Chiro Summit issues Medicare briefing: What DCs need to knowPublished: 2010-02-03 02:49:54Author: ACA | February 2010
First convened in September 2007, the Chiropractic Summit
represents leadership from some 40 organizations within the profession.
The Summit meets regularly to collaborate, seek solutions, and support
collective action to address challenges with the common goal of
advancing chiropractic.
A major focus of the
Summit is to improve practitioner participation, documentation, and
compliance within the Medicare system. The article that follows below
is the fifth in a series developed by the Chiropractic Summit
Documentation Committee, and it focuses on Medicare audits.
Near
the end of the last article it was indicated that Contractors must
evaluate suspected claims errors through the use of “Probe” reviews.
You may refer to that article for background and insight.
Under
probe reviews, Contractors may initially examine 20–40 claims per
provider for provider-specific problems. Contractors may also conduct
widespread probe reviews (involving approximately 100 or more claims
from multiple providers) when a larger problem, such as a spike in
billing for a specific procedure, is identified. In either type of
review, providers are notified that a probe review is being conducted
and are asked to provide medical documentation for the claim(s) in
question. Providers are then notified of the results of the probe
review.
When probe reviews verify that an error
exists, the Contractor classifies the severity of the problem as minor,
moderate, or significant. Contractors may classify the severity of the
error by determining the provider-specific error rate (number of claims
paid in error), dollar amounts improperly paid, and/or past billing
history. All levels of error will require that providers receive
education on proper billing procedures and the collection of money from
claims paid in error. Contractors will then respond to the billing
problem(s) as appropriate for the level of severity, and determine what
steps need to be taken to correct the problem(s).
Often,
initial medical review (MR) is conducted by simply examining the claim
itself, usually in an automated method. If more information is needed
(a small percentage of cases), the Contractor will request access to
medical records to confirm that the services rendered are reflected on
the claim, coded correctly, and covered by Medicare.
Validating
initial findings from MR evaluations may require additional reviews
resulting in corrective action. To assist in MR evaluations, CMS
designed MR Progressive Correction Action (PCA). PCA ensures that MR
activity is targeted at identified problem areas and that imposed
corrective actions are appropriate to the severity of the infraction of
Medicare rules and regulations.
The following types of corrective actions can result from MR:
Education— Problems detected at minor, moderate, or significant levels will
require the Contractor to inform the provider of appropriate billing
procedures.
Prepayment review — Prepayment review involves MR of a claim prior to payment.
Postpayment review — Postpayment review involves MR of a claim after payment has been made.
Providers
with identified problems submitting correct claims may be placed on
“prepayment review,” in which a percentage of their claims are
subjected to MR before payment can be authorized. Once providers have
re-established the practice of billing correctly, they are removed from
prepayment review.
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