Evaluation and Management Auditing Back to the Basics. Objectives. Audit Start with the benchmarks CMS MEDPAR by specialty 4/22/2013

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Evaluation and Management Auditing Back to the Basics E&M Audit Sonda Kunzi, CPC, CPMA, CPPM, CPC-I Associate Director, Cohen Healthcare Consulting Ltd. Objectives Discuss good basic audit techniques Review the role of Medical Necessity in auditing Understand the three key components in E&M auditing DG Documentation Guidelines Review the use of time coding and required documentation Recognizing the EMR challenge for the auditor Unintended consequences Audit Start with the benchmarks CMS MEDPAR by specialty Get a CPT distribution for provider and compare Decide on appropriate scope of audit Don t review 99212 if compared to benchmark, provider is billing 50% more 99215 s then his/her peers Utilize RAT-STATS for unbiased selection process https://oig.hhs.gov/compliance/rat-stats/index.asp 1

Audit Make sure the use of new patient vs. establish patient codes are utilized correctly Watch code selection relative to place of service i.e. provider bills hospital codes for hospital services. Outpatient ti t vs. Inpatient. Always utilize trustworthy resources. CMS 1995 or 1997 guidelines Specific MAC references CPT and ICD9 code books OIG website when needed Audit Don t forget to review the record for more then just appropriate level assignment 1. All records require a chief complaint 2. All records require a signature 1. Use your local MAC as reference MM6698 3. All records should be legible 4. Ancillary staff and/or patient may ONLY document ROS & PFSH Provider must reference appropriately Specifically watch this in EHR Documentation Guidelines Chief Complaint DG The medical record should clearly reflect the chief complaint Signature The documentation of each patient encounter should include: Date and legible identity of the observer Legibility The medical record should be complete and legible 2

Documentation Guidelines ROS/PFSH DG from earlier encounter.. The review and update may be documented by noting the date and location of the earlier ROS and/or PFSH. DG to document the provider reviewed the information, there must be a notation supplementing or confirming the information recorded by others DG if unable to obtain a history the record should clearly describe the circumstance that precludes obtaining a history. Medical Necessity Medical Necessity The over-arching criteria for code selection. "Medical necessity of a service is the overarching criterion for payment in addition to the individual requirements of a CPT code. It would not be medically necessary or appropriate to bill a higher level of evaluation and management service when a lower level of service is warranted. The volume of documentation should not be the primary influence upon which a specific level of service is billed. Documentation should support the level of service reported." Medicare Claims Processing Manual, Publication 100-04, Chapter 12, Section 30.6.1 3

Medical Necessity E/M guidelines are complex and subjective This has introduced the use of templates Influences provider to document in pattern that may make every visit look the same Typically providers forget to document their medical thinking which is crucial to support medical necessity Easily inferred may not mean the same to a provider Explain and educate provider on this fact Medical Necessity Medical necessity cannot be quantified using a point system Differs from patient to patient with the following factors Clinical Judgment - Co-morbidities Standards of practice - Management for Chief complaint the specific DOS Acute exacerbations Stability/acuity of patient Medical Necessity Novitas (Formally Highmark) medical necessity is the first consideration in reviewing all services. CGS Administrators generally expressed as intensity of service Medicare will deny or down code E/M services that, in its judgment, exceed the patient's documented needs. 4

Key Components Let s work our way backwards! Medical Decision Making Recognized levels Straightforward Low Moderate High Refers to complexity of establishing a diagnosis and selecting a management option Medical Decision Making Three areas of documentation for MDM Diagnosis number and status of diagnoses treated Complexity tests and procedures performed or ordered Risk level of risk assigned to diagnoses treated Probably the most difficult for non-clinical auditors Medical Decision Making Diagnosis Is this new or established to the provider? Is it improving, worsening, or stable? Does it require additional workup? Documentation Guideline Moment: DG Diagnosis may be explicitly stated or implied in documented decisions regarding management plans or further evaluation. DG An established diagnosis should reflect whether the problem is improved or worsened. 5

Medical Decision Making Medical Decision Making Complexity of data Diagnostic Testing Credit is given for number of tests performed, ordered, or reviewed. The type of testing lends more toward complexity rather than number of testing. Medical Records Points given for reviewing AND summarizing old records as well as making a decision for obtaining records from another provider Documentation Guideline Moment DG A notation of old records reviewed or additional history obtained from family without elaboration is insufficient. Medical Decision Making Independent Visualization Provider can receive 2 points for interpreting the test by direct visualization. Documentation Guidelines Moment DG the direct visualization and independent interpretation of an image, tracing, or specimen previously or subsequently interpreted by another physician should be documented. 6

Medical Decision Making Medical Decision Making Risk Takes the categories already looked at within the decision making into consideration for level of risk determination Three components: Presenting Problem Diagnostic procedure(s) ordered Management Options The risk of significant complications is based on all the risks associated with the presenting problem(s) the diagnostic procedure(s) and the management options Medical Decision Making The table on the next slide is used to help quantify the four levels of risk. They are: Minimal low Moderate high Documentation Guideline Moment DG Co-morbidities/underlying diseases or other factors that increase the complexity of MDM by increasing risk of complications should be documented DG If a surgical or invasive diagnostic procedure is ordered, planned, or scheduled at the time of the E/M encounter, the TYPE of procedure (i.e. Laparoscopy) should be documented 7

