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196  Ohio Medicare DMEPOS / General Medicare DMEPOS Information / Ankle-Foot Orthoses: Walking Boots - Coverage and Coding Issues - Revised on: Jul 11, 2014, 03:59:45 am
The e-mail below is self explanatory.

Debra Farley
Billing Director
BILLPro Management Systems
7-11-14

From: Jurisdiction B DME MAC <dmemaclistserve@anthem.com>
To: debra@billpro.net
Date: 07/10/2014 05:00 PM
Subject: Ankle-Foot Orthoses: Walking Boots - Coverage and Coding Issues - Revised


      

Ankle-Foot Orthoses: Walking Boots - Coverage and Coding Issues - Revised

HCPCS codes L4360, L4361, L4386 and L4387 describe an ankle-foot orthosis commonly referred to as a walking boot. Walking boots that are used to provide immobilization as treatment for an orthopedic condition or following orthopedic surgery are eligible for coverage under the Brace benefit. When walking boots are used primarily to relieve pressure, especially on the sole of the foot, or are used for patients with foot ulcers, they are noncovered - no benefit category. Medicare covers therapeutic shoes, as described in the Therapeutic Shoes for Persons with Diabetes local coverage determination (LCD), for the prevention and treatment of diabetic foot ulcers.

Suppliers must add a GY modifier to HCPCS code L4360, L4361, L4386 or L4387 if the walking boot is only being used for the treatment or prevention of a foot ulcer. The absence of a GY modifier indicates that the walking boot is being used as part of the treatment for an orthopedic condition or following orthopedic surgery. Claims for HCPCS code L4360, L4361, L4386 or L4387 with a GY modifier will be denied as noncovered.
   
Prefabricated walking boots must be billed with HCPCS codes L4360, L4361, L4386 or L4387. Add-on codes must not be billed in addition to these HCPCS codes. Custom fabricated walking boots must be billed with HCPCS code L2999 and must be accompanied by information identifying the manufacturer and model name (if applicable), the indication(s) for use of the boot, and an explanation of why a prefabricated walking boot is not sufficient. Walking boots must not be billed with other AFO HCPCS codes, including but not limited to HCPCS codes L2106-L2116, or with HCPCS codes for therapeutic shoes.

For questions about correct coding, contact the Pricing, Data Analysis, and Coding (PDAC) Contact Center at (877) 735-1326 during the hours of 8:30 a.m. to 4:00 p.m. CT, Monday through Friday, or e-mail the PDAC by completing the DME PDAC Contact Form located on the PDAC website: https://www.dmepdac.com/.

197  Ohio Medicare (including managed care) / General Medicare Information / Medicare Signature Requirements–Educational Resources for Health Professionals on: Jul 08, 2014, 04:11:12 am
The e-mail below is self-explanatory.

Debra Farley
Billing Director
BILLPro Management Systems
7-8-14

From: CMS MLNMatters-L <MedlearnMatters-L@CMS.HHS.GOV>
To: MLNMATTERS-L@LIST.NIH.GOV
Date: 07/07/2014 02:12 PM
Subject: New Article Posted to MLN Matters

 
 
New:

SE1419 – Medicare Signature Requirements – Educational Resources for Health Care Professionals

http://www.cms.gov/Outreach-and-Education/Medicare-Learning-Network-MLN/MLNMattersArticles/Downloads/SE1419.pdf

 
198  Ohio Medicare DMEPOS / General Medicare DMEPOS Information / Jurisdiction B “Tip of the Week” – Modifier Reminders on: Jul 08, 2014, 04:06:02 am
The e-mail below is self-explanatory.

Debra Farley
Billing Director
BILLPro Management Systems
7-8-14

From: Jurisdiction B DME MAC <dmemaclistserve@anthem.com>
To: debra@billpro.net
Date: 07/07/2014 03:30 PM
Subject: Jurisdiction B “Tip of the Week” – Modifier Reminders


      
Jurisdiction B "Tip of the Week" - Modifier Reminders

Modifiers assist the Durable Medical Equipment Medicare Administrative Contractors (DME MACs) in effectively responding to the parameters of the payment policy, local coverage determination (LCD) and policy article requirements established by the Medicare Program. In many instances, certain modifiers are required to make a Health Insurance Claim Procedure Coding System (HCPCS) code valid before claim processing can be completed.

Missing or incorrect usage of modifiers is one of the most common reasons that claims are rejected by the DME MACs. Omitting a modifier or use of an incorrect or invalid modifier may cause your claim to be returned as unprocessable, denied or paid at the wrong amount.

