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Patient Billing
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New to this Edition
Table of Contents
Book Preface
Sample Chapter
Supplements
About the Author
Industry Updates


Student Edition
Instructor Edition
Patient Billing, 7/e

Susan M. Sanderson, Chestnut Hill Enterprises, Inc.

ISBN: 0073402028
Copyright year: 2010

Industry Updates



New Medicare Annual Wellness Visits


Effective Jan. 1, 2011, providers (physicians, physician assistants, nurse practitioners, or clinical nurse specialists or other medical professional working under the direct supervision of a physician) may report two new HCPCS G-codes for annual wellness visits (AWV) for Medicare beneficiaries. In order to report codes G0438 (annual wellness visit; includes a personalized prevention plan of service [PPPS], first visit); and G0439 (…, subsequent visit), documentation must show that the elements of the service were provided. These include:

  • Establish/update individual medical and family history. At a minimum, CMS requires documentation of a patient’s “past medical and surgical history, experiences with illnesses, hospital stays, operations, allergies, injuries and treatments, use or exposure to medications and supplements, including calcium and vitamins, and medical events experienced by the beneficiary’s parents and any siblings and children, including diseases that may be hereditary or place the individual at increased risk.”
  • Track care and drugs. Create/update list of patient’s regular providers and suppliers of medical care, and medications, including supplements such as vitamins.
  • Physical assessment. Measure height, weight, body mass index (BMI) or waist circumference, blood pressure and other routine measurements as appropriate, based on the patient’s medical and family history.
  • Check for signs of cognitive impairment. CMS defines this as “assessment of an individual’s cognitive function by direct observation, with due consideration of information obtained by way of patient report, concernsraised by family members, friends, caretakers or others.”
  • Establish/update a schedule of screening services. This should be a written schedule, such as a checklist, that sets patient-appropriate tests for the next 5-10 years, based on government recommendations and the patient’s own health status, screening history and age-appropriate preventive services that Medicare covers.
  • Establish a list of risk factors and conditions for which interventions are recommended or already underway. These include any mental health conditions or risk factors/conditions identified through an initial preventive physical exam, along with a list of treatment options and associated risks and benefits.
  • Furnish personalized health advice and referral where needed to health education or prevention counseling services or programs. CMS clarifies that physicians may separately bill for all preventive services (those covered without requiring a copay in the final rule) in the same encounter or day as the AWV.
  • Screen for depression. This should include a review of the patient’s current or past experiences with depression or other mood disorders, based on use of an appropriate screening instrument. Depression screening is only required during the initial AWV (G0438).
  • Screen for functional status. The clinician may use direct observation or tests to check for (at a minimum) hearing impairment, fall risk, home safety and the ability to successfullyperform the activities of daily living. Functional status screening is only required during the initial wellness visit.


New HIPAA Security Information on the CMS Website

CMS releases final e-prescribing standards for Medicare prescription drug program

CMS on Code Sets (1025.0K)

Medicare Medical Information Privacy Clarification (85.0K)

CMS Fact Sheet on ICD-10 (35.0K)

Identity Theft Red Flag Requirements (8.0K)

New HIPAA Enforcement Under ARRA (19.0K)

CMS eliminates payment for medical consult codes

Effective January 1, 2010, CMS will stop payment for medical consults (99241-99245 and 99251-99255, other than the G codes that are used to bill for telehealth consultations), and redistribute the resulting savings to increase payments for the existing evaluation and management (E/M) services.

The work relative value units (RVUs) for new and established office visits, as well as initial hospital and initial nursing facility visits, will be increased to reflect the higher value of the office visits furnished during the global period.The RVUs for new and established patients will increase by 6 percent in 2010.

As we know, CPT and CMS define a new patient as one who has not received a service from a physician (or another physician in the same specialty, and the same group) in the past three years.

UPDATE ON RED FLAGS RULE: IT DOES NOT APPLY TO PHYSICIANS

In September of 2008, I first posted information on the Red Flags Rule, which requires lenders to develop plans to ensure that consumers’ financial information is kept secure. Its implementation, however, has been much debated by the health care industry, particularly the AMericna Medical Association (AMA), which declared that the rule was not appropriate for physicians. Now, due to an end-of-year action by Congress soon to be signed into law by the President, it is clear that this rule will not apply to physicians.

The rule, separate from HIPAA patient-privacy rules, required creditors to demonstrate a protocol “for detecting identify theft red flags, preventing and responding to identity theft, and for keeping their programs up to date.” Under the Federal Trade Commission’s interpretation, physicians had been considered creditors if they bill patients for fees not collecteda t the time of service—which applied to almost all practices. The new interpretation exempts physicians from the category of “creditors.”

Physicians, of course, are given credit/debit card and banking information by patients and must still be careful to secure this financial data. However, formall steps outlined int eh Red Flags Rule are now not required.

Cynthia Newby, CPC, CPC-P
December 14, 2010

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