Proposed: Podiatry services, medical examination and evaluation with initiation of diagnostic and treatment program, new patient.

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According to CMS, changes are coming for E/M codes. A recent proposal from CMS stated: "The E/M visit code set is outdated and needs to be revised and revalued." Since podiatry tends to furnish a lower level of E/M visits, CMS is proposing new G-codes to report E/M office/outpatient visits. The proposed codes will require the same documentation standards as the visits that are currently reported for E/M when reporting for podiatry. CMS also stated; the current coding structure will remain the same except for adding new replacement codes for Office/Outpatient E/M visits. NOTE: If the proposal goes through; the proposed rates would be a single rate when billing for services with E/M codes Level 2-5 E/M visits. Podiatric Evaluation and Management Services (HCPCS codes GPD0X and GPD1X) CMS is proposing to create two HCPCS G-codes, HCPCS codes GPD0X (Podiatry services, medical examination, and evaluation with initiation of diagnostic and treatment program, new patient) and GPD1X (Podiatry services, medical examination, and evaluation with initiation of diagnostic and treatment program, established patient), to describe podiatric evaluation and management services. GPD0X GPD1X Proposed: Podiatry services, medical examination and evaluation with initiation of diagnostic and treatment program, new patient. Work RVU of 1.36, a physician time of 28.19 minutes, and direct costs summing to $21.29 Payment=Approximately $102 Proposed: Podiatry services, medical examination and evaluation with initiation of diagnostic and treatment program, established patient. Work RVU of 0.85, physician time of 21.73 minutes, and direct costs summing to $15.87 Payment=Approximately $67 These values are based on the average rate for CPT codes 99201-99203 and CPT codes 99211-99212 respectively, weighted by podiatric volume. For further discussion of proposals relating to these codes, see section II.I of this proposed rule. Podiatry would no longer report office visit codes 99201-99215 and would be directed to report GPD0X Podiatry services, medical examination and evaluation with initiation of diagnostic and treatment program, new patient ($102) and GPD1X Podiatry services, medical examination and evaluation with initiation of diagnostic and treatment program, established patient. ($67) 1

Modifier 25 is used to define a substantial, separately identifiable evaluation and management (E/M) service that was performed at the same time as a procedure. Commencing October 30, 2018, Emblem Health s current coding policy will apply to GHI plans regarding E/M services billed with modifier 25 within 28 days of a previous face-to-face service. The E/M service will be denied when both of the following apply: The E/M service (92002-92004, 92012-92014, 99201-99380, 9944-99499) is billed with modifier 25 on the same day as a procedure with a 0 -day, 10-day, or 90-day postoperative period. The patient has a had a face-to-face service with the same provider for the same condition as the E/M service, and the 0-day, 10-day or 90-day procedure within the previous 28 days. Face-to-face service codes included in this medical policy: 10021-36410, 36420-44680, 44800-69990, 90935-90993, 92002-92371, 92502-92504, 92511, 95831-95852, 96365-96379, 96405-96406, 96440, 96450, 96542-96999, 97597-97755, 97802-98943, 99100-99170, 99201-99285, 99291-99337, 99341-99357. 2

With 2018 being in its last half, questions are coming up about MIPS payment adjustments in 2019 based on the 2017 performance year. One topic of interest is what happens if a clinician moved from one practice to another. Here is an answer, straight from the CMS Fact Sheet on 2019 MIPS payment adjustments based on 2017 scores. Know What Happens When There s a New TIN The scenario the Fact Sheet provides is that a doctor (Dr. Delta) received a 2017 MIPS final score assigned to the TIN (Taxpayer Identification Number) of the practice she billed under at the time. Dr. Delta changed practices, which means that in 2019 she will be billing under a different practice s TIN (not the TIN she billed under in 2017). The Fact Sheet indicates that, because Dr. Delta does not have a 2017 MIPS final score tied to her 2019 TIN/NPI combination, CMS will assign the 2017 MIPS final score associated with her NPI to the doctor and will adjust Medicare payments to her new 2019 TIN/NPI combination based on that score. So, in short, the payment adjustments follow the provider. Watch out: In some cases, providers bill under TINs of multiple practices. If Dr. Delta had several MIPS 2017 final scores connected to her NPI because she had one score per TIN/practice from 2017, then CMS would assign the highest score to Dr. Delta for MIPS payment year 2019. Tip: The information above applies in cases where a TIN is new because of a change of practice or because the provider established a new TIN. Two Quick Tips on TINs and 2017 The previous section referred to situations where providers bill under multiple group TINs. Even if the TIN/NPI didn t change, you may wonder how CMS will handle payment adjustments in that situation. Per the Fact Sheet, Medicare will adjust the payment for each 2019 covered Part B service based on the final 2017 score for the relevant TIN/NPI combination. And as one final tip, providers who joined a practice late in 2017 may be asking how that affects their 2019 payments. According to the Fact Sheet, an individual clinician who started billing to a group s TIN between Sept. 1, 2017, and Dec. 31, 2017, will get a neutral payment adjustment in 2019 for that TIN. 3

