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Health Care Excel (HCE) has produced this material as an informational reference for providers furnishing services in our contract jurisdiction. HCE employees, agents, and staff make no representation, warranty, or guarantee that this compilation of Medicare information is error-free and will bear n
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1. HAC, RAC, Decreasing Readmissions: An HCE Update Roland A. Grieb, MD, MHSA
Medical Director
October 29, 2009
3. Objectives Describe how the Centers for Medicare and Medicaid Services’ (CMS) Value-Based Purchasing (VBP) program relates Hospital Acquired Conditions (HACs)/ Present-on-Admission (POA) as outcomes of care
Provide updates to the Recovery Audit Contractors (RAC) program
Discuss how specificity in clinical documentation influences reimbursement, patient safety, and outcomes of care that are publicly reported.
Review the current status of the Care Transitions project in Indiana
4. What Is Medicare Going to Do to Survive? Three ways to make Medicare last longer and bring the costs down
Spread the costs of Medicare among Medicare beneficiaries
Reduce provider prices
Optimize utilization and benefits, and focus on quality of care
5. The Changing Face of Medicare Since Its Beginning
6. Medicare “R” Tools Reimbursement
Regulations
Resources
Reporting
7. VBP Program Goals Improve clinical quality
Reduce adverse events and improve patient safety
Encourage patient-centered care
Avoid unnecessary costs in health care delivery
Stimulate investments in effective structural components or systems
Make performance results transparent and comprehensible
8. What Does VBP Mean to CMS? Transforms Medicare from a passive to an active payer of health care
Provides tools and initiatives for promoting higher quality of care, while avoiding unnecessary costs
9. Centers for Medicare & Medicaid Services (CMS) Roadmaps for Value Driven Healthcare Value-Based Purchasing (VBP)
Quality Measurement
Resource Use Measurement Plan
Source: http://www.cms.hhs.gov/QualityInitiativesGenInfo/ 10/22/2009 9
10. “Report to Congress: Plan to Implement a Medicare Hospital Value-Based Purchasing Program”* Options for implementing a VBP program in fiscal year (FY) 2009 presented to Congress in November 2007
* http://www.cms.hhs.gov/AcuteInpatientPPS/downloads/ HospitalVBPPlanRTCFINALSUBMITTED2007.pdf
11. VBP and Hospitals Builds on existing framework of the pay-for-reporting program
Rewards hospitals that maintain or improve and attain quality performance
Incentive payment amount would be a percentage of the diagnosis-related group (DRG) payment
12. VBP Update September 9, 2009: Chairman of the Senate Finance Committee, Max Baucus (D-MT), released a document titled “Framework for Comprehensive Health Reform”
Hospital Value-Based Purchasing
Physician Value-Based Purchasing
Reducing Hospital Acquired Infections
Reducing Avoidable Hospital Readmissions
http://finance.senate.gov/press/Bpress/2009press/prb090909.pdf
13. Hospital Acquired Conditions (HACs) and Present on Admission (POA) Deficit Reduction Act (DRA) Section 5001(c) is the statutory requirement for HACs conditions and POA
Translation
No increased payment for complicating conditions that are not present at the time of hospital admission
If the HAC is the only complication or comorbidity, then it will not lead to the higher paying DRG
14. Statutory Authority DRA Section 5001 (c) Currently applies only to acute Medicare inpatient prospective payment system (IPPS) hospitals—those reimbursed under Diagnosis Related Groups (DRGs)
Currently excludes Critical Access Hospitals (CAH), psychiatric and rehabilitation hospitals, and distinct part units
Web source for HACs
http://www.cms.hhs.gov/HospitalAcqCond/07_EducationalResources.asp.
