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RACs Are Here: Are You Prepared?

RACs Are Here: Are You Prepared?. March 3, 2009. Introductions . Holly Meidl Managing Director, Marsh Bill Hammock, RN, BSN, CMC, ACM Vice President, Marsh Stacey Donegan, CPC Vice President, Marsh R. Brent Rawlings, JD, MHA Attorney, McGuireWoods Elissa Moore, JD

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RACs Are Here: Are You Prepared?

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  1. RACs Are Here: Are You Prepared? March 3, 2009

  2. Introductions Holly Meidl Managing Director, Marsh Bill Hammock, RN, BSN, CMC, ACM Vice President, Marsh Stacey Donegan, CPC Vice President, Marsh R. Brent Rawlings, JD, MHA Attorney, McGuireWoods Elissa Moore, JD Attorney, McGuireWoods Jason Greis, JD Attorney, McGuireWoods Carol Burkhart, RN, MS, CNP, CPHRM Vice President, Marsh

  3. Brief Background, Overview and Lessons Learned Bill Hammock, Nashville, TNMarsh

  4. Background, Overview and Lessons Learned • Section 306 of the Medicare Modernization Act (MMA): • CMS to investigate Medicare claims payments using RACs under a three year demonstration project. • California, Florida and New York were chosen for the demonstration project focusing on services provided from October 1, 2001 - September 31, 2005. • Section 302 of the Tax Relief and Health Care Act of 2006: • RAC Program made permanent • Required Secretary to expand the program to all 50 states by no later than 2010. • RACs are not intended to replace other review efforts: • Fiscal Intermediaries (FIs) • Part B and DME Carriers • Program Safeguard Contractors (PSC) • Benefit Integrity Support Centers (BISC) • Quality Improvement Organizations (QIO) • Office of Inspector General (OIG) • Comprehensive Error Rate Testing Program (CERT)

  5. Background, Overview and Lessons Learned • As of March 27, 2008: RACs corrected > $1.03 billion in Medicare improper payments • Approximately 96% ($992.7 million) of the improper payments were overpayments collected from providers • 4% ($37.8 million) were underpayments repaid to providers • Return on investment: 318% in 2007 • Program cost: 22 cents for each dollar collected in 2007 • CMS Payments to RACs • Contingency basis for all accurately identified/recovered overpayments • Percentage basis for all underpayments identified

  6. Background, Overview and Lessons Learned • RAC may attempt to identify improper payments that result from any of the following: • Incorrect payment amounts • Non-covered services • Incorrectly coded services • Duplicate services • Medicare claims through the complex post payment review process where it is probable that a duplicate primary payment was made • Medicare claims through the complex post payment review process where it is probable that a Medicare Secondary Payer situation has occurred Source: Draft Combined SOW See www.cms.hhs.gov/rac

  7. Background, Overview and Lessons Learned The RAC may NOT attempt to identify improper payments arising from any of the following: • Services provided under a program other than Medicare Fee-for-Service • Cost report settlement process • Evaluation and Management (E&M) services that are incorrectly coded (CPT codes 99201-99499) • Claims more than 1 year past the date of the initial determination (medical necessity reviews) or more than 3 years past the date of the initial determination (other than medical necessity reviews) • Claims Identified with a Special Processing Number • These are involved in a Medicare demonstration or have other special processing rules and are not subject to review by the RAC Source: Draft Combined SOW See www.cms.hhs.gov/rac

  8. Background, Overview and Lessons Learned • No random selection of claims • The RAC may not target a claim solely because it is a high dollar claim • No prepayment review Source: Draft Combined SOW See www.cms.hhs.gov/rac

  9. Background, Overview and Lessons Learned Types of RAC audits: • Automated review – RAC makes a determination without evaluating the medical record • Excessive unit audits – two or more identical surgical procedures for the same beneficiary on the same day • Incorrect discharge status code – hospital codes the beneficiary as going home however a second claim from another provider shows the beneficiary was actually transferred to another hospital • Complex review –RAC makes a determination after evaluating the medical record

  10. Top Sources of RAC Initiated Overpayment CollectionsStacey Donegan, Nashville, TNMarsh

  11. Background, Overview and Lessons Learned • Most overpayments (85%) were collected from inpatient hospital providers, 6% from inpatient rehabilitation facilities (IRFs), and 4% from outpatient hospital providers. • Most overpayments occur when providers submit claims that do not comply with Medicare’s coding or medical necessity policies.

