Monday, December 15, 2014

Preparing For 2015




The beginning of a new year in the ambulatory surgery center industry is rapidly approaching. Along with a new year, comes a series of changes impacting ASC workflow and reimbursement. Three industry experts outline five of the biggest coding and billing changes to anticipate for 2015.

1. ICD-10. When signed into law in April, the Protecting Access to Medicare Act of 2014 effectively delayed ICD-10 implementation until Oct. 1, 2015. Though the switch to the new code set will take place 10 months into the year, the ramifications make it one of the biggest changes to anticipate — the shift from approximately 14,000 ICD-9-CM codes to 68,000 ICD-10-CM codes is no small step to take. "It could take [ASCs] six months to a year to get up to speed".

In addition to preparing all software and staff internally, ASCs will need to form closer ties with physician office coding staff. "We will see an increasing collaboration between provider facilities and physician offices". "Submitting a claim with different codes from the physician's office and the ASC may delay payment."

"The overall impact of ICD-10 on revenue is still not known, other than there will be the usual sort of factors that cause cash to decrease in the short term, i.e., errors in implementing systems, learning curve for coders, payers' internal systems not working as expected, etc.,"

2. CPT code updates. The American Medical Association is set to release 2015 updates for its Current Procedural Terminology code set on Nov. 1. Last year, upper GI/endoscopy codes were reviewed and nearly 25 percent of the CPT code changes affected the field of gastroenterology. This year, lower GI codes, including those for colonoscopy, are up for review. Radiology and pain management will also be affected by the CPT code changes.

3. Modifier -59 change. CMS is creating four new HCPCS modifiers to define subsets of modifier -59, which denotes a "distinct procedural service." The four new HCPCS included:

•    XE Separate Encounter:
•    XS Separate Structure
•    XP Separate Practitioner
•    XU  Unusual Non-Overlapping Service

"We can still use modifier -59, but CMS has the right to insist there is a more specific modifier needed," "Column 1 and column 2 CPT codes will the most impacted."



4. Bundled codes. ASC leaders can expect to see the bundling of multi-level pain procedures in 2015.  CMS is no longer allowing more than one level of pain procedure. They are not paying on more than one code. We can expect to see other major payers follow this lead. The bundling of codes will lead to a decrease in reimbursement for a number of pain procedures performed in ASCs.

Radiology is also being impacted by bundled codes. We are seeing ever increasing bundling with radiology and ultrasound codes. Three new joint arthrocentesis codes for 2015 will include ultrasonic guidance, which will impact reimbursement."

5. Increase in MNRPs.

More payers will begin to increasingly offer Maximum Non-Network Reimbursement Plans, or Medicare-based plans, which have lower rates of reimbursement. "With the increasing volume of MNRPs, payers are opting to reimburse at the lower Medicare rate than historic reimbursement rates, i.e., PPO or commercial-based plans," says Mr. Silva. "An analysis should be done comparing the CYTD and PYTD payer and case mixes and based on the results of that analysis, the ASC directors need to be educated on how the cash flow will be impacted."

6. Payer demand for specificity. Payers will not only expect providers to adhere to the increased specificity of ICD-10, but many are also calling for complete medical records prior to claim adjudication. Failure to supply complete medical records for these payers can lead to claim denial and loss of appeal rights. Perform an analysis of payer mix to determine which payers are calling for information. "The revenue cycle management office could then be proactive by dropping the claims to paper for those particular payers/procedures and including the complete medical records on the first submission". "The ASC's RCM office needs to respond to the issue quickly and efficiently."
 

A Look Ahead: Pathology CPT Changes for 2015

In 2015, Pathology will see many CPT changes.  Some of the bigger changes will include changes to immunohistochemistry codes (88342, 88360 and 88361) as well as the ISH series of codes (88365, 88367 and 88368).  As we have seen in previous years there will be revisions, deletions and additions to these code sets.       

First, there will be revisions clarifying the “per block,” “per slide” and “per specimen” issue.  The code descriptor for IHC and ISH will now include “per specimen” for each primary code.  Second, each primary code will read, “initial single antibody procedure” for IHC and “initial single probe stain procedure” for ISH which leads to the addition of a new IHC add-on code for “each additional antibody stain procedure” and three new ISH add-on codes for “each additional single probe procedure,” one for qualitative results and two for quantitative/semi-quantitative; manual or computer-assisted.    Third, CPT has added four new codes for IHC and ISH to report for multiplex procedures.  The descriptor for these new codes will also include “per specimen.”  These new codes will not be add-on codes and, per CPT there will be an either/or choice.  You will assign either the initial single procedure or you would assign the multiplex stain procedure (see pages to follow for CPT codes and descriptions).  Last, code 88343 has been deleted for 2015 and replaced with 88341.

