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Top at Risk Issues

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Top At Risk Issues for Pt Status Audits * 2 MN rule is alive and well AND we are looking back to the future with an enhanced definition of rare and unusual ... – PowerPoint PPT presentation

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Title: Top at Risk Issues


1
Top at Risk Issues Charge Capture Audits AT
RISK Patient status DOCUMENTATION
  • Finding your lost revenue and keeping it

2
Think Big.. Critical Access
  • CAHs have similar services same as OPPS
    hospitals
  • CAHs have different claim submission rules for
    outpt to inpt but documentation of billable
    services are the same.
  • CAHs are paid differently than the OPPS hospital,
    but the rule for billable services are the same.
  • EXCEPTION J codes/pharmacy are only required
    for LCD/NCD drugs G codes for OBS. CAHS are paid
    by billed charges/outpt.

3
Hot spots for audit- Payer and internal CHARGE
CAPTURE
  • Does the order match the service that matches the
    billed item/UB- the 3 step! (charge/chart audit)
  • Hot spots for audit
  • Wastage SDV vs MDV SDV wastage must be
    documented to bill. No ability to bill wastage
    with MDV. JW modifier is not required /MAC
    specific.(CMS pub 100-04 Chpt 17, section 40)
    Nursing, pharmacy, RT, imaging, anesthesia hot!
  • Original order changed after receipt.. Did
    referring physicians order change in the
    record? Protocol must be ordered pt specific
  • (OB, LAB, Imaging, RT, pharmacy, others?

4
And then there was Charge Capture-- Identify the
Hot Spots- VALUE ADDED
  • Lost Charges/Revenue
  • Daily Charge Reconciliation
  • Cost of Late Charges
  • And easy chart/charge audit ideas to identify
    documentation challenges and charge alignment

5
Hot Spots for Lost Revenue
  • Recovery house wide up to 4-6 hrs
  • Nursing services in ancillary areas
  • Drug Administration Observation
  • OB HBC scheduled visits, delivery rates/levels,
    labor levels, unplanned
  • Hospital based clinics EM visits
  • Blood transfusion house wide
  • Scheduled procedures done in the ER
  • OR Implantables invoice reconciliation
  • OR unscheduled, interrupted/7x modifer
  • Ancillary reduced/52 modifier

6
Now begin the auditing process to determine what
might be broken
  • Department Benchmark UB04 audits
  • Compare 10 UB-04/billing documents against the
    itemized statement Outpt areas 1st (Obs, ER,
    Surgery, Hospital based clinics/IV therapy/Chemo)
  • Look for potential lost charges (ER sutures but
    no procedure)
  • Look for billing combinations that were missed
    250/pharmacy how was it given? IV Infusion,
    injection
  • Look for non-billable items present Medicare
    outpt self administered medications/pt pays
    routine supplies
  • Look for descriptions that wont pass the Mom
    test
  • Look for charges that are not uniform across the
    facility

7
Brainstorm Lost Charges
  • Not new revenue but lost revenue
  • Question What services are we currently not
    billing for or costs that we are not covering?
  • Brainstorm with department heads, compile a
    master list and start looking primarily
    outpatient but limited inpt.

8
Look for Charge Ownership
  • Nursing is not good at charge capture..so
  • Aggressively look for ways to move ownership with
    nursing still responsible for charting, not
    charging
  • Lab Blood Transfusions/36430. Auto have Blood
    products/P 36430 bill together. (Safety net
    billing edit to reject any claims without both
    390 and 391 present.)
  • Charge Capture Analyst identifies charges,
    completes charge ticket and logs all lost charges
    due to missing documentation. Nursings
    partnership is to ensure the start and stop times
    of each bag are present. CCA s partnership is
    charge capture. WORKS!

9
Create Daily Reconciliation Process
  • Daily Dept-Specific Audits
  • Compare scheduled/resulted/completed patients
    against charges generated. (2 day lag)
  • Manual schedules or automated
  • Registrations with no charges. Why?
  • Ensure each patient activity is accounted for.