What Level of Medical Decision Making is this?? Exam Area of documentation that is easily converted to a template. There are two versions: 1995 (body areas or organ systems) 1997 Bulleted You may audit using whichever is beneficial to the provider Cannot mix on one record 8

Exam Component 1995 Body Areas: Head Neck Chest Abdomen Back/Spine Genitalia/Groin/Buttocks Left upper extremity Right upper extremity Right lower extremity Left Lower extremity Exam Organ Systems: Constitutional Eyes Ears, Nose, and Throat Cardiovascular Respiratory Gastrointestinal Genitourinary Integumentary Musculoskeletal Neurological Psychiatric Hematologic/Lymphatic/ Immunologic Exam 1995 Problem Focused limited exam of affected body area OR organ system Expanded Problem Focused limited exam of the affected body area OR organ system and other symptomatic or related organ system(s) Detailed an extended exam of the affected body area(s) and other symptomatic or related organ system(s) Comprehensive a general multi-system exam or complete exam of a single organ system Exam 1995 Documentation Guideline Moment DG specific abnormal and relevant negative findings should be documented. A notation of abnormal without elaboration is insufficient. DG The medical record for a general multi-system examination should include findings about 8 or more of the 12 organ systems Audit tip: The extent of the exam performed and documented is dependent on the clinical judgment of the provider and the nature of the presenting problem. 9

Exam 1997 Designed as a bullet system encompassing most specialties. Auditing process is counting bullets (AKA elements) based on documentation in the record Documentation for each element must satisfy the requirement of that element i.e. measurement of any 3 of 7 vitals listed is specific Elements with multiple components but no specific numeric requirement require documentation of at least one component Exam 1997 May use a general multi-system exam or a single organ system (i.e. Neurological) to document in the record. Each level of exam, problem focused, expanded problem focused, detailed, and comprehensive have documentation guidelines that apply for general multi-system or single organ system Refer to the following CMS E/M guide on page 52 for specific guidance on number of elements: http://www.cms.gov/outreach-and-education/medicare-learning-network- MLN/MLNProducts/downloads/eval_mgmt_serv_guide-ICN006764.pdf E 10

History Last but not least the history component There are three elements within history component: HPI History of present illness ROS review of systems PFSH past medical, family, & social history Documentation Guideline: DG The CC, ROS, PFSH may be listed as separate elements of history, or they may be included in the description of the history of present illness. History HPI Location Quality Severity Duration Timing Context Modifying factors Associated signs and symptoms There are two kinds of HPI s: Brief = one to three elements (1-3) Extended = four or more (4+) or the status of at least three (3) chronic or inactive conditions History Review of Systems (ROS) ROS is a series of questions that provider and/or ancillary staff asked the patient based upon the history of the present illness or complaint. Constitutional (e.g., fever, weight loss) Eyes Ears, nose, mouth, throat Cardiovascular Gastrointestinal Genitourinary Musculoskeletal Integumentary (skin and/or breast) Neurological Psychiatric (e.g., mood swings) Hematologic/Lymphatic Endocrine Allergic/immunologic 11

PFSH History History There are two types of PFSH Pertinent review of the history area(s) directly related to the problem(s) identified in the HPI Complete review of two or all three of the PFSH history areas (depending on the category of E/M. A review of all three history areas is required for services that by their nature include a comprehensive assessment or reassessment of the patient. A review of two of the three history areas is sufficient for other services. For certain categories of E/M services that include only an interval history, it is not necessary to record a PFSH. i.e. subsequent hospital; subsequent nursing facility Putting it all together. History 12

Level selection Time A level may be achieve by time Documentation should reflect in the record appropriately More than 50% of the encounter spent in counseling or coordination of care indicates that the time spent is the controlling factor DG If provider elects to report level of service based on time, the total length of time of the encounter should be documented and the record should describe the counseling and/or the activities to coordinate care. Time on audit sheet 13

Typical Times 99201 10 99211 5 99202 20 99212-10 99203 30 99213-15 99204 45 99214-25 99205 60 99215-40 EMR A new audit era No longer not documented; not done now its documented and not done It s the integrity of the record that is in question Cloning was near impossible when records were on paper. Now it is common place One good thing legibility is no longer an issue EMR Common issues Cut and paste Cloning Signature authentication g Macros (unedited) Default templates (unedited) Who documented what 14

Excerpt from the letter from Kathleen Sebelius, Secretary HHS September 24, 2012 http://www.modernhealthcare.com/assets/pdf/ch82990924.pdf EMR Auditor Response Now you may need to see pre-canned templates to verify cloning. You may need to see policies and procedures surrounding documentation ti in the EMR. You know have to know the EMR process flow to figure out who did what. EMR Remember: Nothing has changed in the guidelines just because we adopted the use of EMR. You must verify when you have a question about the author of the documentation You need to call out cloning and educate your providers You need to ASK when you need to in regard to exam elements in question. 15

The End Good Luck in your Auditing endeavors and keep staying true to the guidelines and MAC direction! You are the expert and should share your knowledge through education with all the providers you touch through an audit process. S K CPC CPMA CPM CPCI @ 16