If you participated in the Merit-based Incentive Payment System (MIPS) in 2017, your MIPS final score and performance feedback is available for review on the Quality Payment Program website. If you believe an error has been made in your 2019 MIPS payment adjustment calculation, you can request a targeted review until October 1. For More Information: Performance Feedback Fact Sheet Performance Feedback User Guide Targeted Review Fact Sheet Targeted Review User Guide If you have questions about your performance feedback or MIPS final score, contact the Quality Payment Program at 866-288-8292 (TTY: 877-715-6222) or QPP@cms.hhs.gov All crossover claims submitted from Medicare and other third-party billing should accurately reflect payments received from other insurers to allow correct calculation of Medicaid reimbursement amounts. The Explanation of Benefits and other documentation supporting Medicare and third-party reimbursement amounts must be kept for audit or inspection by the Department of Health, Office of the Medicaid Inspector General (OMIG), the Office of the State Comptroller (OSC) or other state or federal agencies responsible for audit functions. Additionally, for any claim submitted to Medicaid with a zero-fill reimbursement from Medicare or a third-party insurer, the provider must retain evidence that the claim was initially billed to Medicare and/or the third-party insurer and was denied BEFORE seeking reimbursement from Medicaid. The exception to this policy would be for items that are statutorily not covered by the Medicare program providers may bill Medicaid directly without receiving a denial. Providers are responsible for retaining the statutory exemption from Medicare audit or inspection. 4

Providers are submitting claims for diagnostic services to 1199 and receiving denials that state "we do not pay podiatrists for this service",even after calling 1199 prior to the exam and being informed that no precert was necessary. evicore Healthcare (the entity that 1199SEIU contracts to handle medical management of radiology and laboratory procedures) places restrictions on diagnostic services performed on 1199SEIU members. One restriction is that physicians (including podiatrists) are not allowed to perform services like doppler scans on patients, even if they meet the medical necessity criteria for the test. No precertification is necessary for providers that are allowed to perform the service. evicore will only allow participating ancillary providers and hospitals to perform the services that participate with the plan to provide these services to health plan members. Effective July 01, 2018, providers can no longer call in authorizations to Healthfirst for DME; the online authorization request must be used. Healthfirst has conducted a mailing regarding this change; there is nothing published on their website. Exchange products, Medicaid and Medicare policies require authorization for L3000 and always have. Again, the only change is that previously, one was able to call in the authorization and now it must be done online. There has been misinformation that Healthfirst no longer covers L3000; but that is not factual. If you have any questions regarding this change you can call Healthfirst s Medical Management department at 888.394.4327. 5

Incision and Drainage (I&D) of Abscess of Skin, Subcutaneous and Accessory Structures (L33563) LCD revised for annual ICD-10-CM updates. ICD-10 codes T81.4XXA, T81.4XXD and T81.4XXS have been deleted from Group 1 and the following ICD-10 codes have been added as replacements; T81.41XA, T81.41XD, T81.41XS, T81.42XA, T81.42XD, T81.42XS, T81.43XA, T81.43XD, T81.43XS, T81.44XA, T81.44XD, T81.44XS, T81.49XA, T81.49XD and T81.49XS. In addition, ICD-10 codes K61.31, K61.39 and K61.5 have also been added to Group 1. Outpatient Physical and Occupational Therapy Services (L33631) LCD updated for annual ICD-10 updates to revise descriptors for ICD-10 codes L98.495, L98.496, L98.498. The contact information for the provider must be a contact within the provider s office. A billing service or clearinghouse may not place their contact information in this section. This data is found in different sections on different EDI enrollment forms. Please educate yourself by reviewing the EDI Guided Enrollment User Guide found on our website to populate the correct section for each form. The general information contact; first and last name of the authorized or delegated official, or a person within your company should be the authorized contact or a contact if NGS has questions about the enrollment. The telephone number and email address in the general information section should be for the person that is listed as the contact. The contact information will be collected one time within the form and then the data populates the correct section(s) on each form. Once you submit an accurate form with valid contact information, your request will be approved and processed without any delay. 6