10
What Does a Lost Charge Look Like
  • Focus on high stress/severity of illness areas
  • Focus on labor intensive processes
  • Ask all depts to look for potential lost revenue
  • Code Blue how is nursing assuring charges made
    it to the bill? Drugs? Supplies? 92950/Cardiac
    Arrest? Procedures done?
  • Sticky for supplies nursing has them on their
    clothing. Who do they belong to? How many go
    down on the sheets?
  • Patient complaints once research, corrected
    claim but is research done to determine who the
    charge really does belong to?

11
Nursing Revenue Opportunities-but must be
documented too. Tough with EMR
  • Drug adm nursing floating outside the care
    area. Who is completing the charge ticket?
  • OB look at the aspects of outpt ER to OB
    scheduled visits post inpt discharge/lactation
    HBC visit, delivery rates
  • Scheduled visits in the ER bill as a HBC visit
  • Drop in pts for after care as an outpt bill as
    a HBC visit (suture removal, follow up care)
  • All Drug Adm and Blood outpt housewide
  • Physician orders, medically necessary services,
    EM leveling for all HBC visits, incident to the
    physician

12
The Cost of a Late Charge
  • Rework to the individual dept, to PFS and the
    pt as they get corrected bills/EOBs
  • Reprocessing the claim, lost productivity
  • Lost Revenue with limited accountability
  • Decreased patient satisfaction
  • Track and trend repeat late activity, dept
    specific
  • Do dept heads know what a late charge is?

13
ROUTINE VS NON-ROUTINE SUPPLIESHELP!
The Medicare Reimbursement Manual defines Routine
Services in 2202.6 on page 22-7 Inpatient
routine services in a hospital or skilled nursing
facility generally are those services included by
the provider in a daily service chargesometimes
referred to as the room and board charge.
Routine services are composed of two broad
components (1) general routine services, and (2)
special care units (SCUs), including coronary
care units (CCUs) and intensive care units
(ICUs). Included in routine services are the
regular room, dietary and nursing services, minor
medical and surgical supplies, medical social
services, psychiatric social services, and the
use of certain equipment and facilities for which
a separate charge is not customarily made.   In
recognition of the extraordinary care furnished
to intensive care, coronary care, and other
special care hospital inpatients, the costs of
routine services furnished in these units are
separately determined. If the unit does not meet
the definition of a special care unit (see
2202.7), then the cost of such service cannot be
included in a separate cost center, but must be
included in the general routine service cost
center. (See 2203.1 for further discussion of
routine services in an SNF.)
     
14
Telling a complete Pt story think OF IT as a
bookall payers are auditing
  • Top At Risk Issues for Pt Status Audits

15
OPPS 2016 FINAL change to definition of an inpt
(Budget neutral?)
  • Effective 10-1-15 changes in auditing short stay
    PE 0 and 1 MN stays
  • QIO (level 2 appeal) review 10-25 charts denies
    or approves
  • Calls hospital to set up review
  • QIO tells MAC to recoup denied claim
  • of denials determines referral to RAC (but not
    before 1-16 DOS)
  • MAC sends overpayment letter with appeal rights.
  • Then Appeal levels begin
  • MAC/level 1 QIO/level 2 ALJ/level 3
  • Preferred as some physician involvement at the
    QIO
  • RACs are not involved until a referral occurs
    patterns of denials
  • 2 MN rule is alive and well
  • AND we are looking back to the future with an
    enhanced definition of rare and unusual.
  • Still use the physicians documentation of why
    an inpt but if the provider cannot estimate 2 MN
    /Presumption then declare an inpt with rationale
    for severity of the condition/intensity of the
    care that will require in hospital care. HUGE
    AUDIT RISK!
  • No change to SNF no Short stay DRG
  • Effective 1-1-16/back to the future of rare and
    unusual documentation to support inpt without 2
    MN/presumption.

16
All Payers are auditing
  • Each payer has their own set of criteria for
    coverage. (United, Blues, Part C Medicare,
    PEPPER/Traditional Medicare is targeting 1 day
    surgical, 2 day Surgical, same day medical, and
    same day surgery, etc.)
  • Each payer has their own standards for appeals
  • Each payer determines if the documentation
    supports the service that was billed.
  • Documentation to tell a strong pt story but be
    aware of the enhanced payer battles..