 
Two things that had not changed for both IHC and ISH will be whether the study is a qualitative versus quantitative/semi-quantitative result and whether the procedure is manual or computer-assisted. Overall the CPT changes for 2015 should clarify and simplify coding of these services.

 

CPT 2015 definitions of global surgical clarification

New codes for vertebroplasty and kyphoplasty, with more bundling

New rebundling arthroplasty and kyphoplastyriet, with more bundling issues

Some changes regarding Sacroiliac joint arthrodesis

New codes for total disc arthroplasty, along with myelogram coding changes (correct coding will depend on what physician is doing which portion)

Much more that will affect 2015 coding and reimbursement for orthopedic practices

 

 


 

BREAST IMAGING

As anticipated, new codes have been introduced this year for breast tomosynthesis.  Also, the existing code for breast ultrasound was deleted and two new codes have been introduced for limited and complete ultrasound.  ADVOCATE is seeking guidance as to what defines “limited” and “complete” for these exams.

76641  Ultrasound, breast, unilateral, real time with image documentation, including axilla when performed; complete

76642  Ultrasound, breast, unilateral, real time with image documentation, including axilla when performed; limited

77061  Digital breast tomosynthesis; unilateral

77062  Digital breast tomosynthesis; bilateral

77063  Screening digital breast tomosynthesis, bilateral (List separately in addition to code for primary procedure)

 

 

Orthopedic Billing

The expected coding changes coming with the ICD-10 implementation of next year are having a big impact on all physician billing practices. In the meantime there are changes to the Current Procedural Terminology (CPT) codes effective as of January 1 that orthopedic practices should be aware of. If you are just catching up on all this now, here are a handful of key areas in which the most important changes have occurred.

Key Areas of Orthopedic Billing Affected by CPT Coding Changes for 2015

  • Evaluation and Management

An entirely new set of evaluation and management codes has been issued this year. They cover consultations done over the telephone and the Internet. While the entire presentation of the codes is lengthy, it boils down to a handful of key issues.

For example, codes 99446-99449 are distinguished by time intervals over which medical consultations occur, with 99446 covering consultations of 10 minutes or less and 99449 covering those of more than 30m minutes.

  • Soft-Tissue Tumors

In the 20000 (Musculoskeletal) section of the CPT, there have been revisions to the codes in each body area that describe the radical resection of soft tissue tumors.  The example given previously was malignant neoplasm, which has been removed, and replaced by sarcoma.


  • Shoulder, Humerus and Elbow

The new set of codes does not simply add to the total number of codes. Some have been deleted as repetitive among in the new arrangement. For example, codes 23331 and 23332 were deleted and replaced by 23333-23335. The first two were vague codes regarding the removal of foreign bodies in the shoulder area while the three newest are more specific about parts and procedures.

Other codes were revised, such as 24160 and 24165, which described the removal of prostheses. There are now also specific mandates about which codes may or may not be used together and how they may be reported simultaneously.

  • Sacroiliac Joint

The AMA created a new Category III code in January 2013. Code 0034T regards sacroiliac joint stabilization and it now appears in the 2014 CPT guide. Please note consequent changes to parenthetical notes for 27216, 27218 and 27280.

  • Chemodenervation

Pediatric orthopedic billing for spasticity should become more effective with the latest chemodenervation codes. The new manual deletes code 64614 and adds six additional codes to provide specificity with regard to this type of procedure.

It is not too late to get started adapting your office to the new codes. However, to improve communication, it is necessary for everyone to be updated about the new codes and those that have been eliminated.

 

For more information , please call 305-227-2383  or 1-877-938-9311
 



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Wednesday, November 26, 2014

Optometry




Changes are coming for the Physician Quality Reporting System (PQRS). Participation in 2015 means avoiding a 2-percent cut to your Medicare payments in 2017.

"The biggest errors in the past have been using measures that do not apply to a specific patient."

Additionally, in 2015 bonuses will no longer be given for successful participation.

Many optometrists have taken part in the program; as of 2012, at least 32 percent of eligible ODs were participants, according to data from the Centers for Medicare & Medicaid Services.

There's a downside to nonparticipation. On Nov. 10, CMS sent letters to ODs and other doctors who did not participate in PQRS in 2013, informing them they would be subject to a 1.5 percent payment penalty in 2015.

