Upic audit medicare3/2/2024 Second, if you have received any correspondence from Health Integrity, you should not hesitate to call an experienced Medicare appeals attorney. It is important that your staff receives comprehensive training and clear, consistent guidance on what you and your organization expect from each individual member with regards to compliance. An effective compliance program begins with a gap analysis and usually includes all seven elements of a compliance plan as a framework. ![]() Second, retain an experienced Medicare post payment audit appeals attorney to represent you through the appeals process.Ī compliance plan will give your organization the tools and understanding it needs to ensure that claims are coded and billed in an appropriate fashion and that your company’s business practices and arrangements comply with the numerous laws concerning patient referrals and illegal payments. First, if you haven’t already done so, implement an effective compliance plan. As Health Integrity begins administrative audits of those HHAs that were targeted in the sample (they may not even know their claims were reviewed since the process was entirely data-driven), many agencies may face increased scrutiny and across-the-board payment denials. While HHAs will continue to receive funding under the Prospective Payment System (PPS), expect a substantial increase of both post payment audits and prepayment audits. For an HHA that is expending a lot of resources on staff and providing high quality care to complex beneficiaries, this could represent a real problem.įinally, CMS and Health Integrity (the Texas ZPIC) will likely closely monitor each and every HHA claim. This means that an HHA who is an outlier (perhaps because of an unusually complex patient load or a large degree of business) may see their payments capped at 10% greater than the “standard” payment numbers. Moreover, OIG recommended enforcement of the 10% cap on annual outlier payments. In addition, CMS may even consider a reassessment of every re-enrollment application it receives from HHAs in the state of Texas. Moreover, if you close down your business, lose a provider number, or attempt to re-open an HHA, you may not be able to successfully accomplish that in Texas. That means no new agencies in the state of Texas, and, if the ban ever gets lifted, every new HHA application will be scrutinized with the utmost care. What Do These Things Mean To Your Texas Home Health HHA?įor Texas providers, the most important takeaway is that OIG has recommended (and CMS has stated it will implement) a moratorium on new HHA enrollment. audits and overpayment recovery) regarding the inappropriate payments OIG identified in its sample. Consider imposing a temporary moratorium on new HHA enrollments in Florida and Texasĥ. Enforce and consider lowering the 10-percent cap on the total outlier payments an HHA may receive annuallyĤ. Increase monitoring of billing for home health servicesģ. Implement a claims processing edit or improve existing edits to prevent inappropriate HHA payments for the three specific errors identified aboveĢ. HHS-OIG recommended to CMS that several processes occur:ġ. Of all those HHAs with questionable billing, the majority were located in Texas. Importantly, OIG found that one in four HHAs (25%) exceeded one of its sample thresholds that indicated questionable billing. The HHS-OIG, CMS, and CMS Contractors (ZPICs, RACs, and MACs) are using comparative data mining to view HHS claims under a microscope, looking for any clues of impropriety, such as the errors above. Billing for services on dates after beneficiaries’ deaths Overlapping with claims for skilled nursing facility staysģ. ![]() ![]() Overlapping with claims for inpatient hospital staysĢ. The report noted that several common schemes were identified among home health agencies and used to sort out potentially fraudulent providers, including:ġ. A recent report by HHS-OIG found that a substantial number of home health agency (HHA) billings in Texas were fraudulent or inappropriate.
0 Comments
Leave a Reply.AuthorWrite something about yourself. No need to be fancy, just an overview. ArchivesCategories |