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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>
					<comments>https://mtelehealth.com/calendar-year-cy-2025-medicare-physician-fee-schedule-final-rule/#respond</comments>
		
		<dc:creator><![CDATA[Dr. M Telehealth]]></dc:creator>
		<pubDate>Mon, 04 Nov 2024 16:34:57 +0000</pubDate>
				<category><![CDATA[Blog]]></category>
		<category><![CDATA[Centers for Medicare & Medicaid Services (CMS) - Medicare]]></category>
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		<category><![CDATA[Medicare Part D]]></category>
		<category><![CDATA[Medicare Physician Fee Schedule (MPFS)]]></category>
		<category><![CDATA[Medicare Physician Fee Schedule (PFS)]]></category>
		<category><![CDATA[Medicare Shared Savings Program (MSSP)]]></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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<!--/themify_builder_content--><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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		<title>HHS Finalizes Physician Payment Rule Strengthening Person-Centered Care and Health Quality Measures</title>
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		<dc:creator><![CDATA[Dr. M Telehealth]]></dc:creator>
		<pubDate>Mon, 04 Nov 2024 16:32:10 +0000</pubDate>
				<category><![CDATA[Blog]]></category>
		<category><![CDATA[Centers for Medicare & Medicaid Services (CMS) - Medicare]]></category>
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		<category><![CDATA[Medicare Part D]]></category>
		<category><![CDATA[Medicare Physician Fee Schedule (MPFS)]]></category>
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<p>Today, the U.S. Department of Health and Human Services (HHS), through the Centers for Medicare &#38; Medicaid Services (CMS), announced it is finalizing new policies in the calendar year (CY) 2025 Medicare Physician Fee Schedule (PFS) final rule to strengthen primary care, expand access to preventive services, and further access to whole-person care for services [&#8230;]</p>
<p>The post <a href="https://mtelehealth.com/hhs-finalizes-physician-payment-rule-strengthening-person-centered-care-and-health-quality-measures/">HHS Finalizes Physician Payment Rule Strengthening Person-Centered Care and Health Quality Measures</a> appeared first on <a href="https://mtelehealth.com">mTelehealth</a>.</p>
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        <p>Today, the U.S. Department of Health and Human Services (HHS), through the Centers for Medicare &amp; Medicaid Services (CMS), announced it is finalizing new policies in the calendar year (CY) 2025 Medicare Physician Fee Schedule (PFS) final rule to strengthen primary care, expand access to preventive services, and further access to whole-person care for services such as behavioral health, oral health, and caregiver training. The final rule reflects the Biden-Harris Administration’s commitment to protecting and expanding Americans’ access to quality and affordable health care.</p><p>“The Medicare physician payment final rule continues our work to strengthen primary care while also supporting preventive care and promoting better access to behavioral health care. In addition, the final rule codifies and builds on guidance to continue our ability to use rebates from drug manufacturers to strengthen Medicare&#8221;, said HHS Secretary Xavier Becerra. “This is made possible by the Biden-Harris Administration’s historic prescription drug law, the Inflation Reduction Act. This rule ensures that everyone can get health care, regardless of the color of their skin, what language they speak, or where they were born. And, it encourages more participation in the Medicare Shared Savings Program by accountable care organizations serving people in rural and underserved communities – to the benefit of millions.” </p><p>“CMS remains committed to delivering affordable, high-quality care to all Americans while continually driving innovation to help better meet the individual needs of every person with Medicare,” said CMS Administrator Chiquita Brooks-LaSure. “This final Medicare physician payment rule increases access to preventive health services, improving health care providers’ ability to identify health problems early, when they are easier to treat, and takes additional steps to support caregivers.”</p><p>In accordance with update factors specified in law, finalized average payment rates under the PFS will be reduced by 2.93% in CY 2025 compared to the average payment rates for most of CY 2024. The change to the PFS conversion factor reflects the 0% update required by statute for CY 2025, the expiration of the 2.93% temporary increase in payment amounts for CY 2024 required by statute, and a small budget neutrality adjustment necessary to account for changes in valuation for particular services. This amounts to a finalized 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>Advancing High-Quality Primary and Accountable Care</strong></p><p>Over the last few years, CMS has taken action to support person-centered approaches to health care, which starts with strengthening primary care as a foundation of our health care system. Building on previously finalized policies that recognize the importance, time, and effort required for a primary care team to develop long-lasting relationships with patients, CMS is finalizing new coding and payment policies for advanced primary care management services that advanced primary care teams may provide, such as 24/7 access to care and care plan development. The codes for these services are stratified based on patient medical and social complexity. Overall, these policies incorporate lessons learned over the last decade of Innovation Center value-based primary care models, and as such, these finalized codes also represent the beginnings of a new <a href="https://www.healthaffairs.org/content/forefront/expanding-permanent-pathways-medicare-accountable-care" data-once="linkMatch externalLinkMatch">permanent pathway towards accountable care</a> in the PFS.</p><p>“Whole-person care means moving towards a health care system that recognizes the impact of each unique aspect of a person on their wellbeing. From physical, behavioral, and oral health to social determinants of health and caregiving supports, whole-person care necessitates looking at how all of these aspects together impact someone’s care journey. It all starts with a foundation of primary care that can integrate these components together,” said Meena Seshamani, M.D. Ph.D., Deputy CMS Administrator and Director of CMS’ Center for Medicare. “With this final rule, we are also taking lessons learned from numerous CMS Innovation Center models to strengthen primary care teams and accountable care organizations, allowing them to better meet the unique needs of every person with Medicare.”</p><p>Additionally, evaluation results from the Innovation Center’s Million Hearts® model demonstrated that payment for cardiovascular risk assessment and cardiovascular care management led to fewer deaths related to cardiovascular disease and significant reductions in heart attacks and strokes. Informed by these results, CMS is finalizing new payment and coding policies for these services to better assess and manage heart health.</p><p>CMS is continuing steps to further strengthen the Medicare Shared Savings Program (Shared Savings Program), which is Medicare’s permanent Accountable Care Organization (ACO) program. For the first time, CMS will allow eligible ACOs with a history of success in the program to receive an advance on their earned shared savings. This will encourage ACO investment in staffing, health care infrastructure, and certain additional services for people with Medicare, such as dental, vision, hearing, healthy meals, and transportation. CMS is also adopting a health equity benchmark adjustment to further incentivize participation in the Shared Savings Program by ACOs that serve people with Medicare and Medicaid from rural and underserved communities.</p><p>Further, CMS is finalizing a methodology for adjustments to account for the impact of improper payments when reopening an ACO’s shared savings and shared losses calculations, and to mitigate the impact of significant, anomalous, and highly suspect (SAHS) billing activity in CY 2024 or subsequent calendar years on annual ACO financial reconciliation. This action complements the Medicare Shared Savings Program SAHS Billing Activity Final Rule issued on September 24, 2024, and will improve the accuracy, fairness, and integrity of Shared Savings Program financial calculations, while also recognizing ACOs as a partner in the identification of anomalous and highly suspect billing and improper payments.</p><p>Finally, the CMS Quality Payment Program’s Merit-based Incentive Payment System (MIPS) is a program that rewards Medicare practitioners for improving the quality of patient care and outcomes. In its commitment to continue increasing high-quality care for individuals with Medicare, CMS is finalizing the addition of six new MIPS Value Pathways that address: ophthalmology, dermatology, gastroenterology, pulmonology, urology, and surgical care.</p><p><strong>Increasing Access to Behavioral Health, Oral Health, and Caregiver Training Services</strong></p><p>CMS is finalizing several impactful additions in this year’s final rule to increase access to services that better meet the needs of the whole person, <a href="https://www.cms.gov/blog/important-new-changes-improve-access-behavioral-health-medicare-0" data-once="linkMatch externalLinkMatch">building on policies established in previous years</a>.</p><p>To improve access to behavioral health, CMS is, for the first time, finalizing new coding and payment for U.S. Food &amp; Drug Administration (FDA)-cleared digital mental health treatment devices, safety planning interventions that can help prevent suicides and overdoses, and services to better integrate behavioral health with primary care. This final rule is also improving access to crucial services in Opioid Treatment Programs, such as social determinants of health assessments, coordinated care and referral services, patient navigational services, and peer recovery support services.</p><p>In this year’s rule, CMS is finalizing that payment can be made for certain dental services associated with dialysis services for the treatment of end-stage renal disease, building on the clinical scenarios identified in previous years, including for persons undergoing chemotherapy, head and neck cancer treatment, and transplantation. CMS is also finalizing new payment for caregiver training services related to direct care services and supports, as well as new policies that will allow caregiver training services to be provided virtually, further supporting caregivers consistent with the <a href="https://www.whitehouse.gov/briefing-room/presidential-actions/2023/04/18/executive-order-on-increasing-access-to-high-quality-care-and-supporting-caregivers/" data-once="linkMatch externalLinkMatch">Biden Administration Executive Order on Caregiving</a>.</p><p><strong>Removing Barriers to Covered Preventive Services: Hepatitis B Vaccinations, Colorectal Cancer Screening, and Pre-Exposure Prophylaxis (PrEP) to Prevent Human Immunodeficiency Virus (HIV)</strong><br />Preventive health care is key to detecting health problems early, preventing certain diseases, and living longer, healthier lives. CMS is finalizing a coverage expansion of the hepatitis B vaccine for people with Medicare who have not received the hepatitis B vaccine or whose vaccination status is unknown, at no cost to the individual. This policy enables people with Medicare to get the hepatitis B vaccine from pharmacies and also allows pharmacies and mass immunizers to roster bill Medicare consistent with current billing for flu, pneumococcal, and COVID-19 vaccines.</p><p>CMS is also updating and expanding coverage of colorectal cancer screening to promote access and remove barriers for much needed cancer prevention and early detection, especially within rural communities and communities of color. Finally, CMS finalized payment under Part B as an additional preventive service for Pre-Exposure Prophylaxis (PrEP) to Prevent Human Immunodeficiency Virus (HIV), following the <a href="https://www.cms.gov/medicare-coverage-database/view/ncacal-tracking-sheet.aspx?NCAId=310" data-once="linkMatch externalLinkMatch">National Coverage Determination released in September</a>. 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>Preserving Telehealth Flexibilities</strong></p><p>Under current law, the temporary extension of flexibilities related to payment for many telehealth services is scheduled to expire at the end of 2024. This 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. Through today’s final rule, CMS is continuing to permit certain practitioners to provide direct supervision via a virtual presence of auxiliary personnel, when required, virtually through immediate availability via real-time, audio-video technology. CMS is also finalizing temporary extensions to allow teaching physicians to be present virtually when they furnish telehealth services involving residents in teaching settings.</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. After that date, people with Medicare generally will need to be located in a medical facility in a rural area to receive most Medicare telehealth services, with a notable exception for behavioral health telehealth services which can continue to be provided in the patient’s home.</p><p><strong>Implementation of the Inflation Reduction Act </strong><br />The Inflation Reduction Act, the Biden-Harris Administration’s prescription drug law, discourages runaway price increases by drug companies by requiring them to pay rebates to Medicare when they increase prices faster than the rate of inflation for certain drugs covered under Part B and Part D. In this year’s final rule, CMS is codifying and building on established guidance to continue implementation of the inflation rebates and the next phase of implementation.</p><p>For a fact sheet on the CY 2025 Physician Fee Schedule final rule, please visit: <a href="https://www.cms.gov/newsroom/fact-sheets/calendar-year-cy-2025-medicare-physician-fee-schedule-final-rule" data-once="linkMatch externalLinkMatch">https://www.cms.gov/newsroom/fact-sheets/calendar-year-cy-2025-medicare-physician-fee-schedule-final-rule</a></p><p>For a fact sheet on final changes to the CY 2025 Quality Payment Program, please visit: <a href="https://qpp-cm-prod-content.s3.amazonaws.com/uploads/3057/2025-QPP-Policies-Final-Rule-Fact-Sheet.pdf" data-once="linkMatch externalLinkMatch">https://qpp-cm-prod-content.s3.amazonaws.com/uploads/3057/2025-QPP-Policies-Final-Rule-Fact-Sheet.pdf</a></p><p>For a fact sheet on final changes to the Medicare Shared Savings Program in the CY 2025 PFS final rule, please visit: <a href="https://www.cms.gov/newsroom/fact-sheets/calendar-year-cy-2025-medicare-physician-fee-schedule-final-rule-cms-1807-f-medicare-shared-savings" data-once="linkMatch externalLinkMatch">https://www.cms.gov/newsroom/fact-sheets/calendar-year-cy-2025-medicare-physician-fee-schedule-final-rule-cms-1807-f-medicare-shared-savings</a></p><p>For a fact sheet on the final changes to the Medicare Prescription Drug Inflation Rebate Program changes in the CY 2025 PFS final rule, please visit: <a href="https://www.cms.gov/inflation-reduction-act-and-medicare/inflation-rebates-medicare" target="_blank" rel="noopener" data-once="linkMatch externalLinkMatch">https://www.cms.gov/inflation-reduction-act-and-medicare/inflation-rebates-medicare</a></p><p>To view the CY 2025 Physician Fee Schedule final rule, please visit: <a href="https://www.federalregister.gov/public-inspection/2024-25382/medicare-and-medicaid-programs-calendar-year-2025-payment-policies-under-the-physician-fee-schedule" data-once="linkMatch externalLinkMatch">https://www.federalregister.gov/public-inspection/2024-25382/medicare-and-medicaid-programs-calendar-year-2025-payment-policies-under-the-physician-fee-schedule</a></p><p> </p>    </div>
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		<title>Calendar Year (CY) 2025 Home Health Prospective Payment System Final Rule Fact Sheet (CMS-1803-F)</title>
		<link>https://mtelehealth.com/calendar-year-cy-2025-home-health-prospective-payment-system-final-rule-fact-sheet-cms-1803-f/</link>
					<comments>https://mtelehealth.com/calendar-year-cy-2025-home-health-prospective-payment-system-final-rule-fact-sheet-cms-1803-f/#respond</comments>
		
