Amended Notice of Taking Deposition Duces Tecum filed.
Feb. 05, 2001 Notice of Taking Deposition filed.
Feb. 05, 2001 Amended Notice of Taking Deposition Duces Tecum filed.
Feb. 05, 2001 Cross Notice of Taking Deposition Duces Tecum 2 filed.
Feb. 05, 2001 Notice of Taking Deposition Duces Tecum 2 filed.
Feb. 02, 2001 Order Granting Continuance and Re-scheduling Hearing issued (hearing set for february 12 through 16, 19 through 23 and February 26 through March 2, 2001, 9:00 a.m., Tallahassee, Fl.).
Feb. 02, 2001 Notice of Taking Deposition (Dr. P. Kennedy) (filed via facsimile).
Feb. 02, 2001 Notice of Taking Deposition (M. Nimer) (filed via facsimile).
Feb. 02, 2001 Notice of Taking Deposition (Dr. L. Amarchand) (filed via facsimile).
Feb. 02, 2001 Response to Brooksville`s Motion for Relief from Potential Conflict (filed via facsimile).
Feb. 01, 2001 Notice of Taking Deposition Duces Tecum filed.
Feb. 01, 2001 Second Amended Notice of Taking Deposition Duces Tecum filed.
Feb. 01, 2001 Amended Notice of Taking Deposition Duces Tecum filed.
Feb. 01, 2001 Brooksville`s Motion for Relief from Potential Conflict filed.
Feb. 01, 2001 Notice of Change of Agency Position (filed via facsimile).
Feb. 01, 2001 Notice of Taking Deposition Duces Tecum filed.
Jan. 31, 2001 Notice of Filing; Subpoena Duces Tecum (4 filed via facsimile).
Jan. 31, 2001 Notice of Taking Deposition Duces Tecum 2 filed.
Jan. 31, 2001 Notice of Taking Deposition Duces Tecum filed.
Jan. 31, 2001 HCA Health Services of Florida, Inc. d/b/a Oak Hill Hospital`s Reply to Brooksvile`s Response to Citrus Memorial`s Motion to Shorten Trial filed.
Jan. 30, 2001 Notice of Taking Deposition Duces Tecum (3 filed via facsimile).
Jan. 30, 2001 Brooksville`s Witness List (filed via facsimile).
Jan. 29, 2001 Amended Notice of Taking Deposition Duces Tecum filed.
Jan. 29, 2001 HCA Health Services of Florida, Inc. d/b/a Oak Hill Hospital`s Witness List filed.
Jan. 29, 2001 Cross Notice of Taking Deposition Duces Tecum filed.
Jan. 25, 2001 Notice of Taking Deposition filed.
Jan. 25, 2001 Notice of Taking Deposition Duces Tecum filed.
Jan. 24, 2001 Brooksville`s Amended Notice of Withdrawl of Motion to Compel without Prejudice (filed via facsimile).
Jan. 24, 2001 Brooksville`s Notice of Withdrawal of Motion to Dismiss Without Prejudice (filed via facsimile).
Jan. 23, 2001 Amended Notice of Taking Deposition Duces Tecum (filed via facsimile).
Jan. 23, 2001 Brooksville`s Response to Citrus Memorial`s Motion to Shorten Trial (filed via facsimile).
Jan. 22, 2001 HCA Health Services of Florida, Inc. d/b/a Oak Hill Hospital`s Response to Brooksville`s Motion to Compel Discovery filed.
Jan. 22, 2001 Notice of Taking Deposition Duces Tecum (filed via facsimile).
Jan. 22, 2001 Brooksville`s Written Response and Legal Objections to HCA`s first Request for Production of Documents (filed via facsimile).
Jan. 22, 2001 Notice of Taking Deposition Duces Tecum 4 filed.
Jan. 22, 2001 Motion to Shorten Trial (filed by Respondent via facsimile).
Jan. 19, 2001 Notice of Taking Depositions Duces Tecum filed.
Jan. 19, 2001 Brooksville`s Motion to Compel Discovery Against Oak Hill (filed via facsimile).
Jan. 18, 2001 HCA Health Services of Florida, Inc. d/b/a Oak Hill Hospital`s Objection to Brooksville`s Cross Notice of Taking Depositions Duces Tecum filed.
Jan. 18, 2001 Notice of Taking Deposition Duces Tecum (M. Carmichael, M.D.) filed.
Jan. 18, 2001 Notice of Taking Deposition Duces Tecum (R. Knapp) filed.
Jan. 18, 2001 Notice of Taking Deposition Duces Tecum (J. Horowitz) filed.
Jan. 18, 2001 Notice of Taking Deposition Duces Tecum (D. Kolb) filed.
Jan. 18, 2001 HCA Health Services of Florida, Inc.`s Response to Brooksville`s First Request for Production of Documents to Oak Hill filed.
Jan. 18, 2001 Brooksville`s Cross Notice of Taking Depositions Duces Tecum (filed via facsimile).
