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	<title>U.S. Department of Health and Human Services (HHS) Archives &#183; mTelehealth</title>
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	<title>U.S. Department of Health and Human Services (HHS) Archives &#183; mTelehealth</title>
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		<title>Calendar Year (CY) 2025 Medicare Physician Fee Schedule Final Rule</title>
		<link>https://mtelehealth.com/calendar-year-cy-2025-medicare-physician-fee-schedule-final-rule/</link>
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		<dc:creator><![CDATA[Dr. M Telehealth]]></dc:creator>
		<pubDate>Mon, 04 Nov 2024 16:34:57 +0000</pubDate>
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		<category><![CDATA[Medicare Physician Fee Schedule (MPFS)]]></category>
		<category><![CDATA[Medicare Physician Fee Schedule (PFS)]]></category>
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					<description><![CDATA[<p><img width="612" height="408" src="https://mtelehealth.com/wp-content/uploads/2023/11/Medicare-Final-Rule-2024-Key-Takeaways-for-RPM-and-RTM.jpg" class="attachment-full size-full wp-post-image" alt="" decoding="async" fetchpriority="high" srcset="https://mtelehealth.com/wp-content/uploads/2023/11/Medicare-Final-Rule-2024-Key-Takeaways-for-RPM-and-RTM.jpg 612w, https://mtelehealth.com/wp-content/uploads/2023/11/Medicare-Final-Rule-2024-Key-Takeaways-for-RPM-and-RTM-300x200.jpg 300w" sizes="(max-width: 612px) 100vw, 612px" /></p>
<p>Medicare Parts A &#38; B On November 1, 2024, the Centers for Medicare &#38; Medicaid Services (CMS) issued a rule finalizing changes for Medicare payments under the PFS and other Medicare Part B policies, effective on or after January 1, 2025.The CY 2025 PFS final rule is one of several final rules that reflect a broader [&#8230;]</p>
<p>The post <a href="https://mtelehealth.com/calendar-year-cy-2025-medicare-physician-fee-schedule-final-rule/">Calendar Year (CY) 2025 Medicare Physician Fee Schedule Final Rule</a> appeared first on <a href="https://mtelehealth.com">mTelehealth</a>.</p>
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										<content:encoded><![CDATA[<p><img width="612" height="408" src="https://mtelehealth.com/wp-content/uploads/2023/11/Medicare-Final-Rule-2024-Key-Takeaways-for-RPM-and-RTM.jpg" class="attachment-full size-full wp-post-image" alt="" decoding="async" srcset="https://mtelehealth.com/wp-content/uploads/2023/11/Medicare-Final-Rule-2024-Key-Takeaways-for-RPM-and-RTM.jpg 612w, https://mtelehealth.com/wp-content/uploads/2023/11/Medicare-Final-Rule-2024-Key-Takeaways-for-RPM-and-RTM-300x200.jpg 300w" sizes="(max-width: 612px) 100vw, 612px" /></p><!--themify_builder_content-->
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        <div class="field field--name-field-topic field--type-entity-reference field--label-hidden field__items"><div class="field__item"><a href="https://www.cms.gov/newsroom/search?search_api_language=en&amp;sort_by=field_date&amp;sort_order=DESC&amp;items_per_page=10&amp;f%5B0%5D=topic%3A231" hreflang="en" data-once="linkMatch externalLinkMatch">Medicare Parts A &amp; B</a></div></div><div class="sharethis-wrapper"> </div><div class="field field--name-body field--type-text-with-summary field--label-hidden field__item"><p>On November 1, 2024, the Centers for Medicare &amp; Medicaid Services (CMS) issued a rule finalizing changes for Medicare payments under the PFS and other Medicare Part B policies, effective on or after January 1, 2025.</p><p>The CY 2025 PFS final rule is one of several final rules that reflect a broader Administration-wide strategy to create a more equitable health care system that results in better accessibility, quality, affordability, empowerment, and innovation for all Medicare beneficiaries.</p><p><strong><u>Background on the Physician Fee Schedule</u></strong></p><p>Since 1992, Medicare payment has been made under the PFS for the services of physicians and other billing professionals. Physicians’ services paid under the PFS are furnished in a variety of settings, including physician offices, hospitals, ambulatory surgical centers (ASCs), skilled nursing facilities and other post-acute care settings, hospices, outpatient dialysis facilities, clinical laboratories, and beneficiaries’ homes. Payment is also made to several types of suppliers for technical services, most often in settings for which no institutional payment is made.</p><p>For most services furnished in an office setting, Medicare makes payments to physicians and other practitioners at a single rate based on the full range of resources involved in furnishing the service. In contrast, PFS rates paid to physicians and other billing practitioners in facility settings, such as a hospital outpatient department (HOPD) or an ASC, reflect only the portion of the resources typically incurred by the practitioner while furnishing the service.</p><p>For many diagnostic tests and a limited number of other services under the PFS, separate payment may be made for the professional and technical components of services. The technical component is frequently billed by suppliers, such as independent diagnostic testing facilities and radiation treatment centers, while the professional component is billed by the physician or practitioner.</p><p>Payments are based on the relative resources typically used to furnish the service. Relative value units (RVUs) are applied to each service for work, practice expense, and malpractice expense. These RVUs become payment rates through the application of a conversion factor. Geographic adjusters (geographic practice cost indices) are also applied to the total RVUs to account for variation in costs by geographic area. Payment rates are calculated to include an overall payment update specified by statute.</p><p><strong><u>CY 2025 PFS Rate Setting and Conversion Factor</u></strong></p><p>By factors specified in law, average payment rates under the PFS will be reduced by 2.93% in CY 2025, compared to the average amount these services were paid for most of CY 2024. The change to the PFS conversion factor incorporates the 0% overall update required by statute, the expiration of the temporary 2.93% increase in payment for CY 2024 required by statute, and a relatively small estimated 0.02% adjustment necessary to account for changes in work relative value units (RVUs) for some services. This amounts to an estimated CY 2025 PFS conversion factor of $32.35, a decrease of $0.94 (or 2.83%) from the current CY 2024 conversion factor of $33.29.</p><p><strong><u>Caregiver Training Services (CTS)</u></strong></p><p>For CY 2025, we are finalizing our proposal to establish new coding and payment for caregiver training for direct care services and supports. The topics of trainings can include, but would not be limited to, techniques to prevent decubitus ulcer formation, wound care, and infection control. We are also finalizing our proposal to establish new coding and payment for caregiver behavior management and modification training that can be furnished to the caregiver(s) of an individual patient. We are also finalizing a policy to allow these CTS to be furnished via telehealth.</p><p><strong><u>Services Addressing Health-Related Social Needs (Community Health Integration Services, Social Determinants of Health Risk Assessment, and Principal Illness Navigation Services)</u></strong></p><p>In the CY 2025 PFS proposed rule, we issued a broad request for information (RFI) on the newly implemented Community Health Integration (CHI) services, Principal Illness Navigation (PIN) services, and Social Determinants of Health (SDOH) Risk Assessment to engage interested parties on additional policy refinements for CMS to consider in future rulemaking. We requested information on other factors for us to consider, such as other types of auxiliary personnel (including clinical social workers) and other certification and training requirements that are not adequately captured in current coding and payment for these services, and how to improve utilization in rural areas. We also sought comment about how these codes are being furnished in conjunction with community-based organizations. We received many detailed comments in response to this RFI, which we summarize in the final rule and may consider for future rulemaking.</p><p><strong><u>Office/Outpatient (O/O) Evaluation and Management (E/M) Visits</u></strong></p><p>For CY 2025, we are finalizing our proposal to allow payment of the O/O E/M visit complexity add-on code, Healthcare Common Procedure Coding System (HCPCS) code G2211, when the O/O E/M base code — Current Procedural Terminology (CPT) codes 99202-99205, 99211-99215 — is reported by the same practitioner on the same day as an annual wellness visit (AWV), vaccine administration, or any Medicare Part B preventive service, including the Initial Preventive Physical Examination (IPPE), furnished in the office or outpatient setting.</p><p><strong><u>Telehealth Services under the PFS</u></strong></p><p>Absent Congressional action, beginning January 1, 2025, the statutory limitations that were in place for Medicare telehealth services prior to the COVID-19 PHE will retake effect for most telehealth services. These include geographic and location restrictions on where the services are provided, and limitations on the scope of practitioners who can provide Medicare telehealth services. However, the final rule reflects CMS’ goal to preserve some important, but limited, flexibilities in our authority, and expand the scope of and access to telehealth services where appropriate. </p><p>For CY 2025, we are finalizing our proposal to add several services to the Medicare Telehealth Services List, including caregiver training services on a provisional basis and PrEP counseling and safety planning interventions on a permanent basis. We are finalizing to continue the suspension of frequency limitations for subsequent inpatient visits, subsequent nursing facility visits, and critical care consultations for CY 2025.</p><p>We are finalizing that beginning January 1, 2025, an interactive telecommunications system may include two-way, real-time, audio-only communication technology for any Medicare telehealth service furnished to a beneficiary in their home, if the distant site physician or practitioner is technically capable of using an interactive telecommunications system, but the patient is not capable of, or does not consent to, the use of video technology.</p><p>We are finalizing that, through CY 2025, we will continue to permit distant site practitioners to use their currently enrolled practice locations instead of their home addresses when providing telehealth services from their home.</p><p>We are finalizing, for a certain subset of services that are required to be furnished under the direct supervision of a physician or other supervising practitioner, to permanently adopt a definition of direct supervision that allows the supervising physician or practitioner to provide such supervision via a virtual presence through real-time audio and visual interactive telecommunications. We are specifically finalizing to make permanent that the supervising physician or practitioner may provide such virtual direct supervision (1) for services furnished incident to a physician or other practitioner’s professional service, when provided by auxiliary personnel employed by the billing physician or supervising practitioner and working under his or her direct supervision, and for which the underlying HCPCS code has been assigned a PC/TC indicator of “5” and services described by CPT code 99211, and (2) for office or other outpatient visits for the evaluation and management of an established patient who may not require the presence of a physician or other qualified health care professional. For all other services furnished incident that require the direct supervision of the physician or other supervising practitioner, we are finalizing to continue to permit direct supervision be provided through real-time audio and visual interactive telecommunications technology only through December 31, 2025.</p><p>We are finalizing a policy to continue to allow teaching physicians to have a virtual presence for purposes of billing for services furnished involving residents in all teaching settings, but only in clinical instances when the service is furnished virtually (for example, a three-way telehealth visit, with the patient, resident, and teaching physician in separate locations) through December 31, 2025. This virtual presence will continue to meet the requirement that the teaching physician be present for the key portion of the service.</p><p><strong><u>Advanced Primary Care Management Services (APCM)</u></strong></p><p>A strong foundational primary care system is fundamental to improving health outcomes, lowering mortality, and reducing health disparities, which is why the Department of Health and Human Services <a href="https://www.hhs.gov/sites/default/files/primary-care-issue-brief.pdf" data-once="linkMatch externalLinkMatch">has been taking action</a> to strengthen primary care, including establishing coding and payment for advanced primary care management services in the CY 2025 PFS final rule.</p><p>For CY 2025, we are finalizing our proposal to establish coding and payment under the PFS for a new set of APCM services described by three new HCPCS G-codes (G0556, G0557, G0558). The finalized APCM services incorporate elements of several existing care management and communication technology-based services into a bundle of services that reflects the essential elements of the delivery of advanced primary care, including Principal Care Management, Transitional Care Management, and Chronic Care Management. However, unlike existing care management codes, there are no time-based thresholds included in the service elements, which is intended to reduce the administrative burden associated with current coding and billing. Instead, the new APCM codes are stratified into three levels based on an individual’s number of chronic conditions and status as a Qualified Medicare Beneficiary, reflecting the patient’s medical and social complexity.</p><p>Level 1 (G0556) is for persons with one chronic condition; Level 2 (G0557) is for persons with two or more chronic conditions; and Level 3 (G0558) is for persons with two or more chronic conditions and status as a Qualified Medicare Beneficiary.</p><p>This new finalized coding and payment makes use of lessons learned from the CMS Innovation Center&#8217;s testing of a series of advanced primary care models, such as Comprehensive Primary Care Plus (CPC+) and Primary Care First (PCF), to inform the service elements and practice-level capabilities of APCM services. The code requirements that we are finalizing include consent, initiating visit, 24/7 access and continuity of care, comprehensive care management, patient-centered comprehensive care plan, management of care transitions, care coordination, enhanced communication, population-level management, and performance measurement. In addition, we are finalizing that for MIPS eligible clinicians, the performance management service element can be satisfied by reporting the Value in Primary Care MIPS Value Pathway (MVP), as it was developed to include quality measures that reflect clinical actions that are indicative of high-quality primary care. Reporting for the MVP would begin in 2026 based on the 2025 performance year.</p><p>CMS received many comments recommending increased valuation of the codes, and CMS may revisit the valuation for all of these services in future rulemaking. After consideration of the comments, CMS is finalizing an increase in the valuation for the Level 1 code (HCPCS code G0556). Beginning January 1, 2025, physicians and non-physician practitioners (NPPs) who use an advanced primary care model of care delivery as described by the service elements of the APCM codes could bill for APCM services when they are the continuing focal point for all needed health care services and responsible for all the patient&#8217;s primary care services. This new finalized coding and payment better recognizes and describes advanced primary care services, encourages primary care practice transformation, helps ensure that patients have access to high quality primary care services, and simplifies billing and documentation requirements, as compared to existing care management and communication technology-based services codes. The finalized codes also represent a step towards paying for primary care services with hybrid payments (a mix of encounter and population-based payments) to support longitudinal relationships between primary care providers and beneficiaries, by paying for care in larger units of service, and also help drive accountable care. A practitioner who is participating in a Shared Savings Program ACO, a Realizing Equity, Access, and Community Health ACO (REACH ACO), a Primary Care First practice, or a Making Care Primary practice may satisfy requirements for these codes by virtue of meeting requirements under the Shared Savings Program or Innovation Center model.</p><p>We sought comment from interested parties through an Advanced Primary Care Hybrid Payment RFI on whether and how we should consider additional payment policies that recognize the delivery of advanced primary care services, and we will take these comments into consideration for future rulemaking.</p><p><strong><u>Cardiovascular Risk Assessment and Management</u></strong></p><p>The CMS Innovation Center tested the Million Hearts® Model, which coupled payments for cardiovascular risk assessment with cardiovascular care management, and <a href="https://www.cms.gov/priorities/innovation/data-and-reports/2023/mhcvdrrm-finalannevalrpt" data-once="linkMatch externalLinkMatch">was found</a> to reduce the rate of death by lowering heart attacks and strokes among Medicare Fee-for-Service beneficiaries. In order to incorporate these lessons learned and increase access to these lifesaving interventions, beginning with CY 2025, we are finalizing coding and payment for an Atherosclerotic Cardiovascular Disease (ASCVD) risk assessment service and risk management services. The ASCVD risk assessment will be performed in conjunction with an E/M visit when a practitioner identifies a patient at risk for CVD who does not have a diagnosis of CVD. The standardized, evidence-based risk assessment tool used includes demographic data (e.g., age, sex), modifiable risk factors for CVD (e.g., blood pressure &amp; cholesterol control, smoking status/history, alcohol and other drug use, physical activity and nutrition, obesity), possible risk enhancers (e.g., pre-eclampsia), and laboratory data (lipid panel), and the output must include a 10-year estimate of the patient’s ASCVD risk. We are also finalizing coding and payment for ASCVD risk management services that include service elements related to the ABCS of CVD risk reduction (aspirin, blood pressure management, cholesterol management, smoking cessation) for beneficiaries at intermediate, medium, or high risk in the next 10 years for CVD.</p><p><strong><u>Behavioral Health Services </u></strong></p><p>In this rule, CMS is finalizing several additional actions to help support access to behavioral health, in line with the <a href="https://www.cms.gov/cms-behavioral-health-strategy" data-once="linkMatch externalLinkMatch">CMS Behavioral Health Strategy</a>.</p><p>Several studies have demonstrated that safety planning, when properly performed, can help prevent suicide. For CY 2025, we are finalizing separate coding and payment under the PFS describing safety planning interventions for patients in crisis, including those with suicidal ideation or at risk of suicide or overdose. Specifically, we are finalizing payment for a G-code<strong> </strong>that may be billed in 20-minute increments when safety planning interventions are personally performed by the billing practitioner in a variety of settings. Additionally, we are finalizing payment for a monthly billing code that requires specific protocols in furnishing post-discharge follow-up contacts that are performed in conjunction with a discharge from the emergency department for a crisis encounter, as a bundled service describing four calls in a month.</p><p>To further support access to psychotherapy, CMS worked with the U.S. Food &amp; Drug Administration (FDA) and is also finalizing Medicare payment for digital mental health treatment devices, cleared under section 510(k) of the Federal Food, Drug and Cosmetic Act or granted de no novo authorization by FDA and classified under 21 CFR 882.580 furnished incident to professional behavioral health services, used in conjunction with ongoing behavioral health care treatment under a behavioral health treatment plan of care. CMS is finalizing three new HCPCS codes to describe these services and will monitor how digital mental health treatment devices are used as part of overall behavioral health care. We are also finalizing six G codes, to be billed by practitioners in specialties whose covered services are limited by statute to services for the diagnosis and treatment of mental illness (including clinical psychologists, clinical social workers, marriage and family therapists, and mental health counselors), that mirror current interprofessional consultation CPT codes used by practitioners who are eligible to bill E/M visits.</p><p>Lastly, we summarize comments received from the comment solicitation on coding and payment for Intensive Outpatient Program (IOP) services under the PFS, as well as Certified Community Behavioral Health Clinics (CCBHCs) and facilities that offer crisis stabilization services and non-emergent, urgent care. We will take these comments into consideration for future rulemaking.</p><p><strong><u>Opioid Treatment Programs (OTPs)</u></strong></p><p>CMS is finalizing several telecommunication technology flexibilities for opioid use disorder (OUD) treatment services furnished by OTPs, so long as all requirements are met, and the use of these technologies are permitted under the applicable Substance Abuse and Mental Health Services (SAMHSA) and the Drug Enforcement Administration (DEA) requirements at the time the services are furnished. First, CMS is making permanent the current flexibility for furnishing periodic assessments via audio-only telecommunications beginning January 1, 2025, so long as all other applicable requirements are met. Second, CMS is allowing the OTP intake add-on code to be furnished via two-way audio-video communications technology when billed for the initiation of treatment with methadone (using HCPCS code G2076) if the OTP determines that an adequate evaluation of the patient can be accomplished via an audio-visual telehealth platform. We believe these telecommunication flexibilities will meaningfully promote access to care for populations that often face barriers to entering and participating in OUD treatment and allow OTPs and their patients to mutually agree on the best modality for receiving care.</p><p>CMS is also finalizing payment increases in response to recent regulatory reforms for OUD treatment finalized by SAMHSA at 42 CFR part 8. Specifically, CMS is updating payment for SDOH risk assessments as part of intake activities within OUD treatment services furnished by OTPs, if medically reasonable and necessary to adequately reflect additional effort for OTPs, to identify a patient’s unmet health-related social needs (HRSNs) or the need and interest for harm reduction interventions and recovery support services that are critical to the treatment of an OUD. After consideration of public comments, CMS is also updating payment for periodic assessments to include payment for SDOH risk assessments to reflect additional reassessments that OTPs may conduct throughout treatment, to monitor potential changes in a patient’s HRSNs or support services. We believe these updates will help OTPs address key issues, during initial and periodic assessments, that may increase the risk of a patient leaving OUD treatment prematurely or that pose barriers to treatment engagement.</p><p>In the proposed rule, CMS requested information to understand how OTPs currently coordinate care and make referrals to community-based organizations that address unmet HRSNs, provide harm reduction services, and/or offer recovery support services. After receiving detailed, supportive comments of these integral activities in OTP settings, CMS is finalizing new add-on codes to account for coordinated care and referral services, patient navigational services, and peer recovery support services. Establishing payment for these services can support OTPs in coordinating with community-based organizations to address various patient needs across the continuum of care, and directly provide or refer patients to navigational and/or peer recovery support services to assist patients in navigating multiple care settings and meeting MOUD treatment and recovery goals.</p><p>CMS is finalizing payment for new opioid agonist and antagonist medications approved by the FDA. First, CMS is finalizing a new add-on code for nalmefene hydrochloride nasal spray, indicated for the emergency treatment of known or suspected opioid overdose. CMS is also finalizing payment for a new injectable buprenorphine product via (1) a new weekly bundled payment code for the weekly formulation of the new injectable buprenorphine product, and (2) including payment for the monthly formulation of the new injectable buprenorphine product into the existing code for monthly injectable buprenorphine. </p><p>Lastly, CMS is clarifying a billing requirement that OTPs must append an OUD diagnosis code on claims for OUD treatment services, consistent with Medicare coverage and payment provisions under the Social Security Act.</p><p><strong><u>Hospital Inpatient or Observation (I/O) Evaluation and Management (E/M) Add-On for Infectious Diseases</u></strong></p><p>For CY 2025, we are finalizing a new HCPCS add-on code to describe the intensity and complexity inherent to hospital inpatient or observation care, associated with a confirmed or suspected infectious disease, performed by a practitioner with specialized training in infectious diseases. The new HCPCS add-on code describes service elements, including disease transmission risk assessment and mitigation, public health investigation, analysis, and testing, and complex antimicrobial therapy counseling and treatment.</p><p><strong><u>Strategies for Improving Global Surgery Payment Accuracy</u></strong></p><p>For CY 2025, we are finalizing a policy to broaden the applicability of the transfer of care modifier 54, for all 90-day global surgical packages (global packages), in any case when a practitioner expects to furnish only the surgical procedure portion of the global package, including but not limited to when there is a formal, documented transfer of care as under current policy or an informal, non-documented but expected, transfer of care.</p><p>This finalized policy will improve payment accuracy for these 90-day global package services and is expected to inform CMS about how global package services are typically furnished. For CY 2025, we are also finalizing a new add-on code, HCPCS code G0559, for post-operative care services furnished by a practitioner other than the one who performed the surgical procedure (or another practitioner in the same group practice). This add-on code will more appropriately reflect the time and resources involved in these post-operative follow-up visits by practitioners who were not involved in furnishing the surgical procedure.</p><p><strong><u>Supervision Policy for Physical Therapists (PTs) and Occupational Therapists (OTs) in Private Practice</u></strong></p><p>For CY 2025, we are finalizing a regulatory change to allow for general supervision of physical therapist assistants (PTAs) and occupational therapy assistants (OTAs) by PTs in private practice (PTPPs) and OTs in private practice (OTPPs) for all applicable physical and occupational therapy services. This finalized change will give PTPPs and OTPPs more flexibility in meeting the needs of beneficiaries and safeguard patient access to medically necessary therapy services, including those experiencing challenges accessing these services in rural and underserved areas, and it will align with general supervision of PTAs and OTAs by PTs and OTs who work in institutional providers.