The following are some of the most common modifier errors:
   

    Omission of the KX, GA, GZ or GY modifier - Suppliers are reminded to use the KX, GA, GZ or GY modifier to indicate whether the coverage criteria are or are not met as outlined in the local medical policy. Since the KX modifier has a differing definition depending on the LCD requirements, suppliers should review the LCDs carefully to understand the proper use of the KX, GA, GZ or GY modifiers for each policy. The LCDs and policy articles may be accessed through the Medical Policy Center on the National Government Services web site. Claims denied with American National Standards Institute (ANSI)-16 are not eligible for an appeal or a reopening

    Inappropriate use of KX modifier on Positive Airway Pressure (PAP) Claims - Effective 04/01/14, claims for PAP equipment and accessories submitted with an International Classification of Diseases, 9th Revision (ICD-9) code indicated on the claim as something other than 327.23 - Obstructive sleep apnea (adult) (pediatric) and the KX modifier is present will be returned as unprocessable with ANSI code CO-4, "procedure code is inconsistent with the modifier used, or a required modifier is missing." The LCD for PAP devices advises that PAP devices are covered if the patient has a diagnosis of obstructive sleep apnea (327.23) documented by a sleep test that meets the Medicare coverage criteria. Submission of the KX modifier is not only an indication that the supplier either has documentation on file or access to the documentation required to meet medical necessity, it is also an indication that the policy restricted diagnosis has been met. All durable medical equipment prosthetics, orthotics, and supplies (DMEPOS) suppliers are required to code their claims with the appropriate ICD-9 diagnosis code as indicated in the medical record.

    Omission of LT, RT modifiers - When billing for orthotic and prosthetic devices, suppliers are required to code these claims indicating which side of the body the orthotic or prosthetic device is being applied. In most cases, the local medical policies for orthotic and prosthetic devices provide specific instructions as to when the submission of the modifier(s) LT and/or RT is required. When bilateral items are provided on the same date of service, the supplier must append both the modifiers LT and RT on the same claim line and indicate two units of service. Failure to append the required modifier(s) will result in a CO-16 denial due to lack of information required to completely adjudicate the claim.

    Incorrect use of capped rental modifiers (KH, KI, KJ) - Items that fall within the capped rental payment category require that suppliers append both the RR modifier to indicate rental and a monthly capped rental modifier KH, KI or KJ to indicate the rental month being billed. When capped rental items are submitted with the incorrect monthly capped rental modifier (i.e., KH modifier for the third months rental) the claim will be returned as unprocessable.

For additional information concerning HCPCS modifiers suppliers should refer to the Jurisdiction B DME MAC Supplier Manual, Chapter 14 which can be located on the National Government Services website.
   
   
199  Ohio Medicare (including managed care) / General Medicare Information / CMS: Proposed policy/payment changes to Medicare Physician Fee schedule for 2015 on: Jul 07, 2014, 06:10:31 am
Please scroll down for the CMS "FACT SHEET" titled " Proposed policy and payment changes to the Medicare Physician Fee Schedule for calendar year 2015."   We encourage everyone to read it as there are many important proposed changes for 2015.

Debra Farley
Billing Director
BILLPro Management Systems
7-7-14

    From: Centers for Medicare & Medicaid Services [mailto:cmslists@subscriptions.cms.hhs.gov]
    To: debra@billpro.net
    Sent: Thu, 03 Jul 2014 16:35:40 -0500
    Subject: CMS NEWS: Proposed policy and payment changes to the Medicare Physician Fee Schedule for calendar year 2015


    FACT SHEET 

     

    FOR IMMEDIATE RELEASE                                                          Contact: CMS Media Relations

    July 3, 2014                                                                                          press@cms.hhs.gov | (202) 690-6145

     

    Proposed policy and payment changes to the Medicare Physician Fee Schedule for calendar year 2015

    Overview

    On July 3, 2014, the Centers for Medicare & Medicaid Services (CMS) issued a proposed rule that would update payment policies and payment rates for services furnished under the Medicare Physician Fee Schedule (PFS) on or after Jan. 1, 2015. Medicare primarily pays physicians and other practitioners for care management services as part of face-to-face visits. Last year, CMS finalized a separate payment, outside of a face-to-face visit, for managing the care of Medicare patients with two or more chronic conditions beginning in 2015. Through this year’s rule, CMS is proposing details relating to the implementation of the new policy, including payment rates. In addition, CMS is proposing a new process for establishing PFS payment rates that will be more transparent and allow for greater public input prior to payment rates being set. Under the new process, payment changes will go through notice and comment rulemaking before being adopted beginning for 2016. We are also proposing to define screening colonoscopy to include anesthesia so that beneficiaries do not have to pay coinsurance on the anesthesia portion of a screening colonoscopy when furnished by an anesthesiologist.