17
(No Transcript)
18
Key elements for Payers- as ordered by providers
  • ALL PAYERS
  • Admit to inpatient
  • Diagnosis
  • Reason for Admit/Plan for why an inpt (dx or
    multiple dx) need 2 MNs/Presumption or an
    additional MN/Benchmark to resolve the condition.
  • (Hint Pre-created ques in the CPOE order set
    excellent)
  • MEDICARE ONLY
  • Clarify that the LOS is an estimated 2
    MN/Presumption
  • Clarify that after the 1st outpt MN, a 2nd in
    hospital MN is required/Benchmark
  • After 1-1-15, provider still outlines why the 2
    MN, what is the plan that will take 2 MN. No
    longer certify but still needs to clarify the
    order/signed prior to discharge and rationale for
    the 2 MN. (Do certify 20 day mark/outlier)
  • Critical Access Hospital must still certify
    initial 96 hrs and again, at the 96 hr mark.

19
Hot Spots for Documentation audits inpt and obs
  • Does the physician clearly state Why an inpt?
    What is the plan that will take 2 MN/Medicare?
    For non- Medicare why cant the pt be treated
    safely as an outpt. (Same issues as
    Medicare-just no 2 MN declaration)
  • Medicare/only-If the pt needs a 2nd MN after 1 MN
    as an outpt what is occurring with the pts
    condition that will push the pt to stay a 2nd
    MN? Convert to inpt and include Why?
  • Mgd Care Medicare/PartC/Medicare Advantage HIGH
    AT RISK. What criteria are they using? Get it in
    the contract! NOT SUBJECT TO TRADITIONAL
    Medicare rules
  • Commercial Mgd Care or Commercial- who knows?
    Makes their own rules for disallowed charges.

20
And more updates- Part C
  • Managed Medicare Plans/Part C HUGE
  • They do not have to adapt Traditional coverage
    rules.
  • Treat them like a Commercial Payers get
    pre-certs, determine if they are using 2 MN
    rule methodology and/or clinical guidelines.
  • Update contracts to CLEARLY outline the tools
    used to determine what is an inpt.
  • Always use Physician order with rationale for
    why? (Sound familiar??)
  • Big increase in denials
  • WHAT IS THE PAYERS DEFINITON OF AN INPT!

21
Huge Managed Care /Part C/Advantage Issues
  • USA July 27th reported 2 huge potential
    purchases
  • Anthem BX purchase of Cigna
  • Aetna purchase of Humana
  • Making United the last of the 3 powerhouse
    companies.
  • WATCH Denial for the catch phrase not
    medically necessary! MEANS?
  • Negotiating will be more difficult.
  • Ensure there is arbitration in all contracts.
  • Define an inpt-with no ability to do retro
    denials after discharge.
  • Timelines to certify inpt status.
  • Hot issues with denials or lack of inpt
    certifications
  • Long LOS in obs with no rules for conversion to
    inpt
  • Each payer gets to define their own coverage
    rules
  • Following the 2 MN Medicare Traditional rule AND
    clinical guidelines. (EITHER Interqual or
    Milliman.)
  • Levels of appeal clearly included clarify why
    not following the 5 levels within CMSs process.
    Timelines for each and who does what.
  • Denials of coverage after discharge as the pt
    ended up getting better faster/not as sick as
    presented on 1st contact/ other
  • HAVE AN ATTORNEY READY !!

22
Key elements of new Medicare inpt regulations 2
methods
  • 2midnight presumption
  • Under the 2 midnight presumption, inpt hospital
    claims with lengths of stay greater than 2
    midnights after formal admission following the
    order will be presumed generally appropriate for
    Part A payment and will not be the focus of
    medical review efforts absent evidence of
    systematic gaming, abuse or delays in the
    provision of care.
  • Pg
  • Benchmark of 2 midnights
  • The new Medicare Inpt
  • the decision to admit the beneficiary should be
    based on the cumulative time spent at the
    hospital beginning with the initial outpt
    service. In other words, if the physician makes
    the decision to admit after the pt arrived at the
    hospital and began receiving services, he or she
    should consider the time already spent receiving
    those services in estimating the pts total
    expected LOS.
  • Pg 50956
  • CLEARLY At the point of conversion WHY AN INPT
    for a 2nd MN? Then if d/c early what
    unexpected?

