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experience clarity // CPAs & ADVISORS TEXAS ASSOCIATION OF COMMUNITY HEALTH CENTERS October 7, 2014 T HE M EDICARE PPS FOR FQHC S – R EADY, S ET, G O !
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PRESENTATION PRELUDE Medicare payment change brings opportunity Reconsider the importance of Medicare as a payer Strategic thinking - how to grow this “book of business” Recent HRSA policy clarification regarding HRSA’s role in financial and programmatic monitoring Published September 3, 2014 Financial viability is an individual health center responsibility 2
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MEDICARE: AN IMPORTANT PAYER The Medicare program, while oftentimes small as a percentage of overall health center patient related revenues, is an important third-party payer of services Generally the second best third-party payer after state Medicaid 9.9% of aggregate health center revenues per Table 9D of the 2013 UDS Report (8.5% - traditional Medicare + 1.4% Medicare managed care)
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MEDICARE PPS – WHEN DOES THIS CHANGE HAPPEN? Health care reform legislation mandates a transition from the current Medicare FQHC cost-based reimbursement system effective for cost reporting periods beginning on or after October 1, 2014
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MEDICARE PPS – THE HEADLINE ISSUES The Affordable Care Act mandated that the initial PPS rates be set based on 100% of the estimated amount of reasonable costs if the PPS had not been implemented (the 100% must be calculated before application of copayments, per visit limits, or productivity adjustments) Final data set includes cost report periods ended June 30, 2011 through June 30, 2013 Impact analysis indicates an increase in total Medicare payments to FQHCs of approximately 32% (31.9%) Does not take into account the “lesser of” provision (see next slide)
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THE “LESSER OF” PROVISION Medicare payment will be 80% of the lesser of the actual charge reported for the specific payment code or the PPS rate (for each claim) Beneficiary coinsurance will be 20% of the lesser of the actual charge reported for the specific payment code or the PPS rate (for each claim) 6
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MEDICARE PPS – THERE’S WORK TO DO Final rule notes that if an assumption is made that FQHCs’ charge structures remain the same, approximately 65% of FQHCs would be paid LESS under the FQHC PPS rate methodology than they are currently paid Establishment of health center unique G-code bundled charges is an art rather than a science
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MEDICARE PPS – THE MYTHS Implementation of the new PPS will not require much time and preparation – it’s mainly a finance (payment) change isn’t it? Health centers will always be paid at the applicable PPS rate The Medicare FQHC cost report will no longer have significance
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CURRENT REASONABLE COST- BASED REIMBURSEMENT METHODOLOGY
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CURRENT PAYMENT METHODOLOGY An all-inclusive rate (AIR) is paid for all services provided on the same day to the same beneficiary, with certain exceptions as discussed earlier Reimbursement is subject to an upper payment limit (adjusted annually based on the Medicare Economic Index, or MEI) and productivity standards Application of these “caps and screens” generally results in payment that is less than “full” cost 10/28/2013
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CURRENT PAYMENT METHODOLOGY Medicare FQHC cost-based reimbursement is applicable to FQHC-core services only Medicare FQHC reimbursement is based on a per-visit rate subject to an upper payment limit (the “cost cap”) o 2014 rural limit - $111.67 o 2014 urban limit - $129.02 Services provided by core service providers are paid based on a per-visit methodology
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CURRENT PAYMENT METHODOLOGY Medicare reimbursement for FQHC-core services ultimately determined through submission of Medicare FQHC cost report Final Medicare program payment based on 80% of defined Medicare cost determined from the cost report Medicare beneficiary copayments are based on 20% of covered charges No reconciliation process for services reimbursed based on a Medicare fee schedule (Medicare covered services that fall outside of the FQHC benefit)
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METHODOLOGY TRANSITION CONSIDERATIONS Medicare FQHC cost report reimbursement can be divided into three “buckets” – reimbursement for visits; vaccine administration costs; and bad debts The PPS reimbursement system impacts two of the three “buckets” – reimbursement for visits and (potentially) for bad debts
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MEDICARE BAD DEBTS; CMS FINAL RULE – 11/9/2012 Final rule reduced the amount of Medicare bad debts that are reimbursed for future cost reporting periods (reimbursement was at 100% of allowed Medicare bad debts – through cost reporting periods (CRPs) ending on or before August 31, 2013) Medicare bad debt reimbursement for future CRPs as follows: CRPs beginning on or after October 1, 2012 – 88% CRPs beginning on or after October 1, 2013 – 76% CRPs beginning on or after October 1, 2014 and subsequent – 65%
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OVERVIEW OF FINAL RULE
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Final rule responds to public comments received in response to issuance of the proposed rule during September 2013 Final rule includes a single national encounter-based rate for professional services furnished per beneficiary per day 16
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OVERVIEW OF FINAL RULE Final rule continues current policy that provides for payment for multiple visits on the same day, with two exceptions Mental health visits – yes Visit due to subsequent illness or injury on the same day – yes DSMT/MNT visit - no Initial preventive physical examination – no (addressed in manuals only and not in regulation; manual language indicates service is a once in a lifetime benefit) 17
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OVERVIEW OF FINAL RULE Final rule includes a MEI-adjusted base payment rate of $158.85 Initial update to PPS payment rates will be effective January 1, 2016 Includes concept of a geographic adjustment factor based on the locality of the delivery site Establishes two geographically adjusted PPS rates per period for each delivery site (see next slide) 18
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OVERVIEW OF FINAL RULE PPS rates will be established for Patient that is not new to the FQHC and is not receiving an initial preventive physical examination (IPPE) or an annual wellness visit (AWV) Patient that is new to the FQHC or service furnished is an IPPE, initial AWV or subsequent AWV (PPS rate will reflect the 34.16% increase in costs accounting for the greater intensity and resource use associated with these types of visits) PPS rates will be established for each delivery site 19