AOA informed members earlier this year of the steps they should take in 2014 to earn PQRS bonuses and avoid penalties in 2016. 
 

PQRS changes that affect ODS 


The AOA wants ODs to be aware of coming changes to PQRS in 2015. Previously, eligible providers could earn a bonus for successfully reporting on PQRS measures. No such bonus exists next year.

However, ODs who participate will prevent a 2-percent loss from their total Medicare payments in 2017, Rebecca Wartman, O.D., a member of the AOA Third Party Center Coding Committee, notes.

Most ODs use claims-based reporting to participate in PQRS quality reporting. For 2015, AOA successfully protected the claims-based reporting option for many measures that ODs report.

One measure has been discontinued for 2015: "Diabetic Retinopathy: presence or absence of macular edema and level of retinopathy." This means that ODs have nine instead of 10 available quality measures to do their reporting.

Six eye-care-specific measures can still be filed, Dr. Wartman says. There are also three "cross cutting" measures available to ODs: tobacco use and counseling, hypertension and follow up, and medication listing.

To avoid the 2-percent penalty in 2015, ODs must:
 

Report accurately on nine measures for applicable patients 50 percent of the time.

Report on at least one quality measure from the "cross cutting" measure set. It is important to note that the cross cutting measure counts toward the nine total required measures.

If fewer than nine measures apply, eligible providers can still participate.

ODs should be aware that reporting fewer than nine measures would trigger the Measure-Applicability Validation (MAV) review. CMS conducts this review to determine whether a physician should have reported additional measures 
 

 

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Monday, November 17, 2014

Medical Necessity



What are the auditors looking for?



• Authentication – signatures, dates/times –

who did what? (metadata?)

• Contradictions – between HPI and ROS,

exam elements

• Wording or grammatical errors/anomalies

• Medically impausible documentation




How to Document Medical Necessity

Tell a story

• Don’t assume level of knowledge

• Don’t rely on diagnosis documentation alone

• Review any payor medical policies – and

document in their terms

For example, for trigger point injections:

“Patient reports 60% decrease in pain after
previous injections”
 

How to Document
 

• Reason for any services ordered – labs, EKGs,

Xrays, other diagnostic studies –

 

CMS Documentation Guidelines:
“If not documented, the rationale for ordering
diagnostic and other ancillary services should
be easily inferred.”

 

Friday, November 14, 2014

NEW HCPCS Codes - Five G Codes Effective Oct. 1


Five G Codes Effective Oct. 1


The Centers for Medicare & Medicaid Services (CMS) released six new HCPCS Level II G codes, five of which became effective Oct. 1. The codes helps track federal quality health center (FQHC) visits. FQHCs are paid an all-inclusive rate per visit for qualified primary and preventive health services. Except for initial preventive physical examination (IPPE), diabetes self management training, or medical nutrition therapy, all preventive services furnished on the same day as another medical visit constitute a single billable visit.  If a visit occurs on the same day as another billable visit, both visits may be billed.



The new codes helping to define these are:

G0466      A medically-necessary, face to face encounter (one-on-one) between a new patient and a FQHC practitioner during which time one or more FQHC services are rendered and includes a typical bundle of Medicare-covered services that would be furnished per diem to a patient receiving a FQHC visit
G0467     A medically-necessary, face to face encounter (one-on-one) between an established patient and a FQHC practitioner during which time one or more FQHC services are rendered and includes a typical bundle of Medicare-covered services that would be furnished per diem to a patient receiving a FQHC visit
G0468    A FQHC visit that includes an Initial Preventive Physical Examination (IPPE) or Annual Wellness Visit (AWV) and includes a typical bundle of Medicare-covered services that would be furnished per diem to a patient receiving an IPPE or AWV
G0469     A medically-necessary, face-to-face mental health encounter (one-on-one) between a new patient and a FQHC practitioner during which time one or more FQHC services are rendered and includes a typical bundle of Medicare covered services that would be furnished per diem to a patient receiving a mental health visit
G0470    A medically-necessary, face-to-face mental health encounter (one-on-one) between an established patient and a FQHC practitioner during which time one or more FQHC services are rendered and includes a typical bundle of Medicare covered services that would be furnished per diem to a patient receiving a mental health visit
G codes are  are national codes assigned by CMS to identify professional healthcare procedures and services that may not have assigned CPT® codes. Sometimes codes are added retroactively, as in the case of this sixth code, effective April 1, 2014:
G0471     Collection of venous blood by venipuncture or urine sample by catheterization from an individual in a skilled nursing facility (SNF) or by a laboratory on behalf of a home health agency (HHA)

