Learn How to Use the 3-Day Payment Window to Be Paid for Special Cases: Avoid Leaving Money on the Table Presented by: Steven J. Meyerson, M.D. V.P. Regulations and Education Group Accretive Physician Advisory Services [email protected] (305) 342-7936 August 28, 2012 Confidential and Proprietary. Any use or disclosure to non-Clients is not authorized. SLIDE 1 Disclaimer • • • • • • Panacea has prepared this seminar using official Centers for Medicare and Medicaid Services (CMS) documents and other pertinent regulatory and industry resources. It is designed to provide accurate and authoritative information on the subject matter. Every reasonable effort has been made to ensure its accuracy. Nevertheless, the ultimate responsibility for correct use of the coding system and the publication lies with the user. Panacea, its employees, agents and staff make no representation, warranty or guarantee that this information is error-free or that the use of this material will prevent differences of opinion or disputes with payers. The company will bear no responsibility or liability for the results or consequences of the use of this material. The publication is provided “as is” without warranty of any kind, either expressed or implied, including, but not limited to, implied warranties or merchantability and fitness for a particular purpose. The information presented is based on the experience and interpretation of the publisher. Though all of the information has been carefully researched and checked for accuracy and completeness, the publisher does not accept any responsibility or liability with regard to errors, omissions, misuse or misinterpretation. Current Procedural Terminology (CPT ®) is copyright 2011 American Medical Association. All Rights Reserved. No fee schedules, basic units, relative values, or related listings are included in CPT. The AMA assumes no liability for the data contained herein. Applicable FARS/DFARS restrictions apply to government use. CPT® is a trademark of the American Medical Association. Copyright © 2012 by Panacea. All rights reserved. No part of this presentation may be reproduced in any form whatsoever without written permission from the publisher Published by Panacea, 287 East Sixth Street, Suite 400, St. Paul, MN 55101 ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 2 The IPPS and DRG Payments • • • • • 1983: Inpatient Prospective Payment System (IPPS) was implemented DRG based on principal diagnosis and principal procedure. Flat rate payment for the stay. No additional revenue for diagnostics and minor procedures. What if a hospital could bill Medicare for outpatient diagnostics and procedures prior to admission and bill Medicare under Part B to receive payment over and above the inpatient DRG? Three-day (one-day) payment window prevents this. ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 3 Three Day Payment Window “A hospital (or an entity that is wholly owned or wholly operated by the hospital) must include on the claim for a beneficiary’s inpatient stay, the diagnoses, procedures, and charges for all outpatient diagnostic services and admissionrelated outpatient non-diagnostic services provided during the payment window.” Claims Processing Manual, Pub. 100-04, Transmittal 2234, Change Request 7443, Change Request 7443, May 27, 2011 ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 4 PACMBPRA (Pub L 111-192) and the Three Day Payment Window • • • June 25, 2010: Preservation of Access to Care for Medicare Beneficiaries and Pension Relief Act of 2010 (PACMBPRA) (Pub. L. 111-192) Section 102: "Clarification of 3-Day Payment Window," “Under the 3-day payment window, a hospital (or an entity that is wholly owned or wholly operated by the hospital) must include on the inpatient claim for a Medicare beneficiary’s inpatient stay, the technical portion of all outpatient diagnostic services and admission-related nondiagnostic services provided during the payment window. The statute makes no changes to the existing policy regarding billing of diagnostic services.” [only makes changes for nondiagnostic] Medicare Claims Processing Manual, Pub 100-04, Transmittal 2373 ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 5 Wholly Owned or Operated “Wholly owned or wholly operated entities are subject to the 3-day (or 1-day) payment window policy…” Medicare Claims Processing Manual, Pub 100-04, Transmittal 2234 CR 7443, May 27, 2011 ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 6 What Are Wholly Owned or Wholly Operated Entities? “An entity is wholly owned by the hospital if the hospital is the sole owner of the entity,” and “an entity is wholly operated by a hospital if the hospital has exclusive responsibility for conducting and overseeing the entity’s routine operations, regardless of whether the hospital also has policy making authority over the entity.” 