		<dc:creator><![CDATA[Dr. M Telehealth]]></dc:creator>
		<pubDate>Mon, 04 Nov 2024 16:27:54 +0000</pubDate>
				<category><![CDATA[Blog]]></category>
		<category><![CDATA[Centers for Medicare & Medicaid Services (CMS) - Medicare]]></category>
		<category><![CDATA[Medicare Advantage (MA)]]></category>
		<category><![CDATA[Medicare Physician Fee Schedule (MPFS)]]></category>
		<category><![CDATA[Medicare Physician Fee Schedule (PFS)]]></category>
		<category><![CDATA[Medicare Shared Savings Program (MSSP)]]></category>
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<p>On November 1, 2024, the Centers for Medicare &#38; Medicaid Services (CMS) issued the Calendar Year (CY) 2025 Home Health Prospective Payment System (HH PPS) final rule, which updates Medicare payment policies and rates for Home Health Agencies (HHAs). This rule also updates the intravenous immune globulin (IVIG) items and services’ payment rate for CY [&#8230;]</p>
<p>The post <a href="https://mtelehealth.com/calendar-year-cy-2025-home-health-prospective-payment-system-final-rule-fact-sheet-cms-1803-f/">Calendar Year (CY) 2025 Home Health Prospective Payment System Final Rule Fact Sheet (CMS-1803-F)</a> appeared first on <a href="https://mtelehealth.com">mTelehealth</a>.</p>
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        <p>On November 1, 2024, the Centers for Medicare &amp; Medicaid Services (CMS) issued the Calendar Year (CY) 2025 Home Health Prospective Payment System (HH PPS) final rule, which updates Medicare payment policies and rates for Home Health Agencies (HHAs). This rule also updates the intravenous immune globulin (IVIG) items and services’ payment rate for CY 2025 for Durable Medical Equipment (DME) suppliers. As described further below, CMS estimates that Medicare payments to HHAs in CY 2025 would increase in the aggregate by 0.5%, or $85 million, compared to CY 2024.</p><p>This rule finalizes a permanent prospective adjustment of -1.975% (half of the calculated permanent adjustment of -3.95%) to the CY 2025 home health payment rate to account for the impact of implementing the Patient-Driven Groupings Model (PDGM). This adjustment, which is required by the Bipartisan Budget Act of 2018 and amended section 1895(b) of the Social Security Act, accounts for differences between assumed behavior changes and actual behavior changes on estimated aggregate expenditures due to the CY 2020 implementation of the PDGM and the change to a 30-day unit of payment. For CY 2023 and CY 2024, CMS previously applied a 3.925% reduction and a 2.890% reduction, respectively, which were half of the estimated required permanent adjustments.</p><p>In addition, CMS is finalizing a crosswalk for mapping responses on the current Outcome and Assessment Information Set-E (OASIS-E) to the prior OASIS-D responses for use in the methodology to analyze the difference between assumed and actual behavior changes on estimated aggregate expenditures; recalibrated PDGM case-mix weights; and updated low-utilization payment adjustment (LUPA) thresholds, functional impairment levels, and comorbidity adjustment subgroups. CMS is also finalizing and adopting the most recent Office of Management and Budget (OMB) Core-Based Statistical Area (CBSA) delineations for the home health wage index; an occupational therapy (OT) LUPA add-on factor and updated physical therapy (PT), speech-language pathology (SLP), and skilled nursing (SN) LUPA add-on factors; and an updated CY 2025 fixed-dollar loss ratio (FDL) for outlier payments. Additionally, this rule finalizes the rate update for the CY 2025 intravenous immune globulin (IVIG) items and services’ payment under the IVIG benefit. Furthermore, CMS is finalizing updates to the HHA Conditions of Participation (CoPs) to reduce avoidable care delays by helping ensure that referring entities and prospective patients can select the most appropriate HHA based on their care needs.</p><p>The actions CMS is taking in this final rule will help improve patient care and protect the Medicare program’s sustainability for future generations.</p><p><strong>CY 2025 Payment and Policy Updates for Home Health Agencies</strong></p><p>This rule finalizes routine, statutorily required updates to the home health payment rates for CY 2025. The CY 2025 updated rates include the final CY 2025 home health payment update of 2.7% ($445 million increase), which is offset by an estimated 1.8% decrease that reflects the permanent behavior adjustment ($295 million decrease) and an estimated 0.4% decrease that reflects the updated FDL ($65 million decrease). CMS estimates that Medicare payments to HHAs in CY 2025 would increase in the aggregate by 0.5%, or $85 million, compared to CY 2024, based on the finalized policies.</p><p><em>PDGM and Behavior Assumptions</em><br />On January 1, 2020, CMS implemented the home health PDGM and a 30-day unit of payment, as required by section 1895(b) of the Social Security Act, as amended by the Bipartisan Budget Act of 2018. The PDGM better aligns payments with patient care needs, especially for clinically complex individuals. The law requires CMS to make assumptions about behavior changes that could occur because of the 30-day unit of payment and the PDGM. CMS finalized three behavior assumptions in the CY 2019 HH PPS final rule: clinical group coding, comorbidity coding, and LUPA threshold. The law also requires CMS to annually determine the impact of differences between assumed behavior changes and actual behavior changes on estimated aggregate expenditures, beginning with 2020 and ending with 2026, and to make temporary and permanent increases or decreases, as needed, to the 30-day payment amount to offset such increases or decreases. Additionally, in the CY 2019 HH PPS final rule (83 FR 56455), CMS stated that we interpret actual behavior change to encompass both behavior changes that were previously outlined, as assumed by CMS when determining the budget-neutral 30-day payment amount for CY 2020, and other behavior changes not identified at the time the 30-day payment amount for CY 2020 was determined.</p><p>In the CY 2023 HH PPS final rule (87 FR 66790), CMS finalized a methodology for analyzing the impact of the differences between assumed and actual behavior changes on estimated aggregate expenditures and calculated levels of actual and estimated aggregate expenditures. Based on analyses of CYs 2020 and 2021 claims data, CMS determined a permanent adjustment was needed and finalized implementing half (-3.925%) of the permanent adjustment estimated at the time (7.85%).</p><p>In the CY 2024 HH PPS final rule (88 FR 77676), using CY 2022 claims and the finalized methodology, CMS determined that an additional permanent adjustment needed to be applied and finalized implementing half (-2.890%) of the permanent adjustment estimated at the time (5.779%). This estimated permanent adjustment necessary for CY 2024 included the remaining     -3.925% (to account for CYs 2020 and 2021) that was not applied to the CY 2023 payment rate.</p><p>For the CY 2025 HH PPS final rule, using CY 2023 claims and the methodology finalized in the CY 2023 HH PPS final rule, CMS determined that Medicare is still paying more under the new system than it would have under the old system. We determined a total permanent behavior adjustment of -3.95% is needed to be applied to the 30-day base payment rate to account for overpayments in CY 2023, as well as the remaining adjustment of 2.890% that CMS delayed finalizing in CY 2024. However, in response to commenter concerns that this would impose too large a reduction in a single year, we are finalizing only half of the adjustment (1.975%) to the CY 2025 payment rate. This adjustment will continue to satisfy the statutory requirements at section 1895(b)(3)(D) of the Act to offset any increases or decreases resulting from the impact of differences between assumed behavior and actual behavior changes on estimated aggregate expenditures, reduce the need for any future large permanent behavior adjustments, and help slow the accrual of the temporary payment adjustment amount. The final permanent behavior adjustment is also anticipated to lessen any potential temporary adjustments in future years. While we did not propose to implement a temporary behavior adjustment in CY 2025, the final rule does provide the calculated temporary behavior adjustment dollar amount (approximately $971 million) based on analysis of CY 2023 claims. The law provides CMS the discretion to make any future permanent or temporary behavior adjustments in a time and manner determined appropriate through analysis of estimated aggregate expenditures through CY 2026.</p><p><em>Crosswalk for Mapping OASIS-D Data Elements to The Equivalent OASIS-E Data Elements</em><br />The Outcome and Assessment Information Set (OASIS)-D was the home health assessment instrument used under the prior 153-group system and the first three years (CYs 2020-2022) of the current PDGM. However, the Office of Management and Budget (OMB) approved an updated version of the OASIS instrument, OASIS-E, on November 30, 2022, effective January 1, 2023 (OMB-control number 0938-1279). To accurately determine payments under the 153-group system, we use the October 2019 3M Home Health Grouper (v8219) to assign a Health Insurance Prospective Payment System (HIPPS) code to each simulated 60-day episode of care. This older version of the Home Health Grouper requires responses from OASIS-D. Therefore, to continue with the methodology, CMS will need to impute responses for the three items from OASIS-D that have changed in the OASIS-E. Additionally, 13 items on the OASIS-E are no longer required to be asked at a follow-up visit. For these items, we can use the most recent Start of Care or Resumption of Care assessment (SOC/ROC) to determine a response, which would not require imputation. We are finalizing a crosswalk to address this issue by mapping the OASIS-E items back to the OASIS-D in this final rule.</p><p><em>Final OT LUPA Add-on Factor and LUPA Add-on Factor Updates</em><br />With sufficient recent claims data available, and to establish equitable compensation for all home health services, CMS proposed to establish a definitive occupational therapy (OT) specific LUPA add-on factor and discontinue the temporary use of the physical therapy (PT) LUPA add-on factor as a proxy. We are finalizing the establishment of the OT LUPA add-on factor with the same methodology used to establish the skilled nursing (SN), physical therapy (PT), and speech-language pathology (SLP) LUPA add-on factors, as described in the CY 2014 HH PPS final rule. The final OT LUPA add-on factor is 1.7238, to be used when that discipline is the first skilled visit in a LUPA episode that occurs as the only episode or an initial episode in a sequence of adjacent episodes.</p><p>Additionally, we are finalizing updates to the SN, PT, and SLP LUPA add-on factors to more accurately reflect current health care practices and costs, by using recent claims through CY 2023. The SN, PT, and SLP LUPA add-on factors are 1.7200, 1.6225, and 1.6696, respectively.</p><p><em>Recalibration of PDGM Case-Mix Weights</em><br />Each of the 432 payment groups under the PDGM has an associated case-mix weight and LUPA threshold. CMS’ policy is to annually recalibrate the case-mix weights and LUPA thresholds using the most complete utilization data available at the time of rulemaking. In this final rule, CMS is finalizing the recalibrated case-mix weights — including the functional levels and comorbidity adjustment subgroups — and LUPA thresholds using CY 2023 data to more accurately pay for the types of patients HHAs are serving.</p><p><em>Wage Index Update</em><br />This rule finalizes an update to the home health wage index and adopts the new labor market delineations from the July 21, 2023, OMB Bulletin No. 23-01 based on data collected from the 2020 Decennial Census. The July 21, 2023, OMB Bulletin No. 23-01 contains several significant changes. It is standard practice to adopt the latest OMB update when available, as using the most recent OMB statistical area delineations results in a more accurate and up-to-date payment system that reflects the reality of population shifts and labor market conditions. For example, there are new CBSAs, urban counties that have become rural, rural counties that have become urban, and existing CBSAs that have been split. We note that existing home health PPS regulations limit one-year wage index decreases to 5%, which will help mitigate the impact of CBSA changes on payment.</p><p><strong>Home Health Conditions of Participation (CoPs) Updates</strong></p><p>CMS is finalizing updates to the HHA CoPs to reduce avoidable care delays by helping ensure that referring entities and prospective patients can select the most appropriate HHA based on their care needs. CMS is finalizing a new standard that requires HHAs to develop, implement, and maintain, through an annual review, a patient acceptance-to-service policy that is applied consistently to each prospective patient referred for home health care. We are finalizing a requirement that the policy must address, at a minimum, the following criteria related to the HHA’s capacity to provide patient care: the anticipated needs of the referred prospective patient, the HHA’s caseload and case mix, the HHA’s staffing levels, and the skills and competencies of the HHA staff. This final rule does not prevent HHAs from maintaining their existing acceptance-to-service policies; rather, it is intended to complement them. Additionally, CMS is finalizing that HHAs must make available to the public accurate information regarding the services offered by the HHA and any service limitations related to types of specialty services, service duration, or service frequency. The HHA must review this information as frequently as the services are changed, but no less often than annually.</p><p><strong>Home Health (HH) Quality Reporting Program (QRP) Updates</strong></p><p>CMS is finalizing four new items as standardized patient assessment data elements in the social determinants of health (SDOH) category and modifying one item collected as a standardized patient assessment data element in the SDOH category, beginning with the CY 2027 HH QRP via the OASIS. The four assessment items are: one living situation item, two food items, and one utilities item. In addition, CMS is modifying the current transportation item beginning with the CY 2027 HH QRP via the OASIS instrument.</p><p>CMS is also changing all-payer data collection to begin with the start of care OASIS data collection timepoint instead of the discharge timepoint.</p><p><strong>Expanded Home Health Value-Based Purchasing (HHVBP) Model</strong></p><p><em><span lang="">Request for </span>Information (RFI) <span lang="">on Future </span>Performance <span lang="">Measure Concepts for </span>the Expanded <span lang="">HHVBP</span> Model</em><br />This final rule summarizes comments received on a summary of responses to RFI that will build on input from the Expanded Home Health Value-Based Purchasing (HHVBP) Model’s Implementation and Monitoring technical expert panel (TEP), which met in November 2023. Discussions included potential future measure concepts that could fill measurement gaps in the expanded HHVBP Model. These include function measures complementing the existing cross-setting Discharge (DC) Function measure. These measures include care activities like bathing and dressing, which are important for home health patients and caregivers but are not included in the DC Function measures. Based on TEP feedback, CMS may also consider adding the existing Medicare Spending per Beneficiary measure in future rulemaking. Other potential areas for measure development activities discussed with the TEP include family caregiver status and claims-based falls with major injuries. We will share a summary of the comments with the TEP.</p><p><em>Health Equity Update</em><br />CMS is including an update on health equity, affirming our commitment to meaningfully advance health equity in the expanded HHVBP Model. As we move this important work forward, we will continue to take input from home health stakeholders and monitor the application of proposed health equity policies across CMS initiatives, such as proposed payment adjustments in the Hospital and SNF Value-Based Purchasing Programs. We have summarized the comments received and will share them with the TEP.</p><p> </p><p><strong>Long-Term Care (LTC) Facility Acute Respiratory Illness Data Reporting</strong></p><p>CMS is finalizing a new data reporting standard to address a broader range of acute care respiratory illnesses. Beginning on January 1, 2025, LTC facilities are required to electronically report information about COVID-19, influenza, and respiratory syncytial virus (RSV) in a standardized format and frequency specified by the Secretary. This new standard replaces the current COVID-19 reporting standards for LTC facilities that sunset in December 2024. CMS is finalizing that the new data elements for which reporting will be required include facility census; resident vaccination status for COVID-19, influenza, and RSV; confirmed resident cases of COVID-19, influenza, and RSV (overall and by vaccination status); and hospitalized residents with confirmed cases of COVID-19, influenza, and RSV (overall and by vaccination status). CMS continues to believe that sustained data collection and reporting of respiratory illnesses outside of emergencies will help LTC facilities gain important insights related to their evolving infection control needs.</p><p>We are also finalizing that, in the event of a declared national public health emergency (PHE) for an acute respiratory illness, there may be additional categories or reporting required, such as: reporting data up to a daily frequency and additional or modified data elements relevant to the PHE — including but not limited to relevant confirmed infections, supply inventory shortages, staffing shortages, and relevant medical countermeasures and therapeutic inventories.</p><p><strong>Medicare Provider Enrollment</strong></p><p>CMS is adding providers and suppliers that are reactivating their Medicare billing privileges to the categories of new providers and suppliers subject to a provisional period of enhanced oversight (PPEO). CMS may impose a PPEO for 30 days to one year for new providers and suppliers. The goal of a PPEO is to reduce and prevent fraud, waste, and abuse. During a PPEO, CMS may, among other things, conduct prepayment medical review and cap payments. CMS can apply a PPEO to new providers or suppliers, which are defined as providers or suppliers that are: (1) newly enrolling; (2) undergoing a change of ownership under 42 CFR § 489.18; and/or (3) undergoing a 100% change of ownership via a change of information. This final rule adds reactivating providers and suppliers as another category of new providers and suppliers subject to a PPEO.</p><p><strong>Resources</strong></p><p>For additional information about the Home Health Prospective Payment System, visit: <a href="https://www.cms.gov/medicare/medicare-fee-for-service-payment/homehealthpps" data-once="linkMatch externalLinkMatch">https://www.cms.gov/medicare/medicare-fee-for-service-payment/homehealthpps</a> and <a href="https://www.cms.gov/Center/Provider-Type/Home-Health-Agency-HHA-Center" data-once="linkMatch externalLinkMatch">https://www.cms.gov/Center/Provider-Type/Home-Health-Agency-HHA-Center</a>.</p><p>For additional information about the Home Health Patient-Driven Groupings Model, visit <a href="https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/HomeHealthPPS/HH-PDGM" data-once="linkMatch externalLinkMatch">https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/HomeHealthPPS/HH-PDGM</a>.</p><p>For additional information about the expanded Home Health Value-Based Purchasing Model, visit: <a href="https://innovation.cms.gov/innovation-models/expanded-home-health-value-based-purchasing-model" data-once="linkMatch externalLinkMatch">https://innovation.cms.gov/innovation-models/expanded-home-health-value-based-purchasing-model</a>.</p><p>The final rule can be downloaded from the Federal Register at:<strong> </strong><a href="https://public-inspection.federalregister.gov/2024-25441.pdf" data-once="linkMatch externalLinkMatch">https://public-inspection.federalregister.gov/2024-25441.pdf</a>.</p>    </div>
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<!--/themify_builder_content--><p>The post <a href="https://mtelehealth.com/calendar-year-cy-2025-home-health-prospective-payment-system-final-rule-fact-sheet-cms-1803-f/">Calendar Year (CY) 2025 Home Health Prospective Payment System Final Rule Fact Sheet (CMS-1803-F)</a> appeared first on <a href="https://mtelehealth.com">mTelehealth</a>.</p>
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		<title>Telehealth, hospital-at-home extensions pass key House committee</title>
		<link>https://mtelehealth.com/telehealth-hospital-at-home-extensions-pass-key-house-committee/</link>
					<comments>https://mtelehealth.com/telehealth-hospital-at-home-extensions-pass-key-house-committee/#respond</comments>
		
