Is Your Organisation Support at Home Digitally Ready? A Practical Checklist for Providers
Support at Home is not simply a new name for the former Home Care Packages Program.
It changes how providers manage service approvals, participant budgets, contributions, care management, short-term funding and government claims. It also requires care, financial and operational information to remain connected throughout the participant’s journey.
A provider may have individual systems that perform well in isolation but still experience significant problems when information must move between care management, rostering, finance, claiming and compliance teams.
Digital readiness means more than having software. It means your technology, information and processes can reliably support current Support at Home requirements—and adapt when government rules change.
Is “Support at Home digitally ready” an official certification?
No single government certification currently allows an organisation or software vendor to describe itself as officially “Support at Home certified.”
Digital readiness is better understood as an organisation’s ability to support its obligations through reliable systems, controlled processes, trained workers and accurate information.
Providers should be cautious about treating a vendor’s “Support at Home ready” claim as evidence of government approval.
A stronger assessment asks:
Which Support at Home workflows does the system support?
Which functions are already operational?
Which functions require manual workarounds?
How are government rule changes implemented?
Can the provider demonstrate how decisions, services and claims were recorded?
Has the organisation tested the complete workflow from assessment through to payment reconciliation?
This checklist is a practical self-assessment tool. It is not an official government accreditation or substitute for legal, compliance or technical advice.
Support at Home digital-readiness checklist
1. Participant identity and program status
Your system should clearly identify which program and funding arrangements apply to each person.
Check whether your system can record:
My Aged Care identification details
Support at Home participant status
ongoing funding classification
transitioned Home Care Package classification
interim or full funding status
short-term pathway approvals
funding commencement and end dates
participant contribution status
applicable transitional arrangements
registered supporters or authorised representatives
A provider should not have to rely on staff memory or free-text notes to determine which funding rules apply to a participant.
2. Notice of Decision and support-plan information
A participant’s Notice of Decision and support plan identify the services they are approved to access.
Your system should be able to:
store the current Notice of Decision and support plan
record approved service types in structured fields
distinguish ongoing services from short-term approvals
record the participant’s assessed needs and goals
prevent or flag services that are outside the approved list
record when a Support Plan Review has been requested
retain previous versions when approvals change
If approved services only appear inside a scanned document, staff may have difficulty checking eligibility when planning, scheduling or claiming services.
3. Current service-list configuration
The Support at Home service list contains three contribution categories, 14 service types and 49 individual services.
A digitally ready system should:
maintain the current government service list
map services to the correct service type
map services to the applicable contribution category
retain government service IDs
recognise included and excluded activities
distinguish the Support at Home service list from the AT-HM list
record the effective date of every service-list change
preserve historical rules for previously delivered services
Effective dating is essential. When a rule changes, the system must still apply the correct rule to services delivered before the change.
4. Personal-care contribution change
From 1 October 2026, approved personal care services will move from the Independence contribution category to the Clinical Supports contribution category for contribution purposes.
Participants will no longer pay a contribution for personal care delivered from that date when they are approved for the service and have available Support at Home funding.
Your system should be able to:
apply the new contribution treatment from 1 October 2026
continue applying the previous contribution treatment to services delivered before that date
use the service-delivery date rather than the claim-submission date
retain existing personal-care service IDs
update individualised budgets
display the correct amount on participant statements and invoices
support reconciliation where services cross the implementation date
This change illustrates why Support at Home systems need configurable, effective-dated rules rather than fixed calculations embedded throughout the software.
5. Funding classifications and accounts
Support at Home includes eight ongoing funding classifications, transitioned Home Care Package classifications and separate short-term pathways.
Check whether your system can manage:
all eight ongoing classifications
transitioned HCP classifications
quarterly funding allocations
interim funding where applicable
supplements
unspent transitioned HCP funds
Restorative Care Pathway funding
End-of-Life Pathway funding
Assistive Technology and Home Modifications funding
funding periods, balances and expiry dates
These funding sources should not be combined into one unexplained balance. Staff need to understand which account applies and what the available funds can be used for.
6. Quarterly budgets and carry-over
Ongoing Support at Home budgets are allocated quarterly.
Participants can generally carry over unspent funds of up to $1,000 or 10% of their quarterly budget, whichever is greater, into the next quarter. Different arrangements apply to eligible unspent funds retained by transitioned HCP participants.
A digitally ready system should:
establish the correct quarterly budget
separate government funding and participant contributions
calculate expenditure against delivered services
forecast the effect of scheduled services
identify potential overspending
identify significant underspending
calculate the applicable carry-over amount
distinguish ordinary carry-over from transitioned HCP funds
show staff which funds are available, restricted or approaching expiry
A visible balance is useful, but a forecast balance is more useful. Providers need to understand the likely effect of future services before overspending occurs.
7. Participant contributions
Services Australia determines applicable participant contribution rates based on the person’s financial circumstances and contribution arrangements.
