Medicare Program; CY 2020 Revisions to Payment Policies Under the Physician Fee Schedule and Other Changes to Part B Payment Policies; Medicare Shared Savings Program Requirements; Medicaid Promoting Interoperability Program Requirements for Eligible Professionals; Establishment of an Ambulance Data Collection System; Updates to the Quality Payment Program; Medicare Enrollment of Opioid Treatment Programs and Enhancements to Provider Enrollment Regulations Concerning Improper Prescribing and Patient Harm; and Amendments to Physician Self-Referral Law Advisory Opinion Regulations, 40482-41289 [2019-16041]
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DEPARTMENT OF HEALTH AND
HUMAN SERVICES
Centers for Medicare & Medicaid
Services
42 CFR Parts 403, 410, 414, 415, 416,
418, 424, 425, 489, and 498
[CMS–1715–P]
RIN 0938–AT72
Medicare Program; CY 2020 Revisions
to Payment Policies Under the
Physician Fee Schedule and Other
Changes to Part B Payment Policies;
Medicare Shared Savings Program
Requirements; Medicaid Promoting
Interoperability Program Requirements
for Eligible Professionals;
Establishment of an Ambulance Data
Collection System; Updates to the
Quality Payment Program; Medicare
Enrollment of Opioid Treatment
Programs and Enhancements to
Provider Enrollment Regulations
Concerning Improper Prescribing and
Patient Harm; and Amendments to
Physician Self-Referral Law Advisory
Opinion Regulations
Centers for Medicare &
Medicaid Services (CMS), HHS.
ACTION: Proposed rule.
AGENCY:
This major proposed rule
addresses: Changes to the physician fee
schedule (PFS); other changes to
Medicare Part B payment policies to
ensure that payment systems are
updated to reflect changes in medical
practice, relative value of services, and
changes in the statute; Medicare Shared
Savings Program quality reporting
requirements; Medicaid Promoting
Interoperability Program requirements
for eligible professionals; the
establishment of an ambulance data
collection system; updates to the
Quality Payment Program; Medicare
enrollment of Opioid Treatment
Programs and enhancements to provider
enrollment regulations concerning
improper prescribing and patient harm;
and amendments to Physician SelfReferral Law advisory opinion
regulations.
DATES: Comment date: To be assured
consideration, comments must be
received at one of the addresses
provided below, no later than 5 p.m. on
September 27, 2019.
ADDRESSES: In commenting, please refer
to file code CMS–1715–P. Because of
staff and resource limitations, we cannot
accept comments by facsimile (FAX)
transmission.
Comments, including mass comment
submissions, must be submitted in one
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SUMMARY:
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of the following three ways (please
choose only one of the ways listed):
1. Electronically. You may submit
electronic comments on this regulation
to https://www.regulations.gov. Follow
the ‘‘Submit a comment’’ instructions.
2. By regular mail. You may mail
written comments to the following
address ONLY: Centers for Medicare &
Medicaid Services, Department of
Health and Human Services, Attention:
CMS–1715–P, P.O. Box 8016, Baltimore,
MD 21244–8016.
Please allow sufficient time for mailed
comments to be received before the
close of the comment period.
3. By express or overnight mail. You
may send written comments to the
following address ONLY: Centers for
Medicare & Medicaid Services,
Department of Health and Human
Services, Attention: CMS–1715–P, Mail
Stop C4–26–05, 7500 Security
Boulevard, Baltimore, MD 21244–1850.
FURTHER INFORMATION CONTACT:
Jamie Hermansen, (410) 786–2064, for
any issues not identified below.
Michael Soracoe, (410) 786–6312, for
issues related to practice expense, work
RVUs, conversion factor, and impacts.
Geri Mondowney, (410) 786–1172, or
Tourette Jackson, (410) 786–4735, for
issues related to malpractice RVUs and
geographic practice cost indicies
(GPCIs).
Larry Chan, (410) 786–6864, for issues
related to potentially misvalued services
under the PFS.
Lindsey Baldwin, (410) 786–1694, or
Emily Yoder, (410) 786–1804, for issues
related to telehealth services.
Pierre Yong, (410) 786–8896, or
Lindsey Baldwin, (410) 786–1694, for
issues related to Medicare coverage of
opioid use disorder treatment services
furnished by opioid treatment programs
(OTPs).
Lindsey Baldwin, (410) 786–1694, for
issues related to bundled payments
under the PFS for substance use
disorders.
Emily Yoder, (410) 786–1804, or
Christiane LaBonte, (410) 786–7237, for
issues related to the comment
solicitation on opportunities for
bundled payments under the PFS.
Regina Walker-Wren, (410) 786–9160,
for issues related to physician
supervision for physician assistant (PA)
services and review and verification of
medical record documentation.
Ann Marshall, (410) 786–3059, Emily
Yoder, (410) 786–1804, Liane Grayson,
(410) 786–6583, or Christiane LaBonte,
(410) 786–7237, for issues related to
care management services.
Kathy Bryant, (410) 786–3448, for
issues related to coinsurance for
colorectal cancer screening tests.
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Pamela West, (410) 786–2302, for
issues related to therapy services.
Ann Marshall, (410) 786–3059, Emily
Yoder, (410) 786–1804, or Christiane
LaBonte, (410) 786–7237, for issues
related to payment for evaluation and
management services.
Kathy Bryant, (410) 786–3448, for
issues related to global surgery data
collection.
Thomas Kessler, (410) 786–1991, for
issues related to ambulance physician
certification statement.
Felicia Eggleston, (410) 786–9287, or
Amy Gruber, (410) 786–1542, for issues
related to the ambulance fee scheduleBBA of 2018 requirements for Medicare
ground ambulance services data
collection system.
Linda Gousis, (410) 786–8616, for
issues related to intensive cardiac
rehabilitation.
David Koppel, (303) 844–2883, or
Elizabeth LeBreton, (202) 615–3816, for
issues related to the Medicaid
Promoting Interoperability Program.
Fiona Larbi, (410) 786–7224, for
issues related to the Medicare Shared
Savings Program (Shared Savings
Program) Quality Measures.
Katie Mucklow, (410) 786–0537, or
Diana Behrendt, (410) 786–6192, for
issues related to open payments.
Cheryl Gilbreath, (410) 786–5919, for
issues related to home infusion therapy
benefit.
Joseph Schultz, (410) 786–2656, for
issues related to Medicare enrollment of
opioid treatment programs, and
enhancements to provider enrollment
regulations concerning improper
prescribing and patient harm.
Jacqueline Leach, (410) 786–4282, for
issues related to Deferring to State
Scope of Practice Requirements:
Ambulatory Surgical Centers (ASC).
Mary Rossi-Coajou, (410) 786–6051,
for issues related to Deferring to State
Scope of Practice Requirements:
Hospice.
1877AdvisoryOpinion@cms.hhs.gov,
for issues related to Advisory Opinions
on Application of the Physician Selfreferral law.
Molly MacHarris, (410) 786–4461, for
inquiries related to Merit-based
Incentive Payment System (MIPS).
Megan Hyde, (410) 786–3247, for
inquiries related to Alternative Payment
Models (APMs).
SUPPLEMENTARY INFORMATION:
Addenda Available Only Through the
Internet on the CMS Website
The PFS Addenda along with other
supporting documents and tables
referenced in this proposed rule are
available on the CMS website at https://
www.cms.gov/Medicare/Medicare-Fee-
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for-Service-Payment/PhysicianFee
Sched/PFS-Federal-RegulationNotices.html. Click on the link on the
left side of the screen titled, ‘‘PFS
Federal Regulations Notices’’ for a
chronological list of PFS Federal
Register and other related documents.
For the CY 2020 PFS proposed rule,
refer to item CMS–1715–P. Readers with
questions related to accessing any of the
Addenda or other supporting
documents referenced in this proposed
rule and posted on the CMS website
identified above should contact Jamie
Hermansen at (410) 786–2064.
CPT (Current Procedural Terminology)
Copyright Notice
Throughout this proposed rule, we
use CPT codes and descriptions to refer
to a variety of services. We note that
CPT codes and descriptions are
copyright 2019 American Medical
Association. All Rights Reserved. CPT is
a registered trademark of the American
Medical Association (AMA). Applicable
Federal Acquisition Regulations (FAR)
and Defense Federal Acquisition
Regulations (DFAR) apply.
I. Executive Summary
A. Purpose
This major proposed rule proposes to
revise payment polices under the
Medicare PFS and make other policy
changes, including proposals to
implement certain provisions of the
Bipartisan Budget Act of 2018 (BBA of
2018) (Pub. L. 115–123, February 9,
2018) and the Substance Use-Disorder
Prevention that Promotes Opioid
Recovery and Treatment (SUPPORT) for
Patients and Communities Act (the
SUPPORT Act) (Pub. L. 115–271,
October 24, 2018), related to Medicare
Part B payment, applicable to services
furnished in CY 2020 and thereafter. In
addition, this proposed rule includes
proposals related to payment policy
changes that are addressed in section III.
of this proposed rule. We are requesting
public comments on all of the proposals
being made in this proposed rule.
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1. Summary of the Major Provisions
The statute requires us to establish
payments under the PFS based on
national uniform relative value units
(RVUs) that account for the relative
resources used in furnishing a service.
The statute requires that RVUs be
established for three categories of
resources: Work; practice expense (PE);
and malpractice (MP) expense. In
addition, the statute requires that we
establish by regulation each year’s
payment amounts for all physicians’
services paid under the PFS,
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incorporating geographic adjustments to
reflect the variations in the costs of
furnishing services in different
geographic areas.
In this major proposed rule, we are
proposing to establish RVUs for CY
2020 for the PFS to ensure that our
payment systems are updated to reflect
changes in medical practice and the
relative value of services, as well as
changes in the statute. This proposed
rule also includes discussions and
proposals regarding several other
Medicare Part B payment policies,
Medicare Shared Savings Program
quality reporting requirements,
Medicaid Promoting Interoperability
Program requirements for eligible
professionals, the establishment of an
ambulance data collection system,
updates to the Quality Payment
Program, Medicare enrollment of Opioid
Treatment Programs and enhancements
to provider enrollment regulations
concerning improper prescribing and
patient harm; and amendments to
Physician Self-Referral Law advisory
opinion regulations. This proposed rule
addresses:
• Practice Expense RVUs (section II.B.)
• Malpractice RVUs (section II.C.)
• Geographic Practice Cost Indices
(GPCIs) (section II.D.)
• Potentially Misvalued Services Under
the PFS (section II.E.)
• Telehealth Services (section II.F.)
• Medicare Coverage for Opioid Use
Disorder Treatment Services
Furnished by Opioid Treatment
Programs (section II.G.)
• Bundled Payments Under the PFS for
Substance Use Disorders (section
II.H.)
• Physician Supervision for Physician
Assistant (PA) Services (section II.I.)
• Review and Verification of Medical
Record Documentation (section II.J.)
• Care Management Services (section
II.K.)
• Coinsurance for Colorectal Cancer
Screening Tests (section II.L.)
• Therapy Services (section II.M.)
• Valuation of Specific Codes (section
II.N.)
• Comment Solicitation on
Opportunities for Bundled Payments
Under the PFS (section II.O.)
• Payment for Evaluation and
Management (E/M) Services (section
II.P.)
• Ambulance Coverage Services—
Physician Certification Statement
(section III.A.)
• Ambulance Fee Schedule—Medicare
Ground Ambulance Services Data
Collection System (section III.B.)
• Intensive Cardiac Rehabilitation
(section III.C.)
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• Medicaid Promoting Interoperability
Program Requirements for Eligible
Professionals (EPs) (section III.D.)
• Medicare Shared Savings Program
Quality Measures (section III.E.)
• Open Payments (section III.F.)
• Home Infusion Therapy Benefit
(section III.G.)
• Medicare Enrollment of Opioid
Treatment Programs and
Enhancements to Existing General
Enrollment Policies Related to
Improper Prescribing and Patient
Harm (section III.H.)
• Deferring to State Scope of Practice
Requirements (section III.I.)
• Advisory Opinions on the
Application of the Physician SelfReferral Law (section III.J.)
• Updates to the Quality Payment
Program (section III.K.)
2. Summary of Costs and Benefits
We have determined that this major
proposed rule is economically
significant. For a detailed discussion of
the economic impacts, see section VI. of
this proposed rule.
II. Provisions of the Proposed Rule for
the PFS
A. Background
Since January 1, 1992, Medicare has
paid for physicians’ services under
section 1848 of the Act, ‘‘Payment for
Physicians’ Services.’’ The PFS relies on
national relative values that are
established for work, practice expense
(PE), and malpractice (MP), which are
adjusted for geographic cost variations.
These values are multiplied by a
conversion factor (CF) to convert the
relative value units (RVUs) into
payment rates. The concepts and
methodology underlying the PFS were
enacted as part of the Omnibus Budget
Reconciliation Act of 1989 (Pub. L. 101–
239, enacted on December 19, 1989)
(OBRA ’89), and the Omnibus Budget
Reconciliation Act of 1990 (Pub. L. 101–
508, enacted on November 5, 1990)
(OBRA ’90). The final rule published in
the November 25, 1991 Federal Register
(56 FR 59502) set forth the first fee
schedule used for payment for
physicians’ services.
We note that throughout this major
proposed rule, unless otherwise noted,
the term ‘‘practitioner’’ is used to
describe both physicians and
nonphysician practitioners (NPPs) who
are permitted to bill Medicare under the
PFS for the services they furnish to
Medicare beneficiaries.
1. Development of the RVUs
a. Work RVUs
The work RVUs established for the
initial fee schedule, which was
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implemented on January 1, 1992, were
developed with extensive input from
the physician community. A research
team at the Harvard School of Public
Health developed the original work
RVUs for most codes under a
cooperative agreement with the
Department of Health and Human
Services (HHS). In constructing the
code-specific vignettes used in
determining the original physician work
RVUs, Harvard worked with panels of
experts, both inside and outside the
federal government, and obtained input
from numerous physician specialty
groups.
As specified in section 1848(c)(1)(A)
of the Act, the work component of
physicians’ services means the portion
of the resources used in furnishing the
service that reflects physician time and
intensity. We establish work RVUs for
new, revised and potentially misvalued
codes based on our review of
information that generally includes, but
is not limited to, recommendations
received from the American Medical
Association/Specialty Society Relative
Value Scale Update Committee (RUC),
the Health Care Professionals Advisory
Committee (HCPAC), the Medicare
Payment Advisory Commission
(MedPAC), and other public
commenters; medical literature and
comparative databases; as well as a
comparison of the work for other codes
within the Medicare PFS, and
consultation with other physicians and
health care professionals within CMS
and the federal government. We also
assess the methodology and data used to
develop the recommendations
submitted to us by the RUC and other
public commenters, and the rationale
for their recommendations. In the CY
2011 PFS final rule with comment
period (75 FR 73328 through 73329), we
discussed a variety of methodologies
and approaches used to develop work
RVUs, including survey data, building
blocks, crosswalk to key reference or
similar codes, and magnitude
estimation. More information on these
issues is available in that rule.
b. Practice Expense RVUs
Initially, only the work RVUs were
resource-based, and the PE and MP
RVUs were based on average allowable
charges. Section 121 of the Social
Security Act Amendments of 1994 (Pub.
L. 103–432, enacted on October 31,
1994), amended section 1848(c)(2)(C)(ii)
of the Act and required us to develop
resource-based PE RVUs for each
physicians’ service beginning in 1998.
We were required to consider general
categories of expenses (such as office
rent and wages of personnel, but
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excluding MP expenses) comprising
PEs. The PE RVUs continue to represent
the portion of these resources involved
in furnishing PFS services.
Originally, the resource-based method
was to be used beginning in 1998, but
section 4505(a) of the Balanced Budget
Act of 1997 (Pub. L. 105–33, enacted on
August 5, 1997) (BBA of 1997) delayed
implementation of the resource-based
PE RVU system until January 1, 1999. In
addition, section 4505(b) of the BBA of
1997 provided for a 4-year transition
period from the charge-based PE RVUs
to the resource-based PE RVUs.
We established the resource-based PE
RVUs for each physicians’ service in the
November 2, 1998 final rule (63 FR
58814), effective for services furnished
in CY 1999. Based on the requirement
to transition to a resource-based system
for PE over a 4-year period, payment
rates were not fully based upon
resource-based PE RVUs until CY 2002.