</p><p><strong><u>Certification of Therapy Plans of Treatment with a Physician or NPP Order</u></strong></p><p>For CY 2025, CMS is finalizing amendments to the certification regulations to lessen the administrative burden for therapists (PTs, OTs, and speech-language pathologists (SLPs)) and physician/NPPs. These changes will provide an exception to the physician/NPP signature requirement on the therapist-established treatment plan for purposes of the initial certification, in cases where a written order or referral from the patient’s physician/NPP is on file and the therapist has documented evidence that the treatment plan was transmitted to the physician/NPP within 30 days of the initial evaluation. CMS also solicited comment, as suggested by interested parties, as to the need for a regulation to address the amount of time during which the physician/NPP who signed the written order for therapy services could make changes to the therapist-established treatment plan by contacting the therapist directly, but CMS did not adopt such a timeline restriction. Instead, CMS clarified that, for the cases meeting the exception to the signature requirement policy, payment should be made available for any therapy services furnished prior to a physician/NPP-modified treatment plan if all payment requirements are met. The comment solicitation as to whether there should be a 90-day (or other) limit to the physician/NPP order extending from the order date to the first date of treatment/evaluation by the therapist did not result in a policy being adopted by CMS.</p><p><strong><u>Dental and Oral Health Services</u></strong></p><p>We are finalizing our proposal to amend our regulations, at § 411.15(i)(3), to add to the list of clinical scenarios under which FFS Medicare payment may be made for dental services inextricably linked to covered services, to include: (1) dental or oral examination in the inpatient or outpatient setting prior to, or contemporaneously with, Medicare-covered dialysis services for the treatment of end-stage renal disease and (2) medically necessary diagnostic and treatment services to eliminate an oral or dental infection prior to, or contemporaneously with, Medicare-covered dialysis services for the treatment of end-stage renal disease. Interested parties have suggested that we should focus on this patient population and have submitted clinical evidence describing the links between dental and oral health and dialysis for beneficiaries with end-stage renal disease through our established public submissions process.</p><p>CMS also solicited comment on the potential connection between dental services and covered services used in the treatment of diabetes, and covered services for individuals with autoimmune diseases receiving immunosuppressive therapies, as well as requesting any additional evidence regarding covered services for sickle cell disease and hemophilia. We received many comments, which we considered and continue to engage with interested parties in clarifying definitions. We remain committed to exploring the inextricable link between dental and medical services associated with these chronic conditions.</p><p>CMS is also finalizing two policies related to billing of dental services inextricably linked to covered services. Effective July 1, 2025, we will require the submission of the KX modifier on claims for dental services that clinicians believe to be inextricably linked to covered medical services. We believe that the required usage of the KX modifier will support claims processing and program integrity efforts and that the delay provides time for any testing and education needed for implementation.</p><p>CMS is also finalizing our proposal to require the submission of a diagnosis code on the 837D dental claims format beginning July 1, 2025. Both the statute and our regulations require the submission of a diagnosis code on claims for physician services. However, this requirement has not been specifically addressed in the context of the 837D dental claims format. Therefore, we are finalizing that a diagnosis code will be required on claims for dental services inextricably linked to covered medical services submitted via the 837D dental claims format.</p><p><strong><u>Drugs and Biological Products Paid Under Medicare Part B</u></strong></p><p><strong>Requiring Manufacturers of Certain Single-dose Container or Single-use Package Drugs to Provide Refunds with Respect to Discarded Amounts</strong></p><p>In rulemaking over the last few years, we finalized many policies to implement section 90004 of the Infrastructure Investment and Jobs Act, which established a refund for discarded amounts of certain single-dose container or single-use package drugs under Part B. We are finalizing clarifications to several policies implemented in the CY 2023 and CY 2024 PFS final rules, including: exclusions of drugs, for which payment has been made under Part B for fewer than 18 months, from the definition of refundable single-dose container or single-use package drug, and identifying single-dose containers. We are also finalizing a requirement that the JW modifier must be used if a billing supplier is not administering a drug, but there are amounts discarded during the preparation process before supplying the drug to the patient. Finally, we are finalizing that skin substitutes will not be included in the identification of refundable drugs for the calendar quarters in 2025.</p><p><strong>Approach to Payment Limit Calculations when Negative or Zero Average Sales Price (ASP) Data Is Reported to CMS</strong></p><p>CMS is finalizing an approach to how it will calculate payment limits when manufacturers report negative or zero ASP data to CMS. Generally, we are finalizing a policy that negative and zero ASP data is considered “not available” under section 1847A(c)(5)(B) of the Act and that positive ASP data is considered available. The finalized policies to determine a payment limit when ASP data is not available vary based on factors about the drug or biological, such as whether the drug is single source or multiple source; whether some, but not all National Drug Codes (NDCs) for a billing and payment code have a negative or zero ASP data, or all NDCs for a billing and payment code have a negative or zero ASP data; and whether relevant applications for all NDCs for a billing and payment code have a marketing status of discontinued.</p><p>Altogether, CMS is finalizing its policies for calculating the payment limit when a manufacturer reports negative or zero ASP data for a drug, with a modification relating to biosimilars, such that the finalized payment limit calculation will use the biosimilar’s own, most recently available, positive manufacturer’s ASP data.</p><p><strong>Payment for Radiopharmaceuticals in the Physician Office Setting</strong></p><p>In an effort to provide clarity on which methodologies are available to Medicare Administrative Contractors (MACs) for pricing of radiopharmaceuticals in the physician office setting, CMS is finalizing a clarification that, for radiopharmaceuticals furnished in a setting other than a hospital outpatient department, MACs shall determine payment limits for radiopharmaceuticals based on any methodology used to determine payment limits for radiopharmaceuticals in place on or prior to November 2003. Such methodology may include, but is not limited to, the use of invoice-based pricing.</p><p><strong>Immunosuppressive Therapy</strong></p><p>Because some people rely on compounded immunosuppressive drugs for maintenance therapy, we are finalizing revisions to regulations to include certain compounded formulations of FDA-approved drugs that have approved immunosuppressive indications in the immunosuppressive drug benefit, or for use in conjunction with immunosuppressive drugs, or that have been determined by a MAC to be reasonable and necessary to prevent or treat rejection of a transplanted organ or tissue. Specifically, we are finalizing inclusion of certain compounded formulations that are orally or enterally administered. In addition, we are finalizing two changes regarding supplies of immunosuppressive drugs to align with current standards of practice and reduce barriers to medication adherence: to allow payment of a supplying fee for a prescription of a supply of up to 90 days and to allow payment for refills of prescriptions for these immunosuppressive drugs.</p><p><strong>Blood Clotting Factors</strong></p><p>Blood clotting factor treatments are covered under Medicare Part B, whether the treatment is self-infused or provided in the physician office setting. Clotting factor furnishing fees are paid when self-infused products are furnished to beneficiaries. In contrast, when clotting factor is administered in health care settings, administration fees are paid, reflecting the resources involved in administering the product.</p><p>Additionally, gene therapies have recently been FDA-approved for the treatment of hemophilia. These gene therapies for hemophilia are not administered by the patient in his or her home, but rather are typically administered via a one-time, single dose intravenous infusion in a setting where personnel and equipment are immediately available to treat infusion-related reactions. These gene therapies treating hemophilia are not clotting factors themselves; rather, they are genetic treatments that enable the body to produce its own clotting factors. Because gene therapies are not themselves clotting factors, they are not eligible for the clotting factor furnishing fee. We note that they are eligible for the administration fee. We also clarify this policy in this final rule.</p><p>Accordingly, we are finalizing an update to regulatory text to clarify existing CMS policy that blood clotting factors must be self-administered and must not be therapies that enable the body to produce clotting factors and do not directly integrate into coagulation cascade to be considered clotting factors for which the furnishing fee applies.</p><p><strong><u>Rural Health Clinics (RHCs) and Federally Qualified Health Centers (FQHCs)</u></strong> </p><p><strong>Care Coordination Services in RHCs and FQHCs</strong></p><p>We are finalizing several changes related to reporting care coordination services in RHCs and FQHCs to better align payment to RHCs and FQHCs for these services with other entities furnishing similar care coordination. Specifically, we are finalizing with a modification to our proposal, a policy that, starting in 2025, RHCs and FQHCs will report the individual CPT and HCPCS codes that describe care coordination services instead of the single HCPCS code G0511. We are also allowing for a transition period of six-months, to at least until July 1, 2025, to enable those RHCs/FQHCs to be able to update their billing systems. We are also finalizing a policy that permits billing of the add-on codes associated with these services. This will improve payment accuracy for RHCs and FQHCs when furnishing these services and will allow beneficiaries to better understand which services (generally not furnished face-to-face) they are receiving. For 2025, we are also adopting the coding and policies regarding APCM services for RHC and FQHC payments. Under these finalized rules, payments to RHCs and FQHCs would be made at the national, non-facility, PFS amounts when the individual code is on an RHC or FQHC claim, either alone or with other payable services and payment rates. We would pay for these services in addition to the RHC All-Inclusive Rate (AIR) or FQHC prospective payment system (PPS). Payment rates would be updated annually based on the PFS amounts for these codes. RHCs and FQHCs, not eligible for MIPS, are not required to report the Value in Primary Care MVP to meet the performance measurement requirement. </p><p>We also sought comment on the payment policy for care coordination services, to gather feedback on how we can improve the transparency and predictability regarding which HCPCS codes are eligible for this policy, and we plan to evaluate the comments received for potential future rulemaking.</p><p><strong>Telecommunication Services in RHCs and FQHCs</strong></p><p>We are finalizing a policy clarification to continue to allow direct supervision via interactive audio and video telecommunications and to extend the definition of “immediate availability” as including real-time audio and visual interactive telecommunications (excluding audio-only) through December 31, 2025. We are also finalizing a policy to allow payment, on a temporary basis, for non-behavioral health visits furnished via telecommunication technology under the methodology that has been in place for these services during and after the COVID-19 PHE through December 31, 2024. Specifically, under our finalized policy, RHCs and FQHCs can continue to bill for RHC and FQHC services furnished using telecommunication technology by reporting HCPCS code G2025 on the claim, including services furnished using audio-only communications technology through December 31, 2025. For payment for non-behavioral health visits furnished via telecommunication technology in CY 2025, we will calculate the payment amount based on the average amount for all PFS telehealth services on the telehealth list, weighted by volume for those services reported under the PFS.</p><p>We are finalizing a continued policy to delay the in-person visit requirement for mental health services furnished via communication technology by RHCs and FQHCs to beneficiaries in their homes until January 1, 2026.</p><p><strong>Intensive Outpatient Program Services (IOP) in RHCs and FQHCs</strong></p><p>We are finalizing a new payment rate when four or more services per day in the RHC and FQHC setting, in addition to the current payment amount based on only three services. We are also aligning the four or more IOP services per day payment rate with the same payment rate for four or more IOP services in hospital outpatient departments, which will be updated annually.</p><p><strong>Payment for Preventive Vaccine Costs in RHCs and FQHCs</strong></p><p>We are allowing RHCs and FQHCs to bill and be paid for Part B preventive vaccines and their administration at the time of service. We are finalizing that payments for these claims will be made according to Part B preventive vaccine payment rates in other settings, to be annually reconciled with the facilities’ actual vaccine costs on their cost reports. Due to the operational systems changes needed to facilitate payment through claims, we are finalizing that RHCs and FQHCs begin billing for preventive vaccines and their administration at the time of service, effective for dates of service beginning on or after July 1, 2025. The intent of this policy is to improve the timeliness of payment for critical preventive vaccine administration in RHCs and FQHCs.</p><p><strong>Clarification for Dental Services Furnished in RHCs and FQHCs</strong></p><p>We are clarifying that when RHCs and FQHCs furnish dental services inextricably linked to other covered medical services we would consider those services to be RHC and FQHCs services and paid under the RHC AIR methodology and FQHC PPS, respectively. We are also aligning operational requirements, including the submission of the KX modifier effective July 1, 2025. Finally, we clarify that a dental service can be billed separately from a medical visit provided on the same day, provided the dental service is inextricably linked to other covered medical services.</p><p><strong>RHC Productivity Standards</strong></p><p>RHCs are currently subject to productivity standards that can impact the AIR, if the productivity standards are not met. Productivity standards were first established in 1978 and updated in 1982 to help determine the average cost per patient for Medicare payment in RHCs as a cost control mechanism. Section 130 of the CAA, 2021, restructured the payment limits for RHCs beginning April 1, 2021. We believe that the productivity standards are outdated and redundant with the CAA, 2021 provisions; therefore, we are finalizing to remove these standards effective for cost reporting periods beginning on or after January 1, 2025.</p><p><strong>Rebasing and Revising of the FQHC Market Basket</strong></p><p>Approximately every four years, CMS rebases and revises the FQHC market basket used to update FQHC PPS payments to reflect more recent data on FQHC cost structures. CMS last rebased and revised the FQHC market basket in the CY 2021 PFS rule, where CMS adopted a 2017-based FQHC market basket. For CY 2025, CMS is finalizing to rebase and revise the FQHC market basket to reflect a 2022 base year and include changes to the market basket cost weights and price proxies. We are also finalizing to continue to apply a productivity adjustment to the 2022-based FQHC market basket percentage increase.</p><p>The final CY 2025 FQHC market basket update is 3.4%. This reflects a 4.0% increase in the 2022-based FQHC market basket, reduced by a 0.6 percentage point productivity adjustment.</p><p><strong>RHC Conditions for Certification</strong></p><p>CMS is finalizing changes to the RHC Conditions for Certification to increase flexibility and decrease provider burden, while also improving access to services for patients. Specifically, CMS is finalizing the proposal to explicitly require that RHCs must provide primary care services rather than being “primarily engaged” in furnishing these services, as indicated in the subregultory guidance. The revised language more closely aligns with the intent of the statute while also preserving access to primary care services in communities served by RHCs.</p><p>Additionally, CMS is finalizing the removal of “hemoglobin and hematocrit (H&amp;H)” and “examination of stool specimens for occult blood” from the list of laboratory services that RHCs must perform directly in the regulatory text. By finalizing the removal of these requirements, CMS anticipates facilities will see a decrease in the burden associated with purchasing and maintaining the laboratory equipment and having qualified staff needed to process these tests. Alleviating these burdens will allow RHCs to focus their resources on the other services they provide, thereby, improving overall efficiency and patient care. Lastly, CMS is also finalizing updates to the regulations text for laboratory tests in RHCs to reflect modern lab techniques.</p><p><strong><u>Ambulance Fee Schedule Reimbursement for Prehospital Blood Transfusion (PHBT)</u></strong></p><p>For CY 2025, we are finalizing our proposal to modify the definition of ALS2 at §414.605 by adding the administration of PHBT, which now includes low titer O+ and O- whole blood transfusion therapy (WBT), packed red blood cells (PRBCs), plasma, or a combination of PRBCs and plasma. A ground ambulance transport that provides one of these PHBTs would itself constitute an ALS2 level transport.</p><p><strong><u>Medicare Part B Payment for Preventive Services</u></strong></p><p>For CY 2025, we are addressing two issues related to coverage and payment of the hepatitis B vaccine and its administration under Part B. Hepatitis B is a vaccine-preventable, communicable disease of the liver. In this final rule, we are expanding coverage of hepatitis B vaccinations to include individuals who have not previously received a completed hepatitis B vaccination series or whose vaccination history is unknown. This policy expansion will help protect Medicare beneficiaries from acquiring hepatitis B infection and contribute to eliminating viral hepatitis as a viral health threat in the United States.</p><p>In this rule, we clarify that a physician’s order will no longer be required for the administration of a hepatitis B vaccine under Part B, which will facilitate roster billing by mass immunizers for hepatitis B vaccine administration. Additionally, we are finalizing a policy to set payment for hepatitis B vaccines and their administration at 100% of reasonable cost in RHCs and FQHCs, separate from payment under the FQHC PPS or the RHC All-Inclusive Rate (AIR) methodology, in order to streamline payment for all Part B vaccines in those settings.</p><p>We are also finalizing a fee schedule for Drugs Covered as Additional Preventive Services (DCAPS drugs), per section 1833(a)(1)(W)(ii) of the Act. CMS has not yet covered or paid for any drugs under the benefit category of additional preventive services. CMS is finalizing policies that specify how a payment limit will be determined for DCAPS drugs. That is, we will set a payment limit according to the ASP methodology set forth in section 1847A of the Act when ASP data is available and will use alternative payment mechanisms for calculating payment limits for DCAPS drugs if ASP data is not available. We are also finalizing that we will set payment limits for the supplying and administration of DCAPS drugs that are similar to those fees for drugs paid in accordance with the ASP methodology set forth in section 1847A of the Act. Finally, we will use this same fee schedule for DCAPS drugs and any administration and supplying fee when those services are provided in RHCs and FQHCs. In RHCs and FQHCs, DCAPS drugs and any administration and supplying fee will be paid at 100% of the Medicare payment amount and will be paid on a claim-by-claim basis.  </p><p>On September 30, 2024, CMS released a national coverage determination(NCD) for Pre-Exposure Prophylaxis (PrEP) to Prevent Human Immunodeficiency Virus (HIV), which established coverage of HIV PrEP drugs under Part B as additional preventive services. PrEP for HIV drugs will therefore be paid under the DCAPS fee schedule effective January 1, 2025. More information can be found at <a href="https://www.cms.gov/medicare/coverage/prep" data-once="linkMatch externalLinkMatch">https://www.cms.gov/medicare/coverage/prep</a>.</p><p><strong><u>Expand Colorectal Cancer Screening</u></strong></p><p>We are finalizing an update and expansion of coverage of colorectal cancer (CRC) screening. We are removing coverage of barium enema as a method of screening because this service is rarely used in Medicare and is no longer recommended as an evidence-based screening method. We are also expanding coverage for CRC screening to include computed tomography colonography (CTC). Finally, we are adding Medicare covered blood-based biomarker CRC screening tests as part of the continuum of screening. Like stool-based CRC screening tests, which are already in the definition of a “complete CRC Screening,” a blood-based biomarker test with a positive result will lead to a follow-on screening colonoscopy (with no beneficiary cost-sharing). We are also revising the regulation text to clarify that CRC screening frequency limitations do not apply to the follow-on screening colonoscopy in the context of “complete CRC screening.” These actions will promote access and remove barriers for much needed cancer prevention and early detection within rural communities and communities of color that are especially impacted by the incidence of CRC.</p><p><strong><u>Medicare Prescription Drug Inflation Rebate Program</u></strong></p><p>The Inflation Reduction Act of 2022 (IRA) (Pub. L. 117–169, enacted August 16, 2022) established new requirements under which drug companies must pay inflation rebates if they raise their prices for certain Part B and Part D drugs faster than the rate of inflation. In this final rule, CMS is codifying policies established in the revised guidance for the Medicare Part B Drug Inflation Rebate Program and Medicare Part D Drug Inflation Rebate Program<a title="" href="https://www.cms.gov/newsroom/fact-sheets/calendar-year-cy-2025-medicare-physician-fee-schedule-final-rule#_ftn1" data-once="linkMatch externalLinkMatch"><sup>[1]</sup></a> collectively referred to as the “Medicare Prescription Drug Inflation Rebate Program.” Additionally, CMS is finalizing policies that include, but are not limited to, the following:</p><ul><li>Establishing the method and process for reconciliation of a rebate amount for Part B and Part D rebatable drugs, including the circumstances that may trigger such a reconciliation.</li><li>Establishing a civil money penalty process for when a manufacturer of a Part B rebatable drug or Part D rebatable drug fails to pay the rebate amount in full by the payment deadline for such drug, for such applicable calendar quarter or applicable period, respectively.</li><li>Clarifying rebate calculations for Part B and Part D rebatable drugs in specific circumstances, including exclusion of Part B units of single-dose container or single-use package drugs subject to discarded drug refunds.</li></ul><p>CMS also stated in the final rule that it will explore establishing a Medicare Part D claims data repository to comply with the statutory obligation for removal of 340B units from Part D drug inflation rebate calculations, starting January 1, 2026. CMS plans to continue exploring the development of detailed policies and requirements related to any such repository for future rulemaking, related to this topic and the exclusion of 340B units, starting January 1, 2026.</p><p><strong><u>Electronic Prescribing for Controlled Substances (EPCS) for a Covered Part D Drug Under a Prescription Drug Plan or a Medicare Advantage Prescription Drug Plan</u></strong></p><p>We are finalizing our proposal to extend the date after which prescriptions written for a beneficiary in a long-term care (LTC) facility would be included in determining the CMS EPCS Program compliance, from January 1, 2025, to January 1, 2028, and that related non-compliance actions would commence on or after January 1, 2028. EPCS improves prescriber workflow, thus, it reduces prescriber burden and increases patient safety. We are aligning CMS EPCS Program compliance calculations to the date by which the new NCPDP SCRIPT standard version 2023011, which includes three-way communication functionality that improves communication between pharmacies and LTC facilities, is required for prescribers when electronically transmitting prescriptions and prescription-related information for covered Part D drugs for Part D eligible individuals.</p><p class="text-align-center">###</p><div><hr /><div id="ftn1"><p><a title="" href="https://www.cms.gov/newsroom/fact-sheets/calendar-year-cy-2025-medicare-physician-fee-schedule-final-rule#_ftnref1" data-once="linkMatch externalLinkMatch">[1]</a> Medicare Part B Drug Inflation Rebate Revised Guidance: <a href="https://www.cms.gov/files/document/medicare-part-b-inflation-rebate-program-revised-guidance.pdf" data-once="linkMatch externalLinkMatch"><em>https://www.cms.gov/files/document/medicare-part-b-inflation-rebate-program-revised-guidance.pdf</em></a>; Medicare Part D Drug Inflation Rebate Revised Guidance: <a href="https://www.cms.gov/files/document/medicare-part-d-inflation-rebate-program-revised-guidance.pdf" data-once="linkMatch externalLinkMatch"><em>https://www.cms.gov/files/document/medicare-part-d-inflation-rebate-program-revised-guidance.pdf</em></a> collectively referred to as the “revised guidance.” These revised guidance documents, published December 14, 2023, implemented policies relating to the Medicare Prescription Drug Inflation Rebate Program for 2022, 2023, and 2024. CMS also published guidance on the use of the 340B modifier to report separately payable Part B drugs and biologicals acquired under the 340B program (Revised Part B Inflation Rebate Guidance: Use of the 340B Modifier, <a href="https://www.cms.gov/files/document/revised-part-b-inflation-rebate-340b-modifier-guidance.pdf" data-once="linkMatch externalLinkMatch"><em>https://www.cms.gov/files/document/revised-part-b-inflation-rebate-340b-modifier-guidance.pdf</em></a>.</p></div></div></div>    </div>
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		<title>Enforcement Policy for Non-Invasive Remote Monitoring Devices Used To Support Patient Monitoring; Guidance for Industry and Food and Drug Administration Staff</title>
		<link>https://mtelehealth.com/enforcement-policy-for-non-invasive-remote-monitoring-devices-used-to-support-patient-monitoring-guidance-for-industry-and-food-and-drug-administration-staff/</link>
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		<dc:creator><![CDATA[Dr. M. Rosen]]></dc:creator>
		<pubDate>Tue, 21 Nov 2023 19:36:33 +0000</pubDate>
				<category><![CDATA[Blog]]></category>
		<category><![CDATA[COVID-19 - Coronavirus]]></category>
		<category><![CDATA[Public Health Emergency (PHE)]]></category>
		<category><![CDATA[Remote Patient Monitoring]]></category>
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		<title>117TH CONGRESS 1ST SESSION</title>
		<link>https://mtelehealth.com/117th-congress-1st-session/</link>
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		<dc:creator><![CDATA[Dr. M. Rosen]]></dc:creator>
		<pubDate>Sat, 02 Sep 2023 13:50:31 +0000</pubDate>
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		<title>Telehealth Flexibilities Continue After End of COVID-19 Emergency</title>
		<link>https://mtelehealth.com/telehealth-flexibilities-continue-after-end-of-covid-19-emergency/</link>
					<comments>https://mtelehealth.com/telehealth-flexibilities-continue-after-end-of-covid-19-emergency/#respond</comments>
		