		<dc:creator><![CDATA[Dr. M Telehealth]]></dc:creator>
		<pubDate>Thu, 19 Sep 2024 17:13:38 +0000</pubDate>
				<category><![CDATA[Blog]]></category>
		<category><![CDATA[Hospital at Home (HaH)]]></category>
		<category><![CDATA[Telehealth Extension Act]]></category>
		<category><![CDATA[Telehealth Extension and Evaluation Act (S. 3593)]]></category>
		<category><![CDATA[Telehealth Modernization Act of 2024]]></category>
		<guid isPermaLink="false">https://mtelehealth.com/?p=42046</guid>

					<description><![CDATA[<p><img width="768" height="432" src="https://mtelehealth.com/wp-content/uploads/2023/01/Congress-reaches-major-health-policy-deal-on-Medicare-Medicaid-and-pandemic-preparedness.jpg" class="attachment-full size-full wp-post-image" alt="" decoding="async" srcset="https://mtelehealth.com/wp-content/uploads/2023/01/Congress-reaches-major-health-policy-deal-on-Medicare-Medicaid-and-pandemic-preparedness.jpg 768w, https://mtelehealth.com/wp-content/uploads/2023/01/Congress-reaches-major-health-policy-deal-on-Medicare-Medicaid-and-pandemic-preparedness-300x169.jpg 300w" sizes="(max-width: 768px) 100vw, 768px" /></p>
<p>Bills that would extend expiring telehealth and hospital-at-home authorities and reverse a regulation establishing staffing mandates for nursing homes are ready for final votes in the House after committee consideration Wednesday.The Energy and Commerce Committee met to vote on a number of healthcare bills at the session. Among them was the Telehealth Modernization Act of [&#8230;]</p>
<p>The post <a href="https://mtelehealth.com/telehealth-hospital-at-home-extensions-pass-key-house-committee/">Telehealth, hospital-at-home extensions pass key House committee</a> appeared first on <a href="https://mtelehealth.com">mTelehealth</a>.</p>
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        <p><b><span style="font-family: '-apple-system-font',serif; color: #1b1b1b;">Bills that would extend expiring telehealth and hospital-at-home authorities and reverse a regulation establishing staffing mandates for nursing homes are ready for final votes in the House after committee consideration Wednesday.</span></b></p><p style="max-width: 100%;"><b><span style="font-family: '-apple-system-font',serif; color: #1b1b1b;">The Energy and Commerce Committee met to vote on a number of healthcare bills at the session. Among them was the Telehealth Modernization Act of 2024, which passed unanimously.</span></b></p><p style="max-width: 100%;"><b><span style="font-family: '-apple-system-font',serif; color: #1b1b1b;">The legislation would <a style="max-width: 100%;" href="https://www.modernhealthcare.com/politics-policy/telehealth-rules-waiver-extension-congress" target="_blank" rel="noopener"><span style="color: #416ed2;">permit broader use of telehealth</span></a> under Medicare for two more years and retain the Medicare hospital-at-home program for five more years. Both policies, due to run out Dec. 31, originated during the COVID-19 pandemic and providers have clamored for them to be reauthorized.</span></b></p><p style="max-width: 100%;"><b><span style="font-family: '-apple-system-font',serif; color: #1b1b1b;">&#8220;We can all agree that one of the silver linings of the pandemic was unlocking the incredible potential of telehealth,&#8221; said Rep. Doris Matsui (Calif.), ranking Democrat on the panel&#8217;s Communications and Technology Subcommittee. &#8220;We need to ensure seniors can get the care they need when they need it. And I look forward to a future where we can recognize telehealth as a crucial piece of our healthcare system, rather than a temporary fix we must extend every two years.&#8221;</span></b></p><p style="max-width: 100%;"><b><span style="font-family: '-apple-system-font',serif; color: #1b1b1b;">The legislation targets pharmacy benefit managers to finance these extensions via projected savings on Medicare prescription drug costs.</span></b></p><p style="max-width: 100%;"><b><span style="font-family: '-apple-system-font',serif; color: #1b1b1b;">PBMs would be barred from linking compensation to drug list prices, be required to charge flat fees for negotiating prices, and have to provide extensive data to plan sponsors and federal regulators. <a style="max-width: 100%;" href="https://www.modernhealthcare.com/politics-policy/chevron-ruling-pbm-bills-congress" target="_blank" rel="noopener"><span style="color: #416ed2;">PBMs</span></a> have adamantly opposed such measures, arguing they would enrich pharmaceutical manufacturers.</span></b></p><p style="max-width: 100%;"><b><span style="font-family: '-apple-system-font',serif; color: #1b1b1b;">The Energy and Commerce Committee also voted 21-18 along party lines to repeal the Centers for Medicare and Medicaid Services <a style="max-width: 100%;" href="https://www.modernhealthcare.com/providers/nursing-home-staffing-mandate-ratios-joe-biden" target="_blank" rel="noopener"><span style="color: #416ed2;">final rule</span></a> that establishes minimum nurse staffing standards for nursing homes. Under that regulation, skilled nursing facilities must provide at least 3.48 hours of nursing care per resident, per day, including at least .55 hours from a registered nurse.</span></b></p><p style="max-width: 100%;"><b><span style="font-family: '-apple-system-font',serif; color: #1b1b1b;">The mandate triggered <a style="max-width: 100%;" href="https://www.modernhealthcare.com/providers/nursing-home-staffing-mandate-ahca-lawsuit" target="_blank" rel="noopener"><span style="color: #416ed2;">vehement opposition</span></a> from the American Health Care Association and other nursing home industry groups and met <a style="max-width: 100%;" href="https://www.modernhealthcare.com/politics-policy/biden-cms-nursing-home-staffing-minimums-rule-opposition-congress" target="_blank" rel="noopener"><span style="color: #416ed2;">resistance on Capitol Hill</span></a>, mostly from Republicans.</span></b></p><p style="max-width: 100%;"><b><span style="font-family: '-apple-system-font',serif; color: #1b1b1b;">The skilled nursing facility industry and sympathetic lawmakers argue the requirements are too costly and will <a style="max-width: 100%;" href="https://www.modernhealthcare.com/politics-policy/nursing-home-staffing-mandate-jon-tester-joe-manchin" target="_blank" rel="noopener"><span style="color: #416ed2;">force nursing homes to close</span></a>. According to the health policy research institution KFF, only about one in five nursing homes currently meets those benchmarks.</span></b></p><p style="max-width: 100%;"><b><span style="font-family: '-apple-system-font',serif; color: #1b1b1b;">&#8220;The Biden administration is proposing an unfunded mandate that will decrease access to nursing homes for some of our most vulnerable patients living in my district and across the country,&#8221; said Rep. Buddy Carter (R-Ga.). &#8220;Nursing homes are not suffering from a lack of mandates. They&#8217;re facing a lack of nurses. This rule would only make things worse for our seniors and the healthcare providers who support them.&#8221;</span></b></p><p style="max-width: 100%;"><b><span style="font-family: '-apple-system-font',serif; color: #1b1b1b;">Democrats have defended the rule, siding with nurses&#8217; unions and patient advocates who maintain that minimum staffing levels are necessary to keep patients safe and allow nurses to do a good job.</span></b></p><p style="max-width: 100%;"><b><span style="font-family: '-apple-system-font',serif; color: #1b1b1b;">&#8220;The evidence shows that, on average, more staffing helps, and it helps a lot,&#8221; said Rep. Diana DeGette (D-Colo.). &#8220;Mandating staffing is a the most serious idea anyone has come up with so far for improving nursing homes. We&#8217;re certainly not considering anything today that will address the crisis facing seniors.&#8221;</span></b></p><p style="max-width: 100%;"><b><span style="font-family: '-apple-system-font',serif; color: #1b1b1b;">The fates of both measures is uncertain. Congress is approaching its pre-election recess in less than two weeks and is scrambling to advance legislation to keep the federal government open and sustain various programs past the end of the fiscal year on Sept. 30.</span></b></p><p style="max-width: 100%;"><b><span style="font-family: '-apple-system-font',serif; color: #1b1b1b;">The telehealth bill has strong support in the GOP-led House and the majority-Democrat Senate. Whether it passes will depend on how Congress proceeds with funding bills and a collection of other healthcare measures. Lawmakers have been trying since last year to craft a broad healthcare package that could either move on its own or be added to a bigger spending measure.</span></b></p><p style="max-width: 100%;"><b><span style="font-family: '-apple-system-font',serif; color: #1b1b1b;">The nursing home staffing mandate repeal is likely to pass the House if leaders bring it to the floor. The bill&#8217;s prospects in the Senate are less clear.</span></b></p><p style="max-width: 100%;"><b><span style="font-family: '-apple-system-font',serif; color: #1b1b1b;">The staffing rule legislation is advancing under what&#8217;s known as the Congressional Review Act, which allows the legislative branch to invalidate new regulations within specific timeframes and provides expedited Senate procedures that allow passage on simply majority votes that aren&#8217;t subject to filibusters.</span></b></p><p style="max-width: 100%;"><b><span style="font-family: '-apple-system-font',serif; color: #1b1b1b;">Democrats have a slim 51-49 Senate majority, including four independents who caucus with them. The staffing mandate bill could move forward if enough Democrats and allied independents join Republicans to scrap a major initiative from President Joe Biden. Sens. Jon Tester (D-Mont.) and Joe Manchin (I-W. Va.) have already <a style="max-width: 100%;" href="https://www.modernhealthcare.com/politics-policy/nursing-home-staffing-mandate-jon-tester-joe-manchin" target="_blank" rel="noopener"><span style="color: #416ed2;">joined Republicans</span></a> who support repealing the rule.</span></b></p><p style="max-width: 100%;"><b><span style="font-family: '-apple-system-font',serif; color: #1b1b1b;">But Biden almost certainly would veto a standalone measure to undo his signature nursing home policy.</span></b></p><p style="max-width: 100%;"><b><span style="font-family: '-apple-system-font',serif; color: #1b1b1b;">Federal government funding runs out in 12 days, and advancing a spending bill has gotten <a style="max-width: 100%;" href="https://www.modernhealthcare.com/politics-policy/save-act-government-spending-bill-hhs-donald-trump-mike-johnson-election-2024" target="_blank" rel="noopener"><span style="color: #416ed2;">enmeshed in 2024 election politics</span></a>, complicating passage and efforts to attach healthcare measures to an appropriations bill.</span></b></p><p style="max-width: 100%;"><b><span style="font-family: '-apple-system-font',serif; color: #1b1b1b;">A more likely scenario is that lawmakers find a way to pass the more popular and bipartisan measures after Election Day in a lame duck session, perhaps as part of a full-year spending bill.</span></b></p><p style="max-width: 100%;"><span style="font-family: '-apple-system-font',serif; color: #1b1b1b;"> </span></p>    </div>
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		<title>Hospital-at-home, telehealth extension advances in Congress</title>
		<link>https://mtelehealth.com/hospital-at-home-telehealth-extension-advances-in-congress/</link>
					<comments>https://mtelehealth.com/hospital-at-home-telehealth-extension-advances-in-congress/#respond</comments>
		
		<dc:creator><![CDATA[Dr. M Telehealth]]></dc:creator>
		<pubDate>Thu, 19 Sep 2024 17:08:51 +0000</pubDate>
				<category><![CDATA[Blog]]></category>
		<category><![CDATA[Hospital at Home (HaH)]]></category>
		<category><![CDATA[Telehealth]]></category>
		<category><![CDATA[Telehealth Extension Act]]></category>
		<category><![CDATA[Telehealth Modernization Act]]></category>
		<category><![CDATA[Telehealth Modernization Act of 2024]]></category>
		<guid isPermaLink="false">https://mtelehealth.com/?p=42043</guid>

					<description><![CDATA[<p><img width="850" height="478" src="https://mtelehealth.com/wp-content/uploads/2023/01/Here-are-the-health-policies-in-Congress-1.7T-omnibus.webp" class="attachment-full size-full wp-post-image" alt="" decoding="async" srcset="https://mtelehealth.com/wp-content/uploads/2023/01/Here-are-the-health-policies-in-Congress-1.7T-omnibus.webp 850w, https://mtelehealth.com/wp-content/uploads/2023/01/Here-are-the-health-policies-in-Congress-1.7T-omnibus-300x169.webp 300w, https://mtelehealth.com/wp-content/uploads/2023/01/Here-are-the-health-policies-in-Congress-1.7T-omnibus-768x432.webp 768w" sizes="(max-width: 850px) 100vw, 850px" /></p>
<p>A U.S. House committee unanimously passed a bill Sept. 18 that would extend the hospital-at-home program and telehealth flexibilities.The Telehealth Modernization Act of 2024 moved out of the Committee on Energy and Commerce and will now go before the full House. The legislation, which would be funded by pharmacy benefit manager reform, would continue the CMS hospital-at-home waiver for five years [&#8230;]</p>
<p>The post <a href="https://mtelehealth.com/hospital-at-home-telehealth-extension-advances-in-congress/">Hospital-at-home, telehealth extension advances in Congress</a> appeared first on <a href="https://mtelehealth.com">mTelehealth</a>.</p>
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        <p>A U.S. House committee unanimously <a href="https://buddycarter.house.gov/news/documentsingle.aspx?DocumentID=15088" target="_blank" rel="noopener">passed</a> a bill Sept. 18 that would extend the hospital-at-home program and telehealth flexibilities.</p><p>The <a href="https://www.beckershospitalreview.com/telehealth/house-subcommittee-passes-hospital-at-home-telehealth-extension.html" target="_blank" rel="noopener">Telehealth Modernization Act</a> of 2024 moved out of the Committee on Energy and Commerce and will now go before the full House. The legislation, which would be funded by pharmacy benefit manager reform, would continue the CMS <a href="https://www.beckershospitalreview.com/innovation/inside-the-top-8-hospital-at-home-programs.html" target="_blank" rel="noopener">hospital-at-home</a> waiver for five years and ease telehealth rules on Medicare recipients for two years.</p><p>&#8220;Seniors, individuals with mobility issues, and those living in rural areas rely on telehealth to bring qualified healthcare professionals right to their home,&#8221; said bill sponsor Rep. Earl &#8220;Buddy&#8221; Carter, R-Ga., in a Sept. 18 statement. &#8220;I urge a swift House floor vote on this bill so that we can get Medicare beneficiaries the life-saving health care they need.&#8221;</p><p>Without an extension, the COVID-era flexibilities will expire at the end of 2024. CMS has <a href="https://www.beckershospitalreview.com/innovation/9-health-systems-newly-approved-for-hospital-at-home.html" target="_blank" rel="noopener">approved</a> 345 hospitals across 137 health systems to provide acute hospital care at home since the waiver started in 2020.</p><p>ntent</p>    </div>
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		<title>Proposed Medicare Physician Fee Schedule Would Extend Telehealth Flexibilities and Add New Coverage</title>
		<link>https://mtelehealth.com/proposed-medicare-physician-fee-schedule-would-extend-telehealth-flexibilities-and-add-new-coverage/</link>
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		<dc:creator><![CDATA[Dr. M Telehealth]]></dc:creator>
		<pubDate>Wed, 14 Aug 2024 22:14:36 +0000</pubDate>
				<category><![CDATA[Blog]]></category>
		<category><![CDATA[Centers for Medicare & Medicaid Services (CMS) - Medicare]]></category>
		<category><![CDATA[Federally Qualified Health Centers (FQHCs)]]></category>
		<category><![CDATA[Medicare Physician Fee Schedule (MPFS)]]></category>
		<category><![CDATA[Medicare Physician Fee Schedule (PFS)]]></category>
		<category><![CDATA[Physician Fee Schedule]]></category>
		<category><![CDATA[Rural Health Clinics (RHCs)]]></category>
		<category><![CDATA[Telehealth]]></category>
		<category><![CDATA[Telemedicine]]></category>
		<guid isPermaLink="false">https://mtelehealth.com/?p=42035</guid>