15. HACs CMS must select conditions that meet the following criteria
High cost, high volume, or both
Assigned to a higher paying DRG when present as a secondary diagnosis
“Reasonably preventable” through the application of evidence-based guidelines
16. CMS-Selected HACs Foreign objects retained after surgery
Air embolism
Blood incompatibilities
Catheter-associated urinary tract infections (UTIs)
Vascular catheter-associated infections
Pressure ulcers (Stages III & IV)
17. CMS-Selected HACs (cont.) 7. Falls and other hospital-acquired injuries
Fracture, dislocation
Intracranial injury
Crushing injury
Burn
Electrical shock
18. CMS-Selected HACs (cont.) Manifestations of poor glycemic control
Hypoglycemic coma
Diabetic ketoacidosis
Nonketotic hyperosmolar coma
Secondary diabetes with ketoacidosis
Secondary diabetes with hyperosmolarity
Deep vein thrombosis (DVT)/pulmonary embolism (PE)
Total knee replacement
Hip replacement
19. CMS-Selected HACs (cont.) Surgical Site Infections
Mediastinitis after coronary artery bypass graft (CABG)
Certain orthopedic procedures
Spine
Neck
Shoulder
Elbow
Bariatric surgery for obesity
Laprascopic gastric bypass
Gastroenterostomy
Laparoscopic gastric restrictive surgery
21. POA—General Requirements Defined as “present at the time the order for inpatient admission occurs”
Multiple clinical scenarios qualify as POA
Diagnosed prior to admission (e.g., history of diabetes)
Confirmed during the admission but documented at the time of admission as “suspected,” “possible,” “Rule/Out,” or as a differential diagnosis
22. POA General Requirements (cont.) Multiple clinical scenarios qualify as POA
Diagnosed after admission, but documented as an underlying cause of a symptom present at the time of admission
Present during an outpatient encounter prior to order for admission (e.g., Emergency Department, observation status, or outpatient surgery)
23. HAC will continue to evolve and expand
CMS is considering ways to make HAC more precise, including risk-adjusting for a condition's prevalence, and assessing rates of a condition's occurrence over time
CMS is also looking into expanding the policy of “Health Care Acquired Conditions” to other payment settings, including outpatient hospitals, ambulatory surgery centers, physicians' offices, home health agencies, and skilled nursing facilities The Future
24. Practical Approaches to Address CMS Requirements Transition in format from “pay-for-reporting” to “pay-for-performance”
Introduction of drivers for evidenced-based quality care and measurement
Requires true coordination between clinicians, coders, and billing office
Not only a documentation issue or solely a coding and/or revenue cycle issue
25. Practical Steps Clinical teams should review literature of evidence to establish local evidence-based protocols and steps to avoid HACs and “Never Events”
Not the care paths of yesteryear
Establish interpretation and documentation expectations for POAs
Templates to support documentation
26. Practical Steps (cont.) Expectation of compliance with protocols— measure and monitor
Resources requirements
Establish strong and reliable data collection systems that are real time
Consistent, reliable feedback loop from coding and patient financial services back to clinical services to drive refinement of process
27. National Coverage Determinations (NCD) On January 15, 2009, CMS issued three NCDs to establish uniform national policies that will prevent Medicare from paying for certain serious, preventable errors in medical care
Wrong surgical or other invasive procedures performed on a patient
Surgical or other invasive procedures performed on the wrong body part
Surgical or other invasive procedures performed on the wrong patient
28. Recovery Audit Contractor (RAC) Program Congress mandated the RAC program
Section 306 of the Medicare Modernization Act (MMA) directed the three year RAC demonstration program
Goal of the recovery audit program is to identify improper payments made on claims of health care services provided to Medicare beneficiaries.