     

    The proposed rule also proposes changes to several of the quality reporting initiatives that are associated with PFS payments – the Physician Quality Reporting System (PQRS), Medicare Shared Savings Program, and Medicare Electronic Health Record (EHR) Incentive Program, as well as changes to the Physician Compare tool on the Medicare.gov website. Finally, the rule continues the phased-in implementation of the physician value-based payment modifier (Value Modifier), created by the Affordable Care Act, that would affect payments to physicians and physician groups, as well as other eligible professionals, based on the quality and cost of care they furnish to beneficiaries enrolled in the traditional Medicare fee-for-service program.

     

    This fact sheet discusses the proposed changes to payment policies and payment rates for services furnished under the PFS, as well as changes to the Open Payments program. Separate fact sheets, also issued today, discuss the proposed changes to the quality reporting programs, the Medicare EHR Incentive Program, and other CMS programs, as well as the proposals for implementing the Value Modifier.

     

    Background

    Since 1992, Medicare has paid for the services of physicians, nonphysician practitioners (NPPs), and certain other suppliers under the PFS, a system that pays for covered physicians’ services furnished to a person with Medicare Part B. Under the PFS, relative values are assigned to each of more than 7,000 services to reflect the amount of work, the direct and indirect (overhead) practice expenses, and the malpractice expenses typically involved in furnishing that service. Each of these three relative value components is multiplied by a geographic adjustment factor to adjust the payment for variations in the costs of furnishing services in different localities. The resulting relative value units (RVUs) are summed for each service and then are multiplied by a fixed-dollar conversion factor to establish the payment amount for each service. The higher the number of RVUs assigned to a service, the higher the payment.

     

    Sustainable Growth Rate (SGR)

    The proposed rule does not include proposals or announcements on the PFS update or SGR as these calculations are determined under a prescribed statutory formula that cannot be changed by CMS. The final figures are announced in the final rule in November. The Protecting Access to Medicare Act (PAMA) of 2014 provides for a zero percent PFS update for services furnished between January 1, 2015 and March 31, 2015. In March (prior to the enactment of the PAMA), CMS estimated that the PFS update for CY 2015 would be -20.9 percent. In most prior years, Congress has taken action to avert a large reduction in PFS rates before it went into effect. The Administration supports legislation to permanently change SGR to provide more stability for Medicare beneficiaries and providers while promoting efficient, high quality care.

     

    Provisions included in the CY 2015 PFS proposed rule

    Primary care and complex chronic care management

    Medicare continues to emphasize primary care management services by beginning to make separate payment for chronic care management (CCM) services beginning in 2015. In last year’s final rule, we established policy to make separate payment for non-face-to-face chronic care management services for Medicare beneficiaries who have multiple, significant chronic conditions (two or more). Chronic care management services include regular development and revision of a plan of care, communication with other treating health professionals, and medication management.

     

    This proposed rule addresses three aspects of CCM services. We propose a payment rate of $41.92 for the code that can be billed no more frequently than once per month per qualified patient. We also propose to allow greater flexibility in the supervision of clinical staff providing CCM services. Finally, we are not proposing to establish separate standards that practitioners and practices furnishing this service would have to meet, as we had indicated last year. Upon further review, we believe the scope of service requirements for CCM, most of which were finalized last year, would be sufficient for practitioners to deliver CCM. We are proposing one additional requirement – standards for electronic health records – and seek comment on whether additional standards are needed. Payment for CCM is only one part of a multi-faceted CMS initiative to improve Medicare beneficiaries’ access to primary care. Models being tested through the Innovation Center will continue to explore other primary care innovations.

     

    Misvalued Codes
    Consistent with amendments to the Affordable Care Act, CMS has been engaged in a vigorous effort over the past several years to identify and review potentially misvalued codes, and to make adjustments where appropriate. In this year’s proposed rule, we are proposing to add about 80 codes to our list of potentially misvalued codes. We identified most of these by reviewing high-expenditure services by specialty that have not been recently reviewed. Several other proposed services were identified in a variety of ways, including through our public nomination process. 

    We are also ensuring consistency in our payment calculations by proposing to refine the way we account for the infrastructure costs associated with radiation therapy equipment. Our proposal ensures that the way we account for infrastructure costs associated with medical equipment is the same across the PFS. This change would result in a payment reduction to radiation therapy services to be redistributed to other PFS services. In addition, we are updating our practice expense inputs for x-ray services to reflect that x-rays are currently done digitally rather than with analog film.