		<dc:creator><![CDATA[Dr. M. Rosen]]></dc:creator>
		<pubDate>Tue, 06 Jun 2023 17:01:31 +0000</pubDate>
				<category><![CDATA[Blog]]></category>
		<category><![CDATA[CARES ACT]]></category>
		<category><![CDATA[Consolidated Appropriations Act (CAA)]]></category>
		<category><![CDATA[COVID-19 - Coronavirus]]></category>
		<category><![CDATA[Drug Enforcement Agency (DEA)]]></category>
		<category><![CDATA[Public Health Emergency (PHE)]]></category>
		<category><![CDATA[Substance Abuse and Mental Health Services Administration (SAMHSA)]]></category>
		<category><![CDATA[Telehealth]]></category>
		<category><![CDATA[U.S. Department of Health and Human Services (HHS)]]></category>
		<guid isPermaLink="false">https://mtelehealth.com/?p=41544</guid>

					<description><![CDATA[<p><img width="635" height="353" src="https://mtelehealth.com/wp-content/uploads/2021/01/HHS-invests-8-million-to-address-gaps-in-rural-telehealth-through-the-Telehealth-Broadband-Pilot-Program.jpg" class="attachment-full size-full wp-post-image" alt="" decoding="async" srcset="https://mtelehealth.com/wp-content/uploads/2021/01/HHS-invests-8-million-to-address-gaps-in-rural-telehealth-through-the-Telehealth-Broadband-Pilot-Program.jpg 635w, https://mtelehealth.com/wp-content/uploads/2021/01/HHS-invests-8-million-to-address-gaps-in-rural-telehealth-through-the-Telehealth-Broadband-Pilot-Program-300x167.jpg 300w" sizes="(max-width: 635px) 100vw, 635px" /></p>
<p>Tuesday, June 6, 2023 Telehealth experienced massive growth during the COVID-19 pandemic, due in no small part to various regulatory and reimbursement policies that federal agencies implemented following a declaration by the US Department of Health and Human Services (HHS) in early 2020 that the COVID-19 pandemic was a public health emergency (PHE). Although the [&#8230;]</p>
<p>The post <a href="https://mtelehealth.com/telehealth-flexibilities-continue-after-end-of-covid-19-emergency/">Telehealth Flexibilities Continue After End of COVID-19 Emergency</a> appeared first on <a href="https://mtelehealth.com">mTelehealth</a>.</p>
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<p>Tuesday, June 6, 2023</p>



