© 2009 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. Section 111 - Are You Ready for the New CMS Reporting Requirements? Presented by: Erin S. Zuiker.

Slides:



Advertisements
Similar presentations
Division of Workers Compensation E.D.I. Rule 69L-56 Linda Yon, EDI Coordinator Phone:
Advertisements

WELCOME TO THE INDUSTRIAL COMMISSION SELF-INSURANCE SEMINAR.
©2011 Hewlett-Packard Development Company, L.P. The information contained herein is subject to change without notice Georgia Medicaid Fair Crossovers Presentation.
1 CPE Cost Reports, Audits and WACs What You Need to Know September 26, :00 AM.
UPDATE ON MEDICARE’S REPORTING REQUIREMENTS SC Self-Insurers Association, Inc. General Membership Meeting November 4, 2010 Daniel W. Hayes, Esquire.
Applying for an Extension to HIPAA Transaction and Code Set Compliance Date The Fourth National HIPAA Summit Mark Lutes Partner, Epstein, Becker & Green,
HIPAA Privacy Rule Compliance Training for YSU April 9, 2014.
© 2010 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. ® Getting Ready For Healthcare Reform How Can We Be An Accountable Care Organization (If We Aren’t.
Franco Signor Section 111 of the Medicare, Medicaid and SCHIP Extension Act of 2007 Bennett L. Pugh Franco Signor 1618 Montgomery Hwy. Suite 104 #278 (205)
Medicare Secondary Payer Section 111 Reporting – Top 10 Issues for Companies and Agents.
Medicare Compliance Overview Jessica C. Smythe, Esq. Crowe Paradis Services Corporation Dave Peterson, Esq. Jones Funderburg Sessums Peterson & Lee, PLLC.
Top 10 Medicare Compliance Myths Presented By: Charles G. Brown, Esq. Chair, Medicare Compliance Group Bridget Langer Smith, Esq., MSCC Vice Chair, Medicare.
Medicare Secondary Payer Compliance for US Property & Casualty Insurance 24 May 2011.
Surviving MMSEA Section 111 June 30, 2009.
Medicare Secondary Payer and Negligence Lawsuits an Overview Patricia J. Foltz Anderson, Rasor & Partners, LLP June 21, 2013.
Clinical Trials: Clinical Research Billing, MSP, MMSEA, and Other Issues Meant to Complicate Our Lives 2011 Corporate Council Meeting 17 February 2011.
Medicare Compliance Presented by: Christina E. Horton, Esq. 1.
Translating CMS Terminology for your Claims Department And How to translate your children’s text messages. VISIONS FOR THE FUTURE.
Solutions to New Medicare Compliance Rules: A Presentation to the National Council of Self-Insurers National Coverage.
House Bill 2437 Health Carrier Access Payment Commissioner Kim Holland Oklahoma Insurance Department.
Agenda Introductions/ Welcome Background
CHAPTER © 2013 The McGraw-Hill Companies, Inc. All rights reserved. 7 Creating Claims.
AIIF Azerbaijan International Insurance Forum Motor insurance and claim handling Technology and intelligence for claims cost optimization.
Internal Revenue Service Federal, State, & Local Governments Louisiana Association of School Business Officials November 7, 2012 HOW TO AVOID INFORMATION.
Medicare Part D Overview of Options, Creditable Coverage, Required Notices, COB and Health Care Reform.
1 Workers’ Compensation – Selected State Issues Dan Sumner, Assistant Director Division of Workers’ Compensation Florida Department of Financial Services.
2010 Medical Professional Liability Symposium Chicago, IL ~ March 18 & 19, 2010 MMSEA Section 111 Reporting: The Elephant in the Room?
Medicare, Medicaid, and SCHIP Extension Act of 2007 and the Medicare Secondary Payer Act (MSP) LMSA: The Train at the End of the Tunnel.
Welcome Property and Liability Insurance Coverage Overview 2011 Department of Central Services Risk Management Division (RM) 1.
Medicare’s Interest in Workers’ Compensation Cases
Lucy Hester Sellers Attorney at Law ARMS and CMS Reporting Requirements Refresher ACSBA Conference June 22, 2013 Lucy Hester Sellers, JD
MARCH 2009 Current Approach Options for MMSEA Reporting & Other Compliance Issues (MSAs) PRESENTOR John V. D’Alusio EVP, Senior Claims Officer Avizent.
Understanding the Exposure SCHIP Mandatory Insurer Reporting & MSP Compliance.