     

    Global Surgery

    Under the misvalued code initiative, we are also proposing to transform all 10- and 90-day global codes to 0-day global codes beginning in CY 2017. The Office of the Inspector General has identified a number of surgical procedures that include more visits in the global period than are being furnished. In order to address the potential for misvaluation of surgical services, we are proposing to value include in the for these procedures all services provided on the day of surgery, and to pay separately for visits and services actually furnished after the day of the procedure beginning in CY 2017.

     

    Enhanced Transparency in Ratesetting

    A proposal to enhance transparency in PFS ratesetting would ensure that all revisions to payment inputs underpinning final payment rates are subjected to public comment prior to being used for payment. Since the beginning of the physician fee schedule in 1992, CMS adopted rates for all new and revised codes for the following calendar year in the final rule on an interim basis subject to public comment. This policy was necessary because CMS did not receive the codes in time to include in the PFS proposed rule. Until recently, the only services that were affected by this policy were services for which the codes for the coming year were new or revised. However, under the misvalued codes initiative, CMS began reviewing the rates for existing codes, which led to an increase in the volume of new and revised codes that resulted in an increase in payment rate changes. In recent years, we have become concerned about our practice of implementing changes in payment rates under the misvalued codes process prior to an opportunity for public comment. CMS has been working with the American Medical Association’s CPT Editorial Panel and Relative Value Update Committee to change the process for receiving information on new and revised codes under the misvalued code process in order to allow all misvalued code revisions to go through notice and comment rulemaking before being adopted. If finalized as proposed, the new process would ensure that by 2016, changes to the rates for particular services (except for those that are entirely new services never before valued under the PFS) are effective only after CMS has responded to public comment.

     

    Telehealth Services
    We are proposing to add the following services to the list of services that can be furnished to Medicare beneficiaries under the telehealth benefit: annual wellness visits, psychoanalysis, psychotherapy, and prolonged evaluation and management services.

    Adjustments to Malpractice RVUs

    As required by the Medicare law, we review and if necessary, adjust malpractice (MP) RVUs no less often than every five years. For CY 2015, we conducted the third comprehensive review and update of the MP RVUs and proposed new malpractice RVUs for all services. The proposed resource-based MP RVUs are based on updated professional liability insurance premiums and largely parallels the methodology used in the CY 2010 update.

     

    Revisions to Geographic Practice Cost Indices (GPCIs)

    As required by the Medicare law, we adjust payments under the PFS to reflect local differences in the cost of operating a medical practice. For CY 2015, we proposed to use territory-level wage data to calculate the work GPCI and employee wage component of the PE GPCI for the Virgin Islands. The CY 2015 GPCIs also reflect the application of the statutorily mandated 1.5 work GPCI floor in Alaska, and 1.0 work GPCI floor for all other physician fee schedule areas, and the 1.0 PE GPCI floor for frontier states (Montana, Nevada, North Dakota, South Dakota, and Wyoming). However, given that the statutory 1.0 work GPCI floor is scheduled to expire under current law on March 31, 2015, the proposed GPCIs reflect the elimination of the 1.0 work GPCI floor from April 1, 2015 through December 31, 2015.

                                             

    Application of Beneficiary Cost Sharing to Anesthesia Related to Screening Colonoscopies

    The Medicare law waives deductible and coinsurance applicable to screening colonoscopy. Increasingly, anesthesia separately provided by an anesthesia professional is becoming the prevalent practice in connection with screening colonoscopies, replacing the previous standard of moderate sedation provided intravenously by the endoscopist, which was bundled into the payment for the screening colonoscopy codes. When provided separately with a screening colonoscopy, Medicare did not waive deductible and coinsurance associated with the separately provided anesthesia. If adopted in the final rule, this revision would have the beneficial result of further reducing beneficiaries’ cost-sharing obligations under Part B. This is because the expanded definition of screening colonoscopy would bring anesthesia furnished in conjunction with the service within the scope of the provision that Medicare Part B pays 100 percent of the Medicare payment amount established under the PFS for certain colorectal cancer screening tests.

     

    Off-Campus Provider-Based Departments

    CMS proposes to begin collecting data on services furnished in off-campus provider-based departments beginning in 2015 by requiring hospitals and physicians to report a modifier for those services furnished in an off-campus provider-based department on both hospital and physician claims.

     

    Open Payments
    The Open Payments program establishes a system for annually reporting and increasing public awareness of financial relationships between drug and device manufacturers and certain health care providers.

