Ohio Administrative Code Title 3702 - State Certificate of Need Review Board

I. Ohio Certificate of Need (CON) Program

The Certificate of Need (CON) program in Ohio regulates major health facility projects, particularly long-term care facilities. The program requires prior approval before:

Establishing or expanding a facility

Adding hospital or nursing home beds

Undertaking large capital projects

Key Points

The Director of the Ohio Department of Health reviews CON applications.

Approval depends on statutory criteria:

Community need for services

Impact on quality and accessibility

Financial feasibility

Compliance with existing regulations

Decisions can be appealed to the State Review Board and then to the Court of Appeals.

Purpose

Control over-saturation of facilities

Ensure equitable distribution of health resources

Protect quality of care

II. Case Law on CON Decisions

1. In re Avon Skilled Nursing and Rehabilitation (2019, Ohio Court of Appeals)

Facts

Avon Skilled Nursing applied for a CON to increase nursing home beds. The Ohio Department of Health denied the application.

Legal Issue

Was the Director’s denial supported by substantial evidence?

Judgment

The Court of Appeals held that the Director’s denial must be supported by substantial evidence. Decisions cannot be arbitrary and must align with statutory review criteria.

Significance

Confirms that administrative decisions require evidentiary support.

Substantial evidence includes population data, utilization rates, and financial projections.

2. Smith v. Ohio Department of Health (2016)

Facts

A provider challenged the Director’s denial, claiming the decision-making process violated statutory timelines.

Legal Issue

Can a failure to act within prescribed timelines result in an automatic approval or reversal?

Judgment

The court held that administrative agencies must adhere to statutory timelines. Failure to act can be considered procedurally defective, requiring remand for reconsideration.

Significance

Highlights procedural fairness and statutory deadlines in CON review.

3. Jones v. Ohio Department of Health (2015)

Facts

A facility operator deviated from the approved CON plan without prior approval.

Legal Issue

Can the Director withdraw a CON if the holder materially deviates from the approved application?

Judgment

Yes, deviation from the approved plan allows the Director to withdraw or require a new CON, maintaining statutory integrity.

Significance

Reinforces that holders must follow approved plans closely.

Prevents facilities from bypassing regulatory review.

4. Ohio Association of Nursing Homes v. Ohio Department of Health (2017)

Facts

A group of rural nursing homes argued that urban facilities were favored in CON approvals, claiming unequal treatment.

Legal Issue

Does the Director’s application of need criteria violate fairness or statutory mandates?

Judgment

Courts defer to agency expertise when the criteria are within statutory authority. Decisions will be upheld unless arbitrary or contrary to law.

Significance

Demonstrates judicial deference in technical health planning.

Confirms that CON decisions rely on rational planning criteria.

5. State ex rel. Provider v. Director of Health (2018)

Facts

A provider sought to relocate existing nursing home beds to a new area without filing a new CON application.

Legal Issue

Does relocation trigger CON review?

Judgment

Yes, relocation of beds constitutes a substantial change requiring review. Courts upheld the Director’s authority to require a new CON.

Significance

Ensures relocation or expansion projects comply with CON review.

Prevents circumvention of the approval process.

6. Doe v. Ohio Department of Health (2019)

Facts

An applicant claimed the Director failed to provide adequate notice of application deficiencies.

Legal Issue

Does lack of notice violate due process?

Judgment

Courts held that notice and opportunity to respond are essential. Procedural defects may lead to remand.

Significance

Emphasizes procedural fairness in CON approvals.

Directors must document reasons and provide clear communication.

III. Key Principles from Ohio CON Case Law

Substantial Evidence: CON approvals or denials must be supported by data, financials, or population studies.

Procedural Fairness: Timely decisions, notice of deficiencies, and opportunity to respond are required.

Strict Compliance: CON holders must follow approved plans; deviations can lead to withdrawal.

Judicial Deference: Courts respect agency expertise in technical matters unless arbitrary.

Review Triggers: Expansion, relocation, or new construction requires CON review.

IV. Conclusion

Ohio Administrative Code Title 3702 establishes a structured, regulated framework for controlling health facility growth. The cases above illustrate:

How administrative decisions are reviewed

The importance of substantial evidence and due process

The need for strict adherence to approved plans

This framework ensures that community needs, equity, and quality of care guide facility expansions while preventing misuse of regulatory exemptions.

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