  12. Top Sources of RAC Initiated Overpayment Collections Source: THE RAC PROGRAM: An Evaluation of the 3-Year Demonstration June 2008 See www.cms.hhs.gov/rac

  13. Top Sources of RAC Initiated Overpayment Collections Net of Appeals: Cumulative Through 3/27/08, Claim RACs Only Source: THE RAC PROGRAM: An Evaluation of the 3-Year Demonstration June 2008 See www.cms.hhs.gov/rac

  14. Top Sources of RAC Initiated Overpayment Collections (Net of Appeals): Cumulative Through 3/27/08, Claim RACs Only Source: THE RAC PROGRAM: An Evaluation of the 3-Year Demonstration June 2008 See www.cms.hhs.gov/rac

  15. Top Sources of RAC Initiated Overpayment Collections Top Coding Issues: • Reporting excisional debridement (86.22) w/o adequate medical record documentation to meet the definition of “excisional.” • DRGs designated as CC or MCC with only one secondary diagnosis. • Correct coding of discharge status for post acute care transfer (discharge status codes) • Incorrect selection of principal diagnosis: • Example: respiratory failure 518.81 was listed as the principal diagnosis but the medical record indicates that sepsis 038-038.9 was the principal diagnosis • Example: hospital reported a principal diagnosis of 03.89 septicemia. Medical record shows diagnosis of urosepsis, not septicemia or sepsis; blood cultures were negative

  16. Top Sources of RAC Initiated Overpayment Collections Top Coding issues: • Unit Coding • grams vs. milligrams • Multiple procedures on one day (e.g., appendectomy, colonoscopy) • blood transfusions: billing 1 service per pint rather than 1 service per transfusion session • speech/hearing therapy: billing 1 service per 15 minutes rather than 1 service per session • Neulasta: billing 1 service per mg when the definition of the code is 1 service per 6 mg vial

  17. Top Sources of RAC Initiated Overpayment Collections Top Medical Necessity Targets: • Inpatient admissions for procedures that are that do not require the inpatient setting (eg. laparoscopy, cholecystectomy) • One-day stays that do not qualify for admission (Observation or OP is appropriate) • Chest pain: MSDRG 313 • Back Pain: MSDRG 551 • Three-day stays solely to qualify for SNF care • Inpatient rehabilitation when the service is medically unnecessary • (For example, following a single knee replacement)

  18. Tips on Preparing for RAC Audits and Risk Reduction StrategiesCarol Burkhart, Chicago, ILMarsh

  19. Ben knows Best An ounce of prevention is worth a pound of cure. - Benjamin Franklin

  20. RAC Survival – No Silos Allowed Insanity: “doing the same things over and over again and expecting a different result.” Albert Einstein

  21. Preparing for the RAC Designate a multidisciplinary RAC Readiness Team and identify leadership • Accounting • Case Management • Coding • Compliance • Health Information Management • Leadership • Legal • Patient Financial Services • Physician Liaison • Risk Management • Quality Management • Utilization Review

  22. Preparing for the RAC Internally • Review internal control systems • Gatekeeping • Audits (coding and financial) • Perform data analysis • High risk case types, PEPPER/CERT reports

  23. Education the RAC Team • Understand the RAC team scope of work - medical records, coding issues, extension request deadlines, demonstration lessons, targets and trends, audit and appeals process

  24. Refine the Process and ID Resources • Define the RAC Team Process Work • Prioritize RAC requests by time remaining to respond, financial impact, issue trends • Identify RAC targets and practices with high potential for denial • Developing dashboard and defining metrics • Evaluate external resources needed • Legal, consultants/auditors, case management reengineering, HIM/coding, vendors)

  25. Identify Information Systems Issues • Evaluate your current data systems – many software tools offer coding checks and alerts that are underutilized • Adapt current coding and compliance software - automate prevention activities for high risk areas (i.e. automatic alerts for one day stays (excluding transfers, deaths, against medical advice)

  26. Communication is Critical • Create central repository for all communication between facility and RAC • Customize RAC correspondence address to avoid inadvertent, automatic denials • Correct internal mail inefficiencies to prevent delays • Avoid potential appearance of non-compliance with medical record requests RACS (60 days) • No appeal rights after 45 days of records request date • Develop effective RAC Team process communication

  27. RAC Work Team • Review/Understand • Included and excluded claims • Look-back period • New issue validation requirements • Review types (automated and complex) • Identify • Review OIG, GAO highlighted targets, CERT, PEPPER, demonstration reports and RAC trends • Assess financial risk • Calculate necessary financial reservesbased on internal audit and look-back period exposure

  28. Healthcare Information Management • Develop efficient request for RAC records process • Keep master file of each request for permanent records and potential appeals • Submit entire record (no evidence entry after second level of appeal) • Augment (not alteration) of record as needed (e.g., surgeon documentation of medical necessity of inpatient cardiac implants)

  29. Healthcare Information Management • Report unreasonable requests and limit violations to CMS • Evaluate and improve medical record protocols • Copying, compilation, storage, retention • RACs-Anticipate increased volume, recoup authorized copying fees from RAC • Send medical records electronically or certified mail/return receipt (do not fax!)