    Open Payments is a national disclosure program that promotes transparency by publishing information about these financial relationships on a publicly accessible website developed by CMS. The Open Payments program requires applicable manufacturers of covered drugs, devices, biologicals, and medical supplies to report payments or other transfers of value they make to physicians and teaching hospitals to CMS. It also requires applicable manufacturers and applicable group purchasing organizations (GPOs) to report certain ownership or investment interests held by physicians or their immediate family members, and payments or other transfers of value made to physician owners or investors if they held ownership or an investment interest at any point during the reporting year.

     

    In response to questions and experience administering the program, CMS is proposing four changes in this rule. First, we are proposing to delete the definition of “covered device” as it is duplicative of the definition of “covered drug, device, biological or medical supply” which is already defined in regulation. Second, we are proposing to delete the Continuing Education Exclusion in its entirety. Eliminating the exemption for payments to speakers at certain accredited or certifying continuing medical education events will create a more consistent reporting requirement, and will also be more consistent for consumers who will ultimately have access to the reported data. Third, we are proposing to require the reporting of the marketed name of the related covered and non-covered drugs, devices, biologicals, or medical supplies, unless the payment or other transfer of value is not related to a particular covered or non-covered drug, device, biological or medical supply. Last, CMS is proposing to require applicable manufacturers to report stocks, stock options or any other ownership interest as distinct categories. This will enable us to collect more specific data regarding the forms of payment made by applicable manufacturers.

     

    For more information about Open Payments, visit: http://go.cms.gov/openpayments.

     

    The proposed rule will be published in the Federal Register on July 11, 2014. CMS will accept comments on the proposed rule until Sept. 2, 2014.

     

    For more information, visit: https://www.federalregister.gov/public-inspection
                                                                     

    To view additional fact sheets about the Value-based Payment Modifier (Value Modifier) and quality provisions in the PFS proposed rule, please visit: http://cms.gov/Newsroom/MediaReleaseDatabase/Fact-sheets/2014-Fact-sheets.html

     
       
200  CPT/HCPCS/ICD-9 / CPT updates / Medically Unlikely Edits (MUEs) and Bilateral Procedures on: Jul 01, 2014, 05:35:24 am
Please see the CMS e-mail below publishing a new article, "Medically Unlikely Edits (MUEs) and Bilateral Procedures"


Debra Farley
Billing Director
BILLPro Management Systems
7-1-14

From: CMS MLNMatters-L <MedlearnMatters-L@CMS.HHS.GOV>
To: MLNMATTERS-L@LIST.NIH.GOV
Date: 07/01/2014 06:11 AM

 
   
New:

SE1422 – Medically Unlikely Edits (MUEs) and Bilateral Procedures

http://www.cms.gov/Outreach-and-Education/Medicare-Learning-Network-MLN/MLNMattersArticles/Downloads/SE1422.pdf

 

 
201  Prepare for ICD 10 / ICD-10 CODING / ICD-10 Basics: Unspecified Diagnosis Codes, CPT Codes on: Jul 01, 2014, 04:45:29 am
From: Centers for Medicare & Medicaid Services <cmslists@subscriptions.cms.hhs.gov>
To: debra@billpro.net
Date: 06/26/2014 04:04 PM
Subject:
News Updates | June 26, 2014
ICD-10 Basics: Unspecified Diagnosis Codes, CPT Codes, and Version 5010 Standards

The Department of Health & Human Services (HHS) expects to release a final rule in the near future that will include a new compliance date that would require the use of ICD-10 beginning October 1, 2015. The new compliance date would give providers an extra year to prepare. Now is a great time to brush up on ICD-10 basics as you get ready for the transition.

If you missed the June 4 MLN Connects National Provider Call, More ICD-10 Coding Basics, a written transcript and audio recording are now available at http://www.cms.gov/Outreach-and-Education/Outreach/NPC/National-Provider-Calls-and-Events-Items/2014-06-04-ICD-10-Coding-Basics.html?DLPage=1&DLSort=0&DLSortDir=descending

And for a quick refresher on a few ICD-10 basics where the Centers for Medicare & Medicaid Services (CMS) frequently receives questions, read on!

Unspecified Diagnosis Codes

In both ICD-9 and ICD-10, sign/symptom and “unspecified” diagnosis codes have acceptable, even necessary, uses.  While specific diagnosis codes should be reported when they are supported by the available medical record documentation and clinical knowledge of the patient’s condition, there are instances when signs/symptoms or unspecified codes are the best choices for accurately reflecting the health care encounter. Each health care encounter should be coded to the level of certainty known for that encounter.

