Advanced Issues in Provider-Based Status and Under Arrangements Coverage

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Advanced Issues in Provider-Based Status and Under Arrangements Coverage Christopher Kenny King & Spalding LLP Washington, DC ckenny@kslaw.com Robert Cross Piedmont Healthcare Atlanta, GA Robert.Cross@piedmont.org South Carolina HFMA Fall Institute Charleston, SC October 23, 2014

Agenda Overview of Authorities Provider-Based Status: Advantages and Disadvantages Applicability Provider-Based Attestations Location Issues Clinical Integration Financial Integration and Billing Public Awareness and Shared Space Administrative Integration and Personnel Under Arrangements Coverage

Overview of Authorities 42 C.F.R. 413.65 2000 Preamble: 65 Fed. Reg. 18504-26 (April 7, 2000) 2002 Preamble: 67 Fed. Reg. 50078-96 (Aug. 1, 2002) Program Memorandum A-03-030 (April 18, 2003)

Provider-Based Status: Advantages and Disadvantages Advantages Increased payment amounts from Medicare (and typically Medicaid) Hospital technical charge + Physician professional fee Eligibility for 340B Drug Discount Program Inclusion in main provider payor contracts Disadvantages Increased coinsurance for beneficiaries Additional compliance expenses CoP violations at remote campus may extend to entire provider

Applicability of Provider-Based Status Applies to hospital outpatient departments and remote campuses of main provider Does not apply when there is no difference in payment (fee schedule or separate PPS) For example: ASCs, CORFs, HHAs, SNFs, Hospice, IDTFs, ESRD facilities, clinical laboratories, physical/occupational therapy clinics May be applicable for payor contracts

Provider-Based Attestation Process Program Memorandum A-03-030 Approval of an attestation is not required for provider-based billing Advantage: Peace of mind; internal discipline; if change in status, no overpayment for prior periods up to change Disadvantage: Onerous; Backlog in MAC approval process

Location Issues Provider-based department must be within 35 miles of the hospital s main campus. What constitutes the main campus?

Location Issues Difference in requirements between on-campus and off-campus departments On campus = Within 250 yards Off campus = Within 35 miles Distance measured as the crow flies What constitutes the main campus?

Location Issues Main Campus: Physical area immediately adjacent to provider s main buildings What is a main building? No CMS definition. Is a main building by definition exempt from the provider-based requirements? Logical interpretation: houses inpatient beds or significant outpatient services Urban v. Rural St. Vincent s case in New York City

Location Issues Can a provider have more than one main campus? CMS says no in comments to provider-based regulation Later, CMS says yes in comments to physician supervision rules If so, may an on campus provider-based department be within 250 yards of the remote campus? Within 35 miles for off-campus? Must pass the optics test

Location Issues Mobile Units CMS personnel have confirmed that a mobile unit may be considered provider-based if it meets all requirements of the regulation and operates within a 35-miles radius of main provider

Clinical Integration Clinical v. Admitting Privileges The regulation requires only that physicians have clinical privileges at the main provider Not necessary that physicians have admitting privileges However, patients seen at provider-based departments must have access to inpatient care at the main provider, if necessary How must reporting relationships work?

Financial Integration Is use of separate chargemasters acceptable? Can use separate chargemasters for provider-based locations and main provider Must be sure to gross up charges on cost report for the same service May a provider charge Medicare and commercial patients different amounts? Provider-based department must be held out to payors as part of the main provider Providers must bill commercial payors according to their rules Many commercial payors do not pay hospital technical fees at provider-based clinics

Financial Integration Must a hospital own the provider-based department? For off-campus provider-based sites, the hospital must own the business enterprise Business enterprise is not expressly defined, except that it is not simply the bricks and mortar Likely satisfied if hospital is booking department s income and expenses as required by regulation

Public Awareness Provider-based department held out to public and payors as part of the main hospital Patients must know they are entering a hospital department Intent is to avoid beneficiary confusion when billed for both physician and hospital coinsurance Association with a health network or system is not sufficient

Public Awareness Inherently subjective standard Safest course: ABC Clinic, a department of XYZ Hospital CMS will evaluate many forms of advertisements/notices Signage, promotional materials, patient notices, HIPAA authorizations, registration forms, websites Based on totality of circumstances Likely more flexibility for monument signage than for website

Public Awareness Shared Space Regulation does not prohibit sharing of space between provider-based department and freestanding entities CMS expressly stated in comments that it would evaluate shared space on a case-by-case basis However, CMS Central and Regional Offices interpret regulation to prohibit sharing of clinical space

Public Awareness Shared Space Time Blocks CMS position is clear that a provider-based department must be hospital space 100 percent of the time Spatial Concerns Some CMS Regional Offices require separate suite numbers, entrances/exits, registration areas, hallways More common approach is to prohibit sharing of clinical space, but to permit sharing of common areas, e.g., bathrooms, waiting rooms Important that hospital patients not pass through clinical space of freestanding entity, and vice-versa

Public Awareness Notices of Coinsurance Required at off-campus locations Likely also should be used for sites that are on-campus of remote campus Must be delivered prior to furnishing service Must include amount of beneficiary s potential liability If not known, may provide an estimate based on type of services Must be updated annually

Administrative Integration Required for off-campus sites Must have reporting relationships with same frequency, intensity and level of accountability May contract out some administrative services but under hospital control and supervision Must document oversight staff/committee meeting minutes show that personnel from provider-based department are present Regular walk-throughs of provider-based departments

Personnel Issues Must personnel be employed by the hospital? On-campus: No Off-campus: Yes, if there is a management contract Clinical personnel: nurses, medical assistants, technicians Management contract should be held in name of provider, not parent organization Presumably, not required if off-campus but no management contract Still must meet administrative integration requirements and demonstrate actual control and supervision

Under Arrangements Coverage Provider-based regulation prohibits all services in a provider-based department from being furnished under arrangements However, a hospital may bill in its own name for hospital diagnostic services furnished by a thirdparty vendor without the site qualifying as provider-based Therapeutic services must be furnished in a hospital or provider-based department

Under Arrangements Coverage Hospital cannot serve merely as a billing mechanism Hospital must exercise professional responsibility over arranged-for services CoP requires hospital Board to oversee contracted services

QUESTIONS?