					<description><![CDATA[<p><img width="885" height="590" src="https://mtelehealth.com/wp-content/uploads/2023/07/CMS-Proposed-Medicare-Physician-Fee-Schedule-Provokes-Strong-Reactions-1.webp" class="attachment-full size-full wp-post-image" alt="" decoding="async" srcset="https://mtelehealth.com/wp-content/uploads/2023/07/CMS-Proposed-Medicare-Physician-Fee-Schedule-Provokes-Strong-Reactions-1.webp 885w, https://mtelehealth.com/wp-content/uploads/2023/07/CMS-Proposed-Medicare-Physician-Fee-Schedule-Provokes-Strong-Reactions-1-300x200.webp 300w, https://mtelehealth.com/wp-content/uploads/2023/07/CMS-Proposed-Medicare-Physician-Fee-Schedule-Provokes-Strong-Reactions-1-768x512.webp 768w" sizes="(max-width: 885px) 100vw, 885px" /></p>
<p>Summary PointsThe Centers for Medicare &#38; Medicaid Services (CMS) released its annual proposed rule updating the Medicare Physician Fee Schedule (MPFS) for calendar year (CY) 2025.1The proposed rule includes various provisions related to telehealth service delivery and other virtual care modalities. Similar to recent proposed rules, many of the provisions seek to extend temporary telehealth and virtual care flexibilities [&#8230;]</p>
<p>The post <a href="https://mtelehealth.com/proposed-medicare-physician-fee-schedule-would-extend-telehealth-flexibilities-and-add-new-coverage/">Proposed Medicare Physician Fee Schedule Would Extend Telehealth Flexibilities and Add New Coverage</a> appeared first on <a href="https://mtelehealth.com">mTelehealth</a>.</p>
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										<content:encoded><![CDATA[<p><img width="885" height="590" src="https://mtelehealth.com/wp-content/uploads/2023/07/CMS-Proposed-Medicare-Physician-Fee-Schedule-Provokes-Strong-Reactions-1.webp" class="attachment-full size-full wp-post-image" alt="" decoding="async" srcset="https://mtelehealth.com/wp-content/uploads/2023/07/CMS-Proposed-Medicare-Physician-Fee-Schedule-Provokes-Strong-Reactions-1.webp 885w, https://mtelehealth.com/wp-content/uploads/2023/07/CMS-Proposed-Medicare-Physician-Fee-Schedule-Provokes-Strong-Reactions-1-300x200.webp 300w, https://mtelehealth.com/wp-content/uploads/2023/07/CMS-Proposed-Medicare-Physician-Fee-Schedule-Provokes-Strong-Reactions-1-768x512.webp 768w" sizes="(max-width: 885px) 100vw, 885px" /></p><!--themify_builder_content-->
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        <div class="mb4 overflow-x-auto double-scroll"><table class="table" border="1" width="100%" cellspacing="0" cellpadding="5"><tbody><tr><th align="center">Summary Points</th></tr><tr><td valign="top"><ul><li>The Centers for Medicare &amp; Medicaid Services (CMS) <a href="https://www.federalregister.gov/public-inspection/2024-14828/medicare-and-medicaid-programs-calendar-year-2025-payment-policies-under-the-physician-fee-schedule" target="_blank" rel="noopener">released</a> its annual proposed rule updating the <a href="https://www.cms.gov/medicare/payment/fee-schedules/physician" target="_blank" rel="noopener">Medicare Physician Fee Schedule (MPFS)</a> for calendar year (CY) 2025.<sup>1</sup></li><li>The proposed rule includes various provisions related to telehealth service delivery and other virtual care modalities. Similar to recent proposed rules, many of the provisions seek to extend temporary telehealth and virtual care flexibilities implemented since the COVID-19 public health emergency through the end of CY2025.</li><li>Notably, for the first time CMS is proposing coverage for dispensing and monitoring of innovative digital mental health technologies.</li></ul></td></tr></tbody></table></div><h4>General Telehealth-Related Provisions</h4><p><strong>Medicare Telehealth Services List</strong></p><p>CMS is proposing to add the following services to the Medicare Telehealth Services List:</p><ul><li><em>On a provisional basis</em>: Anticoagulation management monitoring (i.e., Home International Normalized Ratio monitoring) and related caregiver training; and,</li><li><em>On a permanent basis</em>: Individual counseling for pre-exposure prophylaxis (PrEP) for Human Immunodeficiency Virus (HIV).</li></ul><p>CMS decided not to recategorize any existing provisional codes as permanent until they can complete a comprehensive review of all provisional codes. This is expected to be addressed in future rulemaking.</p><p><strong>New CPT Codes for Audio-Visual and Audio-Only Telehealth Services</strong></p><p>In February 2023, the American Medical Association’s <a href="https://www.ama-assn.org/topics/cpt-editorial-panel" target="_blank" rel="noopener">CPT Editorial Panel</a> added <a href="https://www.ama-assn.org/system/files/cpt-summary-panel-actions-feb-2023.pdf" target="_blank" rel="noopener">seventeen new CPT codes</a> for reporting telehealth office visits, eight synchronous audio video services, eight synchronous audio-only services and one code for an asynchronous virtual check-in service.</p><p>CMS is proposing not to recognize the new synchronous audio-video or audio-only CPT codes for telehealth services provided to Medicare patients at this time, citing similarity to existing codes and its interpretation of <a href="https://www.ssa.gov/OP_Home/ssact/title18/1834.htm" target="_blank" rel="noopener">section 1834(m) of the Social Security Act</a> requiring payment parity for a telehealth delivered service that is equivalent to an in-person delivered service. Thus, providers would continue to report the same codes for in-person office visits and use modifiers to indicate if the patient was home and/or if the visit was audio-only. CMS proposed accepting the CPT Panel’s recommendation related to adopting the asynchronous virtual check-in code as a replacement for an existing code.</p><p>The CPT Panel also proposed deleting three codes (99441–99443) for reporting telephone evaluation and management (E/M) services. These codes are assigned provisional status on the Medicare Telehealth Services List and would return to bundled status when current telehealth flexibilities expire on December 31, 2024.</p><p><strong>Audio-Only Communication Technology</strong></p><p>CMS’ previous definition of “interactive communication system” excluded audio-only technologies. CMS is proposing that the definition of an interactive telecommunications system will be expanded to include audio-only technology only in cases where the patient is unable or does not want to use video.</p><p>CMS would require providers to append a modifier (“93” or “FQ,”) to claims for services that meet these criteria to verify that the conditions have been met.</p><p><strong>Interprofessional Consultation</strong></p><p>CMS is proposing six new codes for interprofessional consultation that can be billed by providers who cannot independently bill Medicare for E/M visits (e.g., clinical psychologists, clinical social workers, marriage and family therapists, and mental health counselors). Providers would need to obtain patient consent in advance of these services. The new codes would facilitate interprofessional consultations between treating/requesting practitioners and consultant practitioners. This proposed payment is consistent with CMS’ efforts to recognize and reflect behavioral health care within the Physician Fee Schedule and allows for compensation for consulting practitioners.</p><p><strong>Extending Temporary Policies Through CY 2025.</strong></p><ul><li><em>Distant Site Requirements:</em> Would continue to allow practitioners to bill using their currently enrolled practice site instead of their home address when the practitioner’s home is the distant site for a telehealth visit.</li><li><em>Direct Supervision via Use of Two-way Audio/Video Communications Technology:</em> Would continue defining “direct supervision,” for purposes of Medicare billing by supervising practitioners, to include supervision via audio-video communications technology (excluding audio-only).</li><li><em>Frequency Limitations on Medicare Telehealth Subsequent Care Services in Inpatient and Nursing Facility Settings, and Critical Care Consultations:</em> Would continue the suspension of frequency limitations for subsequent inpatient visits, subsequent nursing visits, and critical care consultations.  </li><li><em>Federally Qualified Health Centers (FQHCs) and Rural Health Centers (RHCs).</em>In alignment with the virtual supervision proposed rules described above, CMS is proposing to continue defining “direct supervision” to include audio-video communications technology (excluding audio-only) for FQHCs and RHCs. CMS also proposes to temporarily allow payment for non-behavioral health visits furnished via telehealth through the end of 2025 using HCPCS code G2025. Lastly, CMS proposes to continue delaying the in-person visit requirement for mental health services delivered via communication technology by FQHCs and RHCs to beneficiaries in their homes until January 1, 2026; the requirement is currently slated to go back into effect on January 1, 2025.</li><li><em>Teaching Physician Billing for Services Involving Residents with Virtual Presence:</em>Would continue allowing teaching physicians to have a virtual presence (via real-time audio-visual observation, excluding audio-only) in all teaching settings but only in clinical instances when the service is furnished virtually (for example, a three-way telehealth visit with all parties in separate locations).</li></ul><p><strong>Telehealth Originating Site Facility Fee Payment Amount Update</strong></p><p>CMS is proposing to increase the telehealth originating site facility fee payment from $26.96 in 2024 to $31.04 for 2025.</p><h4>Mental Health-Related Provisions</h4><p><strong>Digital Mental Health Treatment Devices</strong></p><p>CMS is proposing new policies to cover digital mental health treatment (DMHT) devices used in conjunction with ongoing behavioral health care treatment.</p><p>CMS previously indicated that digital therapeutics did not have a Medicare benefit category. Now, CMS is proposing to adopt three new codes that would give Medicare beneficiaries access to the service. CMS notes that DMHT can “offer innovative means to access certain behavioral health care services,” particularly in light of behavioral health workforce shortages and increased demand. The proposal applies only to the use of DMHT devices that have been cleared by the FDA.</p><p>To effectuate coverage, CMS is proposing to create a three-code series of CPT codes, modeled on codes currently in use for remote therapeutic monitoring (RTM).</p><ul><li>The first, GMBT1, would be used for “supply of digital mental health treatment device and initial education and onboarding, per course of treatment that augments a behavioral therapy plan.” Noting “pricing variability” of various devices, CMS does not propose a price for the code, but suggests instead that GMBT1 be local contractor priced and seeks comment on potential national pricing.</li><li>Two other codes will support the follow-on use of DMHT: GMBT2 for the first 20 minutes of treatment management services related to the use of the DMHT, and GMBT3 for subsequent additional 20 minutes. These two codes would support billing for professional time spent reviewing data generated from the DMHT device from patient observations and patient specific inputs in a calendar month. They require at least one interactive communication with the patient, or the patient’s caregiver, during the calendar month. Pricing for the codes is based on pricing for the comparable treatment management services for RTM.