MEDICARE MANDATORY REPORTING: Keeping Your Company in Compliance with the Medicare, Medicaid and SCHIP Act Mandatory Reporting Requirements McAnany, Van.
1 NY Chapter - RIMS MMSEA Reporting & MSP Compliance.
MEDICARE SECONDARY PAYER ACT Mandatory Reporting Requirements.
Affordable Care Act: Compliance Issues for West Virginia Boards of Education ASBO May 14, 2014 Jill E. Hall, Esquire Bowles Rice LLP 600 Quarrier Street.
Accounting for Payroll: Employer Taxes and Reports
Health Reform's New Claims Appeals & Review Processes: Employer Compliance & Contracting Presentation to Northeast Business Group on Health March 2, 2011.
ASSOCIATION OF COUNTY ADMINISTRATORS OF ALABAMA ANNUAL CONFERENCE MAY , 2015 PERDIDO BEACH RESORT Revisiting the Affordable Care Act.
2008 Aquaculture Grant Program Amy Mitchell. Overview Program Status FSA Reporting Requirements Recovery Act Reporting Requirements Questions and Answers.
1 Medicare Compliance in Workers’ Compensation and Liability Cases: Conditional Payment Claims, Mandatory Reporting and Medicare Set-asides Joe Isbell.
Human Resources Administration Department of Social Services 1 Eligibility Data and Image Transfer System EDITS November 6, 2008.
© 2013 Cengage Learning. All Rights Reserved. May not be scanned, copied or duplicated, or posted to a publicly accessible website, in whole or in part.
Katie A. Fox, MSCC September, 2009 Medicare Secondary Payer Today & Tomorrow.
Draft Model Manufacturer Agreement Medicare Coverage Gap Discount Program Public Meeting June 1, 2010.
FleetBoston Financial HIPAA Privacy Compliance Agnes Bundy Scanlan Managing Director and Chief Privacy Officer FleetBoston Financial.
Medicare, Medicaid and SCHIP Extension Act of 2007 (MMSEA) Overview Carolina RIMS September 2009.
1 Beware MMSEA: Are You in Compliance? Bennett L. Pugh Carr, Allison, Pugh, Howard, Oliver, & Sisson 100 Vestavia Parkway Birmingham, Alabama (205)
New Mandatory Medicare Insurer Reporting Requirements of Section 111 of the Medicare, Medicaid & SCHIP Extension Act (MMSEA) An Insurer Perspective.
Presented by: Russell S. Whittle, Esq., MSCC, CMSP Taking Medicare’s Interests Into Consideration: Mandatory Insurer Reporting (MIR)
1 Workers Compensation Policy Cancellation Pitfalls 2005 AASCIF Legal Workshop George M. Parham Chief Legal Counsel Idaho State Insurance Fund.
Medicare Secondary Payer Act: CMS Recovery from Ace Michael J. Ruggiero King & Spalding LLP
Medicare Secondary Payer – Process and Best Practices October 21, 2009 Roy A. Franco, Safeway Inc./ Medicare Advocacy Recovery Coalition.
Health Care Reform Information Reporting Under Sections 6055 and 6056 Lisa Reed 11/3/2015.
Standard Unique Health Identifier for Health Care Providers April 9, th Annual HIPAA Summit Gail Kocher Highmark.
Medical Eligibility Verifications 1. Medical Eligibility: Verifications Introduction After completing this course, you will be able to: Recognize shared.
The Adjutant General Directorate “People Always... Mission First” (Pre-Decisional) CRSC Ambassador Training March 12, 2008.
PROTECTING MEDICARE’S INTERESTS IN LIABILITY SETTLEMENTS Presented by: Todd A. Kipnes.
The Law Offices of Sheila Deselich Cohen. Generally subject to the Employee Retirement Income Security Act of 1974 (“ERISA”). Two main types of plans:
Cliff Connor, Vice President of Medicare Compliance, Gallagher Bassett Roy Franco, Chief Client Officer, Franco Signor Barry Dillard, Director, Claims.
Gould & Lamb MMSEA Field Review for the Lloyd’s Market May 2011
Unemployment Insurance
Medicare, Medicaid, and SCHIP Extension Act of 2007
GENEX Services, Inc. Presentation of
Bradley J. Frigon, JD, LLM (Tax), CELA
Unemployment Insurance
The Patient Protection and Affordable Care Act – What it Means to Businesses and Individuals Linda Ialacci, CPA Horvath & Giacin, P.C. July 18, 2012.
Chapter 3: Basics of Health Insurance
Unraveling The MMSEA Sec. 111 Reporting Requirements
Presentation transcript:

© 2009 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. Section Are You Ready for the New CMS Reporting Requirements? Presented by: Erin S. Zuiker Smith Moore Leatherwood LLP 434 Fayetteville Street, Suite 2800 Raleigh, North Carolina T: (919) F: (919) Lisa K. Shortt Smith Moore Leatherwood LLP 300 N. Greene Street, Suite 1400 Greensboro, North Carolina T: (336) F: (336) To ask a question during the presentation, click the Q&A menu at the top of this window, type your question in the Q&A text box, and then click “Ask.” After you click Ask, the button name will change to “Edit.” Questions will be queued and most will be answered at the end of the meeting as time allows.

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. Section 111 : New Reporting Rules Since 1980, The Centers for Medicare and Medicaid Services (“CMS”) has had the right to be the Secondary Payer for any medical expenses paid on behalf of a Medicare beneficiary. Through the MMSEA Section 111 Reporting Requirements, CMS is exerting its right to always be the payer of last resort. CMS

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. Statutory Authority In 2007, Congress passed new legislation that added teeth to the existing Medicare Secondary Payer (“MSP”) law. The Medicare, Medicaid and SCHIP Extension Act of 2007 (“MMSEA”) amended the MSP provisions at 42 U.S.C. 1395y(b)

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. Statutory Authority – MMSEA Section 111 Section 111 of the MMSEA: –Includes mandatory reporting requirements to ensure Medicare’s status as a Secondary payer; –Imposes new reporting requirements on all GHPs and NGHPs; and –Includes a penalty for non-compliance = $1,000 per day, per claim.

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. Section 111 : New Reporting Rules Mandatory Reporting Requirements: –To accomplish its status as Secondary Payer, CMS wants to know what entities are settling with Medicare Beneficiaries. –CMS now wants data, so that it can guarantee its status as a Secondary Payer. –Section 111 will enable CMS to ensure that it does not make payments if another payer is responsible.

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. Section 111 : New Reporting Rules Section 111 Reporting only applies to Medicare Beneficiaries (it has no application to Medicaid). Under Section 111, if you or your organization pays the medical expenses of a Medicare beneficiary, you must report to CMS.

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. Who is Impacted? Responsible Reporting Entities (“RRE”) are those entities required to report data to CMS under Section 111 of the MMSEA CMS has categorized RREs into: –Group Health Plans (“GHPs”); and –Non-Group Health Plans (“NGHPs”).

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. GHPs - 42 U.S.C. 1395y(b)(7) –GHP - entity that in return for receipt of a premium, assumes obligation to pay claims. –Third Party Administrator (“TPA”) – entity that pays or adjudicates claims on behalf of the GHP. –For MMSEA Section 111, the GHP’s TPA is the RRE. –Implementation began January 1, –CMS estimates that 70% of all GHP MSP data is already reported.

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. NGHPs - 42 U.S.C. 1395y(b)(8) Focus of this presentation is on NGHPs

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. NGHPs – The “applicable plan” –The “applicable plan” includes: Liability insurance (including self-insurance); No-fault insurance; and Workers’ compensation.

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. NGHPs Unlike GHPs, the TPA for NGHPs is not the RRE, “based solely on its status as a TPA.” NGHPs may use an agent for reporting purposes, though the liability for noncompliance remains with the NGHP.

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. What Must be Reported? Section 111 mandates that all payers will be responsible for reporting any: –Settlements; –Judgments; –Awards; or –Other payments for any medical expenses… That are paid on behalf of a Medicare beneficiary.

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. When To Report?

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. When To Report? Section 111 requires a Quarterly Report to be submitted to CMS. Each RRE was required to register between May 1, 2009 and September 30, Though registration remains open. –The RRE will be assigned an RRE ID. –Each RRE ID will be assigned a Quarterly File Submission Date.

