After a delay of several months, the
Department of Health and Human Services, Office of Inspector General (“OIG”)
released its Fiscal Year 2014 Work plan on January 31, 2014. After combing through Work Plan, we noticed
new areas of OIG focus, which it believes may be ripe for fraud, waste, and
abuse. The Delaware healthcare
community—from physician practices to institutional providers—can stand to gain
a great deal of insight by understanding the OIG’s focus and trends for the new
year. Most importantly, the Work Plan
can help providers identify potential areas of compliance risk before an issue
arises. We have identified a few key OIG
initiatives below.
For Hospitals
- Outpatient
evaluation and management (E/M) services billed at the new-patient rate. The OIG will review Medicare outpatient
payments made to hospitals for E/M services for clinic visits billed at
the new-patient rate
- Nationwide
review of cardiac catheterization and heart biopsies. The OIG will review Medicare payments
for right heart catheterizations and heart biopsies billed during the same
operative session and determine whether hospitals complied with Medicare
billing requirements.
- Selected
inpatient and outpatient billing requirements. The OIG will continue to review Medicare
payments to acute care hospitals to determine compliance with select
billing requirements and recommend recovery of overpayments.
- Outpatient
dental claims. The OIG will continue to review Medicare
payments for dental services to determine whether payments were made in
accordance with Medicare requirements.
Current OIG audits have revealed significant overpayments in this
area.
For Physicians
- Inappropriate
payments for evaluation and management (E/M) services. The OIG will continue to determine the
extent to which providers were overpaid for select E/M services. Medicare contractors have noted an
increased frequency in identical documentation across services and
beneficiaries. The OIG will determine
the extent to which EMR and paper health records have documentation
vulnerabilities.
- Diagnostic
radiology—medical necessity of high-cost tests. The OIG will continue to review Medicare
payments to determine whether they were medically necessary.
- Noncompliance
with assignment rules and excessive billing of beneficiaries. The OIG will review whether
participating physicians accepted claim assignment and whether they
complied with all Medicare requriements.
For Chiropractors
- Questionable
billing and maintenance therapy. The OIG will determine the extent of
questionable billing for chiropractic services, as previous OIG work has
demonstrated a history of inappropriate payments for chiropractic
services.
For Nursing Homes
- Medicare Part
A billing by skilled nursing facilities. Prior
OIG work that SNFs increasingly billed for the highest level of therapy
even if beneficiary characteristics remained largely unchanged.
- Questionable
billing patterns for Part B services during nursing home stays.
The
entire OIG Work Plan can be viewed at http://oig.hhs.gov/reports-and-publications/workplan/index.asp.
All providers should consider potential areas of compliance risk that affect
their organization and act upon those risks when necessary.
Your Article And Your Blog Is Specialy Focus For Physician, I Like It.
ReplyDeletehttp://www.physiciandispensing.net/
Dipsensing Physician