www.cms.hhs.gov/RAC
29. What is a RAC? The RACs detect and correct past improper payments so that the Centers for Medicare & Medicaid Services (CMS) can implement actions that will prevent future improper payments
Providers can avoid submitting claims that do not comply with Medicare rules
CMS can lower its error rate
Taxpayers and future Medicare beneficiaries are protected
30. RAC Examples: Hospital Improper Payments Wrong Principal Diagnosis (PDX)
Incorrect coding, PDX on claim not matching PDX in the medical record
Most common DRGs were 475 (Respiratory System Diagnosis) and 468 (Extensive operating room (OR) Procedure Unrelated to Principal Diagnosis)
Wrong Diagnosis Code
Incorrect coding of ICD-9 03.89 (Septicemia) when medical record supports a diagnosis of Urosepsis/Urinary Tract Infection (UTI)
Excisional debridement compared to non-excisional debridement
31. Plans for RAC Expansion The RAC demonstration program has proven to be successful
The program has returned significant dollars to the Medicare Trust Fund
CMS views the RAC demonstration as a value-added adjunct to its other present programs
32.
33. Improvements to RAC Permanent Program Look-back period reduced
Four years to three years
Will not be allowed to look at claims paid prior to October 1, 2007 (start of new Medicare Severity DRG reporting)
Mandatory medical record limits set by CMS
Certified coders are required
34. Improvements to RAC Permanent Program (cont.) RAC Medical Director discussion
Required and frequent reporting of problem areas identified
Must pay back contingency fee if appeals are lost at any level
Uniform external RAC validation process is mandatory
35. Lessons Learned Use data gleaned from your knowledge of coding, DRGs, the Comprehensive Error Rate Testing (CERT) program data, the Office of Inspector General (OIG) Work Plan, and RAC “mentality”
Internal Data Mining
High Risk DRGs
High Volume DRGs/High Volume Outpatient Services
36. Next Steps RAC goes arm-in-arm with proposed Medicare Severity (MS)-DRG methodology, ICD-10 implementation, and CMS HAC/POA criteria
Comprehensive physician documentation and accurate clinical coding are “Must Haves”
37. CMS Approved Audit Issues Posted for Region B Recovery Audit Contractor Blood transfusions
IV-hydration
Bronchoscopy Services
Neulasta
Once in a lifetime procedures
Untimed codes
38. Resources CMS RAC Web site: www.cms.hhs.gov/RAC
Frequently Asked Questions
Updates
RAC Statement of Work
Fact Sheet
Appeals Information
Change Requests related to RAC
CMS RAC E-mail: RAC@cms.hhs.gov
39. Region B RAC Contractor REGION B
CGI Technologies and Solutions, Inc.
Subcontractor: PRG Schultz
Web site: http:// racb.cgi.com
E-mail: racb@cgi.com
Telephone: 1-877-316-7222
40. Questions Regarding RAC Appeals National Government Services (NGS)
Clinical Provider Outreach and Education
1-800-338-6101
41. Tips on Coding and Documentation
42. Rules of Engagement Medical record documentation has always been the key to coding and reimbursement.
MS-DRGs, HACs, POA and RAC audits heighten the need for clear, meaningful, and specific physician documentation.
Old rule—“If it isn’t documented, it wasn’t done.”
New rule—“If it isn’t documented, query the physician.”
Best rule—“Document it—clearly, meaningfully, and specifically!”