23
Understanding 2 MN benchmarkMM 8586 1-24-14
  • EX) Pt is an outpt and is receiving observation
    services at 10pm on 12-1-13 and is still
    receiving obs services at 1 min past midnight on
    12-2-13 and continues as an outpt until
    admission. Pt is admitted as an inpt on 12-2-13
    at 3 am under the expectation the pt will require
    medically necessary hospital services for an
    additional midnight. Pt is discharged on 12-3 at
    8am. Total time in the hospital meets the 2 MN
    benchmark..regardless of Interqual or Milliman
    criteria.
  • ER, Observation, outpt surgery all included in
    the 2 MN Benchmark.
  • Ex) Pt is an outpt surgical encounter at 6 pm on
    12-21-13 is still in the outpt encounter at 1 min
    past midnight on 12-22-13 and continues as a
    outpt until admission. Pt is admitted as an inpt
    on 12-22 at 1am under the expectation that the pt
    will required medically necessary hospital
    services for an additional midnight. Pt is
    discharged on 12-23-13 at 8am. Total time in the
    hospital meets the 2 MN benchmark..regardless of
    Interqual or Milliman criteria.

24
Rare 2 MN Dont make it so hard
  • NSETMI According to the 2 MN, the admission
    status is determined by the expectation of care
    crossing 2 MNs and the need to be in hospital.
    In our facility, if the pt comes in under the
    wire such that he can have the cath that same
    day, he will only cross one MN before discharge,
    therefore, is discharged (as an outpt.)
    However, if he comes in and crosses a MN before
    the cath (stabelizing), the cath is done the next
    day and the pt is discharged the following day
    (thus care crossing 2 MNs in hospital ) then
    the pt is an inpt.
  • This is why I have taught the staff to pay close
    attention to when a pt started receiving medical
    care to determine if the NSTEMI should be placed
    as inpt or outpt obs.
  • In our facility, therefore some NSTEMI are inpts
    (because the care crossed 2 MNs based upon their
    time of presentation) and some are observation
    (unplanned event needing beyond routine recovery
    /de) because they had their cath on the same
    day of presentation..did not cross 2 MN.
  • RAC RELIEF Debbie Jones, MD 2-19-16
  • RARE AND UNUSUAL I think the exception to the
    2 MN rule for rare and unusual circumstances is
    a land mine waiting for a hospital to step on.
    As I have pointed out before, how can a hospital
    make a case that inpt care is required based on
    clinical presentation when CMS/Medicare says inpt
    and outpt care is distinguished only by LOS? The
    only exception CMS has acknowledged so far is
    unplanned mechanical ventilation and they said
    its because these cases usually required more
    than 2 MNs.
  • Complete this sentence without implying that
    theres a difference between inpt and outpt care
    This pt required inpt care regardless of the
    anticipated LOS because. I say it cant be
    done. That is why CMS wont give an example.
    There isnt one and they wont admit their
    mistake either.
  • If the pt needs inpt care, its going to be a
    patient who needs more than 2 MNs. If less than
    2 MNs, why didnt you order obs?
  • RAC RELIEF Dr Steven Myerson 2-20-16