</li></ul><p><strong>Telecommunication Flexibilities for Treatment with Methadone</strong></p><p>In an effort to address significant barriers many patients face in initiating and participating in opioid use disorder (OUD) treatment services, CMS is proposing new flexibilities for OUD treatment services furnished via telecommunications by opioid treatment programs (OTPs), as long as the technologies being used are permitted under applicable requirements from the Substance Abuse and Mental Health Services Administration and the Drug Enforcement Administration at the time of service provision and all other applicable requirements are met. Specifically, CMS is proposing to allow periodic assessments to be furnished via audio-only starting January 1, 2025, as long as all other applicable requirements are met. The agency is also proposing to allow the OTP intake add-on code (HCPCS code G2076) to be furnished via two-way audio-video communications technology when billed for the initiation of treatment.</p><p><strong>Safety Planning Interventions (SPI) and Post-Discharge Telephonic Follow-up Contacts Intervention (FCI)</strong></p><p>CMS is proposing payment mechanisms and coding for SPI and post-discharge FCI for interventions initiated or provided to patients with risk of suicide. The coding is being proposed due to a lack of adequate payment mechanisms and billing codes for these interventions, which contributes to inadequate compensation and inconsistency of service.</p><p>Post-discharge telephonic FCI is a protocol for individuals with suicide risk where providers make a series of telephone contacts in the weeks or months following discharge from the emergency department or other care settings. They are currently not within the scope of Medicare telehealth services and are under-utilized. The proposed code for FCI is for a bundled service with four calls per month lasting 10–20 minutes and would require patient consent. The RVU value is based on the CPT code for principal care management. CMS is seeking comment as to the appropriate duration of service and the actual contact threshold for billing.</p><h4>Next Steps</h4><p>CMS is seeking comments to the CY 2025 MPFS by September 9, 2024. The final rule will be released in early November, and the majority of provisions (if adopted as final) will take effect on Jan. 1, 2025. Stay tuned later this Fall, when Manatt on Health will <a href="https://www.manatt.com/insights" target="_blank" rel="noopener">publish</a> a summary of the final rule.</p>    </div>
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		<title>CMS 2025 Physician Fee Schedule Proposed Rule: What PAs Need to Know</title>
		<link>https://mtelehealth.com/cms-2025-physician-fee-schedule-proposed-rule-what-pas-need-to-know/</link>
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		<dc:creator><![CDATA[Dr. M Telehealth]]></dc:creator>
		<pubDate>Mon, 05 Aug 2024 15:37:08 +0000</pubDate>
				<category><![CDATA[Blog]]></category>
		<category><![CDATA[Centers for Medicare & Medicaid Services (CMS) - Medicare]]></category>
		<category><![CDATA[Medicare Physician Fee Schedule (MPFS)]]></category>
		<category><![CDATA[Medicare Physician Fee Schedule (PFS)]]></category>
		<category><![CDATA[Medicare Shared Savings Program (MSSP)]]></category>
		<category><![CDATA[Physician Fee Schedule]]></category>
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<p>AAPA Reimbursement TeamAugust 2, 2024The Centers for Medicare and Medicaid Services (CMS), the federal agency that oversees the Medicare program, released the 2025 Physician Fee Schedule (PFS) proposed rule. The rule updates numerous Medicare coverage and payment policies that impact PAs, physicians, and other health professionals.This year’s rule made no mention of any change to the [&#8230;]</p>
<p>The post <a href="https://mtelehealth.com/cms-2025-physician-fee-schedule-proposed-rule-what-pas-need-to-know/">CMS 2025 Physician Fee Schedule Proposed Rule: What PAs Need to Know</a> appeared first on <a href="https://mtelehealth.com">mTelehealth</a>.</p>
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        <p><em>AAPA Reimbursement Team</em><br />August 2, 2024</p><p>The Centers for Medicare and Medicaid Services (CMS), the federal agency that oversees the Medicare program, released the <a href="https://public-inspection.federalregister.gov/2024-14828.pdf" data-feathr-click-track="true" data-feathr-link-aids="5db1a7d95c38146f89d96f79">2025 Physician Fee Schedule (PFS) proposed rule</a>. The rule updates numerous Medicare coverage and payment policies that impact PAs, physicians, and other health professionals.</p><p>This year’s rule made no mention of any change to the Split (or Shared) Visit billing policies implemented <a href="https://www.cms.gov/newsroom/fact-sheets/calendar-year-cy-2024-medicare-physician-fee-schedule-final-rule" data-feathr-click-track="true" data-feathr-link-aids="5db1a7d95c38146f89d96f79">in last year’s rule</a>, suggesting the finalized policy from the 2024 fee schedule will remain in place. Some of the key provisions of the 2025 proposed rule are highlighted below. If finalized, all provisions would take effect on January 1, 2025, unless otherwise noted.</p><p><strong><u>Telehealth</u></strong></p><p>Due to statutory expirations, CMS is unable to further extend geographic or site of service telehealth flexibilities that were originally implemented in response to the COVID-19 public health emergency. Consequently, if Congress does not act, as of January 1, 2025, Medicare beneficiaries who wish to receive non-behavioral telehealth services will need to be in a rural area, as well as located in certain medical settings.</p><p>Despite this, CMS is extending various telehealth flexibilities within their purview. These include the suspension of frequency limitations for subsequent inpatient and skilled nursing facility visits, as well as critical care consultations provided by telehealth. CMS proposes a permanent authorization to use two-way, real-time, audio-only communication technology when a telehealth service is furnished to a beneficiary in their home (in those instances when the home is deemed a permissible originating site) and to provide direct supervision by electronic means for a subset of lower-risk services. CMS proposes to prolong the flexibility for a distant site practitioner to use a currently enrolled practice address, in lieu of their home address, when providing telehealth services from home and allow Federally Qualified Health Centers and Rural Health Clinics to meet direct supervision requirements virtually.</p><p><strong><u>Advanced Primary Care Management</u></strong></p><p>CMS is proposing to establish codes and make payment for Advanced Primary Care Management (APCM) services furnished by healthcare professionals who would take responsibility for all a beneficiary’s primary care and be the continuing focal point for all needed healthcare services in a calendar month. Participating health professionals would be required to provide certain benefits and meet certain capability requirements. APCM services would fall under one of three G-codes representing three different payment levels that would be based on the clinical complexity and income/resource level of the patient. Participating health professionals would also submit data to measure performance.</p><p><strong><u>Global Surgical Code Modifiers</u></strong></p><p>CMS is proposing to utilize three existing transfer of care modifiers (modifiers 54, 55, and 56) to identify when someone provides care for only one portion (pre-operative, procedure, or post-operative) of a 90-day global surgical service. CMS is also proposing that, for the 2025 calendar year, an add-on code may be used by those practitioners who provide follow-up outpatient/office E/M visits for post-op care during the global period, and who is not affiliated with the practitioner who performed the procedure. This add-on code would only be able to be billed once per 90-day global period.</p><p><strong><u>Prepaid Shared Savings</u></strong></p><p>CMS is proposing multiple changes to the Medicare Shared Savings Program. One such change is that, starting in January 2026, the agency would allow Accountable Care Organizations with a history of earning shared savings, to access advanced payments for shared savings to make investments, such as for staffing and infrastructure, and to provide additional direct services to beneficiaries. At least 50% of these prepaid shared savings would be required to be spent on direct patient services.</p><p><strong><u>Continued Medicare Conversion Factor Cuts</u></strong></p><p>The conversion factor is scheduled to be reduced by nearly 2.8%, from $33.29 to $32.36, for 2025. This payment reduction is primarily due to the expiration of the 2.93% payment increase provided by Congress for 2024, as well as a .05% positive budget neutrality adjustment. AAPA is working in coordination with medical societies and other health professional groups advocating for Congress to intervene and eliminate the projected payment cuts.</p>    </div>
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		<title>What the CMS 2025 PFS proposed rule means for virtual care</title>
		<link>https://mtelehealth.com/what-the-cms-2025-pfs-proposed-rule-means-for-virtual-care/</link>
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		<dc:creator><![CDATA[Dr. M Telehealth]]></dc:creator>
		<pubDate>Mon, 05 Aug 2024 15:32:54 +0000</pubDate>
				<category><![CDATA[Blog]]></category>
		<category><![CDATA[Centers for Medicare & Medicaid Services (CMS) - Medicare]]></category>
		<category><![CDATA[Medicare Physician Fee Schedule (PFS)]]></category>
		<category><![CDATA[Physician Fee Schedule]]></category>
		<category><![CDATA[Remote Physiological Monitoring (RPM)]]></category>
		<category><![CDATA[Remote Therapeutic Monitoring (RTM)]]></category>
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					<description><![CDATA[<p><img width="690" height="425" src="https://mtelehealth.com/wp-content/uploads/2020/07/2017-12-12-CMS-red.png" class="attachment-full size-full wp-post-image" alt="" decoding="async" srcset="https://mtelehealth.com/wp-content/uploads/2020/07/2017-12-12-CMS-red.png 690w, https://mtelehealth.com/wp-content/uploads/2020/07/2017-12-12-CMS-red-300x185.png 300w" sizes="(max-width: 690px) 100vw, 690px" /></p>
<p>The 2025 PFS proposed rule extends existing virtual care payment rules and introduces new codes for digital therapeutics, highlighting virtual care's lasting role in healthcare.  The Centers for Medicare &#38; Medicaid Services (CMS) issued its 2025 Physician Fee Schedule (PFS) proposed rule earlier this month. Alongside a 2.8 percent payment cut for physicians, the rule includes numerous proposals directed [&#8230;]</p>
<p>The post <a href="https://mtelehealth.com/what-the-cms-2025-pfs-proposed-rule-means-for-virtual-care/">What the CMS 2025 PFS proposed rule means for virtual care</a> appeared first on <a href="https://mtelehealth.com">mTelehealth</a>.</p>
