MISSOURI TELEHEALTH NETWORK TRAINING CONFERENCE January 31, 2018 CENTER FOR CONNECTED HEALTH POLICY POLICY DISCLAIMERS

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LEGAL & REGULATORY ISSUES TO CONSIDER IN A TELE PROGRAM MISSOURI TELE NETWORK TRAINING CONFERENCE January 31, 2018 877-707-7172 cchpca.org Mei Wa Kwong, JD DISCLAIMERS Any information provided in today s talk is not to be regarded as legal advice. Today s talk is purely for informational purposes. Always consult with legal counsel. CCHP has no relevant financial interest, arrangement, or affiliation with any organizations related to commercial products or services discussed in this program. 1

CCHP is an independent, public interest organization that strives to advance state and national telehealth policies that promote better systems of care improved health outcomes and provide greater health equity of access to quality, affordable care and services. 2

TELE STATE-BY-STATE POLICIES, LAWS & REGULATIONS Current Laws, Regulations, Pending Bills State & Federal Interactive Policy Map LEGAL & REGULATORY ISSUES Licensing Credentialing & Privileging Prescribing HIPAA/Security Informed consent Malpractice Anti-Kickback/Stark Law Potential Policy Trends 2018 3

LICENSING Must be licensed in the state that patient is located Very few exceptions (e.g., infrequent interactions in state, consultation) A few states have a telemedicine license Interstate Licensure Compact Not a multi-state license; it s an expedited process to get a license State needs to pass legislation to join Compact Still in the process of being formed 22 States members of the compact Commission is up and running (http://www.imlcc.org/) CREDENTIALING & PRIVILEGING An originating site may rely on the credentialing and privileging the distant site did for a provider who will be providing services to the originating site. Federal Regulations 42 CFR 482.12 42 CFR 485.616 42 CFR 482.22 42 CFR 485.641 The Joint Commission LD.04.03.09 MS.13.01.01 4

CREDENTIALING & PRIVILEGING Federal Regulations Went into effect July 1, 2011 For Originating Sites Hospitals & Critical Access Hospitals (CAHs) The distant site must be a hospital that participates in Medicare or is a telemedicine entity. Provides telemedicine services; Is not a Medicare participating hospital; and Provides services in a manner that meets all applicable Conditions of Participation (CoP) Likely a bylaw change will be needed Optional CREDENTIALING & PRIVILEGING Federal Regulations - Originating Site Obligations Written agreement between distant and originating sites Governing body must choose to rely on distant site s credentialing & privileging decisions Internal review of telehealth provider s performance & that information shared with distant site Sends all adverse events and complaints to distant site 5

CREDENTIALING & PRIVILEGING Federal Regulations - Distant Site Obligations Is a Medicare participating hospital OR telemedicine entity Telehealth provider privileged at the distant site Distant site must provide to the originating site a current list of the telehealth provider s privileges Telehealth provider is licensed or recognized by the state of the originating site hospital CREDENTIALING & PRIVILEGING TJC Regulations TJC aligned with CMS & finalized Dec 2011 Distant site is TJC accredited hospital or ambulatory care organization Telehealth provider privileged at distant site for the services providing to originating site Originating site has an internal review process of telehealth provider s performance & sends that to the distant site Telehealth provider has license or is recognized by the state the patient is located in Written agreement between the distant and originating sites 6

Controlled Substances Federal Laws/DEA PRESCRIBING State Prescribing Laws Provider/Patient Relationship Some states allow telehealth to establish the relationship and allow prescribing Missouri requires Sufficient examination takes place. A questionnaire is not sufficient. HIPAA/PRIVACY Still held to the same standards Equipment alone cannot be HIPAA compliant HIPAA compliancy is a combination of physical, administrative & technical safeguards Using telehealth may require you to think differently to be compliant Just internet laws in state 7

INFORMED CONSENT & MALPRACTICE Some States with Specific Informed Consent Policies Both in law, regulations or Medicaid policies MO Medicaid requires prior written informed consent Malpractice Coverage Does your malpractice insurance cover telehealth? Does your malpractice insurance cross state lines? Malpractice Suits Very few cases involving telehealth Most are concerning radiology Most are about provider s actions, not technology Most have been settled out of court ANTI-KICKBACK Stark Law Federal law prohibits physicians from referring Medicare beneficiaries to an entity that physician has a financial interest for designated health services (DHS) reimbursable by Medicare. Anti-Kick Back Federal law makes it a crime to offer, solicit, pay or receive any remuneration intended to induce, or is in return for, the referral of patients or the ordering of items or services reimbursable by any federal health care program. 8

ANTI-KICKBACK Exceptions Available to Both (examples) Stark Law Bona fide employment agreements (similar to Anti-Kickback Statute) Lease arrangements space/equipment exceptions Personal services exception Anti-Kick Back Bona fide employment relationship with the employer Space or equipment rental Independent contractor agreement If provided to a health center via contract/agreement that contributes to the ability of the health center to maintain or increase the availability or quality of services the medically underserved population it services. TELE HISTORICALLY FEDERAL BILLS 2014-2016 STATE BILLS 2014-2017 PASSED FAILED PASSED FAILED FEDERAL TELE Medicare reimbursement still limited Restrictions on geography, facility, provider & services remain Movement on telehealth has been limited to demonstrations/pilots STATE TELE Increased introduction and passage of telehealth related policies Primary issues have been reimbursement, licensing (Compact), prescribing Varied policies across state lines create confusion for providers practicing in multiple states Utilization has not necessarily increased as rapidly as anticipated 9

STATE TELE State Trends in 2017 Total of 215 Bills Introduced/129 Passed Top Policy Topics Modifications to existing telehealth private payer laws that include coverage for RPM, adding specific conditions, covering workers comp Modifications to Medicaid reimbursement Enact the physician licensure compact Practice standards and prescribing Interesting Issues Addressed Network adequacy (5 bills introduced) Controlled substances (2 bills) Prohibiting insurance companies from restricting telemedicine coverage to specific telemedicine vendor (2 bills) POTENTIAL TRENDS Increased focus on using telehealth to combat opioid addiction Network Adequacy Reimbursement/Licensing Prescribing Looking at plans that limit their telehealth services to a third party vendor 10

RESOURCES Center for Connected Health Policy www.cchpca.org Heartland Telehealth Resource Center www.heartlandtrc.org Telehealth Resource Centers www.telehealthresourcecenter.org Center for Medicare & Medicaid Services Telehealth Fact Sheet https://www.cms.gov/outreach-and-education/medicare- Learning-Network- MLN/MLNProducts/downloads/telehealthsrvcsfctsht.pdf THANK YOU! MEIK@CCHPCA.ORG 11