Chargemaster Corner Joe Martinez, CPC [email protected] April 2015 Quarterly Edition We have completed the first quarter for 2015. Chargemaster have been updated and everything seems to be running smoothly. We now have new changes to contend with in the second quarter of 2015. This edition of Chargemaster Corner explores a few of the new changes and impact on the Chargemaster process. The following information was derived from Transmittal 3217 and is intended for providers and suppliers who submit claims to Medicare Administrative Contractors (MACs), including Home Health & Hospice (HH&H) MACs for services provided to Medicare beneficiaries and are changes to Current Procedural Terminology (CPT) and Healthcare Common Procedure Coding System (HCPCS) codes relating to the hospital Chargemaster for the Quarter starting April 1, 2015. New Service Effective April 1, 2015 C2623, Cath, translumin, drug-coat Catheter, transluminal angioplasty, drug-coated, non-laser. CMS has determined that a portion of the APC payment amount associated with the cost of C2623 is reflected in procedures assigned to various peripheral transluminal balloon angioplasty codes in APC 0083, APC 0229, and APC 0319. The C2623 device may be billed with various peripheral transluminal balloon angioplasty codes that are assigned to these three APCs for CY 2015 We have received questions as to whether the code should be reported, since it is packaged and no separate reimbursement is received. CMS indicates packaging encourages hospitals to negotiate carefully with manufacturers and suppliers to reduce the purchase price of items and services or to explore alternative group purchasing arrangements, thereby encouraging the most economical health care. “We encourage hospitals to report all HCPCS codes that describe packaged services that were provided, unless CPT or CMS provide other guidance. If a HCPCS code is not reported when a packaged service is provided, it can be challenging to track utilization patterns and resource costs” Reference: 2009 Proposed Rule page 155 Drugs and Biologicals with Payments Based on Average Sales Price plus 6 Percent In CY 2015, a single payment of ASP+6 percent for pass-through drugs, biologicals and radiopharmaceuticals is made to provide payment for both the acquisition cost and pharmacy overhead costs of these pass-through items. Payments for drugs and biologicals based on ASPs will be updated on a quarterly basis as later quarter ASP submissions become available. Updated payment rates effective April 1, 2015 and drug price restatements can be found in the April 2015 update of the OPPS Addendum A and Addendum B on the CMS Web site at http://www.cms.gov/HospitalOutpatientPPS/ Inpatient Only Services Update CMS is revising their billing instructions to allow payment for inpatient only procedures that are provided to a patient in the outpatient setting on the date of the inpatient admission or during the 3 calendar days (or 1 calendar day for a nonsubsection (d) hospital) preceding the date of the inpatient admission that would otherwise be deemed related to the admission to be bundled into billing of Proprietary & Confidential Page 1 of 3 Chargemaster Corner Joe Martinez, CPC [email protected] the inpatient admission, according to our policy for the payment window for outpatient services treated as inpatient services. Effective April 1, 2015, inpatient only procedures that are provided to a patient in the outpatient setting on the date of the inpatient admission or during the 3 calendar days (or 1 calendar day for a nonsubsection (d) hospital) preceding the date of the inpatient admission that would otherwise be deemed related to the admission, according to our policy for the payment window for outpatient services treated as inpatient services will be covered by CMS and are eligible to be bundled into the billing of the inpatient admission. CMS is updating Pub. 100-04, Medicare Claims Processing Manual, chapter 4, sections 10.12 and 180.7 to reflect the revised impatient only payment policy. Reporting of the “PO” Modifier As stated in the CY 2015 OPPS Final Rule, we finalized our instructions related to the reporting of the “PO” modifier (the short descriptor ‘‘Serv/proc offcampus pbd,’’ and the long descriptor ‘‘Services, procedures and/or surgeries furnished at off-campus provider-based outpatient departments.’’). Reporting the Modifier -59 Please note that providers may continue to use the 59 modifier after January 1, 2015, in any instance in which it was correctly used prior to January 1, 2015. The initial CR establishing the modifiers was designed to inform system developers that healthcare systems would need to accommodate the new modifiers. Additional guidance and education as to the appropriate use of the new –X {EPSU} modifiers will be forthcoming as CMS continues to introduce the modifiers in a gradual and controlled fashion. That guidance will include additional descriptive information about the new modifiers. CMS will identify situations in which a specific –X {EPSU} modifier will be required and will publish specific guidance before implementing edits or audits. CR 8863 states that providers who wish to use the new modifiers may use them in accordance with their published definitions and the X modifiers will function within CMS systems in the same manner as the 59 modifier. The “PO” HCPCS modifiers to be reported with every code for outpatient hospital services furnished in an off-campus PBD of a hospital. Reporting of this new modifier will be voluntary for 1 year (CY 2015), with reporting required beginning on January 1, 2016. The modifier should not be reported for remote locations of a hospital, Satellite facilities of a hospital, or for services furnished in an emergency department. CMS is updating Pub. 100-04, Medicare Claims Processing Manual, Chapter 4, sections 20.6.11 to include the use of the “PO” HCPCS modifier. Proprietary & Confidential Page 2 of 3 Chargemaster Corner Joe Martinez, CPC [email protected] We hope you enjoy receiving the Chargemaster Corner from Optum360. Each quarter Optum360 will circulate this newsletter via e-mail to those interested parties who have provided contact information either via e-mail request or who have completed an informational form when attending a number of educational seminars conducted nationwide. Contact information will not be shared with any other organization and used only for means of distributing this monthly newsletter. Also please remember Optum360 can assist you in the preparation of ICD-10-CM/ICD-10-PCS. Whether doing a gap analysis, assessing financial risk, chart audits or coder and physician education, Optum360 is prepared to meet your needs. For direct contact concerning receipt of this newsletter, please e-mail your comments to the above noted e-mail address. Thank you for your interest in this monthly Chargemaster newsletter and hope you find it helpful. Optum360 Consulting offers a variety of services to assist hospitals in the inpatient and outpatient coding and Chargemaster functions including: 1. ● Comprehensive Chargemaster review; 2.● Chargemaster maintenance Support; 3.● CPT® Coding Audits; 4.● Chart-to-claim audit; ● MS-DRG audits; ● Physician Coding audits, ● ICD-10-CM/PCS Preparation and Education, ● HIM/Revenue Cycle Operations, and ● Denials Management If you wish to receive information about any of the consulting services Optum360 offers, please forward your inquiry to [email protected]. Optum360 – bringing your insight and expertise to your Chargemaster reporting challenges. Proprietary & Confidential Page 3 of 3
© Copyright 2024