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Understanding Medicare Billing Issues

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... should very clearly demonstrate that the preoperative medical evaluation ... of the previous questions is 'no,' the service is not a consultation CPT code. ... – PowerPoint PPT presentation

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Title: Understanding Medicare Billing Issues


1
Understanding Medicare Billing Issues
  • Sponsored by the MSBA Health Law Section
  • Presented by
  • Edith Sunderland
  • Director of Compliance and Coding
  • University Physicians, Inc.
  • April 8, 2008

2
Understanding Medicare Billing issues(Part B)
  • Incident to billing
  • Billing for physician extenders (physician
    assistants, CRNPs)
  • Consultations
  • Billing for visits with procedures
  • Purchased diagnostic tests
  • Other reimbursement issues

3
Non Physician Practitioners (NPP)
  • Must be employees (includes leased and contracted
    employees) of the practice to bill or for the
    physician to bill the services under incident
    to or split/shared visits.
  • When billing under attending name in the office
    setting incident to rules may apply.

4
What Does Incident To Mean?
  • The service was provided in the office setting by
    an employee (includes leased/contracted employee)
    of the practice under the direct supervision of
    the physician and billed in the physicians name

5
Incident To
  • Office only
  • Billed under the physicians name
  • Doctor must be in the office suite at the time
    - document I was present in the office suite
    when the service was provided__________________(si
    gnature)
  • Contact by telephone or the MDs presence
    somewhere else in the building is not sufficient

    within human voice distance

6
Incident To.
  • Non physician personnel must be an employee of
    the practice
  • NPP in Maintenance mode
  • MD must see all new patients
  • MD must see all patients with new problems

7
Incident To
  • What EM codes can be billed for incident to
    services?
  • If ancillary personnel other than a Nurse
    Practitioner or Physician Assistant perform
    incident to services only 99211 can be billed

8
What Is the Physicians Role in Incident To
Services?
  • The billing provider must see the patient for an
    initial visit and develop a treatment plan.
  • There must be documentation to support the
    providers active participation in the patients
    care.
  • If the condition for which the provider is
    treating the patient changes, the provider must
    personally see the patient.
  • The record of services performed incident to a
    physician service demonstrates the link between
    the employees work and the physicians service.

9
Incident To
  • Does the incident to provision apply to
    inpatient services?
  • The services must be those that are
    commonly performed in an office setting. The
    split/shared visit rules apply in an inpatient
    setting.

10
Incident To
  • Please refer to the Incident To manual for
    complete information. This manual can be
    downloaded free of charge from the TrailBlazer
    Web site at
  • www.trailblazerhealth.com/Publications/Training20
    Manual/incident_to.pdf

11
Split/Shared Visits
  • Both the physician and the NPP see the patient
    during the same day
  • Both the physician and the NPP document their
    portion of the visit
  • Bill the level of care that the combined notes
    will allow
  • Bill the service in eithers name
  • The physician should reference the NPPs note in
    his/her documentation if billing in the MDs name
  • The NP should reference the MD documentation if
    billing in the NPPs name

12
Split/Shared Visits
  • NPP must be an employee of the faculty practice
  • The record of services split/shared by a
    physician and non-physician practitioner must
    demonstrate the face-to-face encounter and
    contribution to patient management by each
    practitioner involved.
  • Consultations for Medicare patients cannot be
    shared visits and billed in the MDs name

13
NPP
  • Cannot supervise residents and bill.
  • Cannot use documentation of students to bill.
  • The only part of a students note that can be
    counted is the ROS and PFSH if it is reviewed and
    noted.

14
E M New Patient Rule
  • New patient is someone who has not been seen by
    the physician or another physician in the same
    practice (same specialty) for three years,
    regardless of the reason or location.

15
Consultation
  • The intent of a consultation is that a physician
    or qualified NPP or other appropriate source is
    asking another physician or qualified NPP for
    advice, an opinion, recommendation, suggestion,
    direction or counsel, etc. in evaluating or
    treating a patient because that individual has
    expertise in a specific medical area beyond the
    requesting professionals knowledge.

16
Consultations
  • A consultation is distinguished from a visit
    because it is done at the request of a referring
    physician and the consultant prepares a report of
    his/her findings which is provided to the
    referring physician for his or her use in the
    treatment of the patient.
  • A consultant may initiate diagnostic and/or
    therapeutic services and the service still
    remains as a consultation.
  • If the referring physician transfers complete
    responsibility for all medical care to the
    physician the service as not a consultation.

17
Consultations
  • The Rule of the Four Rs for a Consultation
  • Referral
  • Request for an opinion
  • Report to the referring physician
  • Referring provider must document the request

18
Consultations
  • The service is not simply a continuation of care
    by the consultant for an established clinical
    problem of an established patient in a different
    clinical setting.
  • The opinion rendered is of such a nature that it
    will be used by, and in some manner will affect,
    the requesting physicians own management of, or
    decision making about, the patient.

