MHSS may be eliminated by duplication of functional rehabilitation definitions.
IIH may be undermined due to overlapping youth and family stabilization language.
Crisis Services may be destabilized by CPST’s inclusion of “crisis supports.”
PRS and CSACs may be excluded from workforce participation despite recognition in other Medicaid services.
Providers may face financial instability due to LMHP staffing mandates without corresponding rate adjustments.