25
2 MN with a plan and then an early discharge..
  • 2 MN presumption ALWAYS ensure there is a
    clinical plan for why the pt needs 2 MN at the
    first point of contact. The plan is key!
  • Ensure the ER provider and the Hospitalists or
    attending AGREE on the plan.. Handoffs need
    evaluated to ensure consistency. UR and PA
    involved.
  • The care is then documented with nursing and
    the provider documenting the course of
    treatment/progression of care as it relates to
    the plan.
  • SURPRISE Clearly document the patients
    unexpected recovery unexpected transfer out
    unexpected response to treatment. Then, a
    beautiful inpt.
  • 2 MN benchmark ALWAYS ensure there is a
    clinical plan for why a 2nd MN was medically
    appropriate/in hospital care after an outpt 1st
    MN. The plan is the key !
  • The hospitalists/attending and UR need to
    communicate closely as the 2nd MN approaches DO
    NOT WAIT UNTIL the am of the 3rd day.
  • CAREFUL not to convert early on the 2nd day and
    then discharge same dayno 2nd MN. What was the
    plan? Was it met early?
  • Note Order takes effect when written. EX) Day
    3 am, doctor converted to inpt. 10 mins later,
    discharged. How was the plan met in 10 mins?

26
STILL largest lost revenue 2 MN benchmark
converting after 1st MN
  • After the 1st MN as an outpt anywhere or the
    first MN in another facility and transferred in
  • The decision to admit becomes easier as the time
    approaches the 2nd MN, and the beneficaries in
    necessary hospitalization should NOT pass a 2nd
    MN prior to the admission order being written.
    (IPPS Final rule, pg 50946)
  • Never, ever, ever, ever have a 2nd medically
    appropriate MN in outpt..convert, discharge or
    free

27
More on decision making-Inpt
  • If the beneficiary has already passed the 1
    midnight as an outpt, the physician should
    consider the 2nd midnight benchmark met if he or
    she expects the beneficiary to require an
    additional midnight in the hospital. (MN must be
    documented and done)
  • Note presumption 2 midnights AFTER obs. 1
    midnight after 1 midnight OBS at risk for inpt
    audit but still an inpt.
  • Pg 50946
  • ..the judgment of the physician and the
    physician s order for inpt admission should be
    based on the expectation of care surpassing the 2
    midnights with BOTH the expectation of time and
    the underlying need for medical care supported by
    complex medical factors such as history and
    comorbidities, the severity of signs and symptoms
    , current medical needs and the risk of an
    adverse event. Pg 50944

28
Meeting Criteria means?
  • It never has and never will mean meeting
    clinical guidelines (Interqual or Milliman)
  • It has always meant the physicians
    documentation to support inpt level of care in
    the admit order or admit note.
  • SO if UR says Pt does not meet Criteria this
    means Doctor cannot certify/attest to a
    medically appropriate 2 midnight stay right?
  • 11/1/2013  Section 3, E. Note It is not
    necessary for a beneficiary to meet an inpatient
    "level of care" by screening tool, in order for
    Part A payment to be appropriate
  • Hint 1st test Can attest/certify estimated LOS
    of 2 midnights? THEN check clinical guidelines
    to help clarify any medical qualifiers but the
    physicians order with ROA trumps criteria.

29
And more update - Transfers
  • Transfer update During MedLearn call (2-26-14)
    CMS updated receiving hospital CAN count time at
    a sending hospital toward their own 2 MN
    benchmark.
  • Q2.2 How should providers calculate the
    2-midnight benchmark when the beneficiary has
    been transferred from another hospital?A2.2 The
    receiving hospital is allowed to take into
    account the pre-transfer time and care provided
    to the beneficiary at the initial hospital. That
    is, the start clock for transfers begins when the
    care begins in the initial hospital. Any
    excessive wait times or times spent in the
    hospital for non-medically necessary services
    shall be excluded from the physician's admission
    decision."
  • Sending hospital if there is knowledge that the
    pt is being transferred/next day, the pt is obs
    as only 1 MN is appropriate in the sending
    hospital
  • Use Occurrence Code Span 72/field to identify the
    date of the 1st MN/sending hospital.
  • Place the date on the Inpt UB that may only have
    1 additional MN for the receiving hospital.
  • 2 MN Benchmark is now present on the 1 MN UB from
    the receiving hospital.
  • Reference SE1117revised MLNMatters
  • Correct provider billing of admission date and
    statement covers period.