19
Consultations
  • Consultations rendered for the purpose of
    preoperative medical clearance are covered
    Medicare services. However, the record of such a
    consultation should very clearly demonstrate that
    the preoperative medical evaluation is reasonable
    and necessary, given the patients medical
    condition and the nature of the proposed surgical
    procedure. Additionally, it should be clear that
    the opinion of the consultant will be used by the
    requesting surgeon in the post-operative
    management of the patient.

20
Consultations
  • Medicare does not reimburse consultations
    rendered as split/shared services.
  • The initial inpatient consultation may be
    reported only once per consultant per patient per
    facility admission.
  • In the hospital setting, following the initial
    consultation service, the Subsequent Hospital
    Care codes (9923199233) should be reported for
    additional follow-up services.

21
Consultations
  • A second-opinion E/M service initiated by a
    patient and/or family is not reported using the
    consultation codes.

22
Consultations
  • Consideration of the following points will assist
    in correct billing of consultations. In instances
    where you may be unsure whether the services
    rendered meet the criteria of a consultation, ask
    the following questions
  • Did the doctor receive a referral or order to
    provide a consultation?
  • Does the documentation of the service clearly
    demonstrate the order or referral?
  • Was a written report of the consultants
    opinion/advice provided to the referring
    provider?
  • Though the referring physician may have asked for
    consultation, is the E/M service provided truly
    a consultation (i.e., not better characterized by
    another E/M service code)?
  • If the answer to any of the previous questions is
    no, the service is not a consultation CPT code.

23
Visit and Minor Procedures -Same Day
  • Evaluation and Management (E/M) services reported
    on the same day as a procedure must be clearly
    documented, medically necessary, significant and
    separate from the procedure.
  • The 25 modifier is appended to the E/M service to
    indicate a significant, separately identifiable
    E/M service above and beyond the other service
    provided, or services beyond the usual
    preoperative and postoperative care associated
    with the procedure that was performed by the same
    physician on the same day of a minor procedure or
    service. It is used to indicate that the
    patients condition required a significant,
    identifiable E/M service

24
Closer Look at Modifier 25
  • Significant separately identifiable
    evaluation and management service by the same
    physician on the same day of a minor procedure or
    other service

25
What Are Purchased Diagnostic Tests?
  • The entity billing for the diagnostic test did
    not perform all components of the test but
    purchased part of the test from another source.
  • If the technical portion of the test was
    purchased, check the Yes box and enter the
    purchase price under Charges.
  • There is no need to enter the purchase price for
    the purchased interpretation.

26
Purchased Diagnostic Tests
  • Purchased Technical Components
  • A physician/practitioner may bill for the
    technical component of a diagnostic test that he
    purchases from another physician, medical group
    or supplier if
  • The physician or supplier that furnished the
    technical component of the test is enrolled in
    the Medicare program. And,
  • The physician/practitioner purchasing the test
    performed the interpretation.
  • Payment is based on the lower of the billing
    physicians fee, the fee schedule or the price
    paid for the service.

27
Purchased Diagnostic Tests
  • Purchased Interpretations
  • An entity that provides the technical portion of
    a diagnostic test may submit the claim, and
    payment can be made for the diagnostic test
    interpretations that it purchases from an
    independent physician or medical group if
  • The tests are ordered by a physician/practitioner
    or medical group that is independent of the
    entity providing the technical portion of the
    test and of the physician or medical group
    providing the interpretation.
  • The purchaser performs the technical component of
    the test.
  • The interpreting physician/practitioner is
    enrolled in the Medicare program.
  • The interpreting physician/practitioner does not
    see the patient. And,
  • The purchaser keeps on file the name, provider
    identification number and address of the
    interpreting physician.

28
Purchased Diagnostic Tests
  • Providers may not submit a global billing code
    when one component of the service has been
    purchased.
  • Example A physician may see a patient and send
    him to a testing facility for an MRI. The testing
    facility then sends the MRI to be interpreted by
    another physician. The testing facility may bill
    Medicare the technical and professional
    components of the MRI if purchasing the
    interpretation from the physician. This is
    acceptable because the testing facility is
    independent of the physician who referred the
    patient to it and of the physician who
    interpreted the service
  • 71010 TC (chest x-ray technical component)
  • 71010 26 (chest x-ray professional component)

29
Specific Instructions for Filing Claims for
Purchased Services
  • Providers may not submit a global billing when
    one component of the service has been purchased.
    To determine the correct payment jurisdiction and
    price services correctly, the technical and
    professional components of the service must be
    submitted on separate detail lines or on separate
    claims, depending on how the claim is filed
    (paper or electronic).
  • Paper Claims The technical component and the
    professional component must be submitted on
    separate claim forms. The physical address of the
    location where the specific test component was
    rendered should be entered in Item 32 on the
    claim form.

30
Purchased Diagnostic Tests
  • A physicians office cannot purchase a diagnostic
    test from a lab
  • If a physicians office sends laboratory services
    to an outside laboratory, the outside laboratory
    should bill for the tests. It is the
    responsibility of the outside laboratory to bill
    for the services rendered. 

31
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