Bindinglaw

US · guidance

CMS Pub. 100-01, ch. 3, § 10.4.3.2

SNF Stay and End of Benefit Period

activein force · 2026-08-25 – presentas-observed

§10.4.4) of a SNF for at least 60 consecutive days; where SNF is defined in accordance

with §§1861(a)(2) and 1819(a)(1) of the Social Security Act as a facility which is

primarily engaged in providing skilled nursing care and related services to residents who

require medical or nursing care, or rehabilitation services for the rehabilitation of injured,

disabled, or sick persons. As indicated above in §10.4.3, all Medicare-certified SNFs

(including Medicare-certified distinct part SNFs) are automatically considered to meet

this basic “SNF” definition by reason of the Medicare certification itself. See §2166 of

the State Operations Manual (Pub. 100-07), Chapter 2, for the administrative criteria used

in determining whether the basic “SNF” definition is met by a nursing home that is not

Medicare-certified (including the noncertified portion of an institution that also contains a

Medicare-certified distinct part SNF).

Examples: An individual may be discharged from and readmitted to a hospital or SNF

several times during a benefit period and still be in the same benefit period if 60

consecutive days have not elapsed between discharge and readmission. The stays need

not be for related physical or mental conditions.

Example 1: X was born 8/9/1936. On 7/28/2001, X entered a participating general

hospital. After he/she had been in the hospital for 2 weeks, X was discharged on

8/11/2001. On his/her doctor’s orders, X entered a participating SNF on 8/15/2001, and

remained an inpatient there (see §10.4.4) until his/her discharge on 10/27/2001. He/she

had no further inpatient stays in 2001.

X’s benefit period began on 8/1/2001, the first day of the month he/she attained age 65

and was entitled to hospital insurance. The benefit period ended 12/25/2001, the end of

the 60-day period beginning with the date of his/her last discharge.

Example 2: Y, over age 65, entered a participating general hospital on 8/28/2000 for

treatment of a heart condition. He/she was discharged on 9/11/2000. On 10/3/2000, Y

entered a Medicaid-only nursing facility, and remained an inpatient of this facility (see

§10.4.4) until his/her discharge on 11/17/2000. On 12/26/2000, Y was again admitted to a

participating hospital because of injuries suffered in an accident. He/she was discharged

on 1/13/2001 and had no further inpatient stays in 2001.

Y’s benefit period began on 8/28/2000. His/her stay in the nursing facility began less

than 60 days after his/her hospital stay and the benefit period was continued because

he/she remained an inpatient there (see §10.4.4) even though Medicare did not cover the

stay. The subsequent hospital stay began less than 60 days after the nursing facility stay

and continued the benefit period although the condition treated was unrelated to his/her

prior stays. The benefit period ended on 3/14/2001, the end of the 60-day period

beginning with the day of last discharge.

Example 3: Z, over age 65 and entitled to hospital insurance benefits, was admitted to

General Hospital on 8/l/2000 and discharged on 8/10/2000, having received

nonemergency hospital services. General Hospital met all the requirements in the

definition of a hospital except those concerning utilization review and health and safety.

While General Hospital met the minimum requirements of an emergency hospital, Z’s

benefit period did not begin with his/her admission to this hospital because:

1. The hospital did not meet all of the requirements in the definition of a hospital;

and

2. Although the hospital satisfied the minimum requirements for coverage of

emergency services, Z did not receive emergency inpatient care there.

(As noted previously, a stay in an emergency hospital does not begin a benefit period

unless it actually involves the receipt of covered inpatient emergency services; by

contrast, even a nonemergency stay in such a hospital can serve as a qualifying hospital

stay for purposes of coverage under the posthospital extended care benefit.) Z was

admitted to Haven Convalescent Home on 8/20/2000 and remained an inpatient of the

home (see §10.4.4) until his/her discharge on 3/1/2001. He/she had no further inpatient

stays in 2001. Haven Convalescent Home became a participating SNF on 1/1/2001.

Z's benefit period began 1/1/2001, the day Haven Convalescent Home was determined to

be a qualified SNF. The services Z received from that date through discharge were

extended care services even though they were not covered and, therefore, not charged

against Z’s Medicare SNF utilization. (The services were not covered posthospital

extended care services because Z was not admitted to a participating SNF within 30 days

after discharge from the hospital.) Z’s benefit period ended 4/29/2001, the end of the 60-day period beginning with the date of his discharge from the convalescent home.

History

(Rev.10880, Issued: 08-06-21, Effective: 11-08- 21, Implementation: 11-08-21 Similarly, to end a benefit period, a beneficiary cannot have been an inpatient (see

Provenance

Source
cms.gov
Retrieved
2026-08-25
Edition
iom-2026-08-25
Content hash
5ecf4c804a60a7222a4f09011aa87ae97861714d6dc1dc17da681374952495e4
View the official source →

The link goes to the issuing authority’s own document — the one we read to produce this record. Where a source publishes whole titles rather than sections, your browser may need a moment to jump to the provision.

Unofficial copy of government-published law, reproduced from official sources with full provenance. Not an official publication; verify against official sources before relying on it in a filing. Records in the 'guidance' corpus, and only that corpus, are sub-regulatory (interpretive guidelines, survey procedures) and are not binding law. Validity bounds follow each jurisdiction's declared temporalBasis.

Coverage · API docs

Bindinglaw

Point-in-time US law with the receipt attached. Source URL, retrieval time, content hash, and validity dates on every answer.

curl api.binding.law/v1/law/coverage

© 2026 binding.law · a Jubal, Inc. productAttorneys and firms never pay. Ever.