If a definitive diagnosis has not been established by the end of the encounter, it is appropriate to report codes for sign(s) and/or symptom(s) in lieu of a definitive diagnosis. When sufficient clinical information isn’t known or available about a particular health condition to assign a more specific code, it is acceptable to report the appropriate “unspecified” code (e.g., a diagnosis of pneumonia has been determined, but not the specific type). In fact, unspecified codes should be reported when they are the codes that most accurately reflect what is known about the patient’s condition at the time of that particular encounter. It would be inappropriate to select a specific code that is not supported by the medical record documentation or to conduct medically unnecessary diagnostic testing in order to determine a more specific code.

CPT Codes
The transition to ICD-10 does not affect Current Procedural Terminology (CPT) coding for outpatient procedures.  Like ICD-9 procedure codes, ICD-10 procedure codes (ICD-10-PCS) are for hospital inpatient procedures only.

202  Ohio Medicare (including managed care) / General Medicare Information / CMS Coverage to Care initiative helps people make most of their new health .... on: Jun 17, 2014, 03:29:30 am
Please scroll down for a CMS News Release received yesterday titled "CMS Coverage to Care initiative helps people make the most of their new health coverage."

Debra Farley
Billing Director
BILLPro Management Systems
6-17-14

        From: Centers for Medicare & Medicaid Services [mailto:cmslists@subscriptions.cms.hhs.gov]
        To: debra@billpro.net
        Sent: Mon, 16 Jun 2014 11:57:48 -0500
        Subject: CMS NEWS: CMS Coverage to Care initiative helps people make the most of their new health coverage

     

         

        FOR IMMEDIATE RELEASE                                          Contact: CMS Media Relations Group

        June 16, 2014                                                                               (202) 690-6145 | press@cms.hhs.gov

         

         

        CMS initiative helps people make the most of their new health coverage

        “From Coverage to Care” outreach to engage doctors and new patients

         

        Today, the Centers for Medicare & Medicaid Services (CMS) launched a national initiative “From Coverage to Care” (C2C), which is designed to help answer questions that people may have about their new health coverage, to help them make the most of their new benefits, including taking full advantage of primary care and preventive services.  It also seeks to give health care providers the tools they need to promote patient engagement.   

         

        “Helping to ensure that new health care consumers know about the benefits available through their coverage, and how to use it appropriately to obtain primary care and preventive services is essential to improving the health of the nation and reducing health care costs,” said Dr. Cara V. James, director of the CMS Office of Minority Health. Dr. James noted that, “to achieve these goals, we need to make sure that people who are newly covered know that their coverage can help them stay healthy, not just help them get better if they get sick.”

         

        C2C will be an ongoing project.  As more and more people obtain coverage, there will be a continuous need to ensure that people have answers to questions they might have about their new coverage and are appropriately connected to the health care system to help them live long, healthy lives.

         

        Today’s launch also marks the release of the new Roadmap to Better Care and a Healthier You, http://marketplace.cms.gov/help-us/c2c-roadmap.pdf?linkId=8267630, which includes 8 steps to help consumers and health care providers be informed about the diverse benefits available through their coverage and how to use it appropriately to access to primary care and preventive services. Among other things, the “Roadmap” contains information on health care coverage terms, the differences between primary care and emergency care, and the cost differences of decisions to seek care in- and out-of-network, where applicable to the consumer’s health plan. 

         

        More information about C2C and other helpful resources, including a 10-part video series, to help those with new health care coverage make the most of their coverage, and raise awareness about the importance of getting routine primary care and regular preventive care are available at:  http://marketplace.cms.gov/c2c. People with related questions about the C2C initiative should write to Coveragetocare@cms.hhs.gov

         
203  Ohio Medicare DMEPOS / General Medicare DMEPOS Information / Jurisdiction B “Tip of the Week” – Affordable Care Act Face-to-Face Requirement on: Jun 17, 2014, 03:06:15 am
Your attention is directed to the Jurisdiction B DME (durable medical equipment contractor for Ohio) e-mail below titled "Tip of the Week" - ACA Face-to-Face Requirement." It is self-explanatory.


Debra Farley
Billing Director
BILLPro Management Systems
6-17-14

    From: Jurisdiction B DME MAC [mailto:dmemaclistserve@anthem.com]
    To: debra@billpro.net
    Sent: Mon, 16 Jun 2014 16:01:00 -0500
    Subject: Jurisdiction B “Tip of the Week” – ACA Face-to-Face Requirement


    Jurisdiction B "Tip of the Week" - ACA Face-to-Face Requirement

    Section 6407 of the Affordable Care Act (ACA) was implemented on 07/01/13, established a face-to-face encounter requirement and a detailed written order prior to delivery containing the prescribing practitioner's National Provider Identifier (NPI) for certain durable medical equipment (DME) items. While active enforcement of the face-to-face requirements has been postponed until a future date but the delay does not impact provisions related to detailed written orders prior to delivery. We began enforcement of the detailed written order prior to delivery and NPI requirements for dates of services on or after 01/01/14.