<p>Telehealth experienced massive growth during the COVID-19 pandemic, due in no small part to various regulatory and reimbursement policies that federal agencies implemented following a declaration by the US Department of Health and Human Services (HHS) in early 2020 that the COVID-19 pandemic was a public health emergency (PHE). Although the PHE officially ended on May 11, 2023, several telehealth flexibilities remain available to health care providers and their patients.</p>



<p>On the cusp of&nbsp;<a href="https://www.hhs.gov/about/news/2023/05/09/fact-sheet-end-of-the-covid-19-public-health-emergency.html?utm_source=news-releases-email&amp;utm_medium=email&amp;utm_campaign=may-15-2023">the PHE&#8217;s termination</a>, HHS issued a&nbsp;<a href="https://www.hhs.gov/about/news/2023/05/10/hhs-fact-sheet-telehealth-flexibilities-resources-covid-19-public-health-emergency.html?utm_source=news-releases-email&amp;utm_medium=email&amp;utm_campaign=may-15-2023">fact sheet</a>&nbsp;on May 10, 2023, noting some key telehealth flexibilities that will continue post-PHE. They include flexibilities in Medicare coverage for telehealth services, tele-prescribing of controlled substances, and compliance with the privacy and security requirements under the Health Insurance Portability and Accountability Act (HIPAA).&nbsp;&nbsp;</p>



<h3 class="wp-block-heading" id="h-expanded-medicare-coverage-of-telehealth-services-to-extend-through-2024"><strong>Expanded Medicare Coverage of Telehealth Services to Extend Through 2024</strong></h3>



<p>Prior to the PHE, Medicare limited coverage of telehealth services largely to patients who were physically present within a hospital or other facilities located in certain rural areas. Medicare also required a telehealth encounter to occur through an interactive audio-video system, thus excluding coverage for services delivered via audio-only devices.</p>



<p>During the PHE, HHS relaxed those requirements, using authority under the Coronavirus Preparedness and Response Supplemental Appropriations Act of 2020 and the Coronavirus Aid, Relief, and Economic Security (CARES) Act. The waiver of the Medicare coverage restrictions contributed to a dramatic increase in utilization of telehealth services, with&nbsp;<a href="https://www.natlawreview.com/article/oig-reports-indicate-government-s-interest-balancing-ongoing-telehealth-access">Medicare beneficiaries using 88 times more telehealth services&nbsp;</a>in 2020 than in 2019.</p>



<p>The Consolidated Appropriations Act of 2022 extended many of the Medicare telehealth flexibilities for 151 days following the end of the PHE. More recently, the Consolidated Appropriations Act of 2023 decoupled these flexibilities from the PHE and will continue expanded Medicare telehealth coverage through 2024. Accordingly, as the HHS fact sheet notes, through December 31, 2024, Medicare beneficiaries may:</p>



<ul class="wp-block-list">
<li>Access telehealth services in both rural and urban areas;</li>



<li>Receive treatment via telehealth at home rather than travel to a health care facility; and</li>



<li>Use audio-only technology for certain Medicare-covered telehealth visits if unable to use both audio and video, such as a smartphone or computer.</li>
</ul>



<h3 class="wp-block-heading" id="h-temporary-flexibilities-for-tele-prescribing-of-controlled-substances-continue-amid-proposed-rulemaking"><strong>Temporary Flexibilities for Tele-Prescribing of Controlled Substances Continue Amid Proposed Rulemaking</strong></h3>



<p>Under the Ryan Haight Online Pharmacy Consumer Protection Act of 2008, a physician or other health care practitioner may, with certain exceptions, prescribe controlled substances to a patient only after conducting an in-person evaluation of that patient. Several exceptions to the in-person medical evaluation requirement are specifically tied to the statutory definition of the “practice of telemedicine” (21 U.S.C. § 802(54)). These exceptions, however, are narrow and of limited utility, particularly for telemedicine arrangements in which the patient receives services at home and is unable to obtain in-person care from the prescribing practitioner.</p>



<p>One telemedicine-related exception allows practitioners to prescribe controlled substances during a PHE.&nbsp;<a href="https://www.deadiversion.usdoj.gov/GDP/(DEA-DC-018)(DEA067)%20DEA%20state%20reciprocity%20(final)(Signed).pdf">During the COVID-19 PHE</a>, this exception permitted prescribing of controlled substances to patients via a telemedicine modality, regardless of whether the practitioner had first conducted an in-person evaluation (and irrespective of whether the prescription was for treatment for COVID-19). While this flexibility may have promoted access to care, it also presented prescribers of controlled substances with the potentially daunting task of conducting in-person evaluations on all of their patients whose treatment began via telemedicine&nbsp;<em>during</em>&nbsp;the PHE and continued&nbsp;<em>after</em>&nbsp;the PHE.</p>



<p>Yet, this scenario did not come to pass. Just days before the PHE terminated on May 11, 2023, the US Drug Enforcement Agency (DEA), in concert with the Substance Abuse and Mental Health Services Administration (SAMHSA), issued a&nbsp;<a href="https://www.federalregister.gov/documents/2023/05/10/2023-09936/temporary-extension-of-covid-19-telemedicine-flexibilities-for-prescription-of-controlled#footnote-2-p30037">temporary rule extending the telemedicine flexibilities for prescribing controlled substances during the PHE</a>. Under the rule, practitioners may continue to tele-prescribe controlled substances without having to conduct an in-person evaluation of the patient during the six-month period from May 11, 2023, to November 11, 2023. For any practitioner-patient relationships that have been or will be established on or before November 11, 2023, practitioners have an additional one-year grace period through November 11, 2024, during which no in-person evaluation is required.</p>



<p>In addition to giving practitioners more time to conduct in-person evaluations, the temporary rule gives DEA and SAMHSA more time to review the record number of 38,369 comments the agencies received in response to two related March 2023 notices of proposed rulemaking. The&nbsp;<a href="https://www.federalregister.gov/documents/2023/03/01/2023-04248/telemedicine-prescribing-of-controlled-substances-when-the-practitioner-and-the-patient-have-not-had">first proposed rule</a>&nbsp;would permanently modify DEA’s telemedicine regulations to permit a practitioner to tele-prescribe an initial prescription of no more than 30 days’ supply of a non-narcotic Schedule III through V controlled substance to a patient whom the practitioner has not evaluated in person. The&nbsp;<a href="https://www.federalregister.gov/documents/2023/03/01/2023-04217/expansion-of-induction-of-buprenorphine-via-telemedicine-encounter">second proposed rule</a>&nbsp;would impose similar requirements for tele-prescribing of buprenorphine, a narcotic for opioid use disorder.</p>



<h3 class="wp-block-heading" id="h-ocr-offers-transition-period-following-expiration-of-hipaa-telehealth-policy"><strong>OCR Offers Transition Period Following Expiration of HIPAA Telehealth Policy</strong></h3>



<p>As a result of telehealth involving the transmission of patient-identifying information, telehealth providers and the telehealth platforms through which they provide services ordinarily must comply with HIPAA requirements governing the privacy and security of protected health information. To facilitate the sudden and large-scale pivot to telehealth during the PHE, the HHS Office for Civil Rights (OCR) issued a&nbsp;<a href="https://www.govinfo.gov/content/pkg/FR-2020-04-21/pdf/2020-08416.pdf">Notification of Enforcement Discretion relating to “telehealth remote communications” and HIPAA compliance</a>. As we discussed in a&nbsp;<a href="https://www.natlawreview.com/article/hhs-covid-19-public-health-emergency-persists-california-covid-19-policies-are-set">prior alert</a>, that enforcement policy assured that OCR would not impose penalties for HIPAA non-compliance during the PHE against health care providers in connection with the “good faith provision of telehealth” using a remote communication technology that allows only the intended parties to participate in the communication.</p>



<p>As it was directly linked to the PHE declaration, OCR’s Notification of Enforcement Discretion terminated with the PHE on May 11, 2023. However,&nbsp;<a href="https://www.federalregister.gov/documents/2023/04/13/2023-07824/notice-of-expiration-of-certain-notifications-of-enforcement-discretion-issued-in-response-to-the">OCR announced a 90-day transition period</a>&nbsp;during which it will continue to exercise enforcement discretion as provided in the telehealth notification. During this time, OCR expects health care providers to “adjust their telehealth practices to come into compliance” with HIPAA. Such compliance efforts may include, for example, entering into business associate agreements with telehealth technology vendors and updating policies and procedures.</p>



<p>OCR is expected to issue additional guidance on telehealth remote communications to assist health care providers during the post-PHE transition period, which is scheduled to end August 9, 2023. Thereafter, covered entities and their business associates are subject to enforcement actions by OCR if their telehealth practices do not comply with HIPAA requirements.</p>



<h3 class="wp-block-heading" id="h-navigating-the-post-phe-environment"><strong>Navigating the Post-PHE Environment</strong></h3>



<p>For health care providers and patients who grew accustomed to accessing telehealth during the PHE, the continuation of certain telehealth flexibilities following termination of the PHE is welcome news. At the same time, stakeholders should be mindful that the extension of these policies is temporary. As they plan for the eventual termination of pandemic-era telehealth flexibilities, interested parties should remain vigilant for additional regulatory guidance and developments from DEA, OCR, and other agencies, as well as legislation in Congress that may make federal telehealth reforms during the PHE permanent.</p><p>The post <a href="https://mtelehealth.com/telehealth-flexibilities-continue-after-end-of-covid-19-emergency/">Telehealth Flexibilities Continue After End of COVID-19 Emergency</a> appeared first on <a href="https://mtelehealth.com">mTelehealth</a>.</p>
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		<title>Telehealth Monitoring, Research and Evaluation: Issues for State Medicaid Agencies to Consider</title>
		<link>https://mtelehealth.com/telehealth-monitoring-research-and-evaluation-issues-for-state-medicaid-agencies-to-consider/</link>
					<comments>https://mtelehealth.com/telehealth-monitoring-research-and-evaluation-issues-for-state-medicaid-agencies-to-consider/#respond</comments>
		
		<dc:creator><![CDATA[Dr. M. Rosen]]></dc:creator>
		<pubDate>Thu, 01 Jun 2023 16:57:43 +0000</pubDate>
				<category><![CDATA[Blog]]></category>
		<category><![CDATA[Telehealth]]></category>
		<category><![CDATA[U.S. Department of Health and Human Services (HHS)]]></category>
		<guid isPermaLink="false">https://mtelehealth.com/?p=41541</guid>

