Auditor Update: Part III

professional doctor person working at hospital, medical health care and clinic medicine concept

Federal healthcare audits are back with a vengeance following a brief COVID-related pause.

In August 2020, the Centers for Medicare & Medicaid Services (CMS) was required to resume Comprehensive Error Rate Testing (CERT) program activities that were temporarily suspended in response to the COVID-19 public health emergency (PHE). Based upon the 2020 fiscal year (FY) report (2020 CERT Report), it’s no surprise that CMS and others continue to undertake aggressive audit activity against all types of Medicare providers and suppliers.

Despite the FY 2020 report evidencing a continuation in the decline in the overall improper payment rate (from 7.25 percent in 2019 to 6.27 percent in 2020), there remain improper payments of over $25 billion. While the average improper payment rate for Part A and Part B is only around 5 percent, this rate represents overpayments of about $22 billion. The Part A inpatient hospital improper payment rate was calculated at 3 percent, yet represents $3.6 billion (adjusted for A/B rebilling). Of that total, 2.7 percent represent overpayments and .3 percent are associated with underpayments. Chest pain (about $15,000 per claim) continues to represent the highest improper payment rate of 26.9 percent, and a dollar value of approximately $79 million, with 100 percent of the errors being associated with medical necessity. The No. 2 service type with a high improper payment rate is percutaneous intracardiac procedures (about $21,500 per claim), with a rate of 22.1 percent but almost $127 million in improper payment value, wherein 100 percent of the errors are associated with insufficient documentation. Notably, the improper payment rate (unadjusted for A/B rebilling) for 0-1-day stays was 19.9 percent, representing $1.9 billion, supporting the position that inpatient stays of less than two days are still problematic for CMS. (Improper Payment Data).

The real problem for providers and suppliers is not, in and of itself, the continued high rates of improper payment; rather, it’s the billions of dollars associated with those rates. When one digs a little deeper to get at the heart of improper payments, the vast majority are due to missing and/or insufficient documentation to support a claim. This phenomenon continues to plague providers across Part A, Part B, and durable medical equipment (DME), with some improper payment rates supported by documentation issues exceeding 70 percent of the claims reviewed. Documentation issues accounted for more than $15 billion of the $25-plus billion in improper payments (Fiscal Year 2020 Agency Financial Report). It is important to recognize, however, that just because a claim is determined to be improper does not mean that the services were not medically necessary; rather, the majority of the time, the documentation was insufficient to support coverage or was0 not provided to the auditor.

Targeted Probe-and-Educate

On Aug. 12, CMS announced the restart of the Targeted Probe-and-Educate (TPE) program. According to CMS, this program is designed to reduce denials and educate providers and suppliers with respect to the submission of correct claims. The Medicare Administrative Contractors (A/B MACs and DME MACs) will be performing the review and providing the education. Some common claim errors that CMS has indicated they might be looking for include missing signatures, missing or incomplete certifications, documentation not supporting medical necessity, and missing documentation.

CMS has indicated that providers and suppliers may be subject to TPE if they have high error rates or unusual billing patterns. While it is interesting that CMS has indicated that most providers and suppliers will never need TPE, CMS has indicated that your organization may be subject to TPE on the basis that there is a high national error rate on a particular topic (even though your organization may not have a high error rate on that topic). Unfortunately, you could be doing everything correctly, but because other providers and suppliers are not, you may be subject to a TPE audit. The MACs will allow you to have up to three education sessions to help you become compliant, but after that, the MAC is required to refer you to CMS for further action – which can include 100-percent pre-payment review, referral to a RAC, or anything else that CMS deems appropriate.

Proper Documentation to Support Claims

While CMS has indicated that the majority of providers will not be chosen for TPE, that seems at odds with the CERT findings that over 60 percent of improper payment errors are due to documentation-related issues; this concern is widespread among many providers. CMS identifies four common claim errors, and all of them relate to documentation (Targeted Probe-and-Educate | CMS). CMS has indicated that these errors are simple and easily corrected, yet providers continue to find themselves in trouble for documentation issues. One of the best ways to make sure you are properly documenting the medical record and maintaining claim integrity is to conduct regular internal audits of your processes and operations and adjust, as needed. This way, when the MAC sends you a request for documents for a TPE audit, you can be confident that your TPE experience should end after round 1.

Facebook
Twitter
LinkedIn

Steven Greenspan, JD, LLM

Steven Greenspan, JD, LLM, serves as the Chief Strategy Officer for Engage Health Solutions. In this role, Steven leverages his in-depth knowledge of healthcare regulatory compliance and the resulting challenges faced by providers and payors alike, to lead the enterprise strategic growth initiatives at Engage. Engage utilizes their unique RAC and national payor experience to partner with health systems to improve operational and financial performance, by addressing the vulnerabilities that remain despite costly initiatives which result in continued unnecessary audit activity and inappropriate denials. The Engage experience drives a program that not only corrects existing issues but goes beyond to prevent the problems that plague appropriate and accurate reimbursements.