43. Improving Documentation (cont.) Focus of the audit and review process
History and Physical (H&P)
Discharge Summary
Special Examinations (consultations and testing)
Physician Orders and Progress Notes
44. Improving Documentation (cont.) Nursing Notes
Surgical Procedures
Rehabilitation and Respiratory Care Services
Medical Necessity of Admission
DRG Validation
45. Improving Documentation (cont.) A leading cause of noncompliance
Incomplete medical records submitted to the QIO for review
Requests for additional information forwarded to providers only if required to determine medical necessity or address quality concerns
46. Improving Documentation (cont.) History and Physical
Lack of documentation of pertinent prior medical, social, family, medication, and surgical histories
Lack of documentation of vital signs
Review of systems not documented
Discharge Summary
Not present in the medical record
47. Improving Documentation (cont.) Necessity of Admission
Abstracted using InterQual® inpatient guidelines
Many reviewed records lacked documentation to justify inpatient admission
Independent medical judgment applied by the physician reviewer during case review
48. Quality Net
http://www.qualitynet.org
Hospitals – Inpatient Tab
RHQDAPU link
CMS RHQDAPU page
http://www.cms.hhs.gov/HospitalQualityInits/08_HospitalRHQDAPU.asp
Reporting Hospital Quality Data Annual Payment Update (RHQDAPU) Resources
49. Retired Measures AMI-6 Beta blocker at arrival 2Q 2009
PN-1 Oxygen Assessment 1Q 2009
PN-5b Initial Antibiotic received within 4 hours 1Q 2009
50. New Measures for FY 2011 Update SCIP Infection 9: Postoperative Urinary Catheter Removal on Post Operative Day 1 or 2
SCIP Infection 10: Perioperative Temperature Management
51. New Structural Measures for FY 2011 Update Participation in a Systematic Clinical Database Registry for Stroke Care
Participation in a Systematic Clinical Database Registry for Nursing Sensitive Care
52. Agency for Healthcare Research and Quality (AHRQ)—Claims Based Measures Patient Safety Indicators (PSIs)
Inpatient Quality Indicators (IQIs)
53. Proposed Changes for FY 2012 Stroke Measure Set
VTE Measure Set
Changes to the validation process
54. Care Transitions::Why Focus on 30-DayReadmissions?
55. Prevalence and Drivers Medicare data analysis
19.6% beneficiaries are re-hospitalized at 30 days
34% are re-hospitalized at 90 days
67% are re-hospitalized or deceased at one year
90% of readmissions were unplanned
Cost to Medicare $17.4 billion
56. Prevalence and Drivers (cont.) Medical patients re-hospitalized at 30 days
>50% had no bill for physician service between discharge and re-hospitalization
Surgical patients re-hospitalized at 30 days
70% were re-hospitalized with a medical diagnosis
58. QIO Provided Care Transition Support Defining the problems
Discharge process mapping
Cause and effect
Root cause investigation and verification
Recommended solutions
Action planning for improvement
Evaluation and lessons learned
Program modifications
59. Typical Failure Modes in the Transition Process Post-acute care follow-up
Medication errors and/or adverse events
Poor or incomplete discharge instructions
Lack of follow-up appointment
Follow-up scheduled too long after hospitalization
Inadequate or lack of outpatient management
Lack of social support
Confusion over self-care instructions
Lack of adherence to medications, therapies, medications, and diet
60. Targeted Areas for Improvement ? Communication
? Medication reconciliation
? Patient empowerment and
self management skills
? Physician follow-up
? Plan of care
61. Care Transitions Models Care Transition Intervention—Eric Coleman, MD http://www.caretransitions.org/
Care Transition Model—Mary Naylor, PhD
http://www.innovativecaremodels.com/care_models/21
Better Outcomes for Older Adults Through Safe Transitions (BOOST)—Mark Williams, MD, Society Of Hospital Medicine (SHM) http://www.hospitalmedicine.org/ResourceRoomRedesign/RR_CareTransitions/CT_Home.cfm
Re-Engineered Discharge Design (RED)—Brian Jack, MD
http://www.bu.edu/fammed/projectred/index.html
62. Measures of Success Global re-hospitalization and acute care hospitalization rates
Patient experience on hospital performance at hospital discharge (HCAHPS)
Physician follow-up visit prior to hospital readmission
Provider adoption of measured interventions that show improvement
63. Summary Re-hospitalization signals a “sea of change” in health care.
Physicians and health care providers are becoming increasingly accountable for coordinating care beyond their walls.
Physicians and health care providers have a choice whether to wait and see what happens to them or to adopt a proactive strategy to create their future.
64. Questions?
Roland A. Grieb, MD, MHSA
rgrieb@inqio.sdps.org
812-234-1499 Extension 221