The provider’s system should:
record the contribution rates supplied by Services Australia
distinguish Clinical Supports, Independence and Everyday Living
apply the rate to the relevant delivered service
support “no worse off” transitional arrangements
record interim contribution rates where applicable
update rates without altering historical transactions
identify overpayments requiring a refund
account for financial-hardship arrangements
clearly separate the participant contribution from the government subsidy
Providers should avoid manually calculating contribution percentages in disconnected spreadsheets where changes may not flow through to budgets, invoices and claims.
8. Care plans and individualised budgets
The care plan and individualised budget should reflect the participant’s approved services, preferences, goals and available funding.
Check whether your system can:
connect the support plan to the care plan
connect approved services to the individualised budget
record agreed hours or units of service
record the participant’s preferences and goals
obtain and document participant agreement
update the budget when services or contribution rates change
maintain version history
show who approved or changed each record
provide the participant with an accessible copy
Care and financial information should not tell two different stories.
9. Care-management workflows
For ongoing services, 10% of the participant’s quarterly funding is allocated to care management.
Digital readiness should include more than recording that care management occurred. Your system should help care partners complete the work consistently.
Consider whether it can support:
scheduled participant monitoring
care-plan reviews
goal monitoring
risk and wellbeing follow-up
changes in needs or circumstances
multidisciplinary coordination
participant and supporter communications
referrals for Support Plan Reviews
tasks arising from incidents, complaints or feedback
evidence of actions taken and outcomes
Dashboards should help care partners identify what requires attention—not merely display large amounts of information.
10. Service scheduling and delivery records
A scheduled service is not the same as a delivered service.
Your systems should be able to distinguish:
requested services
approved services
scheduled services
completed services
cancelled services
participant no-shows
incomplete or disputed services
services ready to be claimed
services already submitted or paid
The record should include enough information to support the claim and demonstrate what was delivered, when it occurred and who provided it.
11. Third-party and associated-provider oversight
A registered provider may engage an associated provider or third party to deliver some services, but the registered provider remains responsible for the services delivered.
Check whether your system can record:
third-party and associated-provider details
service agreements and contract periods
required worker or supplier documentation
insurance, screening and credential expiry dates
agreed prices and applicable overheads
services assigned to each supplier
service-delivery evidence
invoice review and approval
incidents, concerns and performance issues
the relationship between the supplier invoice, participant statement and government claim
A supplier directory alone is not enough if expired documents, pricing and service evidence are managed elsewhere.
12. AT-HM workflows
The Assistive Technology and Home Modifications scheme has separate needs-based funding and an approved AT-HM list.
Your system should be able to:
record AT and HM approvals separately
identify the applicable funding tier
store prescriptions, assessments and recommendations
manage quotes and participant approval
record supplier details
track orders, delivery and installation
record wraparound services
monitor funding and expiry dates
retain evidence supporting the purchase or modification
record completion and participant outcomes
Providers should avoid treating AT-HM as an ordinary service expense. Its approval, evidence and purchasing processes require distinct workflows.
13. Claims and payment reconciliation
Providers must deliver a service before submitting a claim to Services Australia.
Claims can be managed through the Aged Care Provider Portal or through compatible business-to-government software arrangements.
A digitally ready organisation should be able to:
identify services eligible for claiming
validate service IDs and delivery dates
validate the funding account
apply the correct contribution information
prevent duplicate claims
submit claims through the organisation’s chosen pathway
record claim-submission status
identify rejected or adjusted claims
reconcile Services Australia payments
connect payments with participant accounts and supplier invoices
maintain an audit trail of corrections and resubmissions
An integration does not remove the need for oversight. Providers still need exception reporting, reconciliation controls and a process for resolving rejected claims.
14. Monthly participant statements
Providers must give participants monthly statements showing relevant information about their services and funding.
Check whether your system can clearly display:
services delivered during the period
service dates
service quantities and prices
participant contributions
government-funded amounts
opening and closing balances
remaining quarterly funding
relevant unspent funds
adjustments, credits or refunds
information in a format the participant can understand
Statements should be accurate, transparent and consistent with the provider’s service-delivery, claiming and accounting records.
15. Government-system access and roles
Providers may need to work across government systems, including My Aged Care, the Government Provider Management System, PRODA and the Aged Care Provider Portal.
Your organisation should know:
which system performs each function
which workers require access
who manages organisational access and delegations
how access is granted, reviewed and removed
how staff role changes are handled
who monitors government notifications
what happens if a key administrator is absent
what manual contingency process applies during an outage
how information entered into government systems is reconciled with internal records
PRODA access is not the same as having automated claiming integration. Providers should confirm exactly what a software vendor means when it refers to “PRODA integration” or “government integration.”
16. Privacy, security and access control
Support at Home systems may contain health, identity, financial and personal information.
At a minimum, providers should assess whether their systems support:
role-based access
multi-factor authentication
secure storage and transmission
access logs
audit trails
controlled document sharing
timely removal of former staff access
backups and recovery testing
incident and data-breach response
data-retention and secure-disposal processes
vendor and third-party security assessment
business continuity during system outages
Access should be based on what each worker needs to perform their role—not simply whether they work for the organisation.
17. Reporting and audit readiness
A provider should be able to retrieve evidence without manually reconstructing events from emails, spreadsheets and staff recollections.
