1 / 20

Home Health Face-to-Face Encounter

Home Health Face-to-Face Encounter. Presented by : National Association for Home Care & Hospice William A. Dombi, Vice President for Law Mary St. Pierre, Vice President for Regulatory Affairs. Home Health Face-to-Face Encounter: Basis. Affordable Care Act Section 6407

rodd
Download Presentation

Home Health Face-to-Face Encounter

An Image/Link below is provided (as is) to download presentation Download Policy: Content on the Website is provided to you AS IS for your information and personal use and may not be sold / licensed / shared on other websites without getting consent from its author. Content is provided to you AS IS for your information and personal use only. Download presentation by click this link. While downloading, if for some reason you are not able to download a presentation, the publisher may have deleted the file from their server. During download, if you can't get a presentation, the file might be deleted by the publisher.

E N D

Presentation Transcript


  1. Home Health Face-to-Face Encounter Presented by: National Association for Home Care & Hospice William A. Dombi, Vice President for Law Mary St. Pierre, Vice President for Regulatory Affairs

  2. Home Health Face-to-Face Encounter: Basis • Affordable Care Act Section 6407 • Prior to certifying Medicare eligibility • Fee-for-service Medicare home health • Physician or NPP must document face-to-face encounter • May be by telehealth in accord with 1834(m)

  3. CMS Encounter Rule • Final rule: HH PPS Update 2011 • Link at CMS web site: http://www.cms.gov/center/hha.asp • Regulatory amendment • 42CFR §424.22 • CMS Manual revision underway • RAP payment process not affected

  4. Encounters: Who • Who may conduct the encounter? • Certifying physician, or • NP, CNS, Nurse midwife working in collaboration with certifying physician, or • PA under supervision of certifying physician

  5. Encounters: Hospitalist Role • At issue: “patient must be under the care of the physician” certifying home health • Preamble language confusing/unclear • Refers to patients who • May or may not have community physician, • Hospital physician who may or may not assume responsibility • Indicates patient “under the care of” physician who assumes responsibility post acute • Expects (not require) identification of community physician in discharge plan when hospitalists document and certify • Requires updated plan by community physician

  6. Encounters: Related Reason • Related reason • Encounter must be related to primary reason for home health • Not necessarily primary reason for encounter • CMS Intention • Enable physicians to: • Understand current clinical needs • Establish effective plan of care • Ensure homebound status • Ensure skilled need

  7. Encounters: When • When must the encounter occur? • No more than 90 days prior to the home health start of care date, or • Within 30 days of the start of the care • *Applies to certification “start of care” episodes only

  8. Encounters: Telehealth • Telehealth Encounters • Subject to the requirements in section 1834(m) • Encounter limited to one of the specified types of originating sites

  9. Encounters: Documentation • Who must document the encounter on the home health certification? • The physician who orders services and signs the plan of care • Regardless of whether conduct of encounter by physician or NPP

  10. Encounters: Documentation • Non-physician practitioner performing face-to-face encounter must: • Document encounter in the medical record • Communicate findings of encounter to certifying physician

  11. Encounters: Documentation • Documentation on home health certification must include • Date of the encounter • Explanation of why clinical findings of encounter support: • Homebound status • Patient need for intermittent skilled nursing or therapy

  12. Encounters: Documentation • Documentation of encounter must be: • Separate and distinct section of certification or • Addendum to certification • Based on findings of the encounter • Standardized language prohibited • NOTE: CMS removed physician medical record documentation requirements

  13. Encounters: Physician Payment • No separate payment for home health face-to-face encounter • Physician payment is allowed for other medically necessary services under fee schedule • No change to reimbursement for care plan certification

  14. Encounters: Enforcement • Literal interpretation of “primary reason for home health” not intended • No intent to edit for relationship • Physician claim diagnosis against home health claim diagnosis • CMS Plan • Expand manual guidance on enforcement • Issue instructions to medical review contractors • Review via other program integrity efforts • Monitoring of compliance by surveyors

  15. Encounters: Certification Requirements • Timing of certification • At the time the plan of care is established, or • As soon thereafter as possible • Unchanged from current policy • Signature requirements • Certification of plan of care signed and dated by physician who establishes plan of care • Issue: CMS failed to respond to questions regarding date stamping policy

  16. Encounters by HHA Employees/Contractors • Certification by physician or NPP with financial relationship prohibited unless: • Stark exceptions and anti-kickback safe harbors, e.g. • Paid for and perform administrative functions • Paid fair market value • Proof of work done • Physicians and NPPs • May NOT be paid to conduct face-to-face encounters

  17. Beneficiary Notification • No CMS guidance for notifying beneficiary • HHABN deemed not appropriate • No CMS guidance as to patient payment liability • ***HHAs may not provide free transportation to patients for physician visits

  18. Unanswered Questions • Impact on payment (no encounter versus late encounter) • Encounters by Hospitalists, Residents, SNF and Rehab Facility physicians, • Beneficiary notification • Beneficiary liability • Others: ???????????????

  19. Model:Resources and Letters • 1. Patient Letter • 2. Patient Information About Face to Face • 3. Notice of Potential Liability • 4. Notice of Nonacceptance • 5. Notice of Termination • 6. Notice of Termination Version Two • 7. General Letter Physician • 8. Referring Physician Letter • 9. Referring Source Notification • 10. Guide to Documentation

  20. Work Ahead for Home Health Agencies • Seek responses to unanswered questions • Develop policies and procedures • Finalize letters and notices • Develop encounter tracking protocols • Analyze the face-to-face encounter • Regulation and preamble • CMS policy manual update when released • Educate • Agency staff and contractors • Patients • Physicians • Referral sources

More Related