42 CFR §412.2 ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 7 CMS Will Not Determine if 100% Owned or Operated “… Given the multitude of possible business and financial arrangements that may exist between a hospital and a physician practice or other Part B entity, CMS will not make individual determinations as to whether a specific physician practice or other Part B entity is wholly owned or wholly operated by an admitting hospital. The hospital and its owned or operated physician practice (or other Part B entity) are collectively responsible for determining whether the owned or operated physician practice or other Part B entity meets the definition...” FAQ CR 7502 published online by CMS on June 14, 2012 ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 8 Facilities Not Wholly Owned or Operated “…the 3-Day (1-day) Rule does not apply “if the hospital and the physician office or other Part B entity are both owned by a third party, such as a health system; and if the hospital is not the sole or 100 percent owner of the entity…We provided several examples of arrangements where an entity is not wholly owned or wholly operated by the hospital. See the February 11, 1998 Federal Register, pages 6866-6867 and the CY 2012 Medicare physician fee schedule final rule, published November 28, 2012, pages 73285 -73286).” FAQ CR 7502 published online by CMS on June 14, 2012 ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 9 CMS Interpretation of Wholly Owned or Operated Facility • • Arrangement: A hospital owns a physician clinic or a physician practice that performs preadmission testing for the hospital. Policy: A hospital-owned or hospital operated physician clinic or practice is subject to the payment window provision. The technical portion of preadmission diagnostic services performed by the physician clinic or practice must be included in the inpatient bill and may not be billed separately. A physician’s professional service is not subject to the window. CY 2012 Medicare physician fee schedule final rule, published November 28, 2012, pages 73285 -73286 ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 10 CMS Interpretation of Wholly Owned or Operated Facility • • Arrangement: Hospital A owns Hospital B, which in turn owns Hospital C. Does the payment window apply if preadmission services are performed at Hospital C and the patient is admitted to Hospital A? Policy: Yes. We would consider that Hospital A owns both Hospital B and Hospital C, and the payment window would apply in this situation. CY 2012 Medicare physician fee schedule final rule, published November 28, 2012, pages 73285 -73286 ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 11 CMS Interpretation of Wholly Owned or Operated Facility • • Arrangement: Corporation Z owns Hospitals A and B. If Hospital A performs preadmission services and the patient is subsequently admitted as an inpatient to Hospital B, are the services subject to the payment window? Policy: No. The payment window does not apply to situations in which both the admitting hospital and the entity that furnishes the preadmission services are owned by a third entity…[It] includes only those situations in which the entity furnishing the preadmission services is wholly owned or operated by the admitting hospital itself. CY 2012 Medicare physician fee schedule final rule, published November 28, 2012, pages 73285 -73286 ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 12 CMS Interpretation of Wholly Owned or Operated Facility • • Arrangement: A hospital refers its patient to an independent laboratory for preadmission testing services. The laboratory does not perform testing by arrangement with the admitting hospital. Are the laboratory services subject to the payment window provisions? Policy: No. The payment window does not apply to situations in which the admitting hospital is not the sole owner or operator of the entity performing the preadmission testing. CY 2012 Medicare physician fee schedule final rule, published November 28, 2012, pages 73285 -73286 ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 13 CMS Interpretation of Wholly Owned or Operated Facility • • Arrangement: Hospital A is owned by Corporations Y and Z in a joint venture. Corporation Z is the sole owner of Hospital B. Does the payment window apply when one of these hospitals furnishes preadmission services and the patient is admitted to the other hospital? Policy: No. As noted above, the payment window provision does not apply to situations in which both the admitting hospital and the entity that furnishes the preadmission services are owned or operated by a third entity. CY 2012 Medicare physician fee schedule final rule, published November 28, 2012, pages 73285 -73286 ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 14 CMS Interpretation of Wholly Owned or Operated Facility • • Arrangement: A clinic is solely owned by Corporation Z and is jointly operated by Corporation Z and Hospital A. Does the payment window apply if preadmission services are furnished by the clinic and the patient is subsequently admitted to Hospital A? Policy: No. The payment window does not apply because Hospital A is neither the sole owner nor operator of the clinic. CY 2012 Medicare physician fee schedule final rule, published November 28, 2012, pages 73285 -73286 ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 15 Definition of Diagnostic Services • • • Diagnostic services are broadly defined by as “tests given to determine the nature and severity of an ailment or injury.” Pub. L. 111-192: A service is diagnostic “if it is an examination or procedure to which the patient is subjected, or which is performed on materials derived from a hospital outpatient, to obtain information to aid in the assessment of a medical condition or the identification of a disease. Among these examinations and tests are diagnostic laboratory services such as hematology and chemistry, diagnostic x-rays, isotope studies, EKGs, pulmonary function studies, thyroid function tests, psychological tests, and other tests given to determine the nature and severity of an ailment or injury.” The Medicare Benefit Policy Manual, Chapter 6, Section 20.4.1 ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 16 Definition of Nondiagnostic Services “…significantly broadens the definition of nondiagnostic services that are subject to the payment window to include any nondiagnostic service that is clinically related to the reason for a patient’s inpatient admission, regardless of whether the inpatient and outpatient diagnoses are the same.” Medicare Claims Processing Manual, Pub 100-04, Transmittal 2373 PACMBPRA (Pub. L. 111-192), Section 102: "Clarification of 3-Day Payment Window" ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 17 Nondiagnostic: Exact ICD-9 Match Formerly Required • “Prior to June 25, 2010, and the enactment of Public Law 111–192, the payment window policy for preadmission nondiagnostic services was rarely applied as the policy required an exact match between the principal ICD–9 CM diagnosis codes for the outpatient services and the inpatient admission.” Medicare Claims Processing Manual, Pub 100-04, Transmittal 2373 ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 18 Operating Costs of Hospital “…when certain nondiagnostic services furnished to Medicare beneficiaries in the 3-days (or, 1 day for a hospital that is not a subsection (d) hospital, (e.g. psychiatric, inpatient rehabilitation, or long-term care) during the) preceding an inpatient admission should be considered “operating costs of inpatient hospital services” and therefore included in the hospital’s payment under the Hospital Inpatient Prospective Payment System (IPPS). Medicare Claims Processing Manual, Pub 100-04, Transmittal 2373. PACMBPRA (Pub. L. 111-192), Section 102: "Clarification of 3-Day Payment Window" ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 19 Diagnostic vs. Nondiagnostic Services • • • • Any service that is nondiagnostic is therapeutic, i.e., the physician is treating a known condition. Nondiagnostic services are primarily surgical and interventional procedures. Biopsies and purely exploratory surgery and procedures are diagnostic services since they are used to “determine the nature and severity of an ailment,” not to treat it. What about endoscopy? Colposcopy? Angiography? Arthroscopy? ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 20 Billing Technical Portion of Nondiagnostic Services Must be billed with the inpatient stay: • “The technical portion of all nondiagnostic services, other than ambulance and maintenance renal dialysis services, provided by the hospital (or an entity wholly owned or wholly operated by the hospital) on the date of a beneficiary’s inpatient admission. • The technical portion of outpatient nondiagnostic services, other than ambulance and maintenance renal dialysis services, provided by the hospital (or an entity wholly owned or wholly operated by the hospital) on the first, second, and the third calendar days (1 calendar day for a non-subsection (d) hospital) immediately preceding the date of admission.” Medicare Claims Processing Manual, Pub 100-04, Transmittal 2234 CR 7443, May 27, 2011 ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 21 Nondiagnostic Services on Day of Admission • • “…all outpatient nondiagnostic services, other than ambulance and maintenance renal dialysis services, provided by the hospital (or an entity wholly owned or wholly operated by the hospital) on the date of a beneficiary’s inpatient admission are deemed related to the admission, and thus, must be billed with the inpatient stay.” “Section 102 clarifies [that] the term “related” outpatient services includes all nondiagnostic services unless the hospital attests that the services are clinically unrelated to the later inpatient stay.” CMS Memorandum, “Implementation of New Statutory Provision Pertaining to Medicare 3-Day Payment Window – Outpatient Services Treated as Inpatient” Released online August 9, 2010 ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 22 Condition Code 51: Unrelated Non-diagnostic Services “Hospitals may attest to specific non-diagnostic services as being unrelated to the inpatient stay (that is, the preadmission non-diagnostic services are clinically distinct or independent from the reason for the beneficiary’s admission) by adding condition code 51…to the separately billed outpatient non-diagnostic services claim.” Medicare Claims Processing Manual, Pub 100-04, Transmittal 2234 ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 23 Hospital Must Notify OP Facility: Facility Bills with Modifier • • Hospital must notify wholly owned/ wholly operated entity that patient had outpatient services included in inpatient bill if admitted within 3 days of outpatient service at facility. “Once the entity has received confirmation of a beneficiary’s inpatient admission from the admitting hospital, they shall, for services furnished during the 3-day window, append a CMS payment modifier to all claim lines for diagnostic services and for those nondiagnostic services that have been identified as related to the inpatient stay.” Medicare Claims Processing Manual, Pub 100-04, Transmittal 2373 ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 24 PD Modifier (Mnemonic: PD = Payment denied) “CMS shall establish new payment modifier PD (Diagnostic or related nondiagnostic item or service provided in a wholly owned or operated entity to a patient who is admitted as an inpatient within 3 days), and require that the modifier be appended to the [technical component of] entity’s preadmission diagnostic and admission-related nondiagnostic services, reported with HCPCS/CPT codes, which are subject to the 3-day