Wednesday, November 5, 2014

Medicare Part D 2015 Update


Medicare Part D Benefit Parameters for Defined Standard Benefit
2011 through 2015 Comparison
Part D Standard Benefit Design Parameters:20152014201320122011
Deductible - (after the Deductible is met, Beneficiary pays 25% of covered costs up to total prescription costs meeting the Initial Coverage Limit.$320$310$325$320$310
Initial Coverage Limit - Coverage Gap (Donut Hole) begins at this point. (The Beneficiary pays 100% of their prescription costs up to the Out-of-Pocket Threshold)$2,960$2,850$2,970$2,930$2,840
Total Covered Part D Drug Out-of-Pocket Spending including the Coverage Gap - Catastrophic Coverage starts after this point.

See note (1) below.
$6,680.00 (1)

plus a 55% brand discount
$6,455.00 (1)

plus a 52.50% brand discount
$6,733.75 (1)

plus a 52.50% brand discount
$6,657.50 (1)

plus a 50% brand discount
$6,447.50 (1)

plus a 50% brand discount
Out-of-Pocket Threshold - This is the Total Out-of-Pocket Costs including the Donut Hole.
2015 Example:
   $320 (Deductible)
+(($2960-$320)*25%) (Initial Coverage)
+(($6680.00-$2960)*100%) (Cov. Gap)
= $4,700 (Maximum Out-Of-Pocket Cost prior to Catastrophic Coverage - excluding plan premium)
$4,700



$320.00
$660.00

$3,720.00

$4,700.00


$4,550



$310.00
$635.00

$3,605.00

$4,550.00


$4,750



$325.00
$661.25

$3,763.75

$4,750.00


$4,700



$320.00
$652.50

$3,727.50

$4,700.00


$4,550



$310.00
$632.50

$3,607.50

$4,550.00


Total Estimated Covered Part D Drug Out-of-Pocket Spending including the Coverage Gap Discount (NON-LIS) See note (2).$7,061.76$6,690.77$6,954.52$6,730.39$6,483.72
Catastrophic Coverage Benefit:
   Generic/Preferred
   Multi-Source Drug
(3)
$2.65 (3)$2.55 (3)$2.65 (3)$2.60 (3)$2.50 (3)
    Other Drugs (3)$6.60 (3)$6.35 (3)$6.60 (3)$6.50 (3)$6.30 (3)
Part D Full Benefit Dual Eligible (FBDE) Parameters:20152014201320122011
   Deductible$0.00$0.00$0.00$0.00$0.00
   Copayments for
   Institutionalized
   Beneficiaries
$0.00$0.00$0.00$0.00$0.00
Maximum Copayments for Non-Institutionalized Beneficiaries
    Up to or at 100% FPL:
        Up to Out-of-Pocket Threshold
      Generic/Preferred
      Multi-Source Drug
$1.20$1.20$1.15$1.10$1.10
      Other$3.60$3.60$3.50$3.30$3.30
     Above Out-of-Pocket
     Threshold
$0.00$0.00$0.00$0.00$0.00
    Over 100% FPL:
        Up to Out-of-Pocket Threshold
      Generic/Preferred
      Multi-Source Drug
$2.65$2.55$2.65$2.60$2.50
      Other$6.60$6.35$6.60$6.50$6.30
     Above Out-of-Pocket
     Threshold
$0.00$0.00$0.00$0.00$0.00
Part D Full Subsidy - Non Full Benefit Dual Eligible Full Subsidy Parameters:20152014201320122011
Eligible for QMB/SLMB/QI, SSI or applied and income at or below 135% FPL and resources < $7,160 (individuals) or < $10,750 (couples)***
   Deductible$0.00$0.00$0.00$0.00$0.00
    Maximum Copayments up to Out-of-Pocket Threshold
      Generic/Preferred
      Multi-Source Drug
$2.60$2.55$2.65$2.60$2.50
      Other$6.60$6.35$6.60$6.50$6.30
   Maximum Copay above
   Out-of-Pocket
   Threshold
$0.00$0.00$0.00$0.00$0.00
Partial Subsidy Parameters:20152014201320122011
Applied and income below 150% FPL and resources between $7,161-$13,440 (individuals) or $10,751-$26,860 (couples) (category code 4)***
   Deductible$66.00$63.00$66.00$65.00$63.00
   Coinsurance up to
   Out-of-Pocket
   Threshold
15%15%15%15%15%
    Maximum Copayments above Out-of-Pocket Threshold
      Generic/Preferred
      Multi-Source Drug
$2.65$2.55$2.65$2.60$2.50
      Other$6.60$6.35$6.60$6.50$6.30
(1) Total Covered Part D Spending at Out-of-Pocket Threshold for Non-Applicable Beneficiaries - Beneficiaries who ARE entitled to an income-related subsidy under section 1860D-14(a) (LIS)
(2) Total Covered Part D Spending at Out-of-Pocket Threshold for Applicable Beneficiaries - Beneficiaries who are NOT entitled to an income-related subsidy under section 1860D-14(a) (NON-LIS) and do receive the coverage gap discount. For 2015, the weighted gap coinsurance factor is 90.693%. This is based on the 2013 PDEs (85.9% Brands & 14.1% Generics)
(3) The Catastrophic Coverage is the greater of 5% or the values shown in the chart above. In 2014, beneficiaries would be charged $2.60 for those generic or preferred multisource drugs with a retail price under $52 and 5% for those with a retail price greater than $52. As to Brand drugs, beneficiaries would pay $6.60 for those drugs with a retail price under $132 and 5% for those with a retail price over $132.
(4) The actual amount of resources allowable may be updated for contract year 2015