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. When To Report? Once registered, the RRE will begin a testing phase. The testing phase will run through March 31, Live data submissions will begin April 1, 2010.

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. Responsible Reporting Entity (“RRE”) Section 111 mandates that the RRE report specific information to CMS beginning in An RRE is the entity that actually pays the claim on behalf of a Medicare eligible individual. –Examples: An entity has 1 st Dollar coverage for their liability insurance, the Insurer is the RRE because the Insurer pays the claim in full. An entity has a Self-Insured Retention (“SIR”) amount of $500,000, the Insured is the RRE for any monies paid to a Medicare beneficiary out of the SIR amount. An entity does not have an insurance policy, but settles for $10,000 with an injured party who is a Medicare beneficiary, the entity paying the claim is the RRE.

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. RRE The RRE may contract with a TPA for their insurance obligations, however the TPA is not the RRE “based solely on its status as a TPA.” The Section 111 Reporting responsibility remains with the RRE. The penalty of $1000/day/claim remains with the RRE.

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. What Data? Data elements include: – Social security number; – Date of injury; – Plan information; – Settlement amounts; and – Legal representation information.

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. How is Data Reported? All submissions must be in an electronic format.

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. Types of Settlements CMS has identified two Types of Settlements: 1.Total Payment Obligation to the Claimant (“TPOC”); and 2.Ongoing Responsibility for Medicals (“ORM”).

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. TPOC TPOC payments require only one reporting event: –If at time of payment, the individual receiving payment is a current Medicare beneficiary = Report –If at time of payment, the individual receiving payment is not a current Medicare beneficiary = Do Not Report That’s it!

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. Reporting TPOCs All TPOCs as of January 1, TPOCs Interim Thresholds: –2010 – payments below $ exempt –2011 – payments below $ exempt –2012 – payments below $ exempt But note, if multiple TPOCs are reported on the same record or if a deductible is involved, the combined total is used in determining the threshold.

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. ORM ORM payments require two reporting events: 1.If at time of payment, the individual receiving payment is a current Medicare beneficiary = Report; and 2.The second report is at the time the ORM payment obligation terminates.

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. ORM Note: If at the time of payment, the individual is NOT a Medicare beneficiary, but later becomes a Medicare beneficiary, the RRE is responsible for monitoring the individual’s change in status and reporting the data to CMS.

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. Reporting ORMs ORMs incurred as of July 1, 2009 are reportable. No-fault and liability ORMs, including self-insurance, have no de minimus dollar threshold. Workers’ Compensation ORMs – exempt through 12/31/2010, if meet ALL of the following: –“Medicals only”’ –“Lost time” of no more than 7 calendar days – All payment(s) has/have been made directly to the medical provider –Total payment does not exceed $600.00

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. What will Section 111 Cost to Implement? CMS estimates it will take RREs approximately 375 hours to develop the administrative processes to comply with Section 111.

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. What will Section 111 Cost to Implement? However, compliance requires: Potential collection and entry of over 200 data fields per claimant; Potential for 199 error codes; Ongoing Quarterly Reports; Internal Monitoring of an individual’s Medicare status for ORM payments; and Failure to Report = $1000/day/claim.

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. What will Section 111 Cost to Implement? CMS has developed strict guidance for reporting: –Data must be reported in a certain form and format; –Data must be converted into a “flat file” in ASCII format; and –Data cannot be reported: in Excel; in Word; or In a manner that does not control every aspect of data entry into the required field.

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. Software is designed to drive proper data entry by: Restricting field inputs, Identifying errors with error reports, Formatting fields to the required specifications, Automatically creating the reports specified by CMS, and Importing the Medicare Response files and generating reports. Section 111 Medical Payments by Liability Entities

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. Questions??

© 2008 Smith Moore Leatherwood LLP. ALL RIGHTS RESERVED. Erin S. Zuiker Smith Moore Leatherwood LLP 434 Fayetteville Street, Suite 2800 Raleigh, North Carolina T: (919) F: (919) Lisa K. Shortt Smith Moore Leatherwood LLP 300 N. Greene Street, Suite 1400 Greensboro, North Carolina T: (336) F: (336)