payment window policy.” Medicare Claims Processing Manual, Pub 100-04, Transmittal 2373 ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 25 PD Modifier: Affect on Hospital-Owned Physician Practices “…claims for Medicare beneficiaries may have to be held for three days so that the modifier can be added if necessary. If the practice submits a claim without a modifier, the claim will be considered overpaid, and, under the new requirements for overpayments, the practice could find itself with a False Claims Act violation. On the other hand, a claim filed with modifier PD for a patient that is not hospitalized in 72 hours results in a reduced payment and the additional expense of resubmission. Managers of wholly owned or operated entities should develop a strategy as to how to address this rule. For certain diagnoses that often result in an admission, it may be prudent to delay filing the claim for office-based services until the three-day window has closed.” American Urological Association http://www.auanet.org/eforms/hpbrief/view.cfm?i=1129&a=2702 ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 26 Coordinated Billing Required • • • Applies to dates of service on or after January 1, 2012 “The hospital is responsible for notifying the entity of an inpatient admission for a patient who received services in a wholly owned or wholly operated entity within the 3-day (or, when appropriate, 1-day) payment window prior to the inpatient stay.” Entities may begin to coordinate their billing practices and claims processing procedures with their hospitals to ensure compliance with the 3-day payment window policy no later than for claims received on or after July 1, 2012.” Medicare Claims Processing Manual, Pub 100-04, Transmittal 2373 ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 27 Unrelated Physician Services: Billed without Modifier • • “When an entity that is wholly owned or wholly operated by a hospital furnishes a service subject to the 3-day window policy, Medicare will pay the professional component of services with payment rates that include a professional and technical split and at the facility rate for services that do not have a professional and technical split. Physician nondiagnostic services that are unrelated to the hospital admission are not subject to the payment window and shall be billed without the payment modifier.” Medicare Claims Processing Manual, Pub 100-04, Transmittal 2373 ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 28 Global Surgical Services and the 3-day Payment Window Policy • • “The 3-day payment window makes no change in billing surgical services according to global surgical rules, and pre- and postoperative services continue to be included in the payment for the surgery. However, there may be times when the surgery itself is subject to the three-day window policy, as would occur if the surgery were performed within the three-day window. For example, a patient could have a minor surgery in a wholly owned or wholly operated entity and then, due to a complication, be admitted as an inpatient. In such cases the [PD] modifier shall be appended to the appropriate surgical HCPCS/CPT code.” Medicare Claims Processing Manual, Pub 100-04, Transmittal 2373 ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 29 Three Day Payment Window: Loss of Preadmission Service Revenue • • Previously, when the RAC denied an admission, a hospital could only bill for limited Part B services. Hospital lost ability to bill for many preadmission services, including surgery and procedures which had been included on the inpatient bill. Example: Patient had AICD implant as outpatient and was admitted after the procedure. If admission denied, hospital would be unable to bill for AICD. ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 30 Payment Window for Outpatient Services Treated as Inpatient Services CMS is revising its billing instructions to clarify that in situations where there is no Part A coverage for the inpatient stay, there is no inpatient service into which outpatient services (i.e., services provided to a beneficiary on the date of an inpatient admission or during the 3 calendar days (or 1 calendar day for a non-IPPS hospital) prior to the date of an inpatient admission) must be bundled. Therefore services provided to the beneficiary prior to the point of admission (i.e., the admission order) may be separately billed to Part B as the outpatient services that they were. See the “Medicare Claims Processing Manual”, Chapter 4, Section 10.12 and Chapter 1, Section 50.3.2 for the updated billing guidelines. MLN Matters (MM7672) December 29, 2011 ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 31 Pre-admission OP Services Billable When No Part A • • “If the inpatient claim is medically denied (TOB 110), then outpatient services of any type (including emergency room services, ambulatory surgery, etc.), if such services were rendered, that had been reported on the inpatient claim based on the preadmission services window policy can be billed separately, as usual, on a 13X TOB. This includes outpatient services of any type rendered on the same day as the day of admission, as long as such services were rendered prior to the beneficiary’s formal admission as an inpatient.” National Government Services (NGS) in Medicare Monthly Review, Issue No. MMR 2012-04, April 2012 ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 32 No Payment for IP Only Procedures Provided in Outpatient Setting “CMS will not pay for “inpatient-only” procedures that