This resource-based system was based
on two significant sources of actual PE
data: The Clinical Practice Expert Panel
(CPEP) data; and the AMA’s
Socioeconomic Monitoring System
(SMS) data. These data sources are
described in greater detail in the CY
2012 PFS final rule with comment
period (76 FR 73033).
Separate PE RVUs are established for
services furnished in facility settings,
such as a hospital outpatient
department (HOPD) or an ambulatory
surgical center (ASC), and in nonfacility
settings, such as a physician’s office.
The nonfacility RVUs reflect all of the
direct and indirect PEs involved in
furnishing a service described by a
particular HCPCS code. The difference,
if any, in these PE RVUs generally
results in a higher payment in the
nonfacility setting because in the facility
settings some resource costs are borne
by the facility. Medicare’s payment to
the facility (such as the outpatient
prospective payment system (OPPS)
payment to the HOPD) would reflect
costs typically incurred by the facility.
Thus, payment associated with those
specific facility resource costs is not
made under the PFS.
Section 212 of the Balanced Budget
Refinement Act of 1999 (Pub. L. 106–
113, enacted on November 29, 1999)
(BBRA) directed the Secretary of Health
and Human Services (the Secretary) to
establish a process under which we
accept and use, to the maximum extent
practicable and consistent with sound
data practices, data collected or
developed by entities and organizations
to supplement the data we normally
collect in determining the PE
component. On May 3, 2000, we
published the interim final rule (65 FR
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25664) that set forth the criteria for the
submission of these supplemental PE
survey data. The criteria were modified
in response to comments received, and
published in the Federal Register (65
FR 65376) as part of a November 1, 2000
final rule. The PFS final rules published
in 2001 and 2003, respectively, (66 FR
55246 and 68 FR 63196) extended the
period during which we would accept
these supplemental data through March
1, 2005.
In the CY 2007 PFS final rule with
comment period (71 FR 69624), we
revised the methodology for calculating
direct PE RVUs from the top-down to
the bottom-up methodology beginning
in CY 2007. We adopted a 4-year
transition to the new PE RVUs. This
transition was completed for CY 2010.
In the CY 2010 PFS final rule with
comment period, we updated the
practice expense per hour (PE/HR) data
that are used in the calculation of PE
RVUs for most specialties (74 FR
61749). In CY 2010, we began a 4-year
transition to the new PE RVUs using the
updated PE/HR data, which was
completed for CY 2013.
c. Malpractice RVUs
Section 4505(f) of the BBA of 1997
amended section 1848(c) of the Act to
require that we implement resourcebased MP RVUs for services furnished
on or after CY 2000. The resource-based
MP RVUs were implemented in the PFS
final rule with comment period
published November 2, 1999 (64 FR
59380). The MP RVUs are based on
commercial and physician-owned
insurers’ MP insurance premium data
from all the states, the District of
Columbia, and Puerto Rico. For more
information on MP RVUs, see section
II.C. of this proposed rule,
Determination of Malpractice Relative
Value Units.
d. Refinements to the RVUs
Section 1848(c)(2)(B)(i) of the Act
requires that we review RVUs no less
often than every 5 years. Prior to CY
2013, we conducted periodic reviews of
work RVUs and PE RVUs
independently. We completed 5-year
reviews of work RVUs that were
effective for calendar years 1997, 2002,
2007, and 2012.
Although refinements to the direct PE
inputs initially relied heavily on input
from the RUC Practice Expense
Advisory Committee (PEAC), the shifts
to the bottom-up PE methodology in CY
2007 and to the use of the updated PE/
HR data in CY 2010 have resulted in
significant refinements to the PE RVUs
in recent years.
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In the CY 2012 PFS final rule with
comment period (76 FR 73057), we
finalized a proposal to consolidate
reviews of work and PE RVUs under
section 1848(c)(2)(B) of the Act and
reviews of potentially misvalued codes
under section 1848(c)(2)(K) of the Act
into one annual process.
In addition to the 5-year reviews,
beginning for CY 2009, CMS and the
RUC identified and reviewed a number
of potentially misvalued codes on an
annual basis based on various
identification screens. This annual
review of work and PE RVUs for
potentially misvalued codes was
supplemented by the amendments to
section 1848 of the Act, as enacted by
section 3134 of the Affordable Care Act,
that require the agency to periodically
identify, review and adjust values for
potentially misvalued codes.
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e. Application of Budget Neutrality to
Adjustments of RVUs
As described in section VI. of this
proposed rule, the Regulatory Impact
Analysis, in accordance with section
1848(c)(2)(B)(ii)(II) of the Act, if
revisions to the RVUs cause
expenditures for the year to change by
more than $20 million, we make
adjustments to ensure that expenditures
do not increase or decrease by more
than $20 million.
2. Calculation of Payments Based on
RVUs
To calculate the payment for each
service, the components of the fee
schedule (work, PE, and MP RVUs) are
adjusted by geographic practice cost
indices (GPCIs) to reflect the variations
in the costs of furnishing the services.
The GPCIs reflect the relative costs of
work, PE, and MP in an area compared
to the national average costs for each
component. Please refer to the CY 2017
PFS final rule with comment period for
a discussion of the last GPCI update (81
FR 80261 through 80270).
RVUs are converted to dollar amounts
through the application of a CF, which
is calculated based on a statutory
formula by CMS’s Office of the Actuary
(OACT). The formula for calculating the
Medicare PFS payment amount for a
given service and fee schedule area can
be expressed as:
Payment = [(RVU work × GPCI work) +
(RVU PE × GPCI PE) + (RVU MP ×
GPCI MP)] × CF
3. Separate Fee Schedule Methodology
for Anesthesia Services
Section 1848(b)(2)(B) of the Act
specifies that the fee schedule amounts
for anesthesia services are to be based
on a uniform relative value guide, with
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appropriate adjustment of an anesthesia
CF, in a manner to ensure that fee
schedule amounts for anesthesia
services are consistent with those for
other services of comparable value.
Therefore, there is a separate fee
schedule methodology for anesthesia
services. Specifically, we establish a
separate CF for anesthesia services and
we utilize the uniform relative value
guide, or base units, as well as time
units, to calculate the fee schedule
amounts for anesthesia services. Since
anesthesia services are not valued using
RVUs, a separate methodology for
locality adjustments is also necessary.
This involves an adjustment to the
national anesthesia CF for each payment
locality.
B. Determination of PE RVUs
1. Overview
Practice expense (PE) is the portion of
the resources used in furnishing a
service that reflects the general
categories of physician and practitioner
expenses, such as office rent and
personnel wages, but excluding MP
expenses, as specified in section
1848(c)(1)(B) of the Act. As required by
section 1848(c)(2)(C)(ii) of the Act, we
use a resource-based system for
determining PE RVUs for each
physicians’ service. We develop PE
RVUs by considering the direct and
indirect practice resources involved in
furnishing each service. Direct expense
categories include clinical labor,
medical supplies, and medical
equipment. Indirect expenses include
administrative labor, office expense, and
all other expenses. The sections that
follow provide more detailed
information about the methodology for
translating the resources involved in
furnishing each service into servicespecific PE RVUs. We refer readers to
the CY 2010 PFS final rule with
comment period (74 FR 61743 through
61748) for a more detailed explanation
of the PE methodology.
2. Practice Expense Methodology
a. Direct Practice Expense
We determine the direct PE for a
specific service by adding the costs of
the direct resources (that is, the clinical
staff, medical supplies, and medical
equipment) typically involved with
furnishing that service. The costs of the
resources are calculated using the
refined direct PE inputs assigned to
each CPT code in our PE database,
which are generally based on our review
of recommendations received from the
RUC and those provided in response to
public comment periods. For a detailed
explanation of the direct PE
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40485
methodology, including examples, we
refer readers to the 5-year review of
work relative value units under the PFS
and proposed changes to the practice
expense methodology CY 2007 PFS
proposed notice (71 FR 37242) and the
CY 2007 PFS final rule with comment
period (71 FR 69629).
b. Indirect Practice Expense per Hour
Data
We use survey data on indirect PEs
incurred per hour worked, in
developing the indirect portion of the
PE RVUs. Prior to CY 2010, we
primarily used the PE/HR by specialty
that was obtained from the AMA’s SMS.
The AMA administered a new survey in
CY 2007 and CY 2008, the Physician
Practice Expense Information Survey
(PPIS). The PPIS is a multispecialty,
nationally representative, PE survey of
both physicians and NPPs paid under
the PFS using a survey instrument and
methods highly consistent with those
used for the SMS and the supplemental
surveys. The PPIS gathered information
from 3,656 respondents across 51
physician specialty and health care
professional groups. We believe the
PPIS is the most comprehensive source
of PE survey information available. We
used the PPIS data to update the PE/HR
data for the CY 2010 PFS for almost all
of the Medicare-recognized specialties
that participated in the survey.
When we began using the PPIS data
in CY 2010, we did not change the PE
RVU methodology itself or the manner
in which the PE/HR data are used in
that methodology. We only updated the
PE/HR data based on the new survey.
Furthermore, as we explained in the CY
2010 PFS final rule with comment
period (74 FR 61751), because of the
magnitude of payment reductions for
some specialties resulting from the use
of the PPIS data, we transitioned its use
over a 4-year period from the previous
PE RVUs to the PE RVUs developed
using the new PPIS data. As provided in
the CY 2010 PFS final rule with
comment period (74 FR 61751), the
transition to the PPIS data was complete
for CY 2013. Therefore, PE RVUs from
CY 2013 forward are developed based
entirely on the PPIS data, except as
noted in this section.
Section 1848(c)(2)(H)(i) of the Act
requires us to use the medical oncology
supplemental survey data submitted in
2003 for oncology drug administration
services. Therefore, the PE/HR for
medical oncology, hematology, and
hematology/oncology reflects the
continued use of these supplemental
survey data.
Supplemental survey data on
independent labs from the College of
E:\FR\FM\14AUP2.SGM
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Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
American Pathologists were
implemented for payments beginning in
CY 2005. Supplemental survey data
from the National Coalition of Quality
Diagnostic Imaging Services (NCQDIS),
representing independent diagnostic
testing facilities (IDTFs), were blended
with supplementary survey data from
the American College of Radiology
(ACR) and implemented for payments
beginning in CY 2007. Neither IDTFs,
nor independent labs, participated in
the PPIS. Therefore, we continue to use
the PE/HR that was developed from
their supplemental survey data.
Consistent with our past practice, the
previous indirect PE/HR values from the
supplemental surveys for these
specialties were updated to CY 2006
using the Medicare Economic Index
(MEI) to put them on a comparable basis
with the PPIS data.
We also do not use the PPIS data for
reproductive endocrinology and spine
surgery since these specialties currently
are not separately recognized by
Medicare, nor do we have a method to
blend the PPIS data with Medicarerecognized specialty data.
Previously, we established PE/HR
values for various specialties without
SMS or supplemental survey data by
crosswalking them to other similar
specialties to estimate a proxy PE/HR.
For specialties that were part of the PPIS
for which we previously used a
crosswalked PE/HR, we instead used the
PPIS-based PE/HR. We use crosswalks
for specialties that did not participate in
the PPIS. These crosswalks have been
generally established through notice and
comment rulemaking and are available
in the file called ‘‘CY 2020 PFS
Proposed Rule PE/HR’’ on the CMS
website under downloads for the CY
2020 PFS proposed rule at https://
www.cms.gov/Medicare/Medicare-Feefor-Service-Payment/Physician
FeeSched/PFS-Federal-RegulationNotices.html.
For CY 2020, we have incorporated
the available utilization data for two
new specialties, each of which became
a recognized Medicare specialty during
2018. These specialties are Medical
Toxicology and Hematopoietic Cell
Transplantation and Cellular Therapy.
We are proposing to use proxy PE/HR
values for these new specialties, as there
are no PPIS data for these specialties, by
crosswalking the PE/HR as follows from
specialties that furnish similar services
in the Medicare claims data:
• Medical Toxicology from
Emergency Medicine; and
• Hematopoietic Cell Transplantation
and Cellular Therapy from Hematology/
Oncology.
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These updates are reflected in the
‘‘CY 2020 PFS Proposed Rule PE/HR’’
file available on the CMS website under
the supporting data files for the CY 2020
PFS proposed rule at https://
www.cms.gov/Medicare/Medicare-Feefor-Service-Payment/Physician
FeeSched/PFS-Federal-RegulationNotices.html.
c. Allocation of PE to Services
To establish PE RVUs for specific
services, it is necessary to establish the
direct and indirect PE associated with
each service.
(1) Direct Costs
The relative relationship between the
direct cost portions of the PE RVUs for
any two services is determined by the
relative relationship between the sum of
the direct cost resources (that is, the
clinical staff, medical supplies, and
medical equipment) typically involved
with furnishing each of the services.
The costs of these resources are
calculated from the refined direct PE
inputs in our PE database. For example,
if one service has a direct cost sum of
$400 from our PE database and another
service has a direct cost sum of $200,
the direct portion of the PE RVUs of the
first service would be twice as much as
the direct portion of the PE RVUs for the
second service.
(2) Indirect Costs
We allocate the indirect costs at the
code level on the basis of the direct
costs specifically associated with a code
and the greater of either the clinical
labor costs or the work RVUs. We also
incorporate the survey data described
earlier in the PE/HR discussion. The
general approach to developing the
indirect portion of the PE RVUs is as
follows:
• For a given service, we use the
direct portion of the PE RVUs calculated
as previously described and the average
percentage that direct costs represent of
total costs (based on survey data) across
the specialties that furnish the service to
determine an initial indirect allocator.
That is, the initial indirect allocator is
calculated so that the direct costs equal
the average percentage of direct costs of
those specialties furnishing the service.
For example, if the direct portion of the
PE RVUs for a given service is 2.00 and
direct costs, on average, represent 25
percent of total costs for the specialties
that furnish the service, the initial
indirect allocator would be calculated
so that it equals 75 percent of the total
PE RVUs. Thus, in this example, the
initial indirect allocator would equal
6.00, resulting in a total PE RVU of 8.00
PO 00000
Frm 00006
Fmt 4701
Sfmt 4702
(2.00 is 25 percent of 8.00 and 6.00 is
75 percent of 8.00).
• Next, we add the greater of the work
RVUs or clinical labor portion of the
direct portion of the PE RVUs to this
initial indirect allocator. In our
example, if this service had a work RVU
of 4.00 and the clinical labor portion of
the direct PE RVU was 1.50, we would
add 4.00 (since the 4.00 work RVUs are
greater than the 1.50 clinical labor
portion) to the initial indirect allocator
of 6.00 to get an indirect allocator of
10.00. In the absence of any further use
of the survey data, the relative
relationship between the indirect cost
portions of the PE RVUs for any two
services would be determined by the
relative relationship between these
indirect cost allocators. For example, if
one service had an indirect cost
allocator of 10.00 and another service
had an indirect cost allocator of 5.00,
the indirect portion of the PE RVUs of
the first service would be twice as great
as the indirect portion of the PE RVUs
for the second service.
• Next, we incorporate the specialtyspecific indirect PE/HR data into the
calculation. In our example, if, based on
the survey data, the average indirect
cost of the specialties furnishing the
first service with an allocator of 10.00
was half of the average indirect cost of
the specialties furnishing the second
service with an indirect allocator of
5.00, the indirect portion of the PE
RVUs of the first service would be equal
to that of the second service.
(3) Facility and Nonfacility Costs
For procedures that can be furnished
in a physician’s office, as well as in a
facility setting, where Medicare makes a
separate payment to the facility for its
costs in furnishing a service, we
establish two PE RVUs: Facility and
nonfacility. The methodology for
calculating PE RVUs is the same for
both the facility and nonfacility RVUs,
but is applied independently to yield
two separate PE RVUs. In calculating
the PE RVUs for services furnished in a
facility, we do not include resources
that would generally not be provided by
physicians when furnishing the service.
For this reason, the facility PE RVUs are
generally lower than the nonfacility PE
RVUs.
(4) Services With Technical
Components and Professional
Components
Diagnostic services are generally
comprised of two components: A
professional component (PC); and a
technical component (TC). The PC and
TC may be furnished independently or
by different providers, or they may be
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Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
furnished together as a global service.
When services have separately billable
PC and TC components, the payment for
the global service equals the sum of the
payment for the TC and PC. To achieve
this, we use a weighted average of the
ratio of indirect to direct costs across all
the specialties that furnish the global
service, TCs, and PCs; that is, we apply
the same weighted average indirect
percentage factor to allocate indirect
expenses to the global service, PCs, and
TCs for a service. (The direct PE RVUs
for the TC and PC sum to the global.)