					<description><![CDATA[<p><img width="1054" height="703" src="https://mtelehealth.com/wp-content/uploads/2023/06/Telehealth-Monitoring-Research-and-Evaluation-Issues-for-State-Medicaid-Agencies-to-Consider.webp" class="attachment-full size-full wp-post-image" alt="" decoding="async" srcset="https://mtelehealth.com/wp-content/uploads/2023/06/Telehealth-Monitoring-Research-and-Evaluation-Issues-for-State-Medicaid-Agencies-to-Consider.webp 1054w, https://mtelehealth.com/wp-content/uploads/2023/06/Telehealth-Monitoring-Research-and-Evaluation-Issues-for-State-Medicaid-Agencies-to-Consider-300x200.webp 300w, https://mtelehealth.com/wp-content/uploads/2023/06/Telehealth-Monitoring-Research-and-Evaluation-Issues-for-State-Medicaid-Agencies-to-Consider-1024x683.webp 1024w, https://mtelehealth.com/wp-content/uploads/2023/06/Telehealth-Monitoring-Research-and-Evaluation-Issues-for-State-Medicaid-Agencies-to-Consider-768x512.webp 768w" sizes="(max-width: 1054px) 100vw, 1054px" /></p>
<p>The use of telehealth increased exponentially in 2020 and 2021 as health care providers and patients responded to the COVID-19 pandemic. The Government Accountability Office (GAO) estimated that the use of telehealth services by Medicaid enrollees increased 15-fold from March 2020 to February 2022.1&#160;This increasing utilization was spurred in part by Medicaid agencies adjusting policies [&#8230;]</p>
<p>The post <a href="https://mtelehealth.com/telehealth-monitoring-research-and-evaluation-issues-for-state-medicaid-agencies-to-consider/">Telehealth Monitoring, Research and Evaluation: Issues for State Medicaid Agencies to Consider</a> appeared first on <a href="https://mtelehealth.com">mTelehealth</a>.</p>
]]></description>
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<p>The use of telehealth increased exponentially in 2020 and 2021 as health care providers and patients responded to the COVID-19 pandemic. The Government Accountability Office (GAO) estimated that the use of telehealth services by Medicaid enrollees increased 15-fold from March 2020 to February 2022.<sup>1</sup>&nbsp;This increasing utilization was spurred in part by Medicaid agencies adjusting policies and reimbursement to expand the array of services that could be delivered via telehealth.</p>



<p>As Medicaid agencies look to the future, many are analyzing telehealth utilization, quality and expenditures to evaluate whether and how to expand telehealth policies permanently.<sup>2&nbsp;</sup>In addition to state activity, the federal government continues to evolve telehealth policy. For a comprehensive list of federal and state developments in telehealth policy since the beginning of the pandemic, please see&nbsp;<a href="https://www.manatt.com/insights/newsletters/covid-19-update/executive-summary-tracking-telehealth-changes-stat" target="_blank" rel="noreferrer noopener"><em>Manatt on Health</em>’s Telehealth Tracker</a>.</p>



<p>State Medicaid agencies are also working to understand the ongoing impact of telehealth on service use, access to care, quality and equity. Despite the increase in telehealth use, the U.S. Department of Health and Human Services Office of the Inspector General (OIG) found that state Medicaid programs had limited data with which to provide oversight for telehealth services and understand its impact.<sup>3</sup>&nbsp;The OIG found that states would benefit from expanding telehealth data collection and monitoring, developing additional billing controls, and evaluating the impact of telehealth on the quality of care. These and other measures would allow state programs to optimize the use of telehealth while mitigating risks to care quality and program integrity.</p>



<h3 class="wp-block-heading" id="h-issues-for-consideration">Issues for Consideration</h3>



<h4 class="wp-block-heading" id="h-assess-domains-for-telehealth-monitoring-and-evaluation">Assess domains for telehealth monitoring and evaluation</h4>



<p>State Medicaid agencies should consider the following domains of measures for telehealth research, monitoring and evaluation:</p>



<ul class="wp-block-list">
<li>Access and utilization</li>



<li>Most frequently used services (e.g., outpatient medical, behavioral health)</li>



<li>Disparities and equity</li>



<li>Quality and outcomes of care</li>



<li>Enrollee and provider experience</li>
</ul>



<p>Comprehensive data in these areas can be leveraged to inform current and future state telehealth policymaking. For example, understanding telehealth use by service type (e.g., outpatient medical or mental health) could serve as a data-driven management tool to revisit and update benefit and policy decisions regarding reimbursement, enrollee consent, appropriateness of telehealth modality and other issues. Additionally, as with the implementation of any new service, states are working to understand how to best monitor and evaluate utilization and identify issues with clinical quality or program integrity.<sup>4</sup></p>



<h4 class="wp-block-heading" id="h-understand-what-telehealth-data-are-available-for-monitoring-and-evaluation">Understand what telehealth data are available for monitoring and evaluation</h4>



<p>To understand what questions can be answered and what policy and program issues can be addressed, state Medicaid agencies need a comprehensive understanding of available telehealth data. Data will largely be from claims, but some programs may also collect beneficiary and provider experience data through surveys. Some data questions for consideration include:</p>



<ul class="wp-block-list">
<li>Do submitted claims include telehealth modifiers? Synchronous and asynchronous modalities?</li>



<li>Is there a claims submission lag? If so, how long before claims with telehealth modifiers are available for analysis and reporting?</li>



<li>Do the claims data allow for a differentiation of service modality (e.g., video visit, audio-only visit, in-person visit)?</li>



<li>Does the state collect data on beneficiary and/or provider satisfaction with telehealth use?</li>



<li>Do the data collected allow the state to answer its priority questions (e.g., how does telehealth contribute to access to services for different demographic groups)?</li>
</ul>



<p>Provider billing, claims submission and reimbursement are inherently complex, and telehealth has added other requirements. Claims data may not yet include thorough data to use for telehealth monitoring and evaluation. Some questions for consideration include:</p>



<ul class="wp-block-list">
<li>Are updates needed to provider manuals and/or claims adjudication systems to accurately capture telehealth modifiers?</li>



<li>Does encounter data from managed care plans have the requisite information?</li>
</ul>



<h4 class="wp-block-heading" id="h-key-telehealth-program-and-policy-questions-to-address-in-the-short-term">Key telehealth program and policy questions to address in the short term</h4>



<p>Medicaid programs should consider the different internal and external purposes and audiences when building an approach to using telehealth data. These purposes include policy development and refinement, program integrity, and understanding access to services. States would have to prioritize questions to address. Some questions include, but are not limited to:</p>



<ul class="wp-block-list">
<li>How does post-pandemic telehealth utilization by modality type compare to pre-pandemic utilization?</li>



<li>What are the most commonly delivered services via telehealth modalities?</li>



<li>How does telehealth, and the different modalities therein, contribute to access to services and changing use patterns?</li>



<li>For different population groups (e.g., race/ethnicity, eligibility categories) and regions (e.g., urban, rural), how does telehealth contribute to access to services?</li>



<li>What are the characteristics of providers who do and do not leverage telehealth services?</li>
</ul>



<h4 class="wp-block-heading" id="h-report-on-telehealth-utilization">Report on telehealth utilization</h4>



<p>Telehealth utilization is an area of broad stakeholder interest. Monitoring telehealth utilization would allow states to report to their internal and external stakeholders, including the legislature, providers and consumer advocates. Analysis and reporting can occur on a short-term timetable (e.g., annual reporting), while others, as noted below, may require longer time periods. Programs may have numerous options for making data and reports available. States can consider these issues:</p>



<ul class="wp-block-list">
<li>Who are the key audiences (e.g., program directors, legislature), and what questions do they have about telehealth?</li>



<li>How does telehealth reporting fit with the state’s other reporting regimens (e.g., format, periodicity)?</li>



<li>Does the state have dashboards for reporting and monitoring service use? Are they internally or externally facing?</li>



<li>What kinds of resources are available to dedicate to telehealth data collection, analysis and reporting?</li>



<li>Does the state currently make claims data available to external parties (e.g., researchers, advocates)?</li>
</ul>



<h4 class="wp-block-heading" id="h-addressing-some-telehealth-impact-questions-will-require-longer-term-evaluations">Addressing some telehealth impact questions will require longer-term evaluations</h4>



<p>The questions and considerations above focus on data analysis and monitoring with a short-term time frame, such as annual reporting on utilization. Some states may be interested in answering questions about the impact of telehealth utilization that are longer term and more evaluative in nature. These evaluation questions are likely to be more methodologically challenging and may require multiple data sets and external research partners or contractors. Answering the research questions below may help address how best to deploy telehealth policy and resources. States can consider addressing:</p>



<ul class="wp-block-list">
<li>How do patients and providers perceive the use of services delivered via different telehealth modalities? How do perceptions vary by race/ethnicity, language and other demographic factors?</li>



<li>How do beneficiaries and providers perceive telehealth services compare to those delivered in person?</li>



<li>What impact does telehealth have on Medicaid expenditures (e.g., total costs of care, provider type, types of visits)?</li>



<li>How do telehealth services contribute to quality of care—for example, to specific HEDIS measures about prevention (e.g., the relationship of telehealth visits to annual screenings) and continuity of care (e.g., outpatient follow-up care after emergency department visits or hospitalization)?</li>



<li>Have telehealth services reduced racial/ethnic or geographic disparities in access to care or health outcomes?</li>



<li>What barriers prevent providers from billing telehealth services or prevent patients from utilizing them?</li>



<li>To what extent are providers including correct procedure codes/modifiers to appropriately indicate use of telehealth, and how can fidelity be improved?</li>
</ul>



<hr class="wp-block-separator has-alpha-channel-opacity"/>



<h4 class="wp-block-heading" id="h-state-spotlight-california-medicaid-and-telehealth-research-and-evaluation">State Spotlight: California Medicaid and Telehealth Research and Evaluation</h4>



<p>In July 2021, the California Legislature passed&nbsp;<a href="https://leginfo.legislature.ca.gov/faces/billHistoryClient.xhtml?bill_id=202120220AB133" target="_blank" rel="noreferrer noopener">AB 133</a>, requiring the California Department of Health Care Services (DHCS) to convene a Telehealth Advisory Workgroup to provide payment and policy guidance to inform development of the state budget. The state had already been analyzing and reporting some basic measures of telehealth use. In&nbsp;<a href="https://leginfo.legislature.ca.gov/faces/billNavClient.xhtml?bill_id=202120220AB32" target="_blank" rel="noreferrer noopener">legislation</a>&nbsp;the following year, the state also required DHCS to develop the&nbsp;<a href="https://www.dhcs.ca.gov/provgovpart/Documents/DHCS-RE-Plan.pdf" target="_blank" rel="noreferrer noopener">DHCS Telehealth Research and Evaluation Plan</a>, which was released in December 2022. The plan proposes near- and long-term research questions to evaluate the impact of telehealth on Medi-Cal beneficiaries and opportunities for telehealth data collection, reporting and analysis.</p>



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<p><sub><sup>1</sup>&nbsp;Government Accountability Office. Telehealth in the Pandemic—How Has It Changed Health Care Delivery in Medicaid and Medicare? September 29, 2022.&nbsp;<a href="https://www.gao.gov/blog/telehealth-pandemic-how-has-it-changed-health-care-delivery-medicaid-and-medicare" target="_blank" rel="noreferrer noopener">https://www.gao.gov/blog/telehealth-pandemic-how-has-it-changed-health-care-delivery-medicaid-and-medicare</a>&nbsp;&nbsp;</sub></p>



<p><sub><sup>2</sup>&nbsp;Kaiser Family Foundation. How the Pandemic Continues to Shape Medicaid Priorities: Results from an Annual Medicaid Budget Survey for State Fiscal Years 2022 and 2023. October 25, 2022.&nbsp;<a href="https://www.kff.org/report-section/medicaid-budget-survey-for-state-fiscal-years-2022-and-2023-executive-summary/" target="_blank" rel="noreferrer noopener">https://www.kff.org/report-section/medicaid-budget-survey-for-state-fiscal-years-2022-and-2023-executive-summary/</a></sub></p>



<p><sub><sup>3</sup>&nbsp;U.S. Department of Health and Human Services. Office of the Inspector General. Insights on Telehealth Use and Program Integrity Risks Across Selected Health Care Programs During the Pandemic. November 30, 2022.&nbsp;<a href="https://oig.hhs.gov/oei/reports/OEI-02-22-00150.asp" target="_blank" rel="noreferrer noopener">https://oig.hhs.gov/oei/reports/OEI-02-22-00150.asp</a></sub></p>



<p><sub><sup>4</sup>&nbsp;U.S. Department of Health and Human Services. Office of the Inspector General.</sub></p><p>The post <a href="https://mtelehealth.com/telehealth-monitoring-research-and-evaluation-issues-for-state-medicaid-agencies-to-consider/">Telehealth Monitoring, Research and Evaluation: Issues for State Medicaid Agencies to Consider</a> appeared first on <a href="https://mtelehealth.com">mTelehealth</a>.</p>
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		<title>The COVID-19 Public Health Emergency is over. Now what?</title>
		<link>https://mtelehealth.com/the-covid-19-public-health-emergency-is-over-now-what/</link>
					<comments>https://mtelehealth.com/the-covid-19-public-health-emergency-is-over-now-what/#respond</comments>
		
		<dc:creator><![CDATA[Dr. M. Rosen]]></dc:creator>
		<pubDate>Fri, 26 May 2023 16:48:50 +0000</pubDate>
				<category><![CDATA[Blog]]></category>
		<category><![CDATA[Centers for Disease Control and Prevention (CDC)]]></category>
		<category><![CDATA[COVID-19 - Coronavirus]]></category>
		<category><![CDATA[Public Health Emergency (PHE)]]></category>
		<category><![CDATA[U.S. Department of Health and Human Services (HHS)]]></category>
		<guid isPermaLink="false">https://mtelehealth.com/?p=41539</guid>

					<description><![CDATA[<p><img width="690" height="400" src="https://mtelehealth.com/wp-content/uploads/2023/01/AMA-1.png" class="attachment-full size-full wp-post-image" alt="" decoding="async" srcset="https://mtelehealth.com/wp-content/uploads/2023/01/AMA-1.png 690w, https://mtelehealth.com/wp-content/uploads/2023/01/AMA-1-300x174.png 300w" sizes="(max-width: 690px) 100vw, 690px" /></p>
<p>The COVID-19 public health emergency declared by the Department of Health and Human Services (HHS) expired earlier this month. But that doesn&#8217;t mean the deadly respiratory illness has disappeared, warned Deb Houry, MD, MPH, chief medical officer and deputy director for program and science at the Centers for Disease Control and Prevention (CDC). COVID-19 and [&#8230;]</p>
<p>The post <a href="https://mtelehealth.com/the-covid-19-public-health-emergency-is-over-now-what/">The COVID-19 Public Health Emergency is over. Now what?</a> appeared first on <a href="https://mtelehealth.com">mTelehealth</a>.</p>
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<p>The COVID-19 public health emergency declared by the Department of Health and Human Services (HHS) expired earlier this month. But that doesn&#8217;t mean the deadly respiratory illness has disappeared, warned Deb Houry, MD, MPH, chief medical officer and deputy director for program and science at the Centers for Disease Control and Prevention (CDC).</p>