Related Stories

Leave a Reply

Please log in to your account to comment on this article.

Featured Webcasts

Enhancing Outcomes with CDI-Coding-Quality Collaboration in Acute Care Hospitals

Enhancing Outcomes with CDI-Coding-Quality Collaboration in Acute Care Hospitals

Join Angela Comfort, DBA, MBA, RHIA, CDIP, CCS, CCS-P, as she presents effective strategies to strengthen collaboration between CDI, coding, and quality departments in acute care hospitals. Angela will also share guidance on implementing cross-departmental meetings, using shared KPIs, and engaging leadership to foster a culture of collaboration. Attendees will gain actionable tools to optimize documentation accuracy, elevate quality metrics, and drive a unified approach to healthcare goals, ultimately enhancing both patient outcomes and organizational performance.

November 21, 2024
Comprehensive Inpatient Clinical Documentation Integrity: From Foundations to Advanced Strategies

Comprehensive Outpatient Clinical Documentation Integrity: From Foundations to Advanced Strategies

Optimize your outpatient clinical documentation and gain comprehensive knowledge from foundational practices to advanced technologies, ensuring improved patient care and organizational and financial success. This webcast bundle provides a holistic approach to outpatient CDI, empowering you to implement best practices from the ground up and leverage advanced strategies for superior results. You will gain actionable insights to improve documentation quality, patient care, compliance, and financial outcomes.

September 5, 2024
Advanced Outpatient Clinical Documentation Integrity: Mastering Complex Narratives and Compliance

Advanced Outpatient Clinical Documentation Integrity: Mastering Complex Narratives and Compliance

Enhancing outpatient clinical documentation is crucial for maintaining accuracy, compliance, and proper reimbursement in today’s complex healthcare environment. This webcast, presented by industry expert Angela Comfort, DBA, RHIA, CDIP, CCS, CCS-P, will provide you with actionable strategies to tackle complex challenges in outpatient documentation. You’ll learn how to craft detailed clinical narratives, utilize advanced EHR features, and implement accurate risk adjustment and HCC coding. The session also covers essential regulatory updates to keep your documentation practices compliant. Join us to gain the tools you need to improve documentation quality, support better patient care, and ensure financial integrity.

September 12, 2024

Trending News

Featured Webcasts

Patient Notifications and Rights: What You Need to Know

Patient Notifications and Rights: What You Need to Know

Dr. Ronald Hirsch provides critical details on the new Medicare Appeal Process for Status Changes for patients whose status changes during their hospital stay. He also delves into other scenarios of hospital patients receiving custodial care or medically unnecessary services where patient notifications may be needed along with the processes necessary to ensure compliance with state and federal guidance.

December 5, 2024
Navigating the No Surprises Act & Price Transparency: Essential Insights for Compliance

Navigating the No Surprises Act & Price Transparency: Essential Insights for Compliance

Healthcare organizations face complex regulatory requirements under the No Surprises Act and Price Transparency rules. These policies mandate extensive fee disclosures across settings, and confusion is widespread—many hospitals remain unaware they must post every contracted rate. Non-compliance could lead to costly penalties, financial loss, and legal risks.  Join David M. Glaser Esq. as he shows you how to navigate these regulations effectively.

November 19, 2024
Post Operative Pain Blocks: Guidelines, Documentation, and Billing to Protect Your Facility

Post Operative Pain Blocks: Guidelines, Documentation, and Billing to Protect Your Facility

Protect your facility from unwanted audits! Join Becky Jacobsen, BSN, RN, MBS, CCS-P, CPC, CPEDC, CBCS, CEMC, and take a deep dive into both the CMS and AMA guidelines for reporting post operative pain blocks. You’ll learn how to determine if the nerve block is separately codable with real life examples for better understanding. Becky will also cover how to evaluate whether documentation supports medical necessity, offer recommendations for stronger documentation practices, and provide guidance on educating providers about documentation requirements. She’ll include a discussion of appropriate modifier and diagnosis coding assignment so that you can be confident that your billing of post operative pain blocks is fully supported and compliant.

October 24, 2024
The OIG Update: Targets and Tools to Stay in Compliance

The OIG Update: Targets and Tools to Stay in Compliance

During this RACmonitor webcast Dr. Ronald Hirsch spotlights the areas of the OIG’s Work Plan and the findings of their most recent audits that impact utilization review, case management, and audit staff. He also provides his common-sense interpretation of the prevailing regulations related to those target issues. You’ll walk away better equipped with strategies to put in place immediately to reduce your risk of paybacks, increased scrutiny, and criminal penalties.

September 19, 2024

Trending News

Happy National Doctor’s Day! Learn how to get a complimentary webcast on ‘Decoding Social Admissions’ as a token of our heartfelt appreciation! Click here to learn more →

CYBER WEEK IS HERE! Don’t miss your chance to get 20% off now until Dec. 2 with code CYBER24