(5) PE RVU Methodology
For a more detailed description of the
PE RVU methodology, we refer readers
to the CY 2010 PFS final rule with
comment period (74 FR 61745 through
61746). We also direct readers to the file
called ‘‘Calculation of PE RVUs under
Methodology for Selected Codes’’ which
is available on our website under
downloads for the CY 2020 PFS
proposed rule at https://www.cms.gov/
Medicare/Medicare-Fee-for-ServicePayment/PhysicianFeeSched/PFSFederal-Regulation-Notices.html. This
file contains a table that illustrates the
calculation of PE RVUs as described in
this proposed rule for individual codes.
khammond on DSKBBV9HB2PROD with PROPOSALS2
(a) Setup File
First, we create a setup file for the PE
methodology. The setup file contains
the direct cost inputs, the utilization for
each procedure code at the specialty
and facility/nonfacility place of service
level, and the specialty-specific PE/HR
data calculated from the surveys.
(b) Calculate the Direct Cost PE RVUs
Sum the costs of each direct input.
Step 1: Sum the direct costs of the
inputs for each service.
Step 2: Calculate the aggregate pool of
direct PE costs for the current year. We
set the aggregate pool of PE costs equal
to the product of the ratio of the current
aggregate PE RVUs to current aggregate
work RVUs and the projected aggregate
work RVUs.
Step 3: Calculate the aggregate pool of
direct PE costs for use in ratesetting.
This is the product of the aggregate
direct costs for all services from Step 1
and the utilization data for that service.
Step 4: Using the results of Step 2 and
Step 3, use the CF to calculate a direct
PE scaling adjustment to ensure that the
aggregate pool of direct PE costs
calculated in Step 3 does not vary from
the aggregate pool of direct PE costs for
the current year. Apply the scaling
adjustment to the direct costs for each
service (as calculated in Step 1).
Step 5: Convert the results of Step 4
to a RVU scale for each service. To do
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18:25 Aug 13, 2019
Jkt 247001
this, divide the results of Step 4 by the
CF. Note that the actual value of the CF
used in this calculation does not
influence the final direct cost PE RVUs
as long as the same CF is used in Step
4 and Step 5. Different CFs would result
in different direct PE scaling
adjustments, but this has no effect on
the final direct cost PE RVUs since
changes in the CFs and changes in the
associated direct scaling adjustments
offset one another.
(c) Create the Indirect Cost PE RVUs
Create indirect allocators.
Step 6: Based on the survey data,
calculate direct and indirect PE
percentages for each physician
specialty.
Step 7: Calculate direct and indirect
PE percentages at the service level by
taking a weighted average of the results
of Step 6 for the specialties that furnish
the service. Note that for services with
TCs and PCs, the direct and indirect
percentages for a given service do not
vary by the PC, TC, and global service.
We generally use an average of the 3
most recent years of available Medicare
claims data to determine the specialty
mix assigned to each code. Codes with
low Medicare service volume require
special attention since billing or
enrollment irregularities for a given year
can result in significant changes in
specialty mix assignment. We finalized
a policy in the CY 2018 PFS final rule
(82 FR 52982 through 59283) to use the
most recent year of claims data to
determine which codes are low volume
for the coming year (those that have
fewer than 100 allowed services in the
Medicare claims data). For codes that
fall into this category, instead of
assigning specialty mix based on the
specialties of the practitioners reporting
the services in the claims data, we
instead use the expected specialty that
we identify on a list developed based on
medical review and input from expert
stakeholders. We display this list of
expected specialty assignments as part
of the annual set of data files we make
available as part of notice and comment
rulemaking and consider
recommendations from the RUC and
other stakeholders on changes to this
list on an annual basis. Services for
which the specialty is automatically
assigned based on previously finalized
policies under our established
methodology (for example, ‘‘always
therapy’’ services) are unaffected by the
list of expected specialty assignments.
We also finalized in the CY 2018 PFS
final rule (82 FR 52982 through 59283)
a policy to apply these service-level
overrides for both PE and MP, rather
than one or the other category.
PO 00000
Frm 00007
Fmt 4701
Sfmt 4702
For CY 2020, we are proposing to
clarify the expected specialty
assignment for a series of cardiothoracic
services. Prior to the creation of the
expected specialty list for low volume
services in CY 2018, we previously
finalized through rulemaking a
crosswalk to the thoracic surgery
specialty for a series of cardiothoracic
services that typically had fewer than
100 services reported each year (see, for
example, the CY 2012 PFS final rule (76
FR 73188–73189)). However, we noted
that for many of the affected codes, the
expected specialty list for low volume
services incorrectly listed a crosswalk to
the cardiac surgery specialty instead of
the thoracic surgery specialty. We are
proposing to update the expected
specialty list to accurately reflect the
previously finalized crosswalk to
thoracic surgery for these services. The
affected codes are shown in Table 1.
TABLE 1—PROPOSED UPDATES TO
EXPECTED SPECIALTY
CPT
code
33414
33468
33470
33471
33476
33478
33502
33503
33504
33505
33506
33507
33600
33602
33606
33608
33610
33611
33612
33615
33617
33619
33620
33621
33622
33645
33647
33660
33665
33670
33675
33676
33677
33684
33688
33690
33692
33694
33697
33702
33710
33720
33722
33724
33726
33730
33732
33735
33736
E:\FR\FM\14AUP2.SGM
CY 2019 expected
specialty
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
14AUP2
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
Updated CY 2020
expected specialty
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
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Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
TABLE 1—PROPOSED UPDATES TO
EXPECTED SPECIALTY—Continued
CPT
code
khammond on DSKBBV9HB2PROD with PROPOSALS2
33737
33750
33755
33762
33764
33766
33767
33768
33770
33771
33774
33775
33776
33777
33778
33779
33780
33781
33782
33783
33786
33788
33800
33802
33803
33813
33814
33820
33822
33824
33840
33845
33851
33852
33853
33917
33920
33922
33924
33925
33926
35182
CY 2019 expected
specialty
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
..
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Cardiac
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
Surgery
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
.....
Updated CY 2020
expected specialty
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Thoracic
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
Surgery.
We note that the cardiac surgery and
thoracic surgery specialties are similar
to one another, sharing the same PE/HR
data for PE valuation and nearly
identical MP risk factors for MP
valuation. As a result, we do not
anticipate this proposal having a
discernible effect on the valuation of the
codes listed above. For additional
discussion on this issue, we refer
readers to section II.C of this proposed
rule, Malpractice. The complete list of
expected specialty assignments for
individual low volume services,
including the assignments for the codes
identified in Table 1, is available on our
website under downloads for the CY
2020 PFS proposed rule at https://
www.cms.gov/Medicare/Medicare-Feefor-Service-Payment/Physician
FeeSched/PFS-Federal-RegulationNotices.html.
Step 8: Calculate the service level
allocators for the indirect PEs based on
the percentages calculated in Step 7.
The indirect PEs are allocated based on
the three components: The direct PE
RVUs; the clinical labor PE RVUs; and
the work RVUs.
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18:25 Aug 13, 2019
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For most services the indirect
allocator is: indirect PE percentage *
(direct PE RVUs/direct percentage) +
work RVUs.
There are two situations where this
formula is modified:
• If the service is a global service (that
is, a service with global, professional,
and technical components), then the
indirect PE allocator is: indirect
percentage (direct PE RVUs/direct
percentage) + clinical labor PE RVUs +
work RVUs.
• If the clinical labor PE RVUs exceed
the work RVUs (and the service is not
a global service), then the indirect
allocator is: indirect PE percentage
(direct PE RVUs/direct percentage) +
clinical labor PE RVUs.
(Note: For global services, the indirect
PE allocator is based on both the work
RVUs and the clinical labor PE RVUs.
We do this to recognize that, for the PC
service, indirect PEs would be allocated
using the work RVUs, and for the TC
service, indirect PEs would be allocated
using the direct PE RVUs and the
clinical labor PE RVUs. This also allows
the global component RVUs to equal the
sum of the PC and TC RVUs.)
For presentation purposes, in the
examples in the download file called
‘‘Calculation of PE RVUs under
Methodology for Selected Codes’’, the
formulas were divided into two parts for
each service.
• The first part does not vary by
service and is the indirect percentage
(direct PE RVUs/direct percentage).
• The second part is either the work
RVU, clinical labor PE RVU, or both
depending on whether the service is a
global service and whether the clinical
PE RVUs exceed the work RVUs (as
described earlier in this step).
Apply a scaling adjustment to the
indirect allocators.
Step 9: Calculate the current aggregate
pool of indirect PE RVUs by multiplying
the result of step 8 by the average
indirect PE percentage from the survey
data.
Step 10: Calculate an aggregate pool of
indirect PE RVUs for all PFS services by
adding the product of the indirect PE
allocators for a service from Step 8 and
the utilization data for that service.
Step 11: Using the results of Step 9
and Step 10, calculate an indirect PE
adjustment so that the aggregate indirect
allocation does not exceed the available
aggregate indirect PE RVUs and apply it
to indirect allocators calculated in Step
8.
Calculate the indirect practice cost
index.
Step 12: Using the results of Step 11,
calculate aggregate pools of specialtyspecific adjusted indirect PE allocators
PO 00000
Frm 00008
Fmt 4701
Sfmt 4702
for all PFS services for a specialty by
adding the product of the adjusted
indirect PE allocator for each service
and the utilization data for that service.
Step 13: Using the specialty-specific
indirect PE/HR data, calculate specialtyspecific aggregate pools of indirect PE
for all PFS services for that specialty by
adding the product of the indirect PE/
HR for the specialty, the work time for
the service, and the specialty’s
utilization for the service across all
services furnished by the specialty.
Step 14: Using the results of Step 12
and Step 13, calculate the specialtyspecific indirect PE scaling factors.
Step 15: Using the results of Step 14,
calculate an indirect practice cost index
at the specialty level by dividing each
specialty-specific indirect scaling factor
by the average indirect scaling factor for
the entire PFS.
Step 16: Calculate the indirect
practice cost index at the service level
to ensure the capture of all indirect
costs. Calculate a weighted average of
the practice cost index values for the
specialties that furnish the service.
(Note: For services with TCs and PCs,
we calculate the indirect practice cost
index across the global service, PCs, and
TCs. Under this method, the indirect
practice cost index for a given service
(for example, echocardiogram) does not
vary by the PC, TC, and global service.)
Step 17: Apply the service level
indirect practice cost index calculated
in Step 16 to the service level adjusted
indirect allocators calculated in Step 11
to get the indirect PE RVUs.
(d) Calculate the Final PE RVUs
Step 18: Add the direct PE RVUs from
Step 5 to the indirect PE RVUs from
Step 17 and apply the final PE budget
neutrality (BN) adjustment. The final PE
BN adjustment is calculated by
comparing the sum of steps 5 and 17 to
the proposed aggregate work RVUs
scaled by the ratio of current aggregate
PE and work RVUs. This adjustment
ensures that all PE RVUs in the PFS
account for the fact that certain
specialties are excluded from the
calculation of PE RVUs but included in
maintaining overall PFS budget
neutrality. (See ‘‘Specialties excluded
from ratesetting calculation’’ later in
this proposed rule.)
Step 19: Apply the phase-in of
significant RVU reductions and its
associated adjustment. Section
1848(c)(7) of the Act specifies that for
services that are not new or revised
codes, if the total RVUs for a service for
a year would otherwise be decreased by
an estimated 20 percent or more as
compared to the total RVUs for the
previous year, the applicable
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adjustments in work, PE, and MP RVUs
shall be phased in over a 2-year period.
In implementing the phase-in, we
consider a 19 percent reduction as the
maximum 1-year reduction for any
service not described by a new or
revised code. This approach limits the
year one reduction for the service to the
maximum allowed amount (that is, 19
percent), and then phases in the
remainder of the reduction. To comply
with section 1848(c)(7) of the Act, we
adjust the PE RVUs to ensure that the
total RVUs for all services that are not
new or revised codes decrease by no
more than 19 percent, and then apply a
relativity adjustment to ensure that the
total pool of aggregate PE RVUs remains
relative to the pool of work and MP
RVUs. For a more detailed description
of the methodology for the phase-in of
significant RVU changes, we refer
readers to the CY 2016 PFS final rule
with comment period (80 FR 70927
through 70931).
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(e) Setup File Information
• Specialties excluded from
ratesetting calculation: For the purposes
of calculating the PE and MP RVUs, we
exclude certain specialties, such as
certain NPPs paid at a percentage of the
PFS and low-volume specialties, from
the calculation. These specialties are
included for the purposes of calculating
the BN adjustment. They are displayed
in Table 2.
TABLE 2—SPECIALTIES EXCLUDED FROM RATESETTING CALCULATION
Specialty code
Specialty description
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49 ....................
50 ....................
51 ....................
52 ....................
53 ....................
54 ....................
55 ....................
56 ....................
57 ....................
58 ....................
59 ....................
60 ....................
61 ....................
73 ....................
74 ....................
87 ....................
88 ....................
89 ....................
96 ....................
97 ....................
A0 ...................
A1 ...................
A2 ...................
A3 ...................
A4 ...................
A5 ...................
A6 ...................
A7 ...................
A8 ...................
B1 ...................
B2 ...................
B3 ...................
B4 ...................
B5 ...................
C1 ...................
C2 ...................
C5 ...................
Ambulatory surgical center.
Nurse practitioner.
Medical supply company with certified orthotist.
Medical supply company with certified prosthetist.
Medical supply company with certified prosthetist-orthotist.
Medical supply company not included in 51, 52, or 53.
Individual certified orthotist.
Individual certified prosthetist.
Individual certified prosthetist-orthotist.
Medical supply company with registered pharmacist.
Ambulance service supplier, e.g., private ambulance companies, funeral homes, etc.
Public health or welfare agencies.
Voluntary health or charitable agencies.
Mass immunization roster biller.
Radiation therapy centers.
All other suppliers (e.g., drug and department stores).
Unknown supplier/provider specialty.
Certified clinical nurse specialist.
Optician.
Physician assistant.
Hospital.
SNF.
Intermediate care nursing facility.
Nursing facility, other.
HHA.
Pharmacy.
Medical supply company with respiratory therapist.
Department store.
Grocery store.
Supplier of oxygen and/or oxygen related equipment (eff. 10/2/2007).
Pedorthic personnel.
Medical supply company with pedorthic personnel.
Rehabilitation Agency.
Ocularist.
Centralized Flu.
Indirect Payment Procedure.
Dentistry.
• Crosswalk certain low volume
physician specialties: Crosswalk the
utilization of certain specialties with
relatively low PFS utilization to the
associated specialties.
• Physical therapy utilization:
Crosswalk the utilization associated
with all physical therapy services to the
specialty of physical therapy.
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• Identify professional and technical
services not identified under the usual
TC and 26 modifiers: Flag the services
that are PC and TC services but do not
use TC and 26 modifiers (for example,
electrocardiograms). This flag associates
the PC and TC with the associated
global code for use in creating the
indirect PE RVUs. For example, the
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professional service, CPT code 93010
(Electrocardiogram, routine ECG with at
least 12 leads; interpretation and report
only), is associated with the global
service, CPT code 93000
(Electrocardiogram, routine ECG with at
least 12 leads; with interpretation and
report).
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• Payment modifiers: Payment
modifiers are accounted for in the
creation of the file consistent with
current payment policy as implemented
in claims processing. For example,
services billed with the assistant at
surgery modifier are paid 16 percent of
the PFS amount for that service;
therefore, the utilization file is modified
to only account for 16 percent of any
service that contains the assistant at
surgery modifier. Similarly, for those
services to which volume adjustments
are made to account for the payment
modifiers, time adjustments are applied
as well. For time adjustments to surgical
services, the intraoperative portion in
the work time file is used; where it is
not present, the intraoperative
percentage from the payment files used
by contractors to process Medicare
claims is used instead. Where neither is
available, we use the payment
adjustment ratio to adjust the time
accordingly. Table 3 details the manner
in which the modifiers are applied.
TABLE 3—APPLICATION OF PAYMENT MODIFIERS TO UTILIZATION FILES
Modifier
Description
Volume adjustment
80,81,82 ...........
AS .....................
16% .........................................................
14% (85% * 16%) ...................................
Intraoperative portion.
Intraoperative portion.
or LT and RT
.....................