    For additional information concerning the face-to-face encounter requirements and a list of DME items impacted, please refer to the CMS MLN article, "MM8304 Revised - Detailed Written Orders and Face-to-Face Encounters."
       
       
204  Ohio Medicare (including managed care) / General Medicare Information / Jurisdiction B “Tip of the Week” – Affordable Care Act Face-to-Face Requirement on: Jun 17, 2014, 03:03:44 am
Your attention is directed to the Jurisdiction B DME (durable medical equipment contractor for Ohio) e-mail below titled "Tip of the Week" - ACA Face-to-Face Requirement." It is self-explanatory.


Debra Farley
Billing Director
BILLPro Management Systems
6-17-14

    From: Jurisdiction B DME MAC [mailto:dmemaclistserve@anthem.com]
    To: debra@billpro.net
    Sent: Mon, 16 Jun 2014 16:01:00 -0500
    Subject: Jurisdiction B “Tip of the Week” – ACA Face-to-Face Requirement

       

    Jurisdiction B "Tip of the Week" - ACA Face-to-Face Requirement

    Section 6407 of the Affordable Care Act (ACA) was implemented on 07/01/13, established a face-to-face encounter requirement and a detailed written order prior to delivery containing the prescribing practitioner's National Provider Identifier (NPI) for certain durable medical equipment (DME) items. While active enforcement of the face-to-face requirements has been postponed until a future date but the delay does not impact provisions related to detailed written orders prior to delivery. We began enforcement of the detailed written order prior to delivery and NPI requirements for dates of services on or after 01/01/14.

    For additional information concerning the face-to-face encounter requirements and a list of DME items impacted, please refer to the CMS MLN article, "MM8304 Revised - Detailed Written Orders and Face-to-Face Encounters."
   
205  Prepare for ICD 10 / ICD-10 CODING / ICD-10 Documentation & Coding Concepts Webcast: Pediatrics on: Jun 13, 2014, 05:15:30 am
CMS released a new webcast on ICD-10 documentation and coding concepts for pediatrics.  To view the webcast please visit the ICD-10 website  at


  http://cms.gov/Medicare/Coding/ICD10/ProviderResources.html


for a link to "Road to 10" (also available at   http://www.roadto10.org/)



 then click on the "Webcast tab located in the left-hand navigation bar.

An AHIMA-certified coder presents on the webcast, which focuses on unique ICD-10 clinical documentation needs and hot topics for pediatrics:

-  Physician perspective/clinical impact of ICD-10
-  Documentation requirements for certain conditions
-  Documentation changes and new concepts
-  Use of "unspecified" codes in ICD-10

CMS will also offer other webinars in the "Road to 10" series that will follow the same outline and objectives for other specialties, including obstetrics and gynecology and family practice and internal medicine.   Webcasts for orthopedics and cardiology are already available.

Debra Farley
Billing Director
BILLPro Management Systems
6-13-14
206  Ohio Medicaid (including managed care) / MEDICAID EHR / MEDICARE/MEDICAID EHR INCENTIVE PROGRAMS: What Providers Need to Know in 2014 on: Jun 13, 2014, 05:02:08 am
The MLN Connects video presentation on THE MEDICARE AND MEDICAID EHR INCENTIVE PROGRAMS:  WHAT MEDICARE AND MEDICAID PROVIDERS NEED TO KNOW IN 2014 available at

 http://www.cms.gov/Outreach-and-Education/Outreach/NPC/NPC-Video-Presentations-Items/2014-06-06-EHR.html?DLPage=1&DLSort=0&DLSortDir=descending

gives an overview of the requirements of the Medicare and Medicaid Electronic Health Record (EHR) Incentive Programs so that providers can participate to earn the incentives that are available in 2014 for successfully attesting the meaningful use objectives and clinical quality measures, as well as to avoid the payment adjustment in 2016 for not reporting this year.  This presentation educates healthcare professionals on a variety of topics that are essential to the EHR Incentive programs.  Run time:  1 hour: 06 minutes: 23 seconds.