30
Denials by Type WPS1st and 2nd Round PE
5PC01 Documentation does not support services medically reasonable/necessary
5PC02 Insufficient documentation
5PC12 Order missing
5PC13 Order unsigned
5PC15 Certification not present
5PC17 No documentation of 2-midnight expectation
31
Top Reasons for Denial Second Round-
Novitas/2nd round of PE
Denial Reason Denials JH Denials JL
Documentation did not support two midnight expectation (did not support physician certification of inpatient order) 56 53
No Records Received 16 17
Documentation did not support unforeseen circumstances interrupting stay 4 3
No inpatient admission order 9 15
Admission order not validated/signed 11 11
Other 4 1
32
PE findings First Coast/MAC 244 hospitals
FL, PueRico, VirIsland
  • 1st round
  • 35 denial rate
  • REASONS
  • 55 failed to document need for 2 MN
  • 45 failed admission order requirements
  • 48 signed after discharge
  • 39 order missing from the record
  • 13 order not signed
  • 2nd round
  • 36 denial rate
  • REASONS
  • 40 failed to document need for 2 MN
  • 60 failed admission order requirements
  • 35 order missing from record
  • 17 order not validated
  • 8 order not signed (as of 2-11-15)
  • MAC recommendationsProviders document their
    decision making process. Paint a clear, concise
    picture of the pt.

33
Tell a better, more complete patient story
  • Begin with the 1st point of contact ER, direct
    or Surgery
  • Why is the pt not safe to be discharged/ED?
  • Why is the surgery an inpt if the CPT is not on
    the inpt only list? (Medicare only)
  • What provider laid out a plan for why 2 MN for a
    direct admit to the floor? Did the hospitalist
    see the pt immediately? Did UR talk to the
    ordering provider?
  • Who is validating status for transfers in? Who is
    asking both the sending and the receiving the 2
    MN question? Count 1st in sending.

34
THANKS A TON FOR Allowing ME TO JOIN YOU IN YOUR
CONTINUING COMMITMENT TO EXCELLENCE! Join us for
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35
  Routine Supplies always a challenge Medical
supplies are those items that, due to their
therapeutic or diagnostic characteristics, are
essential to the care ordered by the physician to
treat or diagnose the patients illness or
injury. These supply items fit into two
categories Routine (not separately billable)
supplies are customarily used during the usual
course of treatment, are included in the unit
supplies and are not designated for specific
patient. Non-routine (separately billable)
supplies are necessary to treat a specific
patients illness or injury based on a
physicians order and a documented plan of care.
36
Conducting a Charge, Chart Audit
  • At least quarterly, take a small sample and
    compare orders, against documentation of service,
    against actual billed service against the UB.
  • Ensure they all match consider
  • Protocol vulnerabilities
  • LCD/NDC limitations
  • Physician orders present
  • Documentation to match the order
  • Severity of illness /doctor w/intensity of
    services/nursing - inpt
  • Evaluate the impacts of the hybrid medical record
  • DEVELOP CORRECTIVE ACTION with compliance

37
Monitor the process
  • For charge capture to work, each individual must
    understand their role in the process.
  • Explore observing each area, 24 hr shift
  • Develop charge capture internal manual
    addressing manual process, order entry, and
    other, more unique processes pods, HIM, etc.
  • Develop feedback process for Dept-specific
    auditing

38
Finally, Create Tracking Systems
  • Using the ongoing department-specific audits,
    create tracking systems/T-N-T
  • Accuracy of claims
  • Revenue identified
  • Lost charges lost no more!
  • New understanding of ownership
  • Change of culture
  • REPORT progress at Dept head meetings

39
Role of CDM/Revenue Integrity Team
Diagramming the process flow for updating,
changing, etc. the CDM-including assessment the
volume of items for activity level.   Reviews all
new or change items to the CDM with a focus on
standardizing like items, looking throughout the
organization for other areas providing similar
services and educating on same. (Focus on
Routine supplies)   Providing yearly department
head education on CDM issues.   Like-Item Pricing
audits as new items are added to specific
area.   FOCUS ON PATIENT FRIENDLY and
SIMPLIFY!  
 
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