Test whether your system can report on:
upcoming and overdue care-management activities
missing or expired documents
budget overspending and underspending
services delivered outside approvals
contribution and statement discrepancies
rejected claims
unresolved incidents and complaints
supplier-document expiries
AT-HM orders and outstanding actions
changes to care plans and budgets
who viewed or changed important records
actions taken in response to identified risks
Audit readiness is an everyday information-management capability, not a task that should begin only when an audit is announced.
18. Change management and staff readiness
A technically capable system will still fail if workers do not understand how to use it.
Your organisation should have:
named owners for Support at Home system configuration
a process for monitoring government updates
testing before new rules are activated
documented procedures
role-specific staff training
a support and escalation pathway
a method for communicating system changes
post-implementation monitoring
contingency processes for system failures
a record of issues, decisions and corrective actions
Digital readiness is shared across technology, governance and frontline operations.
How ready is your organisation?
Use the 18 checklist areas above as a starting point.
Result | Suggested interpretation |
15–18 areas operating effectively | Strong foundation, but continue testing, monitoring and updating |
10–14 areas operating effectively | Partially ready, with identifiable gaps requiring an implementation plan |
5–9 areas operating effectively | Significant reliance on manual processes or disconnected systems |
0–4 areas operating effectively | Urgent digital and operational readiness review recommended |
This is an internal self-assessment only. It is not an official compliance rating or government-approved readiness measure.
The quality of implementation also matters. Checking a box because a system technically contains a feature does not establish that the information is accurate, workers use it consistently or the complete workflow has been tested.
Warning signs your systems may not be ready
Your organisation may need a closer review if:
participant approvals are stored only as attachments;
budgets are calculated in separate spreadsheets;
contribution rates must be manually copied between systems;
care partners cannot see current funding while planning services;
scheduled services are treated as delivered services;
claims cannot be reconciled with supplier invoices;
staff cannot identify why a claim was rejected;
participant statements require extensive manual correction;
important deadlines rely on individual calendar reminders;
rule changes overwrite historical calculations;
former workers retain system access;
only one person understands the claiming process; or
audit evidence must be reconstructed from emails.
These problems do not always require an entirely new system. However, they do require clearly documented controls, assigned responsibilities and a plan for reducing risk.
How Genoveva is approaching Support at Home digital readiness
Support at Home requires care, operational and financial information to remain connected.
When information is distributed across spreadsheets, emails, calendars, shared drives and separate platforms, care teams can spend significant time searching for records, checking calculations and following up routine tasks.
Genoveva is being designed to support a more connected approach.
Planned capabilities include:
structured Support at Home participant records;
service-approval and service-category mapping;
individualised budget planning and monitoring;
contribution settings with effective dates;
care-management tasks and reminders;
alerts for overdue participant follow-up;
care plans, case notes and document management;
AT-HM workflow tracking;
supplier and compliance-document records;
monthly statement support;
operational dashboards;
role-based permissions; and
auditable histories of important actions and changes.
Genoveva’s planned premium offering is also intended to support Services Australia claiming workflows, subject to the required technical development, testing, onboarding and government processes.
Genoveva is currently in development. References to planned capabilities describe the intended product direction and should not be interpreted as confirmation that every feature or government integration is currently available.
Our purpose is not to replace care partners or professional judgement. It is to reduce avoidable administrative work and make important information easier to understand, so care teams can spend more time listening, coordinating and advocating with older people.
Final takeaway
A digitally ready Support at Home provider should be able to follow a clear information pathway:
Approval → care planning → budget → service delivery → contribution → claim → payment → participant statement → review
If information becomes disconnected at any point, the risk of delays, incorrect charges, rejected claims and missed follow-up increases.
Digital readiness does not mean automating every decision. It means giving workers accurate information, appropriate controls and reliable workflows so that they can make better decisions with participants.
Preparing your organisation for Support at Home?
Genoveva is developing practical tools to help aged-care providers connect care planning, budget oversight, participant records and operational follow-up.
Join the Genoveva waitlist to receive development updates and future early-access opportunities.
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Official references
Support at Home program manual — Australian Government Department of Health, Disability and Ageing
Support at Home service list — Australian Government Department of Health, Disability and Ageing
Services under Support at Home — Australian Government Department of Health, Disability and Ageing
Aged Care Provider Portal learning resources — Services Australia
Transition to Support at Home — Aged Care Quality and Safety Commission
Guide to securing personal information — Office of the Australian Information Commissioner
Disclaimer
This article provides general information and a practical self-assessment tool only. It does not constitute legal, financial, clinical, cybersecurity or compliance advice, and the checklist is not an Australian Government certification or official assessment framework.
Support at Home policies, service definitions, contribution arrangements, funding amounts, technical specifications and operational requirements may change. Providers should consult the current guidance published by the Australian Government Department of Health, Disability and Ageing, Services Australia, My Aged Care, the Aged Care Quality and Safety Commission and other relevant authorities.
Genoveva is an independent organisation. It is not affiliated with, endorsed by or acting on behalf of the Australian Government.