Debra Farley
Billing Director
BILLPro Management Systems
6-13-14
207  EHR/EMR/EPrescribe/PQRI / EHR/EMR / MEDICARE/MEDICAID EHR INCENTIVE PROGRAMS: What Providers Need to Know in 2014 on: Jun 13, 2014, 05:00:42 am
The MLN Connects video presentation on THE MEDICARE AND MEDICAID EHR INCENTIVE PROGRAMS:  WHAT MEDICARE AND MEDICAID PROVIDERS NEED TO KNOW IN 2014 available at

 http://www.cms.gov/Outreach-and-Education/Outreach/NPC/NPC-Video-Presentations-Items/2014-06-06-EHR.html?DLPage=1&DLSort=0&DLSortDir=descending

gives an overview of the requirements of the Medicare and Medicaid Electronic Health Record (EHR) Incentive Programs so that providers can participate to earn the incentives that are available in 2014 for successfully attesting the meaningful use objectives and clinical quality measures, as well as to avoid the payment adjustment in 2016 for not reporting this year.  This presentation educates healthcare professionals on a variety of topics that are essential to the EHR Incentive programs.  Run time:  1 hour: 06 minutes: 23 seconds.

Debra Farley
Billing Director
BILLPro Management Systems
6-13-14
208  EHR/EMR/EPrescribe/PQRI / PQRI/EPrescribe / PQRS PROGRAM: WHAT MEDICARE ELIGIBLE PROFESSIONALS NEED TO KNOW IN 2014 on: Jun 13, 2014, 04:52:25 am
The following article appeared in the 6-12-14 issue of the CMS publication "MLN Connects Weekly Provider eNews."

PQRS PROGRAM:  WHAT MEDICARE ELIGIBLE PROFESSIONALS NEED TO KNOW IN 2014

This MLN Connects video presentation on The CMS Physician Quality Reporting System (PQRS) Program:  What Medicare Eligible Professionals Need to Know in 2014 (available at http://www.cms.gov/Outreach-and-Education/Outreach/NPC/NPC-Video-Presentations-Items/2014-06-06-Value-Based-Payment-Modifier.html?DLPage=1&DLSort=0&DLSortDir=descending) gives an overview of the requirements of the Medicare PQRS Program, so that all eligible professionals can participate to earn the incentives that are available in 2014 for successfully participating in the program, as well as to avoid the payment adjustment in 2016 for not reporting this year.  This presentation educates healthcare professionals on a variety of topics that are essential to the PQRS.  This presentation also provides a walkthrough of a number of decision trees that have been created to help providers as the necessary questions on determining how best to participate in 2014.  Run time:  1 hour:  36 minutes.  A full description of the video is available on the MLN Connects Videos web page at http://www.cms.gov/Outreach-and-Education/Outreach/NPC/NPC-Video-Presentations.html.

Debra Farley
Billing Director
BILLPro Management Systems
6-13-14
209  Ohio Medicaid (including managed care) / Managed Care Plan / UNDERSTANDING WHERE TO BILL MYCARE MANAGED CARE CLAIMS WHEN ... on: Jun 12, 2014, 10:58:36 am
 UNDERSTANDING WHERE TO BILL MYCARE MANAGED CARE CLAIMS WHEN PATIENTS HAVE OPTED OUT OF THE MYCARE MEDICARE COVERAGE


   We undertook an investigation as to patients covered now by MyCare Managed Care Plans as some claims have been denied
   when billed that MyCare Managed Care Plan as "must bill primary carrier first."   Our investigation yielded the following:

    MyCare claims are NOT necessarily submitted ONLY to that Managed Care Plan.   If a patient has opted out of the MyCare Medicare portion and retains traditional Medicare, the claim must first be submitted to traditional Medicare and then to the Medicaid Advantage Plan.

    If a beneficiary chooses to have that MyCare Medicaid Advantage Plan manage both their Medicare and Medicaid benefits, then ONLY that MyCare Medicaid Managed Care Plan is to be billed.

    Please go the public documents folder for the document titled "mycare claims" for examples, using an eligibility screen from the Ohio Medicaid MITS portal, of how to definitively determine whether the patient is a dual eligible (Mycare Plan handles both the Medicare and Medicaid) and ONLY they are to be billed (not Medicare) OR if the MyCare Medicaid Advantage plan is to be billed as secondary.   Please know this information is also available on the respective Managed Care plans' websites. 



    Debra Farley
    Billing Director
    BILLPro Management Systems
    6-12-2014
210  Prepare for ICD 10 / ICD-10 CODING / CMS Nt'l CAll 6-4-14 "MORE ICD-10 CODING BASICS" on: Jun 11, 2014, 03:27:56 am
CMS held a National Provider Call on 6-4-14 titled "MORE ICD-10 CODING BASICS."  The link to the presentation is available at

   http://www.cms.gov/Outreach-and-Education/Outreach/NPC/Downloads/2014-06-04-NPC.pdf


This e-mail should be reviewed and retained for future reference along with being shared with your office staff.

 Debra Farley
Billing Director
BILLPro Management Systems
6-11-14
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