Jan. 17, 2001 Notice of Taking Deposition Duces Tecum, 2 filed.
Jan. 16, 2001 (S. Frazier) Notice of Deposition (Dr. Atfeh) (filed via facsimile).
Jan. 16, 2001 (S. Frazier) Notice of Deposition (Mr. Wesolowski) (filed via facsimile).
Jan. 16, 2001 Notice of Taking Depositions (filed via facsimile).
Jan. 12, 2001 Stipulation Agreement filed
Dec. 29, 2000 Brooksville`s Second Request for Production of Documents to Oak Hill filed.
Dec. 22, 2000 HCA Health Services of Florida, Inc. d/b/a Oak Hill Hospital`s First Request for Production of Documents to Hernando HMA, Inc. d/b/a Brooksville Regional Hospital filed.
Dec. 11, 2000 Brooksville`s First Request for Production of Documents to Oak Hill filed.
Dec. 08, 2000 Notice of Change of Address filed by J. Hauser.
Nov. 22, 2000 HCA Health Services of Florida, Inc. d/b/a Oak Hill Hospital`s First Request for Production of Documents to Hernando HMA, Inc. d/b/a Brooksville Regional Hospital filed.
Nov. 07, 2000 Order issued (Oak Hill`s Motion for Abatement is denied).
Nov. 03, 2000 Brooksville`s Response in Support of Motion for Abatement filed.
Nov. 02, 2000 Citrus Memorial Hospital`s and the Agency for Health Care Administration`s Response in Opposition to Motion for Abatement filed.
Oct. 31, 2000 Notice of Telephonic Hearing filed.
Oct. 25, 2000 Motion for Abatement filed by Petitioner.
Sep. 26, 2000 Oak Hill Hospital`s Responses in Opposition to Motion to Consolidate filed.
Sep. 25, 2000 Brooksville`s Second Request for Production of Documents to Citrus Memorial filed.
Sep. 25, 2000 Brooksville`s Motion to Consolidate 00-3216, 00-3217, 00-3218, 00-3220, 00-3221 (filed via facsimile).
Sep. 21, 2000 Brooksville`s Motion to Consolidate 00-3216 through 00-3221 filed.
Sep. 08, 2000 Citrus Memorial`s Response to Oak Hill`s First Request for Production (filed via facsimile).
Aug. 25, 2000 Citrus Memorial`s Response to Brooksville`s First Request for Production filed.
Aug. 25, 2000 Brooksville`s Written Response and Legal Objections to HCA`s First Request for Production of Documents and First Set of Interrogatories to Brooksville filed.
Aug. 23, 2000 Order on Motion for Continuance issued.
Aug. 23, 2000 Order of Pre-Hearing Instructions issued.
Aug. 23, 2000 Notice of Hearing issued (hearing set for February 5 through March 2, 2001; 9:00 a.m.; Tallahassee, Fl.)
Aug. 23, 2000 HCA Health Services of Florida, Inc.`s Response to Citrus Memorial Health Foundation, Inc.`s First Request for Production of Documents filed.
Aug. 21, 2000 Order of Consolidation issued. (consolidated cases are: 00-003216, 00-003217, 00-003218, 00-3220, 00-3221)
Aug. 18, 2000 Brooksville`s Written Response and Legal Objections to Citrus` First Request for Production of Dcouments to Brooksville filed.
Aug. 18, 2000 (Citrus) Notice of Filing Legislative History (filed via facsimile).
Aug. 17, 2000 (R. Prescott) Motion for Continuance filed.
Aug. 17, 2000 Notice of Scheduling Conference (filed by M. Cherniga via facsimile).
Aug. 17, 2000 Motion to Consolidate and Response to Initial Orders (filed via facsimile).
Aug. 16, 2000 Brooksville`s Response to Initial Order filed.
Aug. 07, 2000 Initial Order issued.
Aug. 04, 2000 Notice of Related Petitions (00-3216 - 00-3224) filed.
Aug. 04, 2000 Petition Challenging Co-Batched Applications filed.
Aug. 04, 2000 Brooksville`s Petition for Formal Administrative Hearing filed.
Aug. 04, 2000 Petition for Formal Administrative Hearing filed.
Aug. 04, 2000 Citrus Memorial Health Foundation, Inc.`s First Request for the Production of Documents Upon HCA Health Services of Florida, Inc. filed.
Aug. 04, 2000 HCA Health Services of Florida, Inc. d/b/a Oak Hill Hospital`s First Request for Production of Dcouments to Citrus Memorial Health Foundation, Inc. d/b/a Citrus Memorial Hospital filed.
Aug. 04, 2000 Notice filed.

Orders for Case No: 00-003216CON
Issue Date Document Summary
Jan. 24, 2002 Agency Final Order
Oct. 04, 2001 Recommended Order One "not normal" circumstance: Certificate of Need approval of open heart program would not affect sub-350 performers. On basis of comparative review, Citrus Memorial prevails over Oak Hill and Brooksville.
Source:  Florida - Division of Administrative Hearings

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