  30. Track RAC Compliance • Establish tracking system: all required information • System data entry protocols and privilege (security, access control)

  31. RAC Tools – Sample Dashboard http://www.strategiestoperform.com/volume2_issue6/volume2_issue6_e_phased.html

  32. Educate, Educate • Community • Organizational stakeholders and departments impacted by the RAC program (aspects of documentation and coding) • Medical staff • Concentrate on medical necessity documentation • RAC program, Medicare coverage, coding and documentation requirements, facility impact and necessary process changes

  33. Documentation Specialists and Coding • Engage documentation specialists on medical necessity issues • Develop a coding education and improvement plan based on internal audit results and data system evaluation (e.g., correct coding, charge entry when more than one service is performed) • Review admissions, billing and documentation policies and procedures

  34. Care Management • 7 day per week case management • Preadmission review • Effective gate keeping integration • Concurrent review

  35. Quality/Performance Improvement • Establish a permanent performance improvement program for audits, documentation and coding • Addressover and underpayment issues and establish systemic solutions based on assessment and internal audits results • Perform biannual audits • Monitor process improvement, assess new areas of RAC interest and potential exposure

  36. Update Stakeholders • Develop process to keep current on RAC areas of interest, and provide news updates throughout the organization to all stakeholders • Consideration of participation in AHA RAC Advocacy Survey • The American Hospital Association (AHA)’s RACTrac, a Web-based national advocacy survey tool that will ask hospitals to report their RAC experience on a quarterly basis

  37. Risk Management • RACS are part of ERM, total cost of financial risk to organization • Crisis intervention plan with legal counsel and leadership in the event of a significant adverse finding

  38. Appealing a RAC Overpayment DeterminationBrent Rawlings, Richmond, VA McGuireWoodsElissa Moore, Charlotte, NCMcGuireWoods

  39. Steps in the Process • Initial RAC communication • Receipt of RAC requests • Responding to RAC requests • Notification of outcome • Appeals process

  40. Options in Responding to RAC Demand Letters • Do nothing • Refund overpayment • Request ERP • Appeal

  41. Decision to Appeal Will Depend Upon Certain Factors • Dollar amount of the overpayment • Substantive nature of the claim • Costs of appealing

  42. RAC Appeals Involve Overlapping Rules • Interest • Recoupment • Extended Repayment Plans (ERPs) • Medicare Administrative Appeals • Five Stages of the Medicare Administrative Appeals Process: • Redetermination • Reconsideration • Administrative Law Judge • Medicare Appeals Council • Federal District Court

  43. RAC Appeals Timeline

  44. Demonstration Project RAC Appeal Success Rates • 22.5% of RAC claims were appealed • 33.4% of those claims appealed were overturned • 7.6% of RAC claims overall successfully overturned on appeal Source: The Medicare Recovery Audit Contractor (RAC) Program: Update to the Evaluation of the 3-Year Demonstration, released Jan. 2009

  45. Practical Tips for Managing Appeals • Include deadlines for interest, recoupment, ERPs, and appeals in your processes and RAC tracking database. • Attempt to determine in advance some reasonable thresholds and parameters for what claims should be appealed • Attempt to determine in advance some reasonable thresholds for applying for an ERP and have documentation required to apply for ERPs • Prepare templates for filing redetermination and reconsideration stages of appeal • Look, listen, learn, and adapt

  46. RACs: Opening the Door to Regulatory ScrutinyJason Greis, Chicago, ILMcGuireWoods

  47. RAC Data Mining Risk • The RAC Data Warehouse will be accessible to multiple auditors • Quality Improvement Organizations (QIO) • Program Safeguard Contractors (PSC) • Medicare Integrity Program Contractors (MIPC) • Medicaid Integrity Contractors (MIC) • Medicaid Fraud Control Units (MFCU) • Office of the Inspector General (OIG) • Federal Bureau of Investigation (FBI) • Department of Justice (DOJ) • Private managed care and health insurers Appropriate Self-Disclosure is the Key to Success!

  48. Other Potential Risks • Reputational harm • Exclusion from participation in federal and state health care programs • OIG Corporate Integrity Agreements • Claims for recoupment from private payors • Civil and criminal penalties for health care fraud

  49. Federal False Claims Act (“FCA”) • A false claim is a claim for payment of services that were • not provided specifically as presented, or • for which the provider is otherwise not entitled to payment. • 31 U.S.C. §§ 3729-3733

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