.....................
.....................
.....................
Assistant at Surgery ...............................
Assistant at Surgery—Physician Assistant.
Bilateral Surgery .....................................
Multiple Procedure ..................................
Reduced Services ..................................
Discontinued Procedure .........................
Intraoperative Care only .........................
150% of work time.
Intraoperative portion.
50%.
50%.
Preoperative + Intraoperative portion.
55 .....................
Postoperative Care only .........................
62 .....................
66 .....................
Co-surgeons ...........................................
Team Surgeons ......................................
150% .......................................................
50% .........................................................
50% .........................................................
50% .........................................................
Preoperative + Intraoperative Percentages on the payment files used by
Medicare contractors to process
Medicare claims.
Postoperative Percentage on the payment files used by Medicare contractors to process Medicare claims.
62.5% ......................................................
33% .........................................................
50
51
52
53
54
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We also make adjustments to volume
and time that correspond to other
payment rules, including special
multiple procedure endoscopy rules and
multiple procedure payment reductions
(MPPRs). We note that section
1848(c)(2)(B)(v) of the Act exempts
certain reduced payments for multiple
imaging procedures and multiple
therapy services from the BN
calculation under section
1848(c)(2)(B)(ii)(II) of the Act. These
MPPRs are not included in the
development of the RVUs.
For anesthesia services, we do not
apply adjustments to volume since we
use the average allowed charge when
simulating RVUs; therefore, the RVUs as
calculated already reflect the payments
as adjusted by modifiers, and no volume
adjustments are necessary. However, a
time adjustment of 33 percent is made
only for medical direction of two to four
cases since that is the only situation
where a single practitioner is involved
with multiple beneficiaries
concurrently, so that counting each
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service without regard to the overlap
with other services would overstate the
amount of time spent by the practitioner
furnishing these services.
• Work RVUs: The setup file contains
the work RVUs from this proposed rule.
(6) Equipment Cost per Minute
The equipment cost per minute is
calculated as:
(1/(minutes per year * usage)) * price *
((interest rate/(1¥(1/((1 + interest
rate)¥life of equipment)))) +
maintenance)
Where:
minutes per year = maximum minutes per
year if usage were continuous (that is,
usage=1); generally 150,000 minutes.
usage = variable, see discussion below in this
proposed rule.
price = price of the particular piece of
equipment.
life of equipment = useful life of the
particular piece of equipment.
maintenance = factor for maintenance; 0.05.
interest rate = variable, see discussion below
in this proposed rule.
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Time adjustment
Postoperative portion.
50%.
33%.
Usage: We currently use an
equipment utilization rate assumption
of 50 percent for most equipment, with
the exception of expensive diagnostic
imaging equipment, for which we use a
90 percent assumption as required by
section 1848(b)(4)(C) of the Act.
Stakeholders have often suggested
that particular equipment items are used
less frequently than 50 percent of the
time in the typical setting and that CMS
should reduce the equipment utilization
rate based on these recommendations.
We appreciate and share stakeholders’
interest in using the most accurate
assumption regarding the equipment
utilization rate for particular equipment
items. However, we believe that absent
robust, objective, auditable data
regarding the use of particular items, the
50 percent assumption is the most
appropriate within the relative value
system. We welcome the submission of
data that would support an alternative
rate.
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Maintenance: This factor for
maintenance was finalized in the CY
1998 PFS final rule with comment
period (62 FR 33164). As we previously
stated in the CY 2016 PFS final rule
with comment period (80 FR 70897), we
do not believe the annual maintenance
factor for all equipment is precisely 5
percent, and we concur that the current
rate likely understates the true cost of
maintaining some equipment. We also
believe it likely overstates the
maintenance costs for other equipment.
When we solicited comments regarding
sources of data containing equipment
maintenance rates, commenters were
unable to identify an auditable, robust
data source that could be used by CMS
on a wide scale. We do not believe that
voluntary submissions regarding the
maintenance costs of individual
equipment items would be an
appropriate methodology for
determining costs. As a result, in the
absence of publicly available datasets
regarding equipment maintenance costs
or another systematic data collection
methodology for determining a different
maintenance factor, we do not believe
that we have sufficient information at
present to propose a variable
maintenance factor for equipment cost
per minute pricing. We continue to
investigate potential avenues for
determining equipment maintenance
costs across a broad range of equipment
items.
Interest Rate: In the CY 2013 PFS final
rule with comment period (77 FR
68902), we updated the interest rates
used in developing an equipment cost
per minute calculation (see 77 FR 68902
for a thorough discussion of this issue).
The interest rate was based on the Small
Business Administration (SBA)
maximum interest rates for different
categories of loan size (equipment cost)
and maturity (useful life). We are not
proposing any changes to these interest
rates for CY 2020. The Interest rates are
listed in Table 4.
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TABLE 4—SBA MAXIMUM INTEREST
RATES
Price
Useful life
years
<$25K .......................
<7 ..................
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Interest rate
(%)
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7.50
TABLE 4—SBA MAXIMUM INTEREST
RATES—Continued
Useful life
years
Price
$25K to $50K ...........
>$50K .......................
<$25K .......................
$25K to $50K ...........
>$50K .......................
<7
<7
7+
7+
7+
Interest rate
(%)
..................
..................
..................
..................
..................
6.50
5.50
8.00
7.00
6.00
3. Changes to Direct PE Inputs for
Specific Services
This section focuses on specific PE
inputs. The direct PE inputs are
included in the CY 2020 direct PE input
public use files, which are available on
the CMS website under downloads for
the CY 2020 PFS proposed rule at
https://www.cms.gov/Medicare/
Medicare-Fee-for-Service-Payment/
PhysicianFeeSched/PFS-FederalRegulation-Notices.html.
a. Standardization of Clinical Labor
Tasks
As we noted in the CY 2015 PFS final
rule with comment period (79 FR
67640–67641), we continue to make
improvements to the direct PE input
database to provide the number of
clinical labor minutes assigned for each
task for every code in the database
instead of only including the number of
clinical labor minutes for the preservice,
service, and postservice periods for each
code. In addition to increasing the
transparency of the information used to
set PE RVUs, this level of detail would
allow us to compare clinical labor times
for activities associated with services
across the PFS, which we believe is
important to maintaining the relativity
of the direct PE inputs. This information
would facilitate the identification of the
usual numbers of minutes for clinical
labor tasks and the identification of
exceptions to the usual values. It would
also allow for greater transparency and
consistency in the assignment of
equipment minutes based on clinical
labor times. Finally, we believe that the
detailed information can be useful in
maintaining standard times for
particular clinical labor tasks that can be
applied consistently to many codes as
they are valued over several years,
similar in principle to the use of
physician preservice time packages. We
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believe that setting and maintaining
such standards would provide greater
consistency among codes that share the
same clinical labor tasks and could
improve relativity of values among
codes. For example, as medical practice
and technologies change over time,
changes in the standards could be
updated simultaneously for all codes
with the applicable clinical labor tasks,
instead of waiting for individual codes
to be reviewed.
In the CY 2016 PFS final rule with
comment period (80 FR 70901), we
solicited comments on the appropriate
standard minutes for the clinical labor
tasks associated with services that use
digital technology. After consideration
of comments received, we finalized
standard times for clinical labor tasks
associated with digital imaging at 2
minutes for ‘‘Availability of prior
images confirmed’’, 2 minutes for
‘‘Patient clinical information and
questionnaire reviewed by technologist,
order from physician confirmed and
exam protocoled by radiologist’’, 2
minutes for ‘‘Review examination with
interpreting MD’’, and 1 minute for
‘‘Exam documents scanned into PACS.’’
Exam completed in RIS system to
generate billing process and to populate
images into Radiologist work queue.’’ In
the CY 2017 PFS final rule (81 FR 80184
through 80186), we finalized a policy to
establish a range of appropriate standard
minutes for the clinical labor activity,
‘‘Technologist QCs images in PACS,
checking for all images, reformats, and
dose page.’’ These standard minutes
will be applied to new and revised
codes that make use of this clinical
labor activity when they are reviewed
by us for valuation. We finalized a
policy to establish 2 minutes as the
standard for the simple case, 3 minutes
as the standard for the intermediate
case, 4 minutes as the standard for the
complex case, and 5 minutes as the
standard for the highly complex case.
These values were based upon a review
of the existing minutes assigned for this
clinical labor activity; we determined
that 2 minutes is the duration for most
services and a small number of codes
with more complex forms of digital
imaging have higher values.
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We also finalized standard times for
clinical labor tasks associated with
pathology services in the CY 2016 PFS
final rule with comment period (80 FR
70902) at 4 minutes for ‘‘Accession
specimen/prepare for examination’’, 0.5
minutes for ‘‘Assemble and deliver
slides with paperwork to pathologists’’,
0.5 minutes for ‘‘Assemble other light
microscopy slides, open nerve biopsy
slides, and clinical history, and present
to pathologist to prepare clinical
pathologic interpretation’’, 1 minute for
‘‘Clean room/equipment following
procedure’’, 1 minute for ‘‘Dispose of
remaining specimens, spent chemicals/
other consumables, and hazardous
waste’’, and 1 minute for ‘‘Prepare, pack
and transport specimens and records for
in-house storage and external storage
(where applicable).’’ We do not believe
these activities would be dependent on
number of blocks or batch size, and we
believe that these values accurately
reflect the typical time it takes to
perform these clinical labor tasks.
In reviewing the RUC-recommended
direct PE inputs for CY 2019, we
noticed that the 3 minutes of clinical
labor time traditionally assigned to the
‘‘Prepare room, equipment and
supplies’’ (CA013) clinical labor activity
were split into 2 minutes for the
‘‘Prepare room, equipment and
supplies’’ activity and 1 minute for the
‘‘Confirm order, protocol exam’’
(CA014) activity. We proposed to
maintain the 3 minutes of clinical labor
time for the ‘‘Prepare room, equipment
and supplies’’ activity and remove the
clinical labor time for the ‘‘Confirm
order, protocol exam’’ activity wherever
we observed this pattern in the RUCrecommended direct PE inputs.
Commenters explained in response that
when the new version of the PE
worksheet introduced the activity codes
for clinical labor, there was a need to
translate old clinical labor tasks into the
new activity codes, and that a prior
clinical labor task was split into two of
the new clinical labor activity codes:
CA007 (‘‘Review patient clinical extant
information and questionnaire’’) in the
preservice period, and CA014 (‘‘Confirm
order, protocol exam’’) in the service
period. Commenters stated that the
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same clinical labor from the old PE
worksheet was now divided into the
CA007 and CA014 activity codes, with
a standard of 1 minute for each activity.
We agreed with commenters that we
would finalize the RUC-recommended 2
minutes of clinical labor time for the
CA007 activity code and 1 minute for
the CA014 activity code in situations
where this was the case. However, when
reviewing the clinical labor for the
reviewed codes affected by this issue,
we found that several of the codes did
not include this old clinical labor task,
and we also noted that several of the
reviewed codes that contained the
CA014 clinical labor activity code did
not contain any clinical labor for the
CA007 activity. In these situations, we
continue to believe that in these cases
the 3 total minutes of clinical staff time
would be more accurately described by
the CA013 ‘‘Prepare room, equipment
and supplies’’ activity code, and we
finalized these clinical labor
refinements. For additional details, we
direct readers to the discussion in the
CY 2019 PFS final rule (83 FR 59463–
59464).
Historically, the RUC has submitted a
‘‘PE worksheet’’ that details the
recommended direct PE inputs for our
use in developing PE RVUs. The format
of the PE worksheet has varied over
time and among the medical specialties
developing the recommendations. These
variations have made it difficult for both
the RUC’s development and our review
of code values for individual codes.
Beginning with its recommendations for
CY 2019, the RUC has mandated the use
of a new PE worksheet for purposes of
their recommendation development
process that standardizes the clinical
labor tasks and assigns them a clinical
labor activity code. We believe the
RUC’s use of the new PE worksheet in
developing and submitting
recommendations will help us to
simplify and standardize the hundreds
of different clinical labor tasks currently
listed in our direct PE database. As we
did in previous calendar years, to
facilitate rulemaking for CY 2020, we
are continuing to display two versions
of the Labor Task Detail public use file:
One version with the old listing of
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clinical labor tasks, and one with the
same tasks crosswalked to the new
listing of clinical labor activity codes.
These lists are available on the CMS
website under downloads for the CY
2020 PFS proposed rule at https://
www.cms.gov/Medicare/Medicare-Feefor-Service-Payment/Physician
FeeSched/PFS-Federal-RegulationNotices.html.
b. Equipment Recommendations for
Scope Systems
During our routine reviews of direct
PE input recommendations, we have
regularly found unexplained
inconsistencies involving the use of
scopes and the video systems associated
with them. Some of the scopes include
video systems bundled into the
equipment item, some of them include
scope accessories as part of their price,
and some of them are standalone scopes
with no other equipment included. It is
not always clear which equipment items
related to scopes fall into which of these
categories. We have also frequently
found anomalies in the equipment
recommendations, with equipment
items that consist of a scope and video
system bundle recommended, along
with a separate scope video system.
Based on our review, the variations do
not appear to be consistent with the
different code descriptions.
To promote appropriate relativity
among the services and facilitate the
transparency of our review process,
during the review of the recommended
direct PE inputs for the CY 2017 PFS
proposed rule, we developed a structure
that separates the scope, the associated
video system, and any scope accessories
that might be typical as distinct
equipment items for each code. Under
this approach, we proposed standalone
prices for each scope, and separate
prices for the video systems and
accessories that are used with scopes.
(1) Scope Equipment
Beginning in the CY 2017 PFS
proposed rule (81 FR 46176 through
46177), we proposed standardizing
refinements to the way scopes have
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been defined in the direct PE input
database. We believe that there are four
general types of scopes: Non-video
scopes; flexible scopes; semi-rigid
scopes, and rigid scopes. Flexible
scopes, semi-rigid scopes, and rigid
scopes would typically be paired with
one of the scope video systems, while
the non-video scopes would not. The
flexible scopes can be further divided
into diagnostic (or non-channeled) and
therapeutic (or channeled) scopes. We
proposed to identify for each anatomical
application: (1) A rigid scope; (2) a
semi-rigid scope; (3) a non-video
flexible scope; (4) a non-channeled
flexible video scope; and (5) a
channeled flexible video scope. We
proposed to classify the existing scopes
in our direct PE database under this
classification system, to improve the
transparency of our review process and
improve appropriate relativity among
the services. We planned to propose
input prices for these equipment items
through future rulemaking.
We proposed these changes only for
the reviewed codes for CY 2017 that
made use of scopes, along with updated
prices for the equipment items related to
scopes utilized by these services. We
did not propose to apply these policies
to codes with inputs reviewed prior to
CY 2017. We also solicited comment on
this separate pricing structure for
scopes, scope video systems, and scope
accessories, which we could consider
proposing to apply to other codes in
future rulemaking. We did not finalize
price increases for a series of other
scopes and scope accessories, as the
invoices submitted for these
components indicated that they are
different forms of equipment with
different product IDs and different
prices. We did not receive any data to
indicate that the equipment on the
newly submitted invoices was more
typical in its use than the equipment
that we were currently using for pricing.
We did not make further changes to
existing scope equipment in CY 2017 to
allow the RUC’s PE Subcommittee the
opportunity to provide feedback.
However, we believed there was some
miscommunication on this point, as the
RUC’s PE Subcommittee workgroup that
was created to address scope systems
stated that no further action was
required following the finalization of
our proposal. Therefore, we made
further proposals in the CY 2018 PFS
proposed rule (82 FR 33961 through
33962) to continue clarifying scope
equipment inputs, and sought
comments regarding the new set of
scope proposals. We considered creating
a single scope equipment code for each
of the five categories detailed in this
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rule: (1) A rigid scope; (2) a semi-rigid
scope; (3) a non-video flexible scope; (4)
a non-channeled flexible video scope;
and (5) a channeled flexible video
scope. Under the current classification
system, there are many different scopes
in each category depending on the
medical specialty furnishing the service
and the part of the body affected. We
stated our belief that the variation
between these scopes was not
significant enough to warrant
maintaining these distinctions, and we
believed that creating and pricing a
single scope equipment code for each
category would help provide additional
clarity. We sought public comment on
the merits of this potential scope
organization, as well as any pricing
information regarding these five new
scope categories.