Friday, October 31, 2014

Physician BIlling





HPP Management Group, Corp.
Developers of the AccuChecker Product Line
5201 Blue Lagoon Drive
Suite 815
Miami, Florida 33126

 

Our Services
 

·         FULL SERVICE CREDENTIALING

·         MAINTAIN CREDENTIALING DOCUMENTATION

·         Physician Credentialing Services

·         Coding

·         STATEMENTS

·         AccuChecker Online

 

 

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Phone: (305) 227-2383
 

 

 

 

 

 

 

 

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Thursday, October 30, 2014

Medicare Part B Therapy Billing Guide




Physical Therapy
Occupational Therapy
Speech/Language Pathology
Occurrence Code: 11
Occurrence Code: 11
Occurrence Code: 11
Date the patient first became aware of the symptoms or illness being treated.
Date the patient first became aware of the symptoms or illness being treated.
Date the patient first became aware of the symptoms or illness being treated.
Occurrence Code: 29
Occurrence Code: 17
Occurrence Code: 30
Date a plan of treatment for outpatient physical therapy was established or last reviewed.
Date a plan of treatment for occupational therapy was established or last reviewed.
Date a plan of treatment for speech/language pathology was established or last reviewed.
Occurrence Code: 35
Occurrence Code: 44
Occurrence Code: 45
Date physical therapy started.
Date occupational therapy started.
Date speech/language pathology services started.

 
PQRS Cheat Sheet
 
According to APTA, to participate in PQRS using individual measures, you must

report on a minimum of 3 measures for 50% of all Medicare patients seen

during the reporting period, if reporting via claims, or on a minimum of 3

measures for 80% of all Medicare patients seen during the reporting period, if

reporting via registry.*

PQRS MEASURES
 
 
MEASURE #126 -  DIABETES - NEUROLOGICAL EVALUATION


 
 
Did you perform a lower extremity neurological exam?
 
CPT Codes: 97001, 97002, 97597, 97598; Frequency: minimum once per reporting period


 
MEASURE #127 - DIABETES - FOOTWEAR EVALUATION
 
Did you perform a footwear evaluation?
 
 
MEASURE #130 - MEDICATIONS

Did you document the patient’s current medications?






CPT Codes: 97001, 97002, 97003, 97004; Frequency: each visit




CPT  Codes
 
97001Physical Therapy Evaluation
97002Physical Therapy Re-Evaluation
97110Therapeutic exercises
97140Manual Therapy (ie. STM, JM)
97530Therapeutic Activities: Use of dynamic activities to improve functional performance
97535Self-care/home management training (ie. ADL's, safety procedures, instructions)
97112Neuromuscular Re-education
97113Aquatic therapy
97116Gait training
97124Massage
97014Electrical stimulation
97012Traction, mechanical
97010Hot or cold packs
97033Iontophoresis
97035Ultrasound
97034Contrast bath
97036Hubbard tank
97139Unlisted procedure
97039Unlisted modality



 
 
 
If you require additional information on any of the topics discussed on this blog, please contact our  HEDIS or PQRS Support Team at :  305-227-2383 or
 1-877-938-9311