are provided to a patient in the outpatient setting on the date of the patient’s inpatient admission or during the 3 calendar days (or 1 calendar day for a non-subsection (d) hospital) preceding the date of the inpatient admission that would otherwise be deemed related to the admission.” Claims Processing Manual, Pub. 100-04, Transmittal 2234 Change Request 7443, May 27, 2011 Revised Chapter 4, Section180.7 of Pub 100-04 ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 33 Billing for Emergency IP Surgery When Patient Dies Billing using – CA modifier. Paid with APC 977. • The status of the patient is outpatient; • The patient has an emergent, life-threatening condition; • A procedure on the inpatient list (designated by payment status indicator C) is performed on an emergency basis to resuscitate or stabilize the patient; • The patient dies without being admitted as an inpatient Hospital is not paid for other services provided on the same day. Program Memorandum Intermediaries, Department of Health & Human Services (DHHS), CMS Transmittal A-02-129; Jan 3, 2003 ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 34 Billing for Emergency IP Surgery When Patient Dies “If a procedure designated as an inpatient procedure is billed without the – CA modifier for a patient admitted for observation, the line on the claim for the procedure with status indicator C will receive a line item denial, and no services furnished on the same date will be paid.” Program Memorandum Intermediaries, Department of Health & Human Services (DHHS), Centers for Medicare & Medicaid Services (CMS), Transmittal A-02-129; January 3, 2003 ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 35 Canceled Inpatient Surgery: Leave of Absence • • “A patient who requires follow-up care or elective surgery may be discharged and readmitted or may be placed on a leave of absence. Hospitals may place a patient on a leave of absence when readmission is expected and the patient does not require a hospital level of care during the interim period.” Medicare Claims Processing Manual, Chapter 3 - Inpatient Hospital Billing, 40.2.5 (Rev. 1571; Issued: 08-07-08) ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 36 Canceled Inpatient Surgery: Modifier - 73 “Modifier -73 is used by the facility to indicate that a procedure requiring anesthesia was terminated due to extenuating circumstances or to circumstances that threatened the well being of the patient after the patient had been prepared for the procedure (including procedural pre-medication when provided), and been taken to the room where the procedure was to be performed, but prior to administration of anesthesia.” Medicare Claims Processing Manual, Pub 100-04, Transmittal 2386, Section 20.6.4 (Effective: 01-01-12) ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 37 Effect on Payment: Modifier - 73 • • “Procedures that are discontinued after the patient has been prepared for the procedure and taken to the procedure room but before anesthesia is provided will be paid at 50 percent of the full OPPS payment amount. Modifier -73 is used for these procedures. Surgical or certain diagnostic procedures that are discontinued after the procedure has been initiated and/or the patient has received anesthesia for which modifier -74 is coded, will be paid at the full OPPS payment amount.” Medicare Claims Processing Manual, Pub 100-04, Transmittal 2386, Section 20.6.4 (Effective: 01-01-12) ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 38 Canceled Inpatient Surgery: Modifier - 74 • • “…a procedure requiring anesthesia was terminated after the induction of anesthesia or after the procedure was started (e.g., incision made, intubation started, scope inserted) due to extenuating circumstances or circumstances that threatened the well being of the patient. [Or] that a planned surgical or diagnostic procedure was discontinued, partially reduced or cancelled at the physician's discretion after the administration of anesthesia. …anesthesia is defined to include local, regional block(s), moderate sedation/analgesia (“conscious sedation”), deep sedation/analgesia, and general anesthesia.” Medicare Claims Processing Manual, Pub 100-04, Transmittal 2386, Section 20.6.4 (Effective: 01-01-12) ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 39 Canceled Outpatient Surgery: Modifier - 52 “Modifier -52 is used to indicate partial reduction, cancellation, or discontinuation of services for which anesthesia is not planned. The modifier provides a means for reporting reduced services without disturbing the identification of the basic service.” Medicare Claims Processing Manual, Pub 100-04, Transmittal 2386, Section 20.6.4 (Effective: 01-01-12) ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 40 Elective Cancelation “The elective cancellation of a procedure should not be reported.” Medicare Claims Processing Manual, Pub 100-04, Transmittal 2386, Section 20.6.4 (Effective: 01-01-12) ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 41 THANK YOU FOR ATTENDING ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 42 Copyright © 2012 All rights reserved. No part of this presentation may be reproduced or distributed. Permission to reproduce or transmit in any form or by any means electronic or mechanical, including presenting, photocopying, recording and broadcasting, or by any information storage and retrieval system, must be obtained in writing from Accretive PAS®.. ©2012 PANACEA Healthcare Solutions, Inc. SLIDE 43
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