After considering the comments on
the CY 2018 PFS proposed rule, we did
not finalize our proposal to create and
price a single scope equipment code for
each of the five categories previously
identified. Instead, we supported the
recommendation from the commenters
to create scope equipment codes on a
per-specialty basis for six categories of
scopes as applicable, including the
addition of a new sixth category of
multi-channeled flexible video scopes.
Our goal was to create an
administratively simple scheme that
would be easier to maintain and help to
reduce administrative burden. In 2018,
the RUC convened a Scope Equipment
Reorganization Workgroup to
incorporate feedback from expert
stakeholders with the intention of
making recommendations to us on
scope organization and scope pricing.
Since the workgroup was not convened
in time to submit recommendations for
the CY 2019 PFS rulemaking cycle, we
delayed proposals for any further
changes to scope equipment until CY
2020 in order to incorporate the
feedback from the aforementioned
workgroup.
(2) Scope Video System
We proposed in the CY 2017 PFS
proposed rule (81 FR 46176 through
46177) to define the scope video system
as including: (1) A monitor; (2) a
processor; (3) a form of digital capture;
(4) a cart; and (5) a printer. We believe
that these equipment components
represent the typical case for a scope
video system. Our model for this system
was the ‘‘video system, endoscopy
(processor, digital capture, monitor,
printer, cart)’’ equipment item (ES031),
which we proposed to re-price as part
of this separate pricing approach. We
obtained current pricing invoices for the
endoscopy video system as part of our
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40493
investigation of these issues involving
scopes, which we proposed to use for
this re-pricing. In response to
comments, we finalized the addition of
a digital capture device to the
endoscopy video system (ES031) in the
CY 2017 PFS final rule (81 FR 80188).
We finalized our proposal to price the
system at $33,391, based on component
prices of $9,000 for the processor,
$18,346 for the digital capture device,
$2,000 for the monitor, $2,295 for the
printer, and $1,750 for the cart. In the
CY 2018 PFS final rule (82 FR 52991
through 52993), we outlined, but did
not finalize, a proposal to add an LED
light source into the cost of the scope
video system (ES031), which would
remove the need for a separate light
source in these procedures. We also
described a proposal to increase the
price of the scope video system by
$1,000 to cover the expense of
miscellaneous small equipment
associated with the system that falls
below the threshold of individual
equipment pricing as scope accessories
(such as cables, microphones, foot
pedals, etc.). With the addition of the
LED light (equipment code EQ382 at a
price of $1,915), the updated total price
of the scope video system would be set
at $36,306.
We did not finalize this updated
pricing to the scope video system in CY
2018, but we did propose and finalize
the updated pricing for CY 2019 to
$36,306 along with changing the name
of the ES031 equipment item to ‘‘scope
video system (monitor, processor,
digital capture, cart, printer, LED light)’’
to reflect the fact that the use of the
ES031 scope video system is not limited
to endoscopy procedures.
(3) Scope Accessories
We understand that there may be
other accessories associated with the
use of scopes. We finalized a proposal
in the CY 2017 PFS final rule (81 FR
80188) to separately price any scope
accessories outside the use of the scope
video system, and individually evaluate
their inclusion or exclusion as direct PE
inputs for particular codes as usual
under our current policy based on
whether they are typically used in
furnishing the services described by the
particular codes.
(4) Scope Proposals for CY 2020
The Scope Equipment Reorganization
Workgroup organized by the RUC
submitted detailed recommendations to
CMS for consideration in the CY 2020
rule cycle, describing 23 different types
of scope equipment, the HCPCS codes
associated with each scope type, and a
series of invoices for scope pricing. We
E:\FR\FM\14AUP2.SGM
14AUP2
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Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
appreciate the information provided by
the workgroup and continue to welcome
additional comments and feedback from
stakeholders. Based on the
recommendations from the workgroup,
we are proposing to establish 23 new
scope equipment codes (see Table 5).
TABLE 5—CY 2020 PROPOSED NEW SCOPE EQUIPMENT CODES
Proposed scope equipment description
Proposed
price
rigid scope, cystoscopy ...............................................................................................................
rigid scope, hysteroscopy ............................................................................................................
rigid scope, otoscopy ...................................................................................................................
rigid scope, nasal/sinus endoscopy ............................................................................................
rigid scope, proctosigmoidoscopy ...............................................................................................
rigid scope, laryngoscopy ............................................................................................................
rigid scope, colposcopy ...............................................................................................................
non-channeled flexible digital scope, hysteroscopy ....................................................................
non-channeled flexible digital scope, nasopharyngoscopy .........................................................
non-channeled flexible digital scope, bronchoscopy ...................................................................
non-channeled flexible digital scope, laryngoscopy ....................................................................
channeled flexible digital scope, cystoscopy ..............................................................................
channeled flexible digital scope, hysteroscopy ...........................................................................
channeled flexible digital scope, bronchoscopy ..........................................................................
channeled flexible digital scope, laryngoscopy ...........................................................................
multi-channeled flexible digital scope, flexible sigmoidoscopy ...................................................
multi-channeled flexible digital scope, colonoscopy ...................................................................
multi-channeled flexible digital scope, esophagoscopy gastroscopy duodenoscopy (EGD) ......
multi-channeled flexible digital scope, esophagoscopy ..............................................................
multi-channeled flexible digital scope, ileoscopy ........................................................................
multi-channeled flexible digital scope, pouchoscopy ..................................................................
ultrasound digital scope, endoscopic ultrasound ........................................................................
non-video flexible scope, laryngoscopy ......................................................................................
........................
........................
........................
........................
........................
$3,966.08
14,500.00
........................
........................
........................
21,485.51
........................
........................
........................
18,694.39
17,360.00
38,058.81
........................
34,585.35
........................
........................
........................
5,078.04
CMS code
khammond on DSKBBV9HB2PROD with PROPOSALS2
ES070
ES071
ES072
ES073
ES074
ES075
ES076
ES077
ES078
ES079
ES080
ES081
ES082
ES083
ES084
ES085
ES086
ES087
ES088
ES089
ES090
ES091
ES092
............
............
............
............
............
............
............
............
............
............
............
............
............
............
............
............
............
............
............
............
............
............
............
We note that we did not receive
invoices for many of the new scope
equipment items. There also was some
inconsistency in the workgroup
recommendations regarding the nonchanneled flexible digital scope,
laryngoscopy (ES080) equipment item
and the non-video flexible scope,
laryngoscopy (ES092) equipment item.
These scopes were listed as a single
equipment item in some of the
workgroup materials and listed as
separate equipment items in other
materials. We are proposing to establish
them as separate equipment items based
on the submitted invoices, which
demonstrated that these were two
different types of scopes with distinct
price points of approximately $17,000
and $5,000 respectively.
We noted a similar issue with the
submitted invoices for the rigid scope,
laryngoscopy (ES075) equipment item.
Among the eight total invoices, five of
them were clustered around a price
point of approximately $4,000 while the
other three invoices had prices of
roughly $15,000 apiece. The invoices
VerDate Sep<11>2014
20:08 Aug 13, 2019
Jkt 247001
indicated that these prices came from
two distinct types of equipment, and as
a result we are proposing to consider
these items separately. We are
proposing to use the initial five invoices
to establish a proposed price of
$3,966.08 for the rigid scope,
laryngoscopy (ES075) equipment item.
We note that this is a close match for the
current price of $3,178.08 used by the
endoscope, rigid, laryngoscopy (ES010)
equipment, which is the closest
equivalent scope equipment. The other
three invoices appear to describe a type
of stroboscopy system rather than a
scope, and they have an average price of
$14,737. This is a reasonably close
match for the price of our current
stroboscoby system (ES065) equipment,
which has a CY 2020 price of
$17,950.28 as it transitions to a final CY
2022 destination price of $16,843.87
(see the 4-year pricing transition of the
market-based supply and equipment
pricing update discussed later in this
section for more information). We
believe that these invoices reinforce the
value established by the market-based
PO 00000
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Sfmt 4702
Number of
invoices
0
0
0
0
0
5
1
0
0
0
7
0
0
0
5
1
6
0
5
0
0
0
4
pricing update for the stroboscoby
system carried out last year, and we are
not proposing to update the price of the
ES065 equipment at this time. However,
we are open to feedback from
stakeholders if they believe it would be
more accurate to assign a price of
$14,737 to the stroboscoby system based
on these invoice submissions, as
opposed to maintaining the current
pricing transition to a CY 2022 price of
$16,843.87.
For the eight new scope equipment
items where we have submitted invoices
for pricing, we are proposing to replace
the existing scopes with the new scope
equipment. We received
recommendations from the RUC’s scope
workgroup regarding which HCPCS
codes make use of the new scope
equipment items, and we are proposing
to make this scope replacement for
approximately 100 HCPCS codes in total
(see Table 6).
BILLING CODE 4120–01–P
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Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
40495
HCPCS
31505
31510
31511
31512
31515
31525
31570
56820
56821
57420
57421
57452
57454
57455
57456
57460
57461
Current
CMS
ESOlO
ESOlO
ESOlO
ESOlO
ESOlO
ESOlO
ESOlO
ES004
ES004
ES004
ES004
ES004
ES004
ES004
ES004
ES004
ES004
31551
ES063
31552
ES063
31553
ES063
31554
ES063
31574
ES063
31575
ES063
31579
ES063
31580
ES063
31584
ES063
31587
ES063
31591
ES063
31592
ES063
92612*
ES027
92614*
ES028
92616*
ES028
VerDate Sep<11>2014
Description
endoscope, rigid, laryngoscopy
endoscope, rigid, laryngoscopy
endoscope, rigid, laryngoscopy
endoscope, rigid, laryngoscopy
endoscope, rigid, laryngoscopy
endoscope, rigid, laryngoscopy
endoscope, rigid, laryngoscopy
colposcope
colposcope
colposcope
colposcope
colposcope
colposcope
colposcope
colposcope
colposcope
colposcope
rhinolaryngoscope, flexible,
video, non-channeled
rhinolaryngoscope, flexible,
video, non-channeled
rhinolaryngoscope, flexible,
video, non-channeled
rhinolaryngoscope, flexible,
video, non-channeled
rhinolaryngoscope, flexible,
video, non-channeled
rhinolaryngoscope, flexible,
video, non-channeled
rhinolaryngoscope, flexible,
video, non-channeled
rhinolaryngoscope, flexible,
video, non-channeled
rhinolaryngoscope, flexible,
video, non-channeled
rhinolaryngoscope, flexible,
video, non-channeled
rhinolaryngoscope, flexible,
video, non-channeled
rhinolaryngoscope, flexible,
video, non-channeled
video system, FEES (scope,
camera, light source, image
capture, monitor, printer, cart)
video system, FEESST (scope,
sensory stimulator, camera,
light source, image capture,
monitor, printer, cart)
video system, FEESST (scope,
sensory stimulator, camera,
18:25 Aug 13, 2019
Jkt 247001
PO 00000
Frm 00015
Price
$3,178.08
$3,178.08
$3,178.08
$3,178.08
$3,178.08
$3,178.08
$3,178.08
$9,692.02
$9,692.02
$9,692.02
$9,692.02
$9,692.02
$9,692.02
$9,692.02
$9,692.02
$9,692.02
$9,692.02
New
CMS
ES075
ES075
ES075
ES075
ES075
ES075
ES075
ES076
ES076
ES076
ES076
ES076
ES076
ES076
ES076
ES076
ES076
$9,629.93
ES080
$9,629.93
ES080
$9,629.93
ES080
$9,629.93
ES080
$9,629.93
ES080
$9,629.93
ES080
$9,629.93
ES080
$9,629.93
ES080
$9,629.93
ES080
$9,629.93
ES080
$9,629.93
ES080
$9,629.93
ES080
New Description
rigid scope, laryngoscopy
rigid scope, laryngoscopy
rigid scope, laryngoscopy
rigid scope, laryngoscopy
rigid scope, laryngoscopy
rigid scope, laryngoscopy
rigid scope, laryngoscopy
rigid scope, colposcopy
rigid scope, colposcopy
rigid scope, colposcopy
rigid scope, colposcopy
rigid scope, colposcopy
rigid scope, colposcopy
rigid scope, colposcopy
rigid scope, colposcopy
rigid scope, colposcopy
rigid scope, colposcopy
non-channeled flexible
digital scope, laryngoscopy
non-channeled flexible
digital scope, laryngoscopy
non-channeled flexible
digital scope, laryngoscopy
non-channeled flexible
digital scope, laryngoscopy
non-channeled flexible
digital scope, laryngoscopy
non-channeled flexible
digital scope, laryngoscopy
non-channeled flexible
digital scope, laryngoscopy
non-channeled flexible
digital scope, laryngoscopy
non-channeled flexible
digital scope, laryngoscopy
non-channeled flexible
digital scope, laryngoscopy
non-channeled flexible
digital scope, laryngoscopy
non-channeled flexible
digital scope, laryngoscopy
$21,675.00
ES080
non-channeled flexible
digital scope, laryngoscopy
$25,420.25
ES080
$25,420.25
ES080
Fmt 4701
Sfmt 4725
non-channeled flexible
digital scope, laryngoscopy
non-channeled flexible
digital scope, laryngoscopy
E:\FR\FM\14AUP2.SGM
14AUP2
New Price
$3,966.08
$3,966.08
$3,966.08
$3,966.08
$3,966.08
$3,966.08
$3,966.08
$14,500.00
$14,500.00
$14,500.00
$14,500.00
$14,500.00
$14,500.00
$14,500.00
$14,500.00
$14,500.00
$14,500.00
$21,485.51
$21,485.51
$21,485.51
$21,485.51
$21,485.51
$21,485.51
$21,485.51
$21,485.51
$21,485.51
$21,485.51
$21,485.51
$21,485.51
$21,485.51
$21,485.51
$21,485.51
EP14AU19.000
khammond on DSKBBV9HB2PROD with PROPOSALS2
TABLE 6: Proposed Scope Equipment Replacement
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
HCPCS
Current
CMS
31572
ES064
31573
ES064
31576
ES064
31577
ES064
31578
ES064
Description
light source, image capture,
monitor, printer, cart)
rhinolaryngoscope, flexible,
video, channeled
rhinolaryngoscope, flexible,
video, channeled
rhinolaryngoscope, flexible,
video, channeled
rhinolaryngoscope, flexible,
video, channeled
rhinolaryngoscope, flexible,
video, channeled
45330
ES043
45331
New
CMS
Price
$9,000.00
ES084
$9,000.00
ES084
$9,000.00
ES084
$9,000.00
ES084
$9,000.00
ES084
Video Sigmoidoscope
$19,308.56
ES085
ES043
Video Sigmoidoscope
$19,308.56
ES085
45332
ES043
Video Sigmoidoscope
$19,308.56
ES085
45333
ES043
Video Sigmoidoscope
$19,308.56
ES085
45334
ES043
Video Sigmoidoscope
$19,308.56
ES085
45335
ES043
Video Sigmoidoscope
$19,308.56
ES085
45338
ES043
Video Sigmoidoscope
$19,308.56
ES085
45340
ES043