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        <header id="content-header" class="main-article-header"><h2 class="main-article-subtitle">The 2025 PFS proposed rule extends existing virtual care payment rules and introduces new codes for digital therapeutics, highlighting virtual care&#8217;s lasting role in healthcare.</h2></header><div id="content-left" class="content-left"><div id="rail-share-bar"> </div></div><div id="content-center" class="content-center"><section id="contributors-block"><div class="main-article-author v2"><div class="main-article-author-date"> </div></div></section><section id="content-body" class="section answers-section" data-menu-title="Answer"><p>The Centers for Medicare &amp; Medicaid Services (CMS) issued its <a href="https://www.cms.gov/newsroom/fact-sheets/calendar-year-cy-2025-medicare-physician-fee-schedule-proposed-rule">2025 Physician Fee Schedule (PFS) proposed rule</a> earlier this month. Alongside a <a href="https://revcycleintelligence.com/news/cy-2025-physician-fee-schedule-rule-seeks-a-2.8-payment-cut">2.8 percent payment cut</a> for physicians, the rule includes numerous proposals directed at virtual care, including brand new codes for certain digital therapeutics solutions.</p><p>The proposed rule provides several wins for telehealth proponents; however, these wins may be moot if Congress fails to extend pandemic-era telehealth flexibilities beyond 2024. In 2022, Congress passed <a href="https://mhealthintelligence.com/news/spending-bill-to-extend-telehealth-hospital-at-home-waivers-by-2-years">a $1.7 trillion spending bill</a> that extended telehealth waivers — including ones that eliminated restrictions on originating sites for telehealth services and allowed federally qualified health centers (FQHCs) and rural health centers (RHCs) to continue receiving telehealth reimbursement under Medicare — until December 31, 2024.</p><p>As the virtual care industry awaits the final word from Congress, the CMS proposed rule can be viewed as cautiously optimistic for stakeholders. However, it also reveals pitfalls in current approaches to paying for virtual care services.</p><section class="section main-article-chapter" data-menu-title="A NEW PATHWAY FOR DIGITAL THERAPEUTICS PAYMENT"><h2 class="section-title"><strong>A NEW PATHWAY FOR DIGITAL THERAPEUTICS PAYMENT</strong></h2><p>Perhaps the most significant proposal in the 2025 PFS proposed rule is the new payment pathway for digital mental health treatment devices used in conjunction with ongoing behavioral health treatment.</p><p>CMS proposes creating three Healthcare Common Procedure Coding System (HCPCS) codes and six G codes for mental healthcare practitioners “to mirror current interprofessional consultation CPT codes used by practitioners who are eligible to bill E/M visits.”</p><p>The codes cover the supply of the digital mental health treatment device and initial education and onboarding, the first 20 minutes of monthly treatment management services directly related to the patient’s therapeutic use of the treatment, and each additional 20 minutes of monthly treatment management services.</p><p>The move could signify a significant shift for the digital therapeutics industry if included in the final PFS rule.</p><p>According to Ateev Mehrotra, MD, MPH, professor of healthcare policy at Harvard Medical School and a hospitalist at Beth Israel Deaconess Medical Center, the new codes could resurrect “an industry that had basically collapsed on itself.”</p><p>Digital therapeutics are software-based programs and devices <a href="https://mhealthintelligence.com/features/what-are-digital-therapeutics-and-their-use-cases">designed to treat various medical conditions</a>, such as chronic pain, diabetes, and behavioral health issues.</p><p>However, the digital therapeutics industry has experienced significant upheaval in recent years, with one of the industry’s pioneers, Pear Therapeutics, <a href="https://mhealthintelligence.com/news/digital-therapeutics-provider-files-for-bankruptcy-cuts-92-of-workforce">filing for bankruptcy</a> in 2023. There are numerous reasons behind failures in the arena, including a growing demand for rigorous clinical evidence and a payment model that may not work.</p><p>Mehrotra noted that the payment model involves clinicians writing prescriptions for a digital therapeutic, much like they did for medications, through the pharmacy benefits manager. Now, CMS is introducing a new model that would directly reimburse the clinician.</p><p>While Mehrotra generally supports the newly proposed model, he highlighted potential challenges in implementing it.</p><p>For instance, some of the new codes cover additional monitoring of data from the digital therapeutic, which overlaps with remote patient monitoring (RPM) reimbursement codes and could overwhelm clinicians.</p><p>“Docs can barely keep track of the codes they have now,” Mehrotra said in an interview with <em>mHealthIntelligence</em>. “Having separate codes for remote patient monitoring versus digital therapeutic monitoring is very confusing, and I&#8217;m not sure I would&#8217;ve gone that way, but so be it.”</p><p>The model also assumes standardized costs of care across the spectrum of digital therapeutics use. However, the investment costs can vary significantly for digital therapeutics. Mehrotra noted that clinicians typically have to float the cost upfront and then get reimbursed by CMS, which can cause administrative challenges.</p><p>“While I&#8217;m supportive and interested in the idea of paying for digital therapeutics, I just want to emphasize some of the issues,” he said. “One is, do we have the evidence base that these really work? And is this the right way to pay for them? It is unclear to me.”</p><p>Still, the proposal for digital therapeutics-specific codes, even just for mental healthcare solutions, is noteworthy, not only because it is the first time CMS has proposed digital therapeutic codes but also because of the Access to Prescription Digital Therapeutics Act introduced in Congress last year, said Miranda Franco, senior policy advisor and a member of the Public Policy &amp; Regulation Group at Holland &amp; Knight law firm.</p><p>The act aims to expand Medicare coverage to include prescription digital therapeutics. While it hasn’t moved forward in Congress, Franco explained that the sponsors had written to CMS “to clarify that coding and payment for FDA-approved digital therapeutics use incident to clinician services are necessary for treatment and that they could do that under their own authority.”</p><p>Thus, the digital therapeutics-specific code proposal in the 2025 PFS proposed rule is another step toward Medicare coverage for digital therapeutics.</p><p>“I think a lot of people see [digital therapeutics] as an element of the future of healthcare, particularly in the behavioral health space,” she said in an interview with <em>mHealthIntelligence</em>. “We are continuing to see more and more trials in this arena as well. And so, while there might be some skepticism, I think this shows that CMS is committed to trying to find a path forward, albeit tiptoeing and cautiously.”</p></section><section class="section main-article-chapter" data-menu-title="OTHER PROPOSALS CONCERNING VIRTUAL CARE"><h2 class="section-title"><strong>OTHER PROPOSALS CONCERNING VIRTUAL CARE</strong></h2><p>Aside from the new digital therapeutics codes, the provisions in the 2025 PFS proposed rule that affect virtual care are largely continuations from previous PFS rules.</p><p>For instance, CMS plans to continue allowing distant site practitioners to use their practice location instead of their home address when providing telehealth services and allowing teaching physicians to virtually supervise residents who are providing telehealth services in teaching settings.</p><p>Additionally, the agency proposed permanently adopting a definition of direct supervision that allows the physician to provide such supervision through real-time audio and visual telecommunications, permanently changing the definition of an interactive telecommunications system to include audio-only, and temporarily allowing payment for non-behavioral health visits furnished via telecommunication technology at FQHCs and RHCs. The agency also proposed continuing to delay the in-person visit requirement for telemental health services furnished by RHCs and FQHCs until January 1, 2026.</p><p>Notably, the agency is proposing to make permanent the current flexibility allowing opioid use disorder (OUD) treatment programs to provide periodic assessments via audio-only telecommunications beginning January 1, 2025.</p><p>Kyle Zebley, senior vice president of public policy at the American Telemedicine Association (ATA) and executive director of ATA Action, said in an interview with <em>mHealthIntelligence</em> that these proposals “reflect CMS’ goal to maintain and expand the scope of and access to telehealth services where appropriate.”</p><p>In particular, the proposals are a big win for the RHC and FQHC community and Medicare beneficiaries receiving OUD treatment, he added.</p><p>Still, even though the PSF proposed rule included some wins for virtual care, the ongoing adoption and utilization of virtual care modalities rests in the hands of Congress.</p></section><section class="section main-article-chapter" data-menu-title="WILL THE PROPOSALS AFFECT VIRTUAL CARE’S TRAJECTORY?"><h2 class="section-title"><strong>WILL THE PROPOSALS AFFECT VIRTUAL CARE’S TRAJECTORY?</strong></h2><p>Virtual care appears to have bipartisan support in Congress; however, debates on the contours of virtual care regulations and flexibilities are ongoing.</p><p>In a <a href="https://mhealthintelligence.com/features/what-the-house-subcommittee-hearing-tells-us-about-telehealths-future">subcommittee hearing in April</a>, members of the House Energy and Commerce Committee grilled physicians, policy experts, and patients about virtual care. Not only did they ask questions about the benefits of telehealth but also telehealth reimbursement and licensure challenges.</p><p>The committee eventually advanced a bill extending telehealth flexibilities through 2026, as did <a href="https://mhealthintelligence.com/news/house-committee-advances-bill-extending-telehealth-hah-flexibilities">the House Ways and Means Committee</a>.</p><p>These moves indicate that Congress will at least pass an extension in a year-end package and, eventually, consider making the flexibilities permanent.</p><p>“Efforts will continue to look at permanency as we get more utilization data and understanding of its use, or at least the service lines where it&#8217;s been most beneficial as long as it&#8217;s not creating a two-tier system of healthcare,” said Franco.</p><p>With the proposed rule, CMS appears to be signaling its support of pandemic-era virtual care flexibilities, which may influence Congress.</p><p>“Within the proposed rule, CMS is strongly supportive of telehealth and encourages Congress to act to maintain the Medicare statutory flexibilities post CY2024,” Zebley said. “I believe this will encourage Congress to extend the statutory flexibilities to ensure beneficiaries do not lose access to critical healthcare services and maintain certainty for providers across the country.”</p><p>He added that the rule could prompt congressional action sooner rather than later. If the final PFS rule comes before Congress acts on telehealth policy and includes these virtual care proposals, it could cause great confusion for virtual care stakeholders.</p><p>Franco echoed Zebley, adding that “CMS would [then] be stuck issuing a separate interim final regulation that updates or creates new telehealth policies. I don&#8217;t know to what extent Congress is considering the arduous process of that for CMS, but that could expedite their timeline to trying to do something in September as opposed to year-end.”</p><p>Only time will tell whether the proposed rule will spur Congressional action on telehealth policy. However, the proposed rule does crystallize the ongoing support for virtual care within the government — an ultimately positive sign for telehealth proponents nationwide.</p></section></section></div>    </div>
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<!--/themify_builder_content--><p>The post <a href="https://mtelehealth.com/what-the-cms-2025-pfs-proposed-rule-means-for-virtual-care/">What the CMS 2025 PFS proposed rule means for virtual care</a> appeared first on <a href="https://mtelehealth.com">mTelehealth</a>.</p>
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		<title>CMS proposes new payments for digital health under CY2025 PFS draft rule</title>
		<link>https://mtelehealth.com/cms-proposes-new-payments-for-digital-health-under-cy2025-pfs-draft-rule/</link>
					<comments>https://mtelehealth.com/cms-proposes-new-payments-for-digital-health-under-cy2025-pfs-draft-rule/#respond</comments>
		