<p>COVID-19 and the virus that causes it, SARS-CoV-2, still exist, so the CDC&#8217;s vaccination efforts will continue. Dr. Houry said physicians will play a key role in continuing to educate their patients and the public about the safety and efficacy of COVID-19 vaccines.</p>



<p>&#8220;CDC vaccine safety efforts are not tied to the public health emergency, so they will continue,&#8221; Dr. Houry said. &#8220;We know that hearing about vaccine safety can instill confidence in communities nationwide. This is where we really look to physicians to be the trusted messenger and share facts.&#8221;</p>



<p>Dr. Houry talked about this effort and other changes physicians and patients may experience following the expiration of the public health emergency in a&nbsp;<a href="https://www.ama-assn.org/delivering-care/public-health/cdc-chief-medical-officer-deb-houry-md-next-phase-covid-19-data">recent episode</a>&nbsp;of “<a href="https://www.ama-assn.org/series/ama-update">AMA Update</a>.”</p>



<h2 class="wp-block-heading" id="covid-19-is-not-over">COVID-19 is not over</h2>



<p>The significance of ending the public health emergency is that it will alter various responses to the pandemic. According to the CDC, the&nbsp;<a href="https://www.cdc.gov/coronavirus/2019-ncov/your-health/end-of-phe.html" target="_blank" rel="noreferrer noopener">type of data collected and shared by the CDC will change</a>, and COVID-19 at-home tests may no longer be covered by insurers.</p>



<p>Additionally, (HHS)&nbsp;<a href="https://www.hhs.gov/about/news/2023/05/09/fact-sheet-end-of-the-covid-19-public-health-emergency.html" target="_blank" rel="noreferrer noopener">outlined that specific Medicare and Medicaid waivers</a>&nbsp;that helped expand access to care during the pandemic will end.</p>



<blockquote class="wp-block-quote is-layout-flow wp-block-quote-is-layout-flow">
<p>&#8220;The end of the public health emergency is not the end of COVID-19,&#8221; Dr. Houry said. &#8220;The CDC will continue our commitment to prevent severe illness and death by providing the information needed to protect our nation&#8217;s health.&#8221;</p>
</blockquote>



<p>Physicians should explain to patients that the declaration of a public health emergency is significant because it can trigger certain responses from the government, Dr. Houry said. It also is important for patients to understand that COVID-19 is not spreading as rapidly as it was earlier in the pandemic. According to Dr. Houry, 96% of the population is protected against the worst outcomes of COVID-19 through vaccination or prior infection.</p>



<p>A critical role that physicians can play now is to keep educating and informing patients, particularly about vaccination, she said.</p>



<p>Physicians and other health professionals &#8220;are among the most trusted sources when it comes to vaccine uptake,&#8221; Dr. Houry noted. &#8220;We really encourage all clinicians to talk with patients about their coverage and recommend the COVID-19 vaccines.&#8221;</p>



<h2 class="wp-block-heading" id="how-data-collection-will-change">How data collection will change</h2>



<p>Physicians and hospitals greatly benefited from the CDC&#8217;s collection and distribution of key metrics throughout the COVID-19 pandemic. Now that the public health emergency declaration has expired, COVID-19 case and death data will no longer be highlighted in the&nbsp;<a href="https://covid.cdc.gov/COVID-data-tracker/" target="_blank" rel="noreferrer noopener">COVID Data Tracker</a>. That data, however, became increasingly less reliable as some states opted to stop collecting case data or share test results, the CDC has said.</p>



<p>&#8220;We will have changes in data reporting, but we&#8217;ll continue to provide timely insights through several different data sources,&#8221; Dr. Houry said. &#8220;One is our nationwide hospitalization data will be reported on a weekly basis and serve as the primary COVID-19 surveillance metric.&#8221;</p>



<p>The percentage of COVID-19-associated deaths each week will be shared by the CDC, as will the weekly number of COVID-19 hospital admissions and patients who visit the emergency department and are diagnosed with COVID-19.</p><p>The post <a href="https://mtelehealth.com/the-covid-19-public-health-emergency-is-over-now-what/">The COVID-19 Public Health Emergency is over. Now what?</a> appeared first on <a href="https://mtelehealth.com">mTelehealth</a>.</p>
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		<title>HHS Announces Continuing Telehealth Flexibilities Following the End of the COVID-19 PHE</title>
		<link>https://mtelehealth.com/hhs-announces-continuing-telehealth-flexibilities-following-the-end-of-the-covid-19-phe/</link>
					<comments>https://mtelehealth.com/hhs-announces-continuing-telehealth-flexibilities-following-the-end-of-the-covid-19-phe/#respond</comments>
		
		<dc:creator><![CDATA[Dr. M. Rosen]]></dc:creator>
		<pubDate>Mon, 22 May 2023 19:11:48 +0000</pubDate>
				<category><![CDATA[Accountable Care Organizations (ACOs)]]></category>
		<category><![CDATA[Blog]]></category>
		<category><![CDATA[Centers for Medicare & Medicaid Services (CMS) - Medicare]]></category>
		<category><![CDATA[Consolidated Appropriations Act (CAA)]]></category>
		<category><![CDATA[COVID-19 - Coronavirus]]></category>
		<category><![CDATA[Public Health Emergency (PHE)]]></category>
		<category><![CDATA[Telehealth]]></category>
		<category><![CDATA[U.S. Department of Health and Human Services (HHS)]]></category>
		<guid isPermaLink="false">https://mtelehealth.com/?p=41501</guid>

					<description><![CDATA[<p><img width="318" height="331" src="https://mtelehealth.com/wp-content/uploads/2022/11/HHS-logo.jpg" class="attachment-full size-full wp-post-image" alt="" decoding="async" srcset="https://mtelehealth.com/wp-content/uploads/2022/11/HHS-logo.jpg 318w, https://mtelehealth.com/wp-content/uploads/2022/11/HHS-logo-288x300.jpg 288w" sizes="(max-width: 318px) 100vw, 318px" /></p>
<p>On May 10, 2023, HHS announced that many telehealth and teleprescribing flexibilities will remain in place after the end of the COVID-19 Public Health Emergency (PHE) on May 11, 2023. Congress extended many telehealth flexibilities under the Medicare program through December 31, 2024, via the 2023 Consolidated Appropriations Act. The Drug Enforcement Agency (DEA) and [&#8230;]</p>
<p>The post <a href="https://mtelehealth.com/hhs-announces-continuing-telehealth-flexibilities-following-the-end-of-the-covid-19-phe/">HHS Announces Continuing Telehealth Flexibilities Following the End of the COVID-19 PHE</a> appeared first on <a href="https://mtelehealth.com">mTelehealth</a>.</p>
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<p>On May 10, 2023, HHS announced that many telehealth and teleprescribing flexibilities will remain in place after the end of the COVID-19 Public Health Emergency (PHE) on May 11, 2023. Congress extended many telehealth flexibilities under the Medicare program through December 31, 2024, via the 2023 Consolidated Appropriations Act. The Drug Enforcement Agency (DEA) and HHS Substance Abuse and Mental Health Services Administration (SAMHSA) also extended behavioral telehealth and prescribing flexibilities through November 11, 2023, with some opioid flexibilities through May 11, 2024, pending the issuance of new final rules. HIPAA flexibilities have expired but will be phased out through a 90-day transition period.</p>



<p><strong><em>Telehealth Coverage</em></strong></p>



<p>Coverage for telehealth following the expiration of the PHE will vary by program and plan type.</p>



<ul class="wp-block-list">
<li>Medicare. During the PHE, individuals with Medicare had broad access to telehealth services without the application of geographic or location limits as a result of Medicare telehealth waivers issued by the HHS Secretary. Through the 2023 Consolidated Appropriations Act, Congress extended many telehealth flexibilities for Medicare patients, including waiving geographic limitations for telehealth access, allowing patients to stay in their home for telehealth visits rather than traveling to a health care facility, and permitting some visits to be conducted via audio-only technology if the patient is unable to use both audio and video. These flexibilities are set to expire on December 31, 2024, but after the expiration, some Accountable Care Organizations (ACOs) may permit participating practitioners to offer telehealth services to patients without an in-person visit, regardless of where the patient lives.</li>



<li>Medicare Advantage. Medicare Advantage Organizations (MAOs) must cover, at a minimum, the telehealth benefits provided by Medicare. However, MAOs may offer additional flexibilities.</li>



<li>Medicaid and CHIP. Telehealth flexibilities under Medicaid and CHIP vary by state, and states continue to have great flexibility with respect to determining the scope of coverage. HHS is encouraging states to continue to cover Medicaid and CHIP services delivered via telehealth, and CMS published a&nbsp;<a href="https://kslawemail.com/email_handler.aspx?sid=1a3e8bdf-ea79-4680-973e-8e2182ffacef&amp;redirect=https%3a%2f%2fwww.medicaid.gov%2fmedicaid%2fbenefits%2fdownloads%2fmedicaid-chip-telehealth-toolkit.pdf&amp;checksum=DCB40AB8" rel="noreferrer noopener" target="_blank">State Medicaid &amp; CHIP Telehealth Toolkit</a>&nbsp;and a&nbsp;<a href="https://kslawemail.com/email_handler.aspx?sid=1a3e8bdf-ea79-4680-973e-8e2182ffacef&amp;redirect=https%3a%2f%2fwww.medicaid.gov%2fmedicaid%2fbenefits%2fdownloads%2fmedicaid-chip-telehealth-toolkit-supplement1.pdf&amp;checksum=AF2EEBE7" rel="noreferrer noopener" target="_blank">Supplement</a>&nbsp;that identify policies that should be addressed by states to facilitate a broader adoption of telehealth.</li>



<li>Private Health Insurance. Telehealth flexibilities for private insurance plans varied by insurance plan during the PHE. The PHE’s conclusion will not change this variation between payors.</li>
</ul>



<p><strong><em>HIPAA Rules</em></strong></p>



<p>HHS Office of Civil Rights (OCR) exercised enforcement discretion for providers using non-HIPAA compliant technologies for telehealth during the COVID-19 PHE. The discretion applied to telehealth provided for any reason, regardless of whether the telehealth service was related to the diagnosis and treatment of health conditions related to COVID–19. OCR announced that the enforcement discretion will expire with the PHE on May 11, 2023. OCR is providing a 90-calendar day transition period for covered health care providers to make any changes to their operating systems to ensure that telehealth is provided in a private and secure manner. OCR will exercise enforcement discretion and will not impose penalties on health care providers providing care in good faith during the transition period. The transition period will expire on August 9, 2023.</p>



<p><strong><em>Tele-Behavioral Health and Prescribing</em></strong></p>



<p>HHS also clarified a number of flexibilities specific to tele-behavioral health and prescribing of opioids.</p>



<ul class="wp-block-list">
<li>Opioid Prescribing without In-Person Evaluation. SAMHSA and the DEA have extended flexibilities for Opioid Treatment Programs (OTPs) through May 11, 2024. OTPs are exempt from performing in-person physician evaluations for patients who will be treated with buprenophrine if a program physician, primary care physician, or authorized healthcare professional supervised by a program physician determines that an adequate evaluation of the patient can be accomplished via telehealth. SAMHSA has proposed to make this flexibility permanent.</li>



<li>Take Home Doses. In March 2020, SAMHSA issued an exemption to OTPs that allowed a state to request a “blanket exception” for stable patients in OTPs to receive twenty-eight days of take-home doses of the patient’s medication for opioid use disorder, and for less stable patients to receive fourteen days of a take-home dose if the OTP believes that the patient can safely handle it. OTPs, states, and stakeholders have reported increased treatment engagement and improved patient satisfaction with care as a result of this flexibility, with few incidents of misuse or mediation diversion. SAMHSA released new guidance in April 2023 that will be effective on the conclusion of the PHE, and will be effective through May 11, 2024, or until HHS publishes final rules revising 42 C.F.R. Part 8. States will need to affirmatively register for this exemption for the OTPs in the state to use it. SAMHSA has proposed to make this flexibility permanent.</li>



<li>Controlled Substance Prescribing via Telehealth. DEA and SAMHSA issued a&nbsp;<a href="https://kslawemail.com/email_handler.aspx?sid=1a3e8bdf-ea79-4680-973e-8e2182ffacef&amp;redirect=https%3a%2f%2fwww.samhsa.gov%2fnewsroom%2fpress-announcements%2f20230509%2fdea-extend-covid19-telemedicine-flexibilities-prescribing-controlled-medications&amp;checksum=7EE7F04F" rel="noreferrer noopener" target="_blank">temporary rule</a>&nbsp;extending the controlled substance telemedicine flexibilities through November 11, 2023. Under this rule, practitioners who have established relationships with patients via telemedicine prior to November 11, 2023, may continue prescribing medications to these patients without an in-person medical evaluation regardless of whether the practitioner is registered with the DEA in the state in which the patient is located through November 11, 2024. DEA and SAMHSA plan to issue updated final rules regarding controlled medication prescribing via telehealth by November 11, 2023.</li>



<li>Behavioral Healthcare Provider License Portability. HHS expressed continued support for increased licensure portability, which enables health care professionals licensed in one state to practice health care in another state through a transfer, recognition, or issuance of a license with decreased limitations or restrictions. HHS recognized a continued shortage of behavioral health providers and encouraged states to take advantage of resources to support interstate licensure, and other licensing flexibilities.</li>
</ul><p>The post <a href="https://mtelehealth.com/hhs-announces-continuing-telehealth-flexibilities-following-the-end-of-the-covid-19-phe/">HHS Announces Continuing Telehealth Flexibilities Following the End of the COVID-19 PHE</a> appeared first on <a href="https://mtelehealth.com">mTelehealth</a>.</p>
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		<title>Congress Urged to Make Telehealth Access Permanent</title>
		<link>https://mtelehealth.com/congress-urged-to-make-telehealth-access-permanent/</link>
					<comments>https://mtelehealth.com/congress-urged-to-make-telehealth-access-permanent/#respond</comments>
		
		<dc:creator><![CDATA[Dr. M. Rosen]]></dc:creator>
		<pubDate>Tue, 16 May 2023 18:59:51 +0000</pubDate>
				<category><![CDATA[Blog]]></category>
		<category><![CDATA[COVID-19 - Coronavirus]]></category>
		<category><![CDATA[Public Health Emergency (PHE)]]></category>
		<category><![CDATA[Telehealth]]></category>
		<category><![CDATA[U.S. Department of Health and Human Services (HHS)]]></category>
		<guid isPermaLink="false">https://mtelehealth.com/?p=41494</guid>