Video Sigmoidoscope
$19,308.56
ES085
45346
ES043
Video Sigmoidoscope
$19,308.56
ES085
G0104
ES021
fiberscope, flexible,
sigmoidoscopy
$10,976.97
ES085
45378
ES033
videoscope, colonoscopy
$30,561.67
ES086
45379
ES033
videoscope, colonoscopy
$30,561.67
ES086
45380
ES033
videoscope, colonoscopy
$30,561.67
ES086
45381
ES033
videoscope, colonoscopy
$30,561.67
ES086
45382
45384
ES033
ES033
videoscope, colonoscopy
videoscope, colonoscopy
$30,561.67
$30,561.67
ES086
ES086
VerDate Sep<11>2014
18:25 Aug 13, 2019
Jkt 247001
PO 00000
Frm 00016
Fmt 4701
Sfmt 4725
New Description
channeled flexible digital
scope, laryngoscopy
channeled flexible digital
scope, laryngoscopy
channeled flexible digital
scope, laryngoscopy
channeled flexible digital
scope, laryngoscopy
channeled flexible digital
scope, laryngoscopy
multi-channeled flexible
digital scope, flexible
sigmoidoscopy
multi-channeled flexible
digital scope, flexible
sigmoidoscopy
multi-channeled flexible
digital scope, flexible
sigmoidoscopy
multi-channeled flexible
digital scope, flexible
sigmoidoscopy
multi-channeled flexible
digital scope, flexible
sigmoidoscopy
multi -channeled flexible
digital scope, flexible
sigmoidoscopy
multi-channeled flexible
digital scope, flexible
sigmoidoscopy
multi-channeled flexible
digital scope, flexible
sigmoidoscopy
multi-channeled flexible
digital scope, flexible
sigmoidoscopy
multi-channeled flexible
digital scope, flexible
sigmoidoscopy
multi-channeled flexible
digital scope, colonoscopy
multi-channeled flexible
digital scope, colonoscopy
multi-channeled flexible
digital scope, colonoscopy
multi-channeled flexible
digital scope, colonoscopy
multi-channeled flexible
digital scope, colonoscopy
multi-channeled flexible
E:\FR\FM\14AUP2.SGM
14AUP2
New Price
$18,694.39
$18,694.39
$18,694.39
$18,694.39
$18,694.39
$17,360.00
$17,360.00
$17,360.00
$17,360.00
$17,360.00
$17,360.00
$17,360.00
$17,360.00
$17,360.00
$17,360.00
$38,058.81
$38,058.81
$38,058.81
$38,058.81
$38,058.81
$38,058.81
EP14AU19.001
khammond on DSKBBV9HB2PROD with PROPOSALS2
40496
New
CMS
HCPCS
Current
CMS
45385
ES033
videoscope, colonoscopv
$30,561.67
ES086
45386
ES033
videoscope, colonoscopy
$30,561.67
ES086
45388
ES033
videoscope, colonoscopy
$30,561.67
ES086
45398
ES033
videoscope, colonoscopy
$30,561.67
ES086
GOl05
ES033
videoscope, colonoscopv
$30,561.67
ES086
G0121
ES033
videoscope, colonoscopv
$30,561.67
ES086
44388
ES033
videoscope, colonoscopy
$30,561.67
ES086
44389
ES033
videoscope, colonoscopy
$30,561.67
ES086
44390
ES033
videoscope, colonoscopy
$30,561.67
ES086
44391
ES033
videoscope, colonoscopy
$30,561.67
ES086
44392
ES033
videoscope, colonoscopv
$30,561.67
ES086
44394
ES033
videoscope, colonoscopy
$30,561.67
ES086
44401
ES033
videoscope, colonoscopy
$30,561.67
ES086
44404
ES033
videoscope, colonoscopy
$30,561.67
ES086
44405
ES033
videoscope, colonoscopy
$30,561.67
ES086
43197
ES026
video add-on camera system wmonitor (endoscopv)
$9,514.13
ES088
43198
ES026
video add-on camera system wmonitor (endoscopy)
$9,514.13
ES088
43200
ES034
videoscope, gastroscopy
$27,582.01
ES088
43201
ES034
videoscope, gastroscopy
$27,582.01
ES088
43202
ES034
videoscope, gastroscopy
$27,582.01
ES088
43206
ES034
videoscope, gastroscopy
$27,582.01
ES088
43213
43215
ES034
ES034
videoscope, gastroscopy
videoscope, gastroscopy
$27,582.01
$27,582.01
ES088
ES088
VerDate Sep<11>2014
Description
18:25 Aug 13, 2019
Jkt 247001
PO 00000
Price
Frm 00017
Fmt 4701
Sfmt 4725
New Description
digital scope, colonoscopy
multi-channeled flexible
digital scope, colonoscopy
multi-channeled flexible
digital scope, colonoscopy
multi-channeled flexible
digital scope, colonoscopy
multi-channeled flexible
digital scope, colonoscopy
multi-channeled flexible
digital scope, colonoscopy
multi-channeled flexible
digital scope, colonoscopy
multi-channeled flexible
digital scope, colonoscopy
multi-channeled flexible
digital scope, colonoscopy
multi-channeled flexible
digital scope, colonoscopy
multi-channeled flexible
digital scope, colonoscopy
multi-channeled flexible
digital scope, colonoscopy
multi-channeled flexible
digital scope, colonoscopy
multi-channeled flexible
digital scope, colonoscopy
multi-channeled flexible
digital scope, colonoscopy
multi-channeled flexible
digital scope, colonoscopy
multi-channeled flexible
digital scope,
esophagoscopy
multi-channeled flexible
digital scope,
esophagoscopy
multi-channeled flexible
digital scope,
esophagoscopy
multi-channeled flexible
digital scope,
esophagoscopy
multi-channeled flexible
digital scope,
esophagoscopy
multi-channeled flexible
digital scope,
esophagoscopy
multi-channeled flexible
digital scope,
esophagoscopy
multi-channeled flexible
E:\FR\FM\14AUP2.SGM
14AUP2
40497
New Price
$38,058.81
$38,058.81
$38,058.81
$38,058.81
$38,058.81
$38,058.81
$38,058.81
$38,058.81
$38,058.81
$38,058.81
$38,058.81
$38,058.81
$38,058.81
$38,058.81
$38,058.81
$34,585.35
$34,585.35
$34,585.35
$34,585.35
$34,585.35
$34,585.35
$34,585.35
$34,585.35
EP14AU19.002
khammond on DSKBBV9HB2PROD with PROPOSALS2
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
HCPCS
Current
CMS
43216
ES034
videoscope, gastroscopy
$27,582.01
ES088
43217
ES034
videoscope, gastroscopy
$27,582.01
ES088
43220
ES034
videoscope, gastroscopy
$27,582.01
ES088
43226
ES034
videoscope, gastroscopy
$27,582.01
ES088
43227
ES034
videoscope, gastroscopy
$27,582.01
ES088
43229
ES034
$27,582.01
ES088
31590
ES020
$5,572.07
ES092
31300
ES020
$5,572.07
ES092
31360
ES020
$5,572.07
ES092
31365
ES020
$5,572.07
ES092
31367
ES020
$5,572.07
ES092
31368
ES020
$5,572.07
ES092
31370
ES020
$5,572.07
ES092
31375
ES020
$5,572.07
ES092
31380
ES020
$5,572.07
ES092
31382
ES020
$5,572.07
ES092
31390
ES020
$5,572.07
ES092
31395
ES020
$5,572.07
ES092
31400
ES020
$5,572.07
ES092
31420
ES020
videoscope, gastroscopy
fiberscope, flexible,
rhino laryngoscopy
fiberscope, flexible,
rhino laryngoscopy
fiberscope, flexible,
rhino laryngoscopy
fiberscope, flexible,
rhino laryngoscopy
fiberscope, flexible,
rhino laryngoscopy
fiberscope, flexible,
rhino laryngoscopy
fiberscope, flexible,
rhino laryngoscopy
fiberscope, flexible,
rhino laryngoscopy
fiberscope, flexible,
rhino laryngoscopy
fiberscope, flexible,
rhino laryngoscopy
fiberscope, flexible,
rhino laryngoscopy
fiberscope, flexible,
rhino laryngoscopy
fiberscope, flexible,
rhino laryngoscopy
fiberscope, flexible,
rhino laryngoscopy
$5,572.07
ES092
Description
BILLING CODE 4120–01–C
In all but three cases, we are
proposing for the new scope equipment
item to replace the existing scope with
the identical amount of equipment time.
For CPT codes 92612 (Flexible
endoscopic evaluation of swallowing by
VerDate Sep<11>2014
18:25 Aug 13, 2019
Jkt 247001
New
CMS
Price
New Description
digital scope,
esophagoscopy
multi-channeled flexible
digital scope,
esophagoscopy
multi-channeled flexible
digital scope,
esophagoscopy
multi-channeled flexible
digital scope,
esophagoscopy
multi-channeled flexible
digital scope,
esophagoscopy
multi-channeled flexible
digital scope,
esophagoscopy
multi-channeled flexible
digital scope,
esophagoscopy
non-video flexible scope,
laryngoscopy
non-video flexible scope,
laryngoscopy
non-video flexible scope,
laryngoscopy
non-video flexible scope,
laryngoscopy
non-video flexible scope,
laryngoscopy
non-video flexible scope,
laryngoscopy
non-video flexible scope,
laryngoscopy
non-video flexible scope,
laryngoscopy
non-video flexible scope,
laryngoscopy
non-video flexible scope,
laryngoscopy
non-video flexible scope,
laryngoscopy
non-video flexible scope,
laryngoscopy
non-video flexible scope,
laryngoscopy
non-video flexible scope,
laryngoscopy
cine or video recording), 92614 (Flexible
endoscopic evaluation, laryngeal
sensory testing by cine or video
recording), and 92616 (Flexible
endoscopic evaluation of swallowing
and laryngeal sensory testing by cine or
video recording), the current scopes in
PO 00000
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Fmt 4701
Sfmt 4702
New Price
$34,585.35
$34,585.35
$34,585.35
$34,585.35
$34,585.35
$34,585.35
$5,078.04
$5,078.04
$5,078.04
$5,078.04
$5,078.04
$5,078.04
$5,078.04
$5,078.04
$5,078.04
$5,078.04
$5,078.04
$5,078.04
$5,078.04
$5,078.04
use are the FEES video system (ES027)
and the FEESST video system (ES028).
Since we are proposing the use of a nonchanneled flexible digital scope that
requires a corresponding scope video
system, we are adding the ES080
equipment at the same equipment time
E:\FR\FM\14AUP2.SGM
14AUP2
EP14AU19.003
khammond on DSKBBV9HB2PROD with PROPOSALS2
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khammond on DSKBBV9HB2PROD with PROPOSALS2
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
to these three procedures rather than
replacing the ES027 and ES028
equipment. In all other cases, we are
proposing to replace the current scope
equipment listed in Table 6 with the
new scope equipment, while
maintaining the same amount of
equipment time.
We identified inconsistencies with
the workgroup recommendations for a
small number of HCPCS codes. CPT
code 45350 (Sigmoidoscopy, flexible;
with band ligation(s) (e.g.,
hemorrhoids)) was recommended to
include a multi-channeled flexible
digital scope, flexible sigmoidoscopy
(ES085), however, we noted that this
CPT code does not include any scopes
among its current direct PE inputs. CPT
code 31595 was recommended to
include a non-channeled flexible digital
scope, laryngoscopy (ES080) but it no
longer exists as a CPT code after having
been deleted for CY 2019. CPT code
43232 (Esophagoscopy, flexible,
transoral; with transendoscopic
ultrasound-guided intramural or
transmural fine needle aspiration/
biopsy(s)) was recommended to include
a multi-channeled flexible digital scope,
esophagoscopy (ES088), but it does not
include a scope amongst its direct PE
inputs any longer following clarification
from the same workgroup
recommendations that CPT code 43232
is never performed in the nonfacility
setting. In all three of these cases, we are
not proposing to add one of the new
scope equipment items to these
procedures.
We did not receive pricing
information along with the workgroup
recommendations for the other 15 new
scope equipment items. For CY 2020,
we are proposing to establish new
equipment codes for these scopes as
detailed in Table 5. However, due to a
lack of pricing information, we are not
proposing to replace existing scope
equipment with the new equipment
items as we did for the other eight new
scope equipment items for CY 2020. We
welcome additional feedback from
stakeholders regarding the pricing of
these scope equipment items, especially
the submission of detailed invoices with
pricing data. We are proposing to
transition the scopes for which we do
have pricing information over to the
new equipment items for CY 2020, and
we look forward to engaging with
stakeholders to assist in pricing and
then transitioning the remaining scopes
in future rulemaking.
c. Technical Corrections to Direct PE
Input Database and Supporting Files
Subsequent to the publication of the
CY 2019 PFS final rule, stakeholders
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alerted us to several clerical
inconsistencies in the direct PE
database. We are proposing to correct
these inconsistencies as described
below and reflected in the CY 2020
proposed direct PE input database
displayed on the CMS website under
downloads for the CY 2020 PFS
proposed rule at https://www.cms.gov/
Medicare/Medicare-Fee-for-ServicePayment/PhysicianFeeSched/PFSFederal-Regulation-Notices.html.
For CY 2020, we are proposing to
address the following inconsistencies:
• The RUC’s Scope Equipment
Reorganization Workgroup
recommended deletion of the nonfacility inputs for CPT codes 43231
(Esophagoscopy, flexible, transoral; with
endoscopic ultrasound examination)
and 43232 (Esophagoscopy, flexible,
transoral; with transendoscopic
ultrasound-guided intramural or
transmural fine needle aspiration/
biopsy(s)). The gastroenterology
specialty societies stated that these
services are never performed in the nonfacility setting. After our own review of
these services, we agree with the
workgroup’s recommendation, and we
are proposing to remove the non-facility
direct PE inputs for these two CPT
codes.
• In rulemaking for CY 2018, we
reviewed a series of CPT codes
describing nasal sinus endoscopy
surgeries. At that time, we sought
comments on whether the broader
family of nasal sinus endoscopy surgery
services should be subject to the special
rules for multiple endoscopic
procedures instead of the standard
multiple procedure payment reduction.
We received very few comments in
response to our solicitation. In the CY
2018 PFS final rule (82 FR 53043), we
indicated that we would continue to
explore this option for future
rulemaking. We are proposing to apply
the special rule for multiple endoscopic
procedures to this family of codes
beginning in CY 2020. This proposal
would treat this group of CPT codes
consistently with other similar
endoscopic procedures when codes
within the CPT code family are billed
together with another endoscopy service
in the same family. Similar to other
similar endoscopic procedure code
families, we are proposing that CPT
code 31231 (Nasal endoscopy,
diagnostic, unilateral or bilateral
(separate procedure)) would be the base
procedure for the remainder of nasal
sinus endoscopies. The codes affected
by this proposal are as follows (see
Table 7).
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40499
TABLE 7—PROPOSED NASAL SINUS
ENDOSCOPY CODES SUBJECT TO
SPECIAL RULES FOR MULTIPLE
ENDOSCOPIC PROCEDURES
CPT code
31231
31233
31235
31237
31238
31239
31240
31241
31253
31254
31255
31256
31257
31259
31267
31276
31287
31288
31290
31291
31292
31293
31294
31295
31296
31297
31298
.............
.............
.............
.............
.............
.............
.............
.............
.............
.............
.............
.............
.............
.............
.............
.............
.............
.............
.............
.............
.............
.............
.............
.............
.............
.............
.............
Short descriptor
Nasal endoscopy dx.
Nasal/sinus endoscopy dx.
Nasal/sinus endoscopy dx.
Nasal/sinus endoscopy surg.
Nasal/sinus endoscopy surg.
Nasal/sinus endoscopy surg.
Nasal/sinus endoscopy surg.
Nsl/sins ndsc w/artery lig.
Nsl/sins ndsc total.
Nsl/sins ndsc w/prtl ethmdct.
Nsl/sins ndsc w/tot ethmdct.
Exploration maxillary sinus.
Nsl/sins ndsc tot w/sphendt.
Nsl/sins ndsc sphn tiss rmvl.
Endoscopy maxillary sinus.
Nsl/sins ndsc frnt tiss rmvl.
Nasal/sinus endoscopy surg.
Nasal/sinus endoscopy surg.
Nasal/sinus endoscopy surg.
Nasal/sinus endoscopy surg.
Nasal/sinus endoscopy surg.
Nasal/sinus endoscopy surg.
Nasal/sinus endoscopy surg.
Sinus endo w/balloon dil.
Sinus endo w/balloon dil.
Sinus endo w/balloon dil.
Nsl/sins ndsc w/sins dilat.
Special rules for multiple endoscopic
procedures would apply if any of the
procedures listed in Table 7 are billed
together for the same patient on the
same day. We apply the multiple
endoscopy payment rules to a code
family before ranking the family with
other procedures performed on the same
day (for example, if multiple
endoscopies in the same family are
reported on the same day as
endoscopies in another family, or on the
same day as a non-endoscopic
procedure). If an endoscopic procedure
is reported together with its base
procedure, we do not pay separately for
the base procedure. Payment for the
base procedure is included in the
payment for the other endoscopy. For
additional information about the
payment adjustment under the special
rule for multiple endoscopic services,
we refer readers to the CY 1992 PFS
final rule where this policy was
established (56 FR 59515) and to Pub.
100–04, Medicare Claims Processing
Manual, Chapter 23 (available on the
CMS website at https://www.cms.gov/
Regulations-and-Guidance/Guidance/
Manuals/Downloads/clm104c23.pdf).
d. Updates to Prices for Existing Direct
PE Inputs
In the CY 2011 PFS final rule with
comment period (75 FR 73205), we
finalized a process to act on public
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requests to update equipment and
supply price and equipment useful life
inputs through annual rulemaking,
beginning with the CY 2012 PFS
proposed rule. For CY 2020, we are
proposing the following price updates
for existing direct PE inputs.
