Section 3.3.3 Service Delivery - Transitional Youth Age (page 8)
It would be helpful to have some clarification on DMAS’s introduction of a new “transitional age range” of 16–25 with an added training requirement for providers to cover both youth and adult services. This framework is confusing and inconsistent with how DMAS itself currently defines youth services.
In the current Mental Health Services Manual (Appendix A) defines youth services as covering individuals under 21. All other Medicaid programs serving youth also use this under-21 standard. Creating a new 16–25 category adds overlap and inconsistency:
Obviously, the intent here is to support continuity of care as youth move into adulthood. But that can be achieved within the existing under-21 framework. Creating a separate 16–25 category is unnecessary, confusing, and directly contradicts DMAS’s own definition of youth services.