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OVERVIEW OF FINAL RULE Establishes a new set of HCPCS G-codes (five payment codes) for FQHCs to report services – for purposes of parity when comparing PPS rates with health center charges (the “lesser of” provision) Established Medicare patient (medical and mental health) o G0467 and G0470 A new patient visit (medical and mental health) o G0466 and G0469 An IPPE or AWV o G0468 20
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OVERVIEW OF FINAL RULE Reminder - the “lesser of” provision: Medicare payment will be 80% of the lesser of the actual charge reported for the specific payment code or the PPS rate (for each claim) Beneficiary coinsurance will be 20% of the lesser of the actual charge reported for the specific payment code or the PPS rate (for each claim) 21
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OVERVIEW OF FINAL RULE Commentary provided regarding the setting of charges for the new Medicare G-codes references Medicare reimbursement principle of uniformity of charges Medicare will continue to pay 100% for preventive services (there will be no beneficiary coinsurance requirement) 22
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OVERVIEW OF FINAL RULE Annual Medicare FQHC cost reports will still be required Reasonable costs of the following services will continue to be determined and paid through the Medicare FQHC cost report o Influenza and pneumococcal vaccines and their administration o Allowable graduate medical education costs o Bad debts (see later slide) CMS notes that cost report information will be used to update cost estimates and to facilitate the potential development of a FQHC market basket (for update to PPS payment rates that will be effective January 1, 2017) 23
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OVERVIEW OF FINAL RULE Provides for “wrap-around” payments from Medicare Advantage (MA) organizations, where the FQHC has a written contract with the MA organization Without application of the “lesser of” provision 24
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MEDICARE PPS RATES AND CALCULATIONS
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MEDICARE FQHC PPS REIMBURSEMENT National Medicare FQHC PPS base payment rate of $158.85 per beneficiary per day Adjusted for geographic location 1.3416X higher for new patient visit, IPPE, initial AWV or subsequent AWV Total payment (Medicare reimbursement and patient coinsurance) would not exceed the lesser of the “Medicare visit” charge or PPS rate
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MEDICARE FQHC PPS REIMBURSEMENT – A SIMPLISTIC EXAMPLE Assume example health center is located in rural Texas (listing of geographic adjustment factors identifies “rest of Texas” =.961) Daily PPS rate for established patients would then be $158.85 X.961 = $152.65 What if the health center’s G-code charge = $110.00? What if the health center’s G-code charge = $170.00? How is Medicare payment and patient coinsurance calculated?
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MEDICARE FQHC PPS REIMBURSEMENT – A SIMPLISTIC EXAMPLE Assume example health center is located in rural Texas (listing of geographic adjustment factors identifies “rest of Texas” =.961) Daily PPS rate for a new patient would then be $158.85 X.961 X 1.3416 = $204.80 What if the health center’s G-code charge = $175.00? What if the health center’s G-code charge = $235.00? How is Medicare payment and patient coinsurance calculated?
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MEDICARE FQHC PPS REIMBURSEMENT Establishment of charges for HCPCS G-codes will require thought and analysis Final rule indicates that a charge for a specific payment code would reflect the sum of regular rates charged to both beneficiaries (Medicare) and other paying patients for a typical bundle of services that would be furnished per diem to a Medicare beneficiary Final rule notes that establishing Medicare per diem rates that are substantially in excess of the usual rates charged to other paying patients for a similar bundle of services could be subject to section 1128 of the Social Security Act
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MEDICARE FQHC PPS REIMBURSEMENT Establishment of charges for HCPCS G-codes will require thought and analysis Final rule includes references to charge setting requirements in section 330(k)(3)(G) of the Public Health Services Act and HRSA guidance o Related to the costs of operation o Consideration of locally prevailing rates o See also Section V (Fee Schedule) of HRSA’s draft sliding fee policy information notice dated July 9, 2012 HRSA’s 19 key program requirements also includes reference to “maximizing collections and reimbursement for costs of providing health care services”
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MEDICARE PPS IMPLEMENTATION THOUGHTS
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PREPARING FOR THE MEDICARE PPS Presumably health center management seeks a “revenue neutral” or better outcome with implementation of the new Medicare payment methodology Assessment of anticipated health center financial outcome is a recommended prerequisite to development of implementation plan specifics (see next slide)
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ASSESSING YOUR SITUATION Assumptions for discussion/illustration Recalculated cost per visit = $125.00 Current Medicare reimbursement based on cost limit = $112.00 Medicare average charge per visit = $102.00 Assumed PPS rate of $153.00 (from the earlier example) In order to be revenue neutral for the visits “bucket”, the health center’s average charge will need to increase by approximately 8% Full recognition of PPS reimbursement will not occur unless the health center’s average charge is increased to $153.00 (a 50% charge increase in this example)
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NEXT STEPS Issues to consider include the following Provider coding practices Charge structure and charge capture issues o Development of a sound and fact-based methodology for establishment of G-code charges Recordkeeping for capture of reimbursement of Medicare bad debts (FQHC services – beneficiary coinsurance) Education for members of the health center’s Board of Directors and leadership team Other
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FINAL THOUGHTS
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Proper planning should enhance a health center’s chance for a successful PPS implementation experience Most likely this is not a “one and done” implementation process – periodic reevaluation and adjustments may be required
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DISCLAIMER The information contained in this presentation is not intended to cover all situations or all rules & policies. Reimbursement laws, regulations & policies are subject to change.
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910 E. St. Louis St. Springfield, MO 65801-1190 Office: 417.865.8701 Fax: 417.865.0682 www.bkd.com Michael B. Schnake, CPA, CGFM Partner mschnake@bkd.com
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