We are proposing to update the price
of one supply and one equipment item
in response to the public submission of
invoices. As these pricing updates were
each part of the formal review for a code
family, we are proposing that the new
pricing take effect for CY 2020 for these
items instead of being phased in over 4
years. For the details of these proposed
price updates, please refer to Table 22,
Proposed CY 2020 Invoices Received for
Existing Direct PE Inputs in section
II.N., Proposed Valuation of Specific
Codes, of this proposed rule.
We are also proposing to update the
name of the EP001 equipment item from
‘‘DNA/digital image analyzer (ACIS)’’ to
‘‘DNA/Digital Image Analyzer’’ due to
clarification from stakeholders regarding
the typical use of this equipment.
(1) Market-Based Supply and
Equipment Pricing Update
Section 220(a) of the Protecting
Access to Medicare Act of 2014 (PAMA)
(Pub. L. 113–93) provides that the
Secretary may collect or obtain
information from any eligible
professional or any other source on the
resources directly or indirectly related
to furnishing services for which
payment is made under the PFS, and
that such information may be used in
the determination of relative values for
services under the PFS. Such
information may include the time
involved in furnishing services; the
amounts, types and prices of PE inputs;
overhead and accounting information
for practices of physicians and other
suppliers, and any other elements that
would improve the valuation of services
under the PFS.
As part of our authority under section
1848(c)(2)(M) of the Act, we initiated a
market research contract with
StrategyGen to conduct an in-depth and
robust market research study to update
the PFS direct PE inputs (DPEI) for
supply and equipment pricing for CY
2019. These supply and equipment
prices were last systematically
developed in 2004–2005. StrategyGen
submitted a report with updated pricing
recommendations for approximately
1300 supplies and 750 equipment items
currently used as direct PE inputs. This
report is available as a public use file
displayed on the CMS website under
downloads for the CY 2019 PFS final
rule at https://www.cms.gov/Medicare/
Medicare-Fee-for-Service-Payment/
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PhysicianFeeSched/PFS-FederalRegulation-Notices.html.
The StrategyGen team of researchers,
attorneys, physicians, and health policy
experts conducted a market research
study of the supply and equipment
items currently used in the PFS direct
PE input database. Resources and
methodologies included field surveys,
aggregate databases, vendor resources,
market scans, market analysis,
physician substantiation, and statistical
analysis to estimate and validate current
prices for medical equipment and
medical supplies. StrategyGen
conducted secondary market research
on each of the 2,072 DPEI medical
equipment and supply items that CMS
identified from the current DPEI. The
primary and secondary resources
StrategyGen used to gather price data
and other information were:
• Telephone surveys with vendors for
top priority items (Vendor Survey).
• Physician panel validation of
market research results, prioritized by
total spending (Physician Panel).
• The General Services
Administration system (GSA).
• An aggregate health system buyers
database with discounted prices
(Buyers).
• Publicly available vendor resources,
that is, Amazon Business, Cardinal
Health (Vendors).
• Federal Register, current DPEI data,
historical proposed and final rules prior
to CY 2018, and other resources; that is,
AMA RUC reports (References).
StrategyGen prioritized the equipment
and supply research based on current
share of PE RVUs attributable by item
provided by CMS. StrategyGen
developed the preliminary
Recommended Price (RP) methodology
based on the following rules in
hierarchical order considering both data
representativeness and reliability.
(1) If the market share, as well as the
sample size, for the top three
commercial products were available, the
weighted average price (weighted by
percent market share) was the reported
RP. Commercial price, as a weighted
average of market share, represents a
more robust estimate for each piece of
equipment and a more precise reference
for the RP.
(2) If no data were available for
commercial products, the current CMS
prices were used as the RP.
GSA prices were not used to calculate
the StrategyGen recommended prices,
due to our concern that the GSA system
curtails the number and type of
suppliers whose products may be
accessed on the GSA Advantage
website, and that the GSA prices may
often be lower than prices that are
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available to non-governmental
purchasers. After reviewing the
StrategyGen report, we proposed to
adopt the updated direct PE input prices
for supplies and equipment as
recommended by StrategyGen.
StrategyGen found that despite
technological advancements, the
average commercial price for medical
equipment and supplies has remained
relatively consistent with the current
CMS price. Specifically, preliminary
data indicated that there was no
statistically significant difference
between the estimated commercial
prices and the current CMS prices for
both equipment and supplies. This
cumulative stable pricing for medical
equipment and supplies appears similar
to the pricing impacts of non-medical
technology advancements where some
historically high-priced equipment (that
is, desktop PCs) has been increasingly
substituted with current technology
(that is, laptops and tablets) at similar or
lower price points. However, while
there were no statistically significant
differences in pricing at the aggregate
level, medical specialties would
experience increases or decreases in
their Medicare payments if CMS were to
adopt the pricing updates recommended
by StrategyGen. At the service level,
there may be large shifts in PE RVUs for
individual codes that happened to
contain supplies and/or equipment with
major changes in pricing, although we
note that codes with a sizable PE RVU
decrease would be limited by the
requirement to phase in significant
reductions in RVUs, as required by
section 1848(c)(7) of the Act. The phasein requirement limits the maximum
RVU reduction for codes that are not
new or revised to 19 percent in any
individual calendar year.
We believe that it is important to
make use of the most current
information available for supply and
equipment pricing instead of continuing
to rely on pricing information that is
more than a decade old. Given the
potentially significant changes in
payment that would occur, both for
specific services and more broadly at
the specialty level, in the CY 2019 PFS
proposed rule we proposed to phase in
our use of the new direct PE input
pricing over a 4-year period using a 25/
75 percent (CY 2019), 50/50 percent (CY
2020), 75/25 percent (CY 2021), and
100/0 percent (CY 2022) split between
new and old pricing. This approach is
consistent with how we have previously
incorporated significant new data into
the calculation of PE RVUs, such as the
4-year transition period finalized in CY
2007 PFS final rule with comment
period when changing to the ‘‘bottom-
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up’’ PE methodology (71 FR 69641).
This transition period will not only ease
the shift to the updated supply and
equipment pricing, but will also allow
interested parties an opportunity to
review and respond to the new pricing
information associated with their
services.
We proposed to implement this
phase-in over 4 years so that supply and
equipment values transition smoothly
from the prices we currently include to
the final updated prices in CY 2022. We
proposed to implement this pricing
transition such that one quarter of the
difference between the current price and
the fully phased-in price is
implemented for CY 2019, one third of
the difference between the CY 2019
40501
price and the final price is implemented
for CY 2020, and one half of the
difference between the CY 2020 price
and the final price is implemented for
CY 2021, with the new direct PE prices
fully implemented for CY 2022. An
example of the transition from the
current to the fully-implemented new
pricing is provided in Table 8.
TABLE 8—EXAMPLE OF DIRECT PE PRICING TRANSITION
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Current Price .........................................................................
Final Price .............................................................................
Year 1 (CY 2019) Price .................................................
Year 2 (CY 2020) Price .................................................
Year 3 (CY 2021) Price .................................................
Final (CY 2022) Price ....................................................
For new supply and equipment codes
for which we establish prices during the
transition years (CYs 2019, 2020 and
2021) based on the public submission of
invoices, we proposed to fully
implement those prices with no
transition since there are no current
prices for these supply and equipment
items. These new supply and equipment
codes would immediately be priced at
their newly established values. We also
proposed that, for existing supply and
equipment codes, when we establish
prices based on invoices that are
submitted as part of a revaluation or
comprehensive review of a code or code
family, they will be fully implemented
for the year they are adopted without
being phased in over the 4-year pricing
transition. The formal review process
for a HCPCS code includes a review of
pricing of the supplies and equipment
included in the code. When we find that
the price on the submitted invoice is
typical for the item in question, we
believe it would be appropriate to
finalize the new pricing immediately
along with any other revisions we adopt
for the code valuation.
For existing supply and equipment
codes that are not part of a
comprehensive review and valuation of
a code family and for which we
establish prices based on invoices
submitted by the public, we proposed to
implement the established invoice price
as the updated price and to phase in the
new price over the remaining years of
the proposed 4-year pricing transition.
During the proposed transition period,
where price changes for supplies and
equipment are adopted without a formal
review of the HCPCS codes that include
them (as is the case for the many
updated prices we proposed to phase in
over the 4-year transition period), we
believe it is important to include them
in the remaining transition toward the
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$100
200
125
150
175
200
⁄ difference between $100 and $200.
⁄ difference between $125 and $200.
1⁄2 difference between $150 and $200.
14
13
updated price. We also proposed to
phase in any updated pricing we
establish during the 4-year transition
period for very commonly used supplies
and equipment that are included in 100
or more codes, such as sterile gloves
(SB024) or exam tables (EF023), even if
invoices are provided as part of the
formal review of a code family. We
would implement the new prices for
any such supplies and equipment over
the remaining years of the proposed 4year transition period. Our proposal was
intended to minimize any potential
disruptive effects during the proposed
transition period that could be caused
by other sudden shifts in RVUs due to
the high number of services that make
use of these very common supply and
equipment items (meaning that these
items are included in 100 or more
codes).
We believed that implementing the
proposed updated prices with a 4-year
phase-in would improve payment
accuracy, while maintaining stability
and allowing stakeholders the
opportunity to address potential
concerns about changes in payment for
particular items. Updating the pricing of
direct PE inputs for supplies and
equipment over a longer time frame will
allow more opportunities for public
comment and submission of additional,
applicable data. We welcomed feedback
from stakeholders on the proposed
updated supply and equipment pricing,
including the submission of additional
invoices for consideration.
We received many comments
regarding the market-based supply and
equipment pricing proposal following
the publication of the CY 2019 PFS
proposed rule. For a full discussion of
these comments, we direct readers to
the CY 2019 PFS final rule (83 FR
59475–59480). In each instance in
which a commenter raised questions
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about the accuracy of a supply or
equipment code’s recommended price,
the StrategyGen contractor conducted
further research on the item and its
price with special attention to ensuring
that the recommended price was based
on the correct item in question and the
clarified unit of measure. Based on the
commenters’ requests, the StrategyGen
contractor conducted an extensive
examination of the pricing of any
supply or equipment items that any
commenter identified as requiring
additional review. Invoices submitted
by multiple commenters were greatly
appreciated and ensured that medical
equipment and supplies were reexamined and clarified. Multiple
researchers reviewed these specified
supply and equipment codes for
accuracy and proper pricing. In most
cases, the contractor also reached out to
a team of nurses and their physician
panel to further validate the accuracy of
the data and pricing information. In
some cases, the pricing for individual
items needed further clarification due to
a lack of information or due to
significant variation in packaged items.
After consideration of the comments
and this additional price research, we
updated the recommended prices for
approximately 70 supply and
equipment codes identified by the
commenters. Table 9 in the CY 2019
PFS final rule lists the supply and
equipment codes with price changes
based on feedback from the commenters
and the resulting additional research
into pricing (83 FR 59479–59480).
After consideration of the public
comments, we finalized our proposals
associated with the market research
study to update the PFS direct PE inputs
for supply and equipment pricing. We
continue to believe that implementing
the proposed updated prices with a 4year phase-in will improve payment
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accuracy, while maintaining stability
and allowing stakeholders the
opportunity to address potential
concerns about changes in payment for
particular items. We continue to
welcome feedback from stakeholders on
the proposed updated supply and
equipment pricing, including the
submission of additional invoices for
consideration.
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For CY 2020, we received invoice
submissions for approximately 30
supply and equipment codes from
stakeholders as part of the second year
of the market-based supply and
equipment pricing update. These
invoices were reviewed by the
StrategyGen contractor and the
submitted invoices were used in many
cases to supplement the pricing
originally proposed for the CY 2019 PFS
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rule cycle. The contractor reviewed the
invoices, as well as prior data for the
relevant supply/equipment codes to
make sure the item in the invoice was
representative of the supply/equipment
item in question and aligned with past
research. Based on this research, we are
proposing to update the prices of the
following supply and equipment items:
BILLING CODE 4120–01–P
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TABLE 9: Proposed CY 2020 Market-Based Supply and Equipment Pricing Updates
SA047
SA099
SA106
SD005
SF030
SH056
SH058
SH084
SJ041
SL012
SL058
SL182
SL184
SL195
SL196
SL484
SL497
EL015
EL016
EP001
EP007
EP015
EP017
EP024
EP026
EP031
EP033
EP036
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EP039
EP043
EP054
EP088
EP089
EP111
ER041
ER043
pack, EM visit
Kit, probe, cryoablation, prostate
(Galil-Endocare)
kit, sinus surgery, balloon
(maxillary, frontal, or sphenoid)
biopsy sponge (Histo-Prep)
laser tip, diffuser fiber
phenylephrine 2.5% ophth
(Mydfrin)
proparacaine 0.5% ophth
(Ophthaine, Alcaine)
Kenalog 40 inj
povidone soln (Betadine)
antibody IgA FITC
embedding cassette
mounting media (DAPI II
counterstain)
slide, negative control, Her-2
kit, FISH paraffin pretreatment
kit, HER-2/neu DNA Probe
Bluing reagent (Ventana 7602037)
(EBER) DNA Probe Cocktail
room, ultrasound, general
room, ultrasound, vascular
DNA/digital image analyzer
centrifuge (with rotor)
grossing station w-heavy duty
disposal
hood, fume
microscope, compound
microscope, electron,
transmission (TEM)
paraffin dispenser (five-gallon)
slide coverslipper, robotic
slide stainer, automated, highvolume throughput
tissue embedding center
water bath, general purpose (lab)
water bath, FISH procedures (lab)
Thermo Brite
Camera (Olympus DP21)
Automated Casette Labeler
microtome
microtome. ultra
BILLING CODE 4120–01–C
For most supply and equipment
items, there was an alignment between
the research carried out by the
StrategyGen contractor and the
submitted invoice. The updated CY
2020 pricing was calculated using an
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$4.176
$7.750
$5.367
Updated
CMS 2022
Price
$5.468
$3,909.890
$1,539.560
$3,119.780
$4,000.000
$3,939.927
$2,543.478
$2,374.330
$2,487.095
$2,338.000
$2,474.985
$0.048
$699.375
$0.030
$247.500
$0.042
$548.750
$0.267
$730.000
$0.121
$709.583
$0.391
$0.391
$0.391
$5.465
$2.082
$0.615
$0.670
$0.633
$2.353
$1.194
$1.963
$0.016
$38.391
$0.149
$2.360
$0.040
$30.025
$0.120
$2.095
$0.024
$35.603
$0.140
$10.578
$0.380
$87.500
$0.181
$4.834
$0.137
$54.761
$0.160
$63.750
$54.000
$60.500
$95.280
$74.260
$29.400
$20.850
$98.513
$29.400
$20.850
$79.050
$29.400
$20.850
$92.025
$27.500
$22.000
$119.740
$28.767
$21.233
$105.588
$3.504
$0.450
$2.486
$4.247
$3.751
$8.475
$369,945.000
$466,492.000
$193,749.959
$4,442.759
$8.189
$369,945.000
$466,492.000
$28,160.937
$4,896.085
$21,200.775
$24,276.600
$22,226.050
$25,734.940
$22,712.163
$4,769.200
$10,066.336
$4,741.420
$5,401.295
$4,759.940
$8,511.323
$5,978.210
$9,764.720
$5,172.203
$9,965.798
$350,736.063
$445,074.250
$2,222.500
$30,143.000
$2,222.500
$30,143.000
$2,222.500
$30,143.000
$2,500.000
$52,970.000
$2,315.000
$37,752.000
$19,334.532
$35,081.087
$24,583.384
$37,012.544
$25,227.202
$9,612.753
$757.256
$1,977.253
$5,788.750
$7,719.300
$9,541.385
$14,087.605
$33,628.850
$11,161.000
$849.673
$1,576.010
$4,795.000
$7,719.300
$26,579.539
$16,243.420
$31,378.400
$10,128.835
$788.062
$1,843.505
$5,457.500
$7,719.300
$15,220.770
$14,806.210
$32,878.700
$12,560.500
$950.337
$1,576.100
$4,625.073
$8,715.000
$26,700.265
$17,709.840
$35,015.480
$10,595.335
$821.616
$1,843.535
$5,400.858
$8,051.200
$15,261.011
$15,295.017
$34,091.060
CMS 2019
Price
Description
PriorCMS
2022 Price
PriorCMS
2020 Price
$8.379
$10.810
$9.253
$369,945.000 $410,303.322 $383,397.774
$466,492.000 $479,753.320 $4 70,912.440
$138,553.619 $225,143.420 $204,214.446
$4,593.868
$4,896.085
$4,593.868
$382,182.125 $486,912.125 $396,128.083
average between the previous market
research and the newly submitted
invoices in these cases. In some cases
the submitted invoices were not
representative of market prices, such as
for the centrifuge with rotor (EP007)
equipment item where the invoice price
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CMS 2020
Price
$4.606
of $8,563 appeared to be an outlier. We
did not use the invoices to calculate our
pricing recommendation in these
situations and instead continued to rely
on our prior pricing data. In other
instances, such as for the kit, probe,
cryoablation, prostate (Galil-Endocare)
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(SA099) supply item, our research
indicated that the submitted invoice
price was more representative of the
commercial price than our CY 2019
research and pricing. We are proposing
the new invoice prices for these supply
and equipment items due to our belief
in their greater accuracy.
