Condition Code 44: Use Wisely

The billing Code 44 and the required UR process have become intertwined.

Utilization review teams and physician advisors have the same goal as the Centers for Medicare & Medicaid Services (CMS): correct status for all patients. But getting a Medicare inpatient into the correct status creates an administrative wrinkle: the dreaded billing Code 44. Consider this scenario: utilization review produces an order changing a patient from inpatient to observation status and a chart note while the patient is still in-house. However, this requires the agreement of both the utilization review (UR) team and the physician of record. Sounds simple, but it’s not.

Medicare believes that observation ends when medical necessity for an inpatient admission crystalizes. Insurers want to start everyone as observation. Regretfully, they find reasons preventing conversion.

To prevent this misuse propagated by Medicare Advantage (MA) plans, Medicare limits observation to fewer than two midnights, as it creates an increased financial burden for the patient. As observation charges are billed in eight-hour increments, the hospital can recover some costs for observation services after the order if more than eight hours of care are provided. Thus, getting to the correct status earlier in the admission, rather than just before discharge, is advantageous.

When inpatient status is unsupported with screening, the UR team alerts the physician advisor to the potential need for an order change to observation and supporting documentation. One should verify when care truly started, identify conditions justified by a physician’s acumen, review for potential Medicare reasons for a short stay (death, transfer, rapid improvement, mechanical ventilation, and hospice), and, barring any surprises, confirm with staff. If indicated by the discussion, staff can take this opportunity to improve documentation to clearly support the patient’s inpatient stay – as auditors can’t infer.

Here’s where the billing of Code 44 became unexpectedly linked to the UR process. CMS tracks Code 44s to confirm UR review of medical necessity and continued stays. The UR process for a status change on patients with Medicare and non-contracted MA plans requires all of the following: a) the change must be made before the discharge is effectuated; b) the hospital has not yet billed Medicare for the inpatient stay; c) the physician concurs with the decision by a physician on the UR committee; and d) this concurrence is documented in the chart. (CMS Manual System Pub.100-04, Medicare Claims Processing Transmittal 299)

What are potential missteps in the UR process?

  1. It can’t be done after discharge. There is no opportunity to place an order, write a note, or notify the patient. One should speak with the treating physician to request clarifying documentation protecting the short inpatient stay, or get permission to self-deny.
  2. The hospital can’t have submitted the bill. With a process pause, the hospital can self-deny and rebill with a condition code W2 to recapture some costs if no bill has been placed.
  3. The attending physician cannot unilaterally change a patient’s status. The patient remains in inpatient status until discussion with UR, if time permits. These cases should be caught before billing to allow the self-denial. Systems might implement a “pause” if a status change order is entered concurrently with a discharge order to allow time to work their UR process.
  4. The physician does not agree with the change recommended. A supporting second physician reviewer from UR can overrule the attending. However, the admission remains inpatient, and the facility has to self-deny. If this happens frequently, despite provider education, referral to the respective department may be necessary to obtain lasting quality-of-care improvements.
  5. Concurrence for the status change must be documented prior to discharge. Written documentation of a status change should be sent to the physician, hospital, and patient within two days.
  6. Hospitals should avoid creating policies more restrictive than CMS, as they may be held to them, creating an increased chance of failure.

Lastly, Medicare does require all MA plans and hospitals to use a billing Code 44 on claims with a change. Only hospitals can obligate themselves during MA contracting to perform the full UR process, which is required by Medicare and applicable to non-contracted MA plans. If the MA plan requests the status change, not the UR Committee, no Code 44 needs to be done.  The plan must furnish the patient a notice of denial of medical coverage (NDMC, or payment, NDP). If the MA plan fails to deliver a NDMC/NDP during the stay, they are obligated to pay the hospital. MA plans try to avoid patients’ appeals of these decisions, which are reportable to CMS. However, patients can’t appeal the status change to observation by the hospital.

As the UR process can be complex, time-sensitive, and an audit risk, Medicare patients with potential status changes should be high-priority. When time constraints prevent full review, a post-discharge and a pre-bill UR step reviewing short-stay inpatient Medicare patients may narrow gaps and retain revenue. While the billing Code 44 and the required UR process have become intertwined, we must untangle them and perform the UR process selectively, while letting the billing department apply Code 44 to the claims of all Medicare and Medicare Advantage patients. The remaining question is: what should this process be called, when stripped of the Code 44 verbiage?

Facebook
Twitter
LinkedIn

Andrew Markiewitz MD, MBA-Healthcare

Andrew D. Markiewitz, MD, MBA has transitioned from being an orthopaedic hand surgeon to a hospital system physician advisor team member. In the process, he has learned the new world of business that used to be unobserved and behind-the-scenes from most healthcare providers and has realized that “understanding the why” and teaching the reason why will empower any CDI initiatives.

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 →