					<description><![CDATA[<p><img width="950" height="633" src="https://mtelehealth.com/wp-content/uploads/2020/11/COVID-19-Sparks-Boom-in-Digital-Hospitals-with-Smart-Technologies-Improving-Quality-of-Care.jpg" class="attachment-full size-full wp-post-image" alt="" decoding="async" srcset="https://mtelehealth.com/wp-content/uploads/2020/11/COVID-19-Sparks-Boom-in-Digital-Hospitals-with-Smart-Technologies-Improving-Quality-of-Care.jpg 950w, https://mtelehealth.com/wp-content/uploads/2020/11/COVID-19-Sparks-Boom-in-Digital-Hospitals-with-Smart-Technologies-Improving-Quality-of-Care-300x200.jpg 300w, https://mtelehealth.com/wp-content/uploads/2020/11/COVID-19-Sparks-Boom-in-Digital-Hospitals-with-Smart-Technologies-Improving-Quality-of-Care-768x512.jpg 768w, https://mtelehealth.com/wp-content/uploads/2020/11/COVID-19-Sparks-Boom-in-Digital-Hospitals-with-Smart-Technologies-Improving-Quality-of-Care-360x240.jpg 360w" sizes="(max-width: 950px) 100vw, 950px" /></p>
<p>Telehealth Access for America wrote a letter urging Congress to recognize the value of virtual care and the need to protect it. Telehealth Access for America (TAFA), an American Hospital Association-created campaign to protect patient access to critical telehealth services, urged Congress to make permanent certain Medicare telehealth flexibilities granted during the COVID-19 public health [&#8230;]</p>
<p>The post <a href="https://mtelehealth.com/congress-urged-to-make-telehealth-access-permanent/">Congress Urged to Make Telehealth Access Permanent</a> appeared first on <a href="https://mtelehealth.com">mTelehealth</a>.</p>
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<p>Telehealth Access for America wrote a letter urging Congress to recognize the value of virtual care and the need to protect it.</p>



<p>Telehealth Access for America (TAFA), an American Hospital Association-created campaign to protect patient access to critical telehealth services, urged Congress to make permanent certain Medicare telehealth flexibilities granted during the COVID-19 public health emergency and extended through 2024 by the Consolidated Appropriations Act.</p>



<p>“This temporary extension was welcomed news for patients and providers alike, but remains just that—a temporary solution,”&nbsp;<a href="https://telehealthaccessforamerica.org/wp-content/uploads/2023/05/TAFA-Letter-5.11.23.pdf" rel="noreferrer noopener" target="_blank">TAFA wrote</a>. “According to a recent study, nearly three-in-four virtual care users want Congress to make current telehealth flexibilities permanent. The patients and organizations we represent need certainty that only Congress can provide. It is in the best interest of patients and providers nationwide that Congress make telehealth a permanent piece of the health care puzzle.”</p>



<p>According to the Department of Health and Human Services (HHS) the lifted telehealth restrictions in response to the public health emergency (PHE) resulted in a&nbsp;63-fold increase in telehealth utilization among Medicare fee-for-service (FFS) beneficiaries 2019 to 2020, totaling nearly 53 million telehealth visits in 2020 compared to less than one million in 2019.</p>



<p>&#8220;To name just a few of these many benefits, studies show that telehealth increases access to care without increasing costs to taxpayers, and average virtual care patients see a 61% decrease in their health care expenses compared to in-person care,&#8221; the letter read. &#8220;Clinicians and specialists also say telehealth helps improve access to underserved communities, communities of color, seniors and hard to access parts of rural America.&nbsp; &nbsp;</p>



<p>&#8220;Patients agree. A recent report found that seven-in-ten consumers say telehealth is better or comparable to in-person visits. According to MS and lupus patients like New Jersey resident Letita, &#8216;getting around can sometimes be difficult. But because of telehealth, I’m still able to access the care I need from my home.&#8217; Stroke recovery patient George Hoffman shares a similar sentiment, “[telehealth] has been a game changer for me and my wife … Telehealth has saved me time, money and endless frustration trying to coordinate rides to and from routine appointments.&#8217; And a 45-year-old woman in Illinois notes that, &#8216;Telehealth has been fundamental for my eating disorder recovery.'&#8221;</p>



<p>TAFA urged Congress to recognize the the value of virtual care and the need to protect it.&nbsp;</p>



<p>&#8220;The patients and organizations we represent need certainty that only Congress can provide,&#8221; TAFA wrote. &#8220;It is in the best interest of patients and providers nationwide that Congress make telehealth a permanent piece of the health care puzzle.&#8221;</p><p>The post <a href="https://mtelehealth.com/congress-urged-to-make-telehealth-access-permanent/">Congress Urged to Make Telehealth Access Permanent</a> appeared first on <a href="https://mtelehealth.com">mTelehealth</a>.</p>
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		<title>What Medicare beneficiaries need to know about the end of the COVID-19 public health emergency rules</title>
		<link>https://mtelehealth.com/what-medicare-beneficiaries-need-to-know-about-the-end-of-the-covid-19-public-health-emergency-rules/</link>
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		<dc:creator><![CDATA[Dr. M. Rosen]]></dc:creator>
		<pubDate>Fri, 12 May 2023 15:42:12 +0000</pubDate>
				<category><![CDATA[Blog]]></category>
		<category><![CDATA[COVID-19 - Coronavirus]]></category>
		<category><![CDATA[Public Health Emergency (PHE)]]></category>
		<category><![CDATA[Telehealth]]></category>
		<category><![CDATA[U.S. Department of Health and Human Services (HHS)]]></category>
		<guid isPermaLink="false">https://mtelehealth.com/?p=41480</guid>

					<description><![CDATA[<p><img width="960" height="640" src="https://mtelehealth.com/wp-content/uploads/2023/05/What-Medicare-beneficiaries-need-to-know-about-the-end-of-the-COVID-19-public-health-emergency-rules.webp" class="attachment-full size-full wp-post-image" alt="" decoding="async" srcset="https://mtelehealth.com/wp-content/uploads/2023/05/What-Medicare-beneficiaries-need-to-know-about-the-end-of-the-COVID-19-public-health-emergency-rules.webp 960w, https://mtelehealth.com/wp-content/uploads/2023/05/What-Medicare-beneficiaries-need-to-know-about-the-end-of-the-COVID-19-public-health-emergency-rules-300x200.webp 300w, https://mtelehealth.com/wp-content/uploads/2023/05/What-Medicare-beneficiaries-need-to-know-about-the-end-of-the-COVID-19-public-health-emergency-rules-768x512.webp 768w" sizes="(max-width: 960px) 100vw, 960px" /></p>
<p>The end of the COVID-19 public health emergency on May 11 has created dizzying changes for Medicare beneficiaries. Whether Medicare will or won’t cover certain health care costs may now depend on whether you are in Traditional Medicare or a private insurer’s Medicare Advantage plan, want remote monitoring for a chronic condition, and need rehab [&#8230;]</p>
<p>The post <a href="https://mtelehealth.com/what-medicare-beneficiaries-need-to-know-about-the-end-of-the-covid-19-public-health-emergency-rules/">What Medicare beneficiaries need to know about the end of the COVID-19 public health emergency rules</a> appeared first on <a href="https://mtelehealth.com">mTelehealth</a>.</p>
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<p>The end of the COVID-19 public health emergency on May 11 has created dizzying changes for Medicare beneficiaries.</p>



<p>Whether Medicare will or won’t cover certain health care costs may now depend on whether you are in Traditional Medicare or a private insurer’s Medicare Advantage plan, want remote monitoring for a chronic condition, and need rehab in a skilled nursing facility.</p>



<p>The Trump administration initially declared the coronavirus a public health emergency in January 2020. Although COVID-19 was the fourth leading cause of death in the United States last year and more than 1,000 Americans die from it weekly, the new phase of the pandemic has led the U.S. government to&nbsp;<a href="https://fortune.com/well/2023/05/11/covid-19-public-health-emergency-end-what-it-means/" rel="noreferrer noopener" target="_blank">relax its health care rules</a>.</p>



<p>Here’s what Medicare beneficiaries need to know about their new world of health insurance coverage:</p>



<h2 class="wp-block-heading" id="h-higher-costs-for-medicare-advantage-out-of-network-doctor-visits"><strong>Higher costs for Medicare Advantage out-of-network doctor visits</strong></h2>



<p>During the public health emergency,&nbsp;<a href="https://fortune.com/well/2023/03/25/what-to-know-about-medicare-advantage-open-enrollment/" rel="noreferrer noopener" target="_blank">Medicare Advantage plans</a>&nbsp;weren’t allowed to charge more if members saw out-of-network physicians. “But those protections will end, and people will once again either have to pay more or not have coverage depending on their Medicare Advantage plan,” says Juliette Cubanski, the San Francisco-based deputy director of the Program on Medicare Policy at KFF, a health policy research and news nonprofit.</p>



<p>“If people started seeing a provider who’s not in their Medicare Advantage plan’s network and expect to continue to see that provider, they may face the reality that it will come with a higher price tag,” she adds.</p>



<h2 class="wp-block-heading" id="h-continued-coverage-for-telehealth-mostly"><strong>Continued coverage for telehealth (mostly)</strong></h2>



<p>“The good news is that Medicare beneficiaries receiving telehealth will be able to do so through at least December 31, 2024,” says Erin Whaley, health sciences partner at the Troutman Pepper law firm in Richmond, Va.</p>



<p>Telehealth is largely unaffected by the end of the public health emergency because of a 2023 law extending Medicare’s telehealth coverage through next year. So, you’ll still be covered for a telehealth appointment, including one with an audiologist, occupational therapist, physical therapist or clinical psychologist.</p>



<p>But there are two exceptions.</p>



<p>One is for remote monitoring for chronic and acute conditions. Medicare beneficiaries are now only covered for telehealth monitoring of, say, a continuous glucose monitor for diabetes if they are already patients of the doctor providing this care, notes Whaley.</p>



<p>“That’s changing back to the pre-pandemic rules, where you could only get remote monitoring if you were an ‘established’ patient,” she says. If you don’t have a doctor for remote monitoring, you now need to find one to become an established patient, she adds.</p>



<p>The other exception: Medicare no longer pays for routine home care through telehealth under the program’s hospice benefit, according to CMS.</p>



<h2 class="wp-block-heading" id="h-the-end-of-free-at-home-covid-19-tests"><strong>The end of free at-home COVID-19 tests</strong></h2>



<p>“The main area where people on Medicare are likely to notice changes is if they go to get COVID-19 tests from a pharmacy or do at-home testing,” says Cubanski.</p>



<p>Since April 2022, Medicare beneficiaries could get eight free at-home COVID-19 tests a month. Now, Medicare will no longer cover at-home tests for people in Traditional Medicare, Cubanski says. A KFF analysis found the average cost of an at-home rapid COVID-19 test is now $11.</p>



<p>“The convenience of at-home testing has really enabled people to test whenever they want to get together with their friends or family and know—with whatever certainty you get from the at-home test—whether or not you are infectious and maybe potentially risking exposing other people in your life who may be immunocompromised or have other conditions that predispose them to serious illness if they get infected.”</p>



<p>Each Medicare Advantage plan, however, will decide whether to keep offering these tests for members. “It’s not a requirement, it’s an option,” says Cubanski. “I think CMS [the Centers for Medicare and Medicaid Services] is certainly encouraging Medicare Advantage plans to continue to offer this as a supplemental benefit. It seems reasonable to think that a lot of plans covering it as an over-the-counter benefit will continue to do so.”</p>



<h2 class="wp-block-heading" id="h-new-rules-for-covid-19-pcr-and-antigen-tests"><strong>New rules for COVID-19 PCR and antigen tests</strong></h2>



<p>Medicare will still cover COVID-19 PCR and antigen tests given in approved laboratories and ordered by doctors.</p>



<p>People on Traditional Medicare still won’t have to pay for these tests. But they may have to pay for the doctor visit resulting in the prescription for the test, Cubanski says.</p>



<p>Some Medicare Advantage plans may charge members for PCR and antigen tests and associated doctor visits or require the tests be done by in-network doctors.</p>



<h2 class="wp-block-heading" id="h-no-changes-for-covid-19-vaccines"><strong>No changes for COVID-19 vaccines</strong></h2>



<p>COVID-19 vaccines will still generally be free to people on Traditional Medicare, as long as the U.S. government stockpile has them and your doctor takes Medicare. Medicare Advantage plans won’t charge for COVID-19 vaccines either, if you go to one of their in-network providers.</p>



<p>“When the government supply of COVID-19 vaccines runs out and the supply shifts to the private sector, the beneficiary cost will still be zero,” says Cubanski.</p>



<h2 class="wp-block-heading" id="h-paxlovid-free-for-now"><strong>Paxlovid: free for now</strong></h2>



<p>Paxlovid, an antiviral drug use to treat people with COVID-19 will still be free—as long as the government’s supply lasts.</p>



<p>When the Paxlovid stockpile ends, Medicare beneficiaries with Part D Medicare prescription drug plans will be able to get the treatment for free through December 2024. But those without Part D plans may start owing co-pays for the treatment.</p>



<h2 class="wp-block-heading" id="h-concern-about-the-three-day-rule"><strong>Concern about ‘the three-day rule’</strong></h2>



<p>Experts at LeadingAge, a group representing over 5,000 nonprofit aging services providers, say a big change for some beneficiaries with Traditional Medicare is the return of what’s known as “the three-day rule.”</p>



<p>During the public health emergency, Medicare waived the rule that required people be admitted into hospitals for at least three consecutive days before Medicare would cover a subsequent stay in a skilled nursing facility for, say, rehab.</p>



<p>The waiver, Whaley says, was partly to avoid overcrowding in hospitals during the pandemic. It sometimes helped Medicare beneficiaries with injuries from falls get rehab treatment in skilled nursing facilities.</p>



<p>But the three-day rule is now back.</p>



<p>As a result, “you could be paying fully out of pocket for care in a skilled nursing facility because you didn’t meet the minimum stay requirement before you were discharged,” says Cubanski. (Medicare Advantage members are excluded from the three-day rule if they go to in-network facilities.)</p>



<p>The three required days in the hospital don’t include days when a patient is in the medical center “under observation,” but not technically admitted. “That’s why it’s really important for people to understand, when they’re in the hospital, ‘Is this day an observation day or an actual inpatient day?” says Cubanski.</p>



<p>Requiring a hospital stay of three days or longer before being transferred to a skilled rehab facility, critics say, delays necessary care and can lead to extra out-of-pocket costs for people in Medicare. LeadingAge says lengthening hospital stays can be challenging for older people, especially ones with cognitive impairments.</p>



<p>The American Health Care Association/National Center for Assisted Living told Skilled Nursing News in a statement: “For years we have advocated to eliminate this confusing policy barrier by recognizing observation stays as qualifying stays for the purposes of the three-day stay requirement or eliminating the three-day requirement all together.”</p>



<p>LeadingAge has urged the Department of Health and Human Services (HHS) to make permanent the waiver of the three-day requirement and Congress to end the requirement entirely.</p>



<p>“In the more than half-century since the requirement was adopted, a growing body of evidence and experience has proven that automatically requiring a three-day inpatient hospital stay is unreasonable, unnecessary, irresponsible and inequitable,” LeadingAge president and CEO Katie Smith Sloan said in a statement sent to Congress and HHS.</p>