For some of the remaining supply and
equipment items, such as the five-gallon
paraffin (EP031) equipment and the
Olympus DP21 camera (EP089)
equipment, we maintained the extant
pricing for CY 2019 due to a lack of
sufficient data to update the pricing. In
these situations where we did not have
an updated price for CY 2019, we
believe that the newly submitted
invoices are more representative of the
current commercial prices that are being
paid on the market. We are again
proposing the new invoice prices for
these supply and equipment items due
to our belief in their greater accuracy.
In addition, we were alerted by
stakeholders that the price of the EM
visit pack (SA047) supply did not match
the sum of the component prices of the
supplies included in the pack. After
reviewing the prices of the individual
component supplies, we agree with the
stakeholders that there was a
discrepancy in the previous pricing of
this supply pack. We are proposing to
update the price of the EM visit pack to
$5.47 to match the sum of the prices of
the component supplies, and proposing
to continue to transition towards this
price over the remaining years of the
phase-in period.
We finalized a policy last year to
phase in the new supply and equipment
pricing over 4 years so that supply and
equipment values transition smoothly
from their current prices to the final
updated prices in CY 2022. We finalized
our proposal to implement this pricing
transition such that one quarter of the
difference between the current price and
the fully phased in price was
implemented for CY 2019, one third of
the difference between the CY 2019
price and the final price is implemented
for CY 2020, and one half of the
difference between the CY 2020 price
and the final price is implemented for
CY 2021, with the new direct PE prices
fully implemented for CY 2022. An
example of the transition from the
current to the fully-implemented new
pricing is provided in Table 8. For CY
2020, one third of the difference
between the CY 2019 price and the final
price will be implemented as per the
previously finalized policy.
The full list of updated supply and
equipment pricing as it will be
implemented over the 4-year transition
period will be made available as a
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public use file displayed on the CMS
website under downloads for the CY
2020 PFS proposed rule at https://
www.cms.gov/Medicare/Medicare-Feefor-Service-Payment/Physician
FeeSched/PFS-Federal-RegulationNotices.html.
(2) Invoice Submission
We routinely accept public
submission of invoices as part of our
process for developing payment rates for
new, revised, and potentially misvalued
codes. Often these invoices are
submitted in conjunction with the RUCrecommended values for the codes. For
CY 2020, we noted that some
stakeholders have submitted invoices
for new, revised, or potentially
misvalued codes after the February 10th
deadline established for code valuation
recommendations. To be included in a
given year’s proposed rule, we generally
need to receive invoices by the same
February 10th deadline we noted for
consideration of RUC recommendations.
However, we would consider invoices
submitted as public comments during
the comment period following the
publication of the PFS proposed rule,
and would consider any invoices
received after February 10th or outside
of the public comment process as part
of our established annual process for
requests to update supply and
equipment prices.
(3) Adjustment to Allocation of Indirect
PE for Some Office-Based Services
In the CY 2018 PFS final rule (82 FR
52999 through 53000), we established
criteria for identifying the services most
affected by the indirect PE allocation
anomaly that does not allow for a site
of service differential that accurately
reflects the relative indirect costs
involved in furnishing services in
nonfacility settings. We also finalized a
modification in the PE methodology for
allocating indirect PE RVUs to better
reflect the relative indirect PE resources
involved in furnishing these services.
The methodology, as described, is based
on the difference between the ratio of
indirect PE to work RVUs for each of the
codes meeting eligibility criteria and the
ratio of indirect PE to work RVU for the
most commonly reported visit code. We
refer readers to the CY 2018 PFS final
rule (82 FR 52999 through 53000) for a
discussion of our process for selecting
services subject to the revised
methodology, as well as a description of
the methodology, which we began
implementing for CY 2018 as the first
year of a 4-year transition. For CY 2020,
we are proposing to continue with the
third year of the transition of this
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adjustment to the standard process for
allocating indirect PE.
C. Determination of Malpractice
Relative Value Units (RVUs)
1. Overview
Section 1848(c) of the Act requires
that each service paid under the PFS be
composed of three components: Work,
PE, and malpractice (MP) expense. As
required by section 1848(c)(2)(C)(iii) of
the Act, beginning in CY 2000, MP
RVUs are resource based. Section
1848(c)(2)(B)(i) of the Act also requires
that we review, and if necessary adjust,
RVUs no less often than every 5 years.
In the CY 2015 PFS final rule with
comment period, we implemented the
third review and update of MP RVUs.
For a comprehensive discussion of the
third review and update of MP RVUs,
see the CY 2015 proposed rule (79 FR
40349 through 40355) and final rule
with comment period (79 FR 67591
through 67596). In the CY 2018
proposed rule (82 FR 33965 through
33970), we proposed to update the
specialty-level risk factors used in the
calculation of MP RVUs, prior to the
next required 5 year update (CY 2020),
using the updated MP premium data
that were used in the eighth Geographic
Practice Cost Index (GPCI) update for
CY 2017; however the proposal was
ultimately not finalized for CY 2018.
We consider the following factors
when we determine MP RVUs for
individual PFS services: (1) Specialtylevel risk factors derived from data on
specialty-specific MP premiums
incurred by practitioners; (2) servicelevel risk factors derived from Medicare
claims data of the weighted average risk
factors of the specialties that furnish
each service; and (3) an intensity/
complexity of service adjustment to the
service-level risk factor based on either
the higher of the work RVU or clinical
labor portion of the direct PE RVU. Prior
to CY 2016, MP RVUs were only
updated once every 5 years, except in
the case of new and revised codes.
As explained in the CY 2011 PFS final
rule with comment period (75 FR
73208), MP RVUs for new and revised
codes effective before the next 5-year
review of MP RVUs were determined
either by a direct crosswalk from a
similar source code or by a modified
crosswalk to account for differences in
work RVUs between the new/revised
code and the source code. For the
modified crosswalk approach, we
adjusted (or scaled) the MP RVU for the
new/revised code to reflect the
difference in work RVU between the
source code and the new/revised work
RVU (or, if greater, the difference in the
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clinical labor portion of the fully
implemented PE RVU) for the new code.
For example, if the proposed work RVU
for a revised code was 10 percent higher
than the work RVU for its source code,
the MP RVU for the revised code would
be increased by 10 percent over the
source code MP RVU. Under this
approach, the same risk factor was
applied for the new/revised code and
source code, but the work RVU for the
new/revised code was used to adjust the
MP RVUs for risk.
In the CY 2016 PFS final rule with
comment period (80 FR 70906 through
70910), we finalized a policy to begin
conducting annual MP RVU updates to
reflect changes in the mix of
practitioners providing services (using
Medicare claims data), and to adjust MP
RVUs for risk for intensity and
complexity (using the work RVU or
clinical labor RVU). We also finalized a
policy to modify the specialty mix
assignment methodology (for both MP
and PE RVU calculations) to use an
average of the three most recent years of
data instead of a single year of data.
Under this approach, for new and
revised codes, we generally assign a
specialty-level risk factor to individual
codes based on the same utilization
assumptions we make regarding
specialty mix we use for calculating PE
RVUs and for PFS budget neutrality. We
continue to use the work RVU or
clinical labor RVU to adjust the MP
RVU for each code for intensity and
complexity. In finalizing this policy, we
stated that the specialty-level risk
factors would continue to be updated
through notice and comment
rulemaking every 5 years using updated
premium data, but would remain
unchanged between the 5-year reviews.
Section 1848(e)(1)(C) of the Act
requires us to review, and if necessary,
adjust the GPCIs at least every 3 years.
For CY 2020, we are conducting the
statutorily required 3-year review of the
GPCIs, which coincides with the
statutorily required 5-year review of the
MP RVUs. We note that the MP
premium data used to update the MP
GPCIs are the same data used to
determine the specialty-level risk
factors, which are used in the
calculation of MP RVUs. Going forward,
we believe it would be logical and
efficient to align the update of MP
premium data used to determine the MP
RVUs with the update of the MP GPCI.
Therefore, we are proposing to align the
update of MP premium data with the
update to the MP GPCIs, that is, we are
proposing to review, and if necessary
update the MP RVUs at least every 3
years, similar to our review and update
of the GPCIs. If we align the two
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updates, we would conduct the next
statutorily-mandated review and update
of both the GPCI and MP RVU for
implementation in CY 2023. We are
proposing to implement the fourth
comprehensive review and update of
MP RVUs for CY 2020 and are seeking
comment on these proposals.
2. Methodology for the Proposed
Revision of Resource-Based Malpractice
RVUs
a. General Discussion
We calculated the proposed MP RVUs
using updated malpractice premium
data obtained from state insurance rate
filings. The methodology used in
calculating the proposed CY 2020
review and update of resource-based MP
RVUs largely parallels the process used
in the CY 2015 update; however, we are
proposing to incorporate several
methodological refinements, which are
described below in this proposed rule.
The MP RVU calculation requires us to
obtain information on specialty-specific
MP premiums that are linked to specific
services, and using this information, we
derive relative risk factors for the
various specialties that furnish a
particular service. Because MP
premiums vary by state and specialty,
the MP premium information must be
weighted geographically and by
specialty. We calculated the proposed
MP RVUs using four data sources:
Malpractice premium data presumed to
be in effect as of December 31, 2017; CY
2018 Medicare payment and utilization
data; higher of the CY 2020 proposed
work RVUs or the clinical labor portion
of the direct PE RVUs; and CY 2019
GPCIs. We will use the higher of the CY
2020 final work RVUs or clinical labor
portion of the direct PE RVUs in our
calculation to develop the CY 2020 final
MP RVUs while maintaining overall
PFS budget neutrality.
Similar to the CY 2015 update, the
proposed MP RVUs were calculated
using specialty-specific malpractice
premium data because they represent
the expense incurred by practitioners to
obtain malpractice insurance as
reported by insurers. For CY 2020, the
most current malpractice premium data
available, with a presumed effective
date of no later than December 31, 2017,
were obtained from insurers with the
largest market share in each state. We
identified insurers with the largest
market share using the National
Association of Insurance Commissioners
(NAIC) market share report. This annual
report provides state-level market share
for entities that provide premium
liability insurance (PLI) in a state.
Premium data were downloaded from
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40505
the System for Electronic Rates & Forms
Filing Access Interface (SERFF)
(accessed from the NAIC website) for
participating states. For non-SERFF
states, data were downloaded from the
state-specific website (if available
online) or obtained directly from the
state’s alternate access to filings. For
SERFF states and non-SERFF states with
online access to filings, the 2017 market
share report was used to select
companies. For non-SERFF states
without online access to filings, the
2016 market share report was used to
identify companies. These were the
most current data available during the
data collection and acquisition process.
Malpractice insurance premium data
were collected from all 50 States, and
the District of Columbia. Efforts were
made to collect filings from Puerto Rico;
however, no recent filings were
submitted at the time of data collection
and therefore filings from the previous
update were used. Consistent with the
CY 2015 update, no filings were
collected for the other U.S. territories:
American Samoa, Guam, Virgin Islands,
or Northern Mariana Islands.
Malpractice premiums were collected
for coverage limits of $1 million/$3
million, mature, claims-made policies
(policies covering claims made, rather
than those covering losses occurring,
during the policy term). A $1 million/
$3 million liability limit policy means
that the most that would be paid on any
claim is $1 million and the most that the
policy would pay for claims over the
timeframe of the policy is $3 million.
Adjustments were made to the premium
data to reflect mandatory surcharges for
patient compensation funds (PCF, funds
used to pay for any claim beyond the
state’s statutory amount, thereby
limiting an individual physician’s
liability in cases of a large suit) in states
where participation in such funds is
mandatory.
Premium data were included for all
physician and NPP specialties, and all
risk classifications available in the
collected rate filings. Although
premium data were collected from all
states, the District of Columbia, and
previous filings for Puerto Rico were
utilized, not all specialties had distinct
premium data in the rate filings from all
states. In previous updates, specialties
for which premium data were not
available for at least 35 states, and
specialties for which there were not
distinct risk groups (surgical, nonsurgical, and surgical with obstetrics)
among premium data in the rate filings,
were crosswalked to a similar specialty,
either conceptually or based on
available premium data. This resulted in
not using those premium data because
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the 35 state threshold was not met. In
this proposed CY 2020 update, we note
that the proposed methodological
improvement discussed below in this
proposed rule expands the specialties
and amount of filings data used to
develop the proposed risk factors,
which are used to develop the proposed
MP RVUs.
b. Proposed Methodological
Refinements
For the CY 2020 update, we are
proposing the following methodological
improvements to the development of
MP premium data:
(1) Downloading and using a broader
set of filings from the largest market
share insurers in each state, beyond
those listed as ‘‘physician’’ and
‘‘surgeon’’ to obtain a more
comprehensive data set.
(2) Combining minor surgery and
major surgery premiums to create the
surgery service risk group, which yields
a more representative surgical risk
factor. In the previous update, only
premiums for major surgery were used
in developing the surgical risk factor.
(3) Utilizing partial and total
imputation to develop a more
comprehensive data set when CMS
specialty names are not distinctly
identified in the insurer filings, which
sometimes use unique specialty names.
In instances where insurers report
data for some (but not all) specialties
that explicitly corresponded to a CMS
specialty, where those data were
missing, we propose to use partial
imputation based on available data to
establish what the premiums would
likely have been had that specialty been
delineated in the filing. In instances
where there are no data corresponding
to a CMS specialty in the filing, we
propose to use total imputation to
establish premiums.
For example, if a specialty of Sleep
Medicine is listed on the insurer’s rate
filing, this rate will be matched to the
CMS specialty Sleep Medicine (C0).
However, if the Sleep Medicine
specialty is not listed on the insurer’s
rate filing, under our proposed
methodology, the insurer’s rate filing for
General Practice would be matched to
the CMS specialty of Sleep Medicine
(C0). In this example, we believe
General Practice is likely to be
consistent with the rate that a Sleep
Medicine provider would be charged by
that insurer. This proposed
methodological improvement means
that instead of discarding specialtyspecific information from some insurers’
filings because other insurers lacked
that same level of detail, we would
instead impute the missing rates at the
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insurer/specialty level in an effort to
utilize as much of the information from
the filings as possible.
We are seeking comment on these
proposed methodological
improvements. Additional technical
details are available in our interim
report, ‘‘Interim Report for the CY 2020
Update of GPCIs and MP RVUs for the
Medicare Physician Fee Schedule,’’ on
our website. It is located under the
supporting documents section for the
CY 2020 PFS proposed rule located at
https://www.cms.gov/Medicare/
Medicare-Fee-for-Service-Payment/
PhysicianFeeSched/.
c. Steps for Calculating Malpractice
RVUs
Calculation of the proposed MP RVUs
conceptually follows the specialtyweighted approach used in the CY 2015
final rule with comment period (79 FR
67591), along with the above proposed
methodological improvements. The
specialty-weighted approach bases the
MP RVUs for a given service on a
weighted average of the risk factors of
all specialties furnishing the service.
This approach ensures that all
specialties furnishing a given service are
reflected in the calculation of the MP
RVUs. The steps for calculating the
proposed MP RVUs are described
below.
Step (1): Compute a preliminary
national average premium for each
specialty.
Insurance rating area malpractice
premiums for each specialty are mapped
to the county level. The specialty
premium for each county is then
multiplied by its share of the total U.S.
population (from the U.S. Census
Bureau’s 2013–2017 American
Community Survey (ACS) 