Originally posted at TOWER's Latest Thinking
As of January 1, 2013, the Medicare Physician Fee Schedule includes reimbursement for transitional care management (TCM) services from the hospital to the community setting. The two relevant codes are 99495 and 99496 and apply to physicians and other qualified non-physician professionals. The goal of this investment is to generate savings from a reduction in the number of re-admissions.
While this new approach to reimbursing for care is truly welcome, the inclusion of non-face-to-face care management services is an opportunity to leverage enterprise portals and social technologies to facilitate these processes. The following services are required be provided unless they have been determined to not be medically necessary:
Performed by a qualified professional: obtain and review discharge information; review need for, or follow-up on, pending diagnostic tests and treatments; interact with other providers involved in patient’s care; educate patient, family, guardian, and/or caregiver; arrange for needed community resources.
Performed by clinical staff or case manager under direction of qualified professional: communicate with home health agencies and other community services utilized by patient; educate patient and/or family/caretaker regarding self-management, independent living, and activities of daily living; assess and support treatment regimen adherence and medication management; identify available community and health resources; facilitate access to necessary care and services.
Now is the time for innovative providers to develop new processes and create strategies for leveraging technologies to support delivery of these important and reimbursable services.
For a detailed summary of the billing requirements for TCM, visit the PYA Healthcare Blog and the CMS FAQs.
Since this reimbursement fits with my current work in the post-treatment phase of the continuum of care, I'll discuss question that arise from this change with CMS officials and share what I learn here.
There seemes conflicting publications on requirements on if this applies only to established patients or if new patients practitioners would be able to bill for. Does this apply to only established or can this apply to new patients.
Posted by: Healthassoc | April 03, 2013 at 11:26 AM