<p>The end of the three-day rule, some experts say, will lead some Medicare beneficiaries to go from the hospital to home care rehab, since Medicare often pays for that.</p>



<p>This story was originally featured on&nbsp;<a href="https://fortune.com/well/2023/05/12/medicare-beneficiaries-end-of-covid-19-emergency-rules/" rel="noreferrer noopener" target="_blank">Fortune.com</a></p><p>The post <a href="https://mtelehealth.com/what-medicare-beneficiaries-need-to-know-about-the-end-of-the-covid-19-public-health-emergency-rules/">What Medicare beneficiaries need to know about the end of the COVID-19 public health emergency rules</a> appeared first on <a href="https://mtelehealth.com">mTelehealth</a>.</p>
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		<title>As COVID-19 public health emergency ends, HHS outlines what changes, what remains in health care</title>
		<link>https://mtelehealth.com/as-covid-19-public-health-emergency-ends-hhs-outlines-what-changes-what-remains-in-health-care/</link>
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		<dc:creator><![CDATA[Dr. M. Rosen]]></dc:creator>
		<pubDate>Thu, 11 May 2023 15:33:49 +0000</pubDate>
				<category><![CDATA[Blog]]></category>
		<category><![CDATA[COVID-19 - Coronavirus]]></category>
		<category><![CDATA[Public Health Emergency (PHE)]]></category>
		<category><![CDATA[Telehealth]]></category>
		<category><![CDATA[U.S. Department of Health and Human Services (HHS)]]></category>
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					<description><![CDATA[<p><img width="318" height="331" src="https://mtelehealth.com/wp-content/uploads/2022/11/HHS-logo.jpg" class="attachment-full size-full wp-post-image" alt="" decoding="async" srcset="https://mtelehealth.com/wp-content/uploads/2022/11/HHS-logo.jpg 318w, https://mtelehealth.com/wp-content/uploads/2022/11/HHS-logo-288x300.jpg 288w" sizes="(max-width: 318px) 100vw, 318px" /></p>
<p>The COVID-19&#160;public health emergency&#160;(PHE) ends today, creating a shift in how physicians, patients, and policy makers deal with the pandemic. The U.S. Department of Health and Human Services (HHS) has differentiated between rules and practices that will change and some that will remain in place in the post-pandemic world. HHS Secretary Xavier Becerra claimed credit [&#8230;]</p>
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<p>The COVID-19&nbsp;<a rel="noreferrer noopener" href="https://www.hhs.gov/coronavirus/covid-19-public-health-emergency/index.html" target="_blank">public health emergency</a>&nbsp;(PHE) ends today, creating a shift in how physicians, patients, and policy makers deal with the pandemic.</p>



<p>The U.S. Department of Health and Human Services (HHS) has differentiated between rules and practices that will change and some that will remain in place in the post-pandemic world.</p>



<p>HHS Secretary Xavier Becerra claimed credit for the administration of President Joe Biden for efforts of the last two years. He did not mention work under President Donald Trump, who was in office when COVID-19 first emerged.</p>



<p>“Due to the Biden-Harris Administration’s whole-of-government approach to combatting COVID-19, and through partnerships with you and others, we are now in a better place in our response than we were three years ago, and we can transition away from the emergency phase,” Becerra said in his&nbsp;<a rel="noreferrer noopener" href="https://www.hhs.gov/about/news/2023/05/10/letter-us-governors-hhs-secretary-xavier-becerra-planning-covid-19-phe.html" target="_blank">May 10 letter to U.S. governors</a>&nbsp;about the transition out of the PHE.</p>



<p>“For example, over the last two years, the Biden administration has effectively implemented the largest adult vaccination program in U.S. history, with over 270 million people receiving at least one shot of a COVID-19 vaccine,” Becerra said. “As a result of these and other efforts, since January 2021, COVID-19 deaths have declined by 95% and hospitalizations are down nearly 91%.</p>



<p>“Still, we know so many people continue to be affected by COVID-19, particularly seniors, people who are immunocompromised, and people with disabilities,” Becerra said. “That is why our response to the spread of SARS-CoV-2, the virus that causes COVID-19, remains a public health priority.”</p>



<p>HHS this week published a&nbsp;<a rel="noreferrer noopener" href="https://www.hhs.gov/about/news/2023/05/09/fact-sheet-end-of-the-covid-19-public-health-emergency.html" target="_blank">list of public health provisions</a>&nbsp;that will change and some that will remain in place after May 11.</p>



<h3 class="wp-block-heading" id="h-continuing-measures"><strong>Continuing measures</strong></h3>



<p><strong>Access to COVID-19 vaccinations and certain treatments, such as Paxlovid and Lagevrio, will generally not be affected, according to HHS.</strong></p>



<p>At the end of the COVID-19 PHE on May 11, Americans will continue to be able to access COVID-19 vaccines at no cost, just as they have during the COVID-19 PHE, due to the requirements of the&nbsp;<a rel="noreferrer noopener" href="https://www.cdc.gov/vaccines/covid-19/vaccination-provider-support.html" target="_blank">CDC COVID-19 Vaccination Program Provider Agreement.</a>&nbsp;People will also continue to be able to access COVID-19 treatments just as they have during the COVID-19 PHE.</p>



<p><strong>Once the federal government is no longer purchasing or distributing COVID-19 vaccines and treatments, payment, coverage, and access may change.</strong></p>



<p>Partners across the U.S. government are developing plans to ensure a smooth transition for the provision of COVID-19 vaccines and certain treatments as part of the traditional health care market, which will occur in the coming months, according to HHS.</p>



<p>The department on April 18 also announced the “<a rel="noreferrer noopener" href="https://www.hhs.gov/about/news/2023/04/18/fact-sheet-hhs-announces-hhs-bridge-access-program-covid-19-vaccines-treatments-maintain-access-covid-19-care-uninsured.html" target="_blank">HHS Bridge Access Program For COVID-19 Vaccines and Treatments</a>” to maintain broad access to COVID-19 vaccines and treatments for uninsured Americans after the transition to the traditional health care market.</p>



<p>For those with most types of private insurance, COVID-19 vaccines recommended by the Advisory Committee on Immunization Practices (ACIP) are a preventive health service and will be fully covered without a co-pay when provided by an in-network provider.</p>



<p>COVID-19 vaccinations are covered under Medicare Part B without cost sharing, and this will continue. Medicare Advantage plans must also cover COVID-19 vaccinations in-network without cost sharing, and this will continue. Medicaid will continue to cover COVID-19 vaccinations without a co-pay or cost sharing through Sept. 30, 2024, and will generally cover ACIP-recommended vaccines for most beneficiaries thereafter.</p>



<p>After the transition to the traditional health care market, out-of-pocket expenses for certain treatments, such as Paxlovid and Lagevrio, may change, depending on an individual’s health care coverage, similar to costs that one may experience for other covered drugs. Medicaid programs will continue to cover COVID-19 treatments without cost sharing through September 30, 2024. After that, coverage and cost sharing may vary by state.</p>



<p>For more information about the “Bridge” Program, visit&nbsp;<a rel="noreferrer noopener" href="https://www.hhs.gov/about/news/2023/04/18/fact-sheet-hhs-announces-hhs-bridge-access-program-covid-19-vaccines-treatments-maintain-access-covid-19-care-uninsured.html" target="_blank">Fact Sheet: HHS Announces ‘HHS Bridge Access Program For COVID-19 Vaccines and Treatments’ to Maintain Access to COVID-19 Care for the Uninsured</a>. For more information about access to COVID-19 vaccinations and treatments, visit&nbsp;<a rel="noreferrer noopener" href="https://www.cms.gov/files/document/frequently-asked-questions-cms-waivers-flexibilities-and-end-covid-19-public-health-emergency.pdf?utm_source=TWITTER&amp;utm_medium=social&amp;utm_content=20230426_9718651959&amp;utm_campaign=COVID-19&amp;linkId=211653390" target="_blank">CMS Waivers, Flexibilities, and the End of the COVID-19 Public Health Emergency</a>.</p>



<p><strong>The U.S. Food and Drug Administration’s (FDA) emergency use authorizations (EUAs) for COVID-19 products, including tests, vaccines, and treatments, will not be affected.</strong></p>



<p>FDA’s ability to authorize various products, including tests, treatments, or vaccines for emergency use will not be affected by the end of the COVID-19 PHE. To learn more, visit&nbsp;<a rel="noreferrer noopener" href="https://www.fda.gov/emergency-preparedness-and-response/mcm-legal-regulatory-and-policy-framework/faqs-what-happens-euas-when-public-health-emergency-ends" target="_blank">FDA’s FAQs: What happens to EUAs when a public health emergency ends?</a></p>



<p><strong>Major telehealth flexibilities will not be affected.</strong></p>



<p>The vast majority of current Medicare telehealth flexibilities that people with Medicare – particularly those in rural areas and others who struggle to find access to care – have come to rely upon throughout the COVID-19 PHE, will remain in place through December 2024.</p>



<p>States already have significant flexibility with respect to covering and paying for Medicaid services delivered via telehealth. This flexibility was available prior to the COVID-19 PHE and will continue to be available after the COVID-19 PHE ends. To learn more, visit the Centers for Medicare &amp; Medicaid Services’ (CMS)&nbsp;<a rel="noreferrer noopener" href="https://www.cms.gov/files/document/frequently-asked-questions-cms-waivers-flexibilities-and-end-covid-19-public-health-emergency.pdf?utm_source=TWITTER&amp;utm_medium=social&amp;utm_content=20230426_9718651959&amp;utm_campaign=COVID-19&amp;linkId=211653390" target="_blank">CMS Waivers, Flexibilities, and the End of the COVID-19 Public Health Emergency</a>.</p>



<p><strong>The whole-of-government response to Long COVID will not change.</strong></p>



<p>The Department has and will continue to coordinate a whole-of-government response to the longer-term effects of COVID-19, including Long COVID and associated conditions. On April 5, HHS released this&nbsp;<a rel="noreferrer noopener" href="https://www.hhs.gov/about/news/2023/04/05/fact-sheet-biden-harris-administration-makes-progress-whole-government-response-long-covid.html" target="_blank">fact sheet</a>&nbsp;outlining the progress made in responding to Long COVID and actions the Department is taking to address the needs of the growing population with Long COVID and associated conditions.</p>



<p><strong>Plans for changes</strong></p>



<p><strong>Certain Medicare and Medicaid waivers and broad flexibilities for health care providers are no longer necessary and will end.</strong>&nbsp;During the COVID-19 PHE, CMS used a combination of emergency authority waivers, regulations, and sub-regulatory guidance to ensure and expand access to care and to give health care providers the flexibilities needed to help keep people safe. Many of these waivers and flexibilities were necessary to expand facility capacity for the health care system and to allow the health care system to weather the heightened strain created by COVID-19; given the current state of COVID-19, this excess capacity is no longer necessary.</p>



<p>For Medicaid, some additional COVID-19 PHE waivers and flexibilities will end on May 11, while others will remain in place for six months following the end of the COVID-19 PHE. But many of the Medicaid waivers and flexibilities, including those that support home and community-based services, are available for states to continue beyond the COVID-19 PHE, if they choose to do so.</p>



<p><strong>Coverage for COVID-19 testing will change, but the U.S. government is maintaining a strong stockpile and distribution channels so that tests remain accessible at no cost in certain community locations. The U.S. government will continue to distribute tests through COVIDtests.gov through the end of May.</strong></p>



<p>People with Traditional Medicare can receive COVID-19 PCR and antigen tests with no cost-sharing when the lab tests are ordered by a physician or certain other health care providers, such as physician assistants and advanced practice registered nurses. People enrolled in Medicare Advantage plans can continue to receive COVID-19 PCR and antigen tests when the test is covered by Medicare, but their cost-sharing may change when the COVID-19 PHE ends. Additionally, the program that allowed Medicare coverage and payment for over-the-counter (OTC) COVID-19 tests will end when the COVID-19 PHE ends on May 11; Medicare Advantage plans may continue to cover the tests, and beneficiaries should check with their plan for details.</p>



<p>State Medicaid programs must provide coverage without cost sharing for COVID-19 testing until the last day of the first calendar quarter that begins one year after the last day of the COVID-19 PHE. That means with the COVID-19 PHE ending on May 11, 2023, this mandatory coverage will end on September 30, 2024, after which coverage may vary by state.</p>



<p><strong>The requirement for private insurance companies to cover COVID-19 tests without cost sharing, both for OTC and laboratory tests, will end at the expiration of the PHE.</strong>&nbsp;However, coverage may continue if plans choose to do so. The Administration is encouraging private insurers to continue to provide such coverage going forward.</p>



<p>Additionally, the USG may continue to distribute free COVID-19 tests from the Strategic National Stockpile through states and other community partners. Pending resource availability, the Centers for Disease Control and Prevention’s (CDC) Increasing Community Access to Testing (ICATT) program will continue to focus on no-cost testing for uninsured individuals and areas of high social vulnerability through pharmacies and community-based sites.</p>



<p><strong>Certain COVID-19 data reporting and surveillance will change.</strong></p>



<p>COVID-19 data surveillance has been a cornerstone of our response, and during the PHE, HHS had the authority to require. At the end of the COVID-19 PHE, HHS will no longer have this express authority to require lab test reporting for COVID-19 data, which will affect the reporting of negative test results and impact the ability to calculate percent positivity for COVID-19 tests in some jurisdictions. Hospital data reporting will continue as required by the CMS conditions of participation through April 30, 2024, but reporting will be reduced from the current daily reporting to weekly.</p>



<p><strong>FDA’s ability to detect shortages of critical devices related to COVID-19 will be more limited.&nbsp;</strong>While FDA will still maintain its authority to detect and address other potential medical product shortages, it is seeking congressional authorization to extend the requirement for device manufacturers to notify FDA of interruptions and discontinuances of critical devices outside of a PHE which will strengthen the ability of FDA to help prevent or mitigate device shortages.</p>



<p><strong>Public Readiness and Emergency Preparedness (PREP) Act liability protections will be amended.&nbsp;</strong>On April 14, 2023, HHS Secretary Becerra&nbsp;<a rel="noreferrer noopener" href="https://www.hhs.gov/about/news/2023/04/14/letter-us-governors-hhs-secretary-xavier-becerra-renewing-covid-19-public-health-emergency.html" target="_blank">sent a letter</a>&nbsp;and&nbsp;<a rel="noreferrer noopener" href="https://www.hhs.gov/about/news/2023/04/14/factsheet-hhs-announces-amend-declaration-prep-act-medical-countermeasures-against-covid19.html" target="_blank">Fact Sheet</a>&nbsp;to the nation’s governors announcing his intention to amend the PREP Act declaration to extend certain important protections that will continue to facilitate access to convenient and timely COVID-19 vaccines, treatments, and tests for individuals.</p><p>The post <a href="https://mtelehealth.com/as-covid-19-public-health-emergency-ends-hhs-outlines-what-changes-what-remains-in-health-care/">As COVID-19 public health emergency ends, HHS outlines what changes, what remains in health care</a> appeared first on <a href="https://mtelehealth.com">mTelehealth</a>.</p>
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