		<dc:creator><![CDATA[Dr. M Telehealth]]></dc:creator>
		<pubDate>Mon, 05 Aug 2024 15:22:29 +0000</pubDate>
				<category><![CDATA[Blog]]></category>
		<category><![CDATA[Centers for Medicare & Medicaid Services (CMS) - Medicare]]></category>
		<category><![CDATA[Federally Qualified Health Centers (FQHCs)]]></category>
		<category><![CDATA[Legislation]]></category>
		<category><![CDATA[Remote Physiological Monitoring (RPM)]]></category>
		<category><![CDATA[Rural Health Clinics (RHCs)]]></category>
		<guid isPermaLink="false">https://mtelehealth.com/?p=42023</guid>

					<description><![CDATA[<p><img width="836" height="418" src="https://mtelehealth.com/wp-content/uploads/2024/08/CMS-proposes-new-payments-for-digital-health-under-CY2025-PFS-draft-rule.avif" class="attachment-full size-full wp-post-image" alt="" decoding="async" /></p>
<p>The post <a href="https://mtelehealth.com/cms-proposes-new-payments-for-digital-health-under-cy2025-pfs-draft-rule/">CMS proposes new payments for digital health under CY2025 PFS draft rule</a> appeared first on <a href="https://mtelehealth.com">mTelehealth</a>.</p>
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										<content:encoded><![CDATA[<p><img width="836" height="418" src="https://mtelehealth.com/wp-content/uploads/2024/08/CMS-proposes-new-payments-for-digital-health-under-CY2025-PFS-draft-rule.avif" class="attachment-full size-full wp-post-image" alt="" decoding="async" /></p><!--themify_builder_content-->
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        <p>The Centers for Medicare &amp; Medicaid Services&#8217; (CMS&#8217;) proposed calendar year 2025 physician fee schedule rule, out Wednesday, proposed an assortment of new payments and coverage for digital health services, including digital therapeutics, telehealth and audio-only telehealth services. It did not, however, address the bulk of Medicare telehealth waivers expiring at the end of the year, which need to be extended by Congress. </p><p>The draft rule contains significant proposals for rural health clinics and federally qualified health centers to continue receiving payment for audio-only telehealth, waive the in-person visit requirement for telemental health services and report remote monitoring codes outside of catch-all code G0511. </p><div> </div><p>CMS&#8217; proposal also gives opioid treatment programs more flexibility in their use of telehealth and audio-only telehealth services, which the agency says will improve health equity. </p><div class="container p-0 ad-container inline-native-ad pos-14"><div class="row justify-content-center ad-wrapper"><div id="nativeAdUnitPos141722870787505-wrapper" class="ad-placement-wrapper col d-flex justify-content-center nativeAdUnitPos141722870787505"><div id="nativeAdUnitPos141722870787505" class="ad-item row justify-content-center" data-ad-slot="nativeAdUnitPos141722870787505" data-google-query-id="CIHrleyR3ocDFYkMTwgd9rAsGA"><div id="google_ads_iframe_/298443/questex.healthcare/healthcare/regulatory_4__container__">While some of the changes were obvious wins for the digital health community, policy experts are still digging into the implications of other proposals.</div></div></div></div></div><h3>Digital therapeutics</h3><p>CMS provided a lengthy section on digital therapeutics used in the course of behavioral health care treatment. The section proposes to create three new codes for digital mental health treatment devices like digital therapeutics, though it&#8217;s unclear whether the new codes would substantially change the status quo. </p><p>CMS proposes in its CY2025 physician fee schedule draft rule that three new codes, GBMT1-3, pay for the supply of a digital mental health treatment device and for physician time spent interacting with the patient regarding the device. The proposal would allow providers to receive reimbursement for the use of FDA-cleared devices that leverage software to provide behavioral health therapies.</p><p>CMS says the new codes are direct crosswalks of existing remote therapeutic monitoring codes 98980 and 98981 and that they refine the language of its 2021 cognitive behavioral therapy code, all of which have allowed for some payment for digital therapeutics over the last several years. </p><p>A payment and coding expert told Fierce Healthcare that the new codes don’t seem to substantially differ from existing RTM and CBT codes. </p><p>The PFS notes that other digital therapeutics require the creation of a new Medicare benefit category and are not covered under the proposal. It also said that digital mental and behavioral health apps and interventions cannot use this code. </p><div class="embedded-entity" data-embed-button="node" data-entity-embed-display="view_mode:node.related_content" data-entity-type="node" data-entity-uuid="a3174abb-18c0-448d-8b7c-cf30f22928b5" data-langcode="en" data-entity-embed-display-settings="[]"><div class="container-fluid p-0"><div class="row"><div class="col"> </div></div></div></div><h3>Telehealth </h3><p>CMS proposed some extensions of pandemic-era telehealth provisions and even proposed to make a few telehealth line items permanent in its calendar year 2025 physician fee schedule draft rule. </p><p>Congress must extend or make permanent the majority of Medicare telehealth waivers through legislation, which is likely to happen in the lame duck session. Because CMS does not have the authority to extend the bulk of Medicare telehealth waivers, the proposed CY2025 draft rule omits the core waivers that enabled telehealth flexibilities, such as allowing telehealth visits to be conducted from anywhere, allowing an expanded set of providers to bill for telehealth, waiving the need for an in-person visit for telemental health and allowing hospitals to launch acute hospital care-at-home programs. </p><p>CMS proposed to permanently allow virtual direct supervision for some services with established patients and extended virtual direct supervision for all services through the end of CY2025. It also extended through the end of 2025 the ability for a teaching physician to be present for critical parts of the visit via a three-way telehealth visit for billing purposes. </p><p>CMS declined to include the 17 new telehealth evaluation and management (E&amp;M) codes, which the agency said were duplicative of existing E&amp;M codes used for in-person visits. The Alliance for Connected Care has advocated that CMS reject the telehealth codes and instead use a modifier on existing in-person codes to signify the use of telehealth. </p><p>CMS proposed to delay the requirement that telehealth providers report their home address on publicly available Medicare documentation through the end of CY2025.</p><p>The American Telemedicine Association (ATA) told Fierce Healthcare that the telehealth wins in the fee schedule proposed rule would be significantly impacted if Congress does not act to continue waiving geographic and originating site restrictions. </p><p>“That&#8217;s the difference between under 1% of Medicare beneficiaries having access to telehealth services, which would be the case if you were to re-implement those geographic and originating site restrictions … you&#8217;re cutting out urban and suburban America in one fell swoop,” Kyle Zebley, senior vice president of the ATA, said.</p><h3><br />Rural health clinics and federally qualified health centers </h3><p>CMS proposes to allow rural health clinics (RHCs) and federally qualified health centers (FQHCs) to use audio-only for telehealth visits. It also proposes RHCs/FQHCs be able to waive the required in-person visit for the provision of telemental health through the end of 2025. </p><p>CMS proposes to split catch-all code G0511 into distinct payments based on the service rendered. G0511 has been used as an add-on code for care coordination and management services like chronic care management, remote monitoring and nearly 20 other related codes. </p><p>CMS clarified in the CY2024 PFS rule that G0511 could be billed as many times as needed to get proper payment for the services, but rural health payment experts still were skeptical of how and if Medicare administrative contractors would pay the multiple G0511 claims out. </p><div class="embedded-entity" data-embed-button="node" data-entity-embed-display="view_mode:node.related_content" data-entity-type="node" data-entity-uuid="5e0a8317-ed5c-408e-9f8f-2e731a3308f8" data-langcode="en" data-entity-embed-display-settings="[]"><div class="container-fluid p-0"><div class="row"><div class="col"> </div></div><div class="row"><div class="col title font-weight-extra-bold"> </div></div></div></div><h3>Remote monitoring </h3><p>CMS proposed to cut reimbursement for remote therapeutic monitoring, continuing a multiyear trend. Otherwise, remote monitoring did not receive significant attention in the draft physician pay rule. CMS did not address concerns digital health stakeholders have over the 16-day data reporting requirement to bill RPM and RTM codes or any of the other myriad billing restrictions for the codes. </p><p>CMS discussed remote monitoring in its proposed Advanced Primary Care Model. As proposed, the model would encourage billing of remote monitoring on top of the monthly advanced primary care payment.</p><h3><br />Opioid treatment programs</h3><p>CMS proposes to make significant changes to opioid treatment programs’ ability to use telehealth and audio-only visits. The agency proposes allowing audio-only assessments permanently starting in CY2025 along with audio-visual assessments. </p><p>The agency also proposes to permanently allow audio-visual and audio-only telehealth visits to be used to induct patients into buprenorphine treatment at opioid treatment programs. The agency is also proposing to allow audio-visual telehealth visits used to induct patients into methadone treatment, in accordance with a Substance Abuse and Mental Health Services Administration final rule published in February. </p>    </div>
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<p></p><p>The post <a href="https://mtelehealth.com/cms-proposes-new-payments-for-digital-health-under-cy2025-pfs-draft-rule/">CMS proposes new payments for digital health under CY2025 PFS draft rule</a> appeared first on <a href="https://mtelehealth.com">mTelehealth</a>.</p>
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		<title>2024 Telehealth Reimbursement Updates: Expanding Access and Optimizing Care</title>
		<link>https://mtelehealth.com/2024-telehealth-reimbursement-updates-expanding-access-and-optimizing-care/</link>
					<comments>https://mtelehealth.com/2024-telehealth-reimbursement-updates-expanding-access-and-optimizing-care/#respond</comments>
		
		<dc:creator><![CDATA[Dr. M. Rosen]]></dc:creator>
		<pubDate>Mon, 04 Mar 2024 16:35:21 +0000</pubDate>
				<category><![CDATA[Blog]]></category>
		<category><![CDATA[Centers for Medicare & Medicaid Services (CMS) - Medicare]]></category>
		<category><![CDATA[Current Procedural Terminology (CPT®) code set]]></category>
		<category><![CDATA[Federally Qualified Health Centers (FQHCs)]]></category>
		<category><![CDATA[Public Health Emergency (PHE)]]></category>
		<category><![CDATA[Remote Patient Monitoring]]></category>
		<category><![CDATA[Remote Therapeutic Monitoring (RTM)]]></category>
		<category><![CDATA[Rural Health Clinics (RHCs)]]></category>
		<category><![CDATA[Telehealth]]></category>
		<guid isPermaLink="false">https://mtelehealth.com/?p=41990</guid>

					<description><![CDATA[<p><img width="600" height="439" src="https://mtelehealth.com/wp-content/uploads/2023/04/Bipartisan-bill-would-ensure-continued-access-to-telehealth-services.webp" class="attachment-full size-full wp-post-image" alt="" decoding="async" srcset="https://mtelehealth.com/wp-content/uploads/2023/04/Bipartisan-bill-would-ensure-continued-access-to-telehealth-services.webp 600w, https://mtelehealth.com/wp-content/uploads/2023/04/Bipartisan-bill-would-ensure-continued-access-to-telehealth-services-300x220.webp 300w" sizes="(max-width: 600px) 100vw, 600px" /></p>
<p>As the adoption of telehealth, remote monitoring, and connected care technologies continues to increase, it’s important for healthcare leaders to stay on top of the latest updates in&#160;telehealth reimbursement.&#160; Some of the most significant updates come from the Centers for Medicare &#38; Medicaid Services (CMS), which&#160;released its final rule&#160;for Medicare payments under the Physician Fee [&#8230;]</p>
<p>The post <a href="https://mtelehealth.com/2024-telehealth-reimbursement-updates-expanding-access-and-optimizing-care/">2024 Telehealth Reimbursement Updates: Expanding Access and Optimizing Care</a> appeared first on <a href="https://mtelehealth.com">mTelehealth</a>.</p>
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<p>As the adoption of telehealth, remote monitoring, and connected care technologies continues to increase, it’s important for healthcare leaders to stay on top of the latest updates in&nbsp;<a href="https://www.healthrecoverysolutions.com/blog/2024-telehealth-cpt-codes-cheat-sheet">telehealth reimbursement</a>.&nbsp;</p>



<p>Some of the most significant updates come from the Centers for Medicare &amp; Medicaid Services (CMS), which&nbsp;<a href="https://www.cms.gov/newsroom/fact-sheets/calendar-year-cy-2024-medicare-physician-fee-schedule-final-rule">released its final rule</a>&nbsp;for Medicare payments under the Physician Fee Schedule (PFS) in 2024. Let&#8217;s delve into the eight key updates impacting telehealth and remote patient monitoring (RPM) services:</p>



<p><strong>1. Established Patient Requirement:</strong>&nbsp;A fundamental change concerns new patients seeking RPM services. Before initiating these services, a new patient evaluation and management (E/M) or similar service is now mandatory. This ensures a clear care plan is established during an in-person visit. However, exceptions exist for patients who utilized RPM during the Public Health Emergency (PHE) as they already have an established patient-provider relationship. Additionally, this established patient rule doesn&#8217;t apply to remote therapeutic monitoring (RTM) reimbursement.</p>



<p><strong>2. 16-Day Data Collection for RPM:</strong>&nbsp;The billing guidelines for RPM data collection have been revised. Now, healthcare providers need to collect data for at least 16 of the 30-day episode of care period, excluding calendar month days, for CPT codes 99453 and 99454. This clarifies the data collection requirements for accurate reimbursement of these specific codes.</p>



<p><strong>3. Clarity on RPM/RTM &#8220;Time Spent&#8221;:</strong>&nbsp;CMS has provided further clarity regarding time spent billing guidelines for specific CPT codes. Codes 99457, 99458, 98980, and 98981, representing &#8220;time spent&#8221; for treatment management, are not subject to the 16-day data collection requirement. They maintain their existing billing guideline of a 30-day calendar month.</p>



<p><strong>4. One Provider for RPM/RTM Billing:</strong>&nbsp;A significant update concerns the number of providers permitted to bill for RPM and RTM services. According to the new guidelines, only one provider can bill for either RPM device codes (99453 and 99454) or RTM codes (98976, 98977, 98980, and 98981) within a 30-day episode of care. This means the provider who submits the claim first will be reimbursed, whereas subsequent claims from other providers for the same patient during that period will be denied.</p>



<p><strong>5. Concurrent Billing with Other Services:</strong>&nbsp;Reimbursement for RPM and RTM cannot be combined with similar services within the same month. However, specific services like Chronic Care Management (CCM), Transition Care Management (TCM), Behavioral Health Integration (BHI), Principal Care Management (PCM), and Chronic Pain Management (CPM) can be billed concurrently with either RPM or RTM.</p>



<p><strong>6. Billing During Global Surgery Periods:</strong>&nbsp;The 2024 Physician Fee Schedule clarifies the permissible timeframe for billing RPM/RTM services during a surgical global period, defined as the time during which a physician cannot bill for related office visits. Now, if the billing provider for RPM or RTM services is different from the provider receiving the global payment, these services can be billed. Additionally, if RPM or RTM services were already in place before the surgery, CMS allows payment outside the surgical global period.</p>



<p><strong>7. FQHCs and RHCs Gain Reimbursement:</strong>&nbsp;This update presents new opportunities for Federally Qualified Health Centers (FQHCs) and Rural Health Clinics (RHCs). They can now receive reimbursement from CMS for either RPM or RTM services (not both) when billed alongside Care Management CPT code G0511. This code can be billed multiple times per calendar month, offering additional financial support for these healthcare facilities.</p>



<p><strong>8. New Cost Fee Structure:</strong>&nbsp;The final update concerns changes to the cost fee structure. While the specific details are outside the scope of this article, it&#8217;s important to be aware that individual CPT code reimbursement rates for RPM, CCM, and RTM have been slightly adjusted.</p>



<p>These updates highlight the ongoing evolution of telehealth and remote patient monitoring regulations. By staying informed about these changes, healthcare providers and facilities can ensure they are delivering compliant and reimbursable care to patients while optimizing their practice efficiency.</p>
<p>The post <a href="https://mtelehealth.com/2024-telehealth-reimbursement-updates-expanding-access-and-optimizing-care/">2024 Telehealth Reimbursement Updates: Expanding Access and Optimizing Care</a> appeared first on <a href="https://mtelehealth.com">mTelehealth</a>.</p>
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