CODING & BILLING AUDITS: Why They Happen How to Prevent Them How to Survive Them



Similar documents
MEDICARE RECOVERY AUDIT CONTRACTORS AND CMS S ACTIONS TO ADDRESS IMPROPER PAYMENTS, REFERRALS OF POTENTIAL FRAUD, AND PERFORMANCE

MEDICAL AUDITS: TOP TEN TIPS FOR PHYSICIANS TO ANTICIPATE, RESPOND AND PROTECT THEIR PRACTICES

ZPIC, RAC and MAC Audits Proactive vs. Reactive Approach

Recovery Audit Contractor Program

How to Successfully Appeal a RAC Audit. Kelly McCloskey Cherf Hogan Marren, Ltd.

Tennessee Primary Care Association: 2014 Annual Leadership Conference

Medicare Recovery Audit Contractors

CHAPTER 9 FRAUD, ABUSE, AND OVERUTILIZATION

E/M coding workshop. The risk of not getting it right. PAMELA PULLY CPC, CPMA BILLING/CLAIMS SUPERVISOR GENESEE HEALTH SYSTEM

DEPARTMENT OF HEALTH AND HUMAN SERVICES DEPARTMENTAL APPEALS BOARD DECISION OF MEDICARE APPEALS COUNCIL

Shellie Sulzberger, LPN, CPC, ICDCT-CM Coding & Compliance Initiatives, Inc.

RAC Preparation 7 Key Steps and Best Practices

Georgia Physician Medical Record/Recovery Audit Contractors

SELF AUDITS AND DISCLOSURES IN A RAC WORLD. Kathleen Houston Drummy Partner Davis Wright Tremaine LLP Los Angeles, CA

Fraud and Abuse. Current Trends and Enforcement Activities

Medicare Fraud. Programs supported by HCFAC have returned more money to the Medicare Trust Funds than the dollars spent to combat the fraud.

THE MEDICARE-MEDICAID (MEDI-MEDI) DATA MATCH PROGRAM

Fraud and Abuse: Part 1

Revenue Cycle Management Practice

December 5, Submitted Electronically

Recovery Audit Contractor Audits: What You Need to Know

Jane Snecinski, FACHE Post Acute Advisors, LLC P.O. Box Atlanta, GA

THE VALUE OF A COMPLETE CODING QUALITY AUDIT PROGRAM. By Lisa Marks, RHIT, CCS, Coding Audit Director, Precyse

Program Integrity CURRENT FRAUD AND ABUSE INITIATIVES IN NORTH CAROLINA

FRAUD AND ABUSE (SECTION-BY-SECTION ANALYSIS)

THE MEDICARE RECOVERY AUDIT CONTRACTOR (RAC) PROGRAM: An Evaluation of the 3-Year Demonstration

2/21/2014. Therapy Utilization in Long Term Care: Is It Really Over Utilization

Audit Management Solutions Overview. Wednesday, January 8, 2014 By Dawn Crump, MA, CHC, SSBB VP of Audit Management Solutions

How to Prepare a Winning RAC Appeal

Compliance Lessons from Recent OIG Enforcement Activities. The Players. The Players Continued

Best ASC Billing Practices & Potential Issues

MEDICAID INTEGRITY INSTITUTE FY-15 TRAINING CALENDAR

Regulatory Updates for Outpatient Rehab + Documentation Audit - Next Steps

CMS AND ITS CONTRACTORS HAVE ADOPTED FEW PROGRAM INTEGRITY PRACTICES TO ADDRESS VULNERABILITIES IN EHRS

The Business of Optometry

Hospices Under the Microscope: Are You Prepared for ZPICs?

Navigating Compliance Landmines in EHR Documentation

The Fraud and Abuse Environment for Anesthesiologists

Session 303 How to Use Scorecards to Manage Revenue Cycle Compliance

CENTERS FOR MEDICARE & MEDICAID SERVICES. Medicare Appeals

Basic Medical Record Documentation

Medicare s Recovery Audit Contractor (RAC) Program

IMPORTANCE OF PROGRAM INTEGRITY IN HOME AND COMMUNITY BASED SERVICES JERRY DUBBERLY, PHARMD, MBA

The False Claims Act: Hospital Strategies to Avoid Business Ending Fines

MEDICARE PARTS A, B, AND C

Presentation to the Senate Finance Medicaid Subcommittee: Prevention and Detection of Fraud, Waste and Abuse

Navigating Compliance Landmines in Electronic Health Record (EHR) Documentation

Inquiries, Reopenings, & Appeals Chapter 13

Medicare, Medicaid & Third Party Payer Audits: Latest Developments & Emerging glegal Issues Affecting Home Health and Hospice Providers

Medicare Fraud & ID Theft Prevention

Electronic Health Records: Issues, Concerns, and Best Practices

Implementing a New Technology: FPS Successes, Challenges, and Best Practices

Title: False Claims Act & Whistleblower Protection Information and Education

Rejection Prevention. How Actionable Data Can Drive Results in Your Revenue Cycle

CASE STUDY: St. Joseph Medical Center. Compliance 360 GRC Software Suite

What Your Organization can do to Avoid the Risks. Jane Snecinski Post Acute Advisors, LLC P.O. Box Atlanta, GA

How To Define Medical Necessity

How To Write A Health Insurance Claim Form

Presented by: Anne B Mattson, RN, MSN. Teresa Mack. Director Regulatory and Compliance. Director Revenue Cycle Management

Summary of Anti-Fraud Provisions in the Affordable Care Act

Exploring the Impact of the RAC Program on Hospitals Nationwide. Results of AHA RACTRAC Survey, 4 th Quarter 2012

Documentation: Now More Than Ever, Your Reimbursement Depends On It

MONTANA REGIONAL SLEEP SEMINAR

EMR Pearls and Perils

Medicare Supplement Coverage

Best Practices: Physician Billing/Coding for Hospice & Palliative Care

January 14, Dear Chairman Issa:

Modifiers The Key To Proper Reimbursement. Proper use of modifiers (usually) leads to correct payment. Author: Kenneth F. Malkin, D.P.M.

Coders Role in Anti-Fraud Investigations. Margaret Chambers, RN, CPC, CPC-P, AHFI Senior Investigator Premera Blue Cross

Importance of Auditing

THE FRAUD PREVENTION SYSTEM IDENTIFIED MILLIONS IN MEDICARE SAVINGS, BUT THE DEPARTMENT COULD STRENGTHEN SAVINGS DATA

Transcription:

CODING & BILLING AUDITS: Why They Happen How to Prevent Them How to Survive Them CAC-PIAC November 2014 J. Kevin West

KEY FACT: Podiatry has been, and continues to be, a highly audited medical specialty

The Current Audit Environment Affordable Care Act CMS Initiatives Most commonly audited codes 3

The Affordable Care Act (ACA) You must now self-report billing errors within 60 days of discovery or risk fines/penalties Lakeshore Medical Clinic case in Wisconsin Whistleblower case by former billing service employee Practice failed to follow-up on problems discovered in self audit 4

CMS Initiatives CMS proposes new rule to increase bounties paid to Fraud Tipsters Bounty of 15% of monies recovered (not to exceed $10 million) Provider Relations Coordinator Latesha Walker RAC@cms.hhs.gov Publication of Medicare billing amounts 5

Most Commonly Audited Codes 11720/11721 (nail debridement) E/M Codes all (-25 modifier) 11730 (nail avulsion) Wound Care Codes 11060/11061 (I&D of abscess) 11050 series (paring of skin lesions) (corns/calluses) Orthotics Codes 59 Modifier Injection codes (Morton s neuroma, plantar fascitis) 6

Ongoing Confusion Over Qualified Routine Foot Care Mycotic nail coverage rules Covered routine foot care rules 7

Evaluation and Management Codes with 25 Modifiers Number one audit issue This issue was included in the Office of Inspector General (OIG) Work Plan for 2004 and 2005. Modifier 25 indicates that a SIGNIFICANT, separately identifiable E&M service was performed during the same encounter that a minor surgical procedure was performed. 8

Evaluation and Management Codes with 25 Modifiers There is not a requirement that two or more diagnosis codes be used in the billing of the services Very subjective as to what is considered significant. 9

Partial or Total Nail Avulsions Documentation must describe the symptoms and complaint which establish medical necessity for the treatment. Nail or Nail border must be separated and removed to and under the eponychium. Local anesthetic (type and quantity) must be documented. If not used, provide rationale (Neuropathic patient, patient refused, medical contraindications) 10

Partial or Total Nail Avulsions Post-operative instructions and follow-up care should be documented If medial and lateral border are separated or removed on the same nail, only one service can be billed Cannot bill an I&D and avulsion or partial avulsion on the same nail 11

Other Audit Problems Failure to sign/date progress notes Use of medical assistants to perform nail care Cloning of notes DME documentation 12

Other Audit Problems Place of service codes Platelet therapy Over utilization of ultrasound Nursing homes standing orders Billing services assigning modifiers 13

Causes of Audits 1. You stand out statistically 2. Your patient complained 3. Someone else reported you Former employee Former spouse A competitor 14

Preventative Measures Watch your coding patterns Good bedside manner Help patient understand bills Be fair to those around you 15

Current Audit Environment 1. RAC audits 2. Evolution of Program Safeguard Contractors (PSC) to Zone Program Integrity Contractors (ZPIC) to Uniform Program Integrity Contractors (UPIC) 3. ADR letters/prepayment Review 4. Suspension and Revocation Actions 5. Criminal investigations 6. Drastic slowdown in Medicare appeal process (sequestration) 16

Medicare Audit Contractors 1. Medicare administrative Contractors (MAC s or carriers) 2. Zone Program Integrity Contractors (ZPIC s) 3. Recovery Audit Contractors (RAC s) 4. Comprehensive Error Rate Testing Contractors (CERT) 17

The 4 contractors do reviews in different ways with differing time frames Provider confusion is the result 18

RAC s do 5 times as many audits as the other contractors combined (but such audits are smaller) Most serious audits are done by ZPIC s CERT audits conducted on a random basis 19

1 billion claims processed by Medicare in 2012 1.4 million claims reviewed by the 4 contractors (less than 1%) 20

% of Medicare Audits Medicare Carriers 6% ZPIC 8% CERT 3% RAC 83% 21

1. RAC AUDITS Not random data driven audits Two types of computer driven audits: 1. Automated review (w/o medical record) 2. Complex review (w/ medical record) Smaller dollar amounts at issue Reforms implemented in April 2013: Limits to number and frequency of chart requests 22

RAC Audits In fiscal years 2010-11, reviewed 2.6 million claims 1.3 million (50%) of claims were improper $903 million recovered Providers appeal only 6% of audited claims Providers won 44% of appeals 23

RAC Audits OIG reports showed no one is checking the audit accuracy of RAC s RAC s paid on basis of amount recovered Recent stay imposed on RAC audits 24

2. Evolution of Zone Program Integrity Contractors (ZPIC) Took the place of Program Safeguard Contractors (PSC s) Have taken over most of the audit functions previously performed by carriers Often do statistical sampling and extrapolated overpayments with large dollar amounts Review personnel often are poorly trained as to podiatry coding and billing AdvanceMed, Safeguard Services 25

ZPIC's Abusive investigative tactics in California First $1 million O/P in podiatry imposed in late 2013

Coming Soon Uniform Program Integrity Contractors (UPIC s) Will do fraud and abuse enforcement across Medicare and Medicaid programs (dual eligible providers) May replace ZPIC s eventually 27

Coming Soon Supplemental Medical Review/Specialty Contractor (SMRC) Smirk?! Will do audits of DME and Part B services 28

3. ADR Letters/Prepayment Review Often imposed without formal notice Creates huge administrative burden and cash flow crisis It is critical to quickly identify the problem and correct it Prepayment review will only end when denial rate goes below a certain threshold 29

4. Suspension and Revocation Credible evidence of fraud No one at home audits/revocations Billing for services to dead people Limited appeal rights Devastating career impact from a minor error 30

5. Criminal Investigations Usually involve massive numbers of charts/services Often involve combined Medicare (federal) and Medicaid (state) personnel Situations with retired FBI/police who to pose as patients with wires on 31

Criminal Investigations Surveillance of doctors and patients Before and after photos of patients taken by FBI Interrogations of staff, patients 32

Criminal Investigations Involve immediate seizure of charts, computers, office records Possible consequences: Restitution of $ Jail time Exclusion from Medicare/Medicaid programs Loss of licensure Loss of privileges 33

Observations Government auditors and investigators often do NOT understand podiatry or podiatry coding Doctors without good counsel are sitting ducks Fraud by podiatrists is uncommon Poor recordkeeping is common 34

Limitations on Medicare Auditors Limitations on extrapolated overpayments without first educating the provider or documented high rate of error No recoupment of overpayment until second level of appeal (QIC) is completed Easier process to get extended repayment plans 35

Despite all of the above The % of doctors participating in Medicare is at an all time high: 90% % of doctors opting out of Medicare is less than 2% 36

6. Medicare Appeal Process Level Type of Appeal Time Limit Amount in Controversy 1 st Redetermination 120 days None 2 nd Reconsideration (QIC) 180 days $100 3 rd Administrative Law Judge 60 days $110 4 th Medicare Appeals Council 60 days None 5 th Federal District Court 60 days $1,090

1 st Level: Redetermination Conducted by the Medicare Carrier No hearing; just a second look by the carrier 38

2 nd Level: Reconsideration Previously known as carrier fair hearing Carrier hearing officers replaced by Qualified Independent Contractors (QIC) In-person hearings not allowed All evidence must be submitted or may not be considered at next level of appeal 39

2 nd Level: Reconsideration Providers should not be without competent counsel at this level. Less due process than before QIC is bound by LCD s, NCD s, MCM 40

3 rd Level: Administrative Law Judge ALJ s now come from HHS instead of SSA ( cadre judges are history) Telephone and video conference hearings the norm instead of in-person Medicare carrier can now participate Bound by NCD s, but not LCD s or MCM 41

Moratorium of 28 months on ALJ appeal hearings per HHS This is a disaster for providers! 42

Thoughts on Appeal System The appeals process is broken Class action suits pending over ALJ moratorium Currently a 489 day backlog to get a hearing date 43

Profile of a Problem Podiatrist (innocent type) In practice 15+ years Inexperienced or incompetent billing staff We ve always done it this way and no one has said anything

Profile of a Problem Podiatrist (innocent type) Not involved in state, local or national professional organizations (isolated and uninformed) Both overcoding and undercoding common Not aware of LCD s for geographic region 45

* WARNING * The mere fact that you have billed a code for many years (and have been paid) does not mean you are billing correctly. 46

Profile of a Problem Podiatrist (guilty type) Aggressive biller/upcoding Does not tolerate questions/concerns from staff ( my word is law ) Willful ignorance of coding rules Money oriented approach to patient care, coding and billing 47

How to Avoid Audits, Investigations and Big Overpayments 1. Implement and follow a good, written corporate compliance plan 2. Have competent, well-trained billing staff OR Use a competent 3 rd party billing service 3. Use all available resources to stay informed: Seminars and books Professional associations Codingline Colleagues 48

Impact of EHR Has caused decrease in quality of medical records Not being used properly More time consuming to do it right 49

Impact of EHR Higher risk of cloning Use of medical scribes How to document use of scribes 50

Compliance Plan Elements Compliance officer Code of conduct Covers all coding, billing, fraud & abuse areas Encourages staff to raise concerns Self-auditing (single most important element) Recordkeeping and documentation practices Superbill Progress note Claim form Forms (superbill, ABN, Medicare assignment) are these up to date? 51

If you have not done most or all of items in previous slide You are not serious about coding and billing compliance 52

Training of Staff Longevity does not necessarily equal competence CPC, CCP, credentials the ideal Seminars, training, networking, etc. Do you trust this person with your financial security and professional reputation? 53

PICA s ADC Coverage Covers Medicare, Medicaid and private insurance audits and investigations Covers revocation or suspensions New $100,000 coverage limits as of May 1 st 54

War Stories Strange but True I feel your pain I don t need no stinking search warrant Big brother is watching Who are those guys in orange vests hiding in the bushes? Everything but the kitchen sink 55

War Stories Strange but True A stimulating conversation A 40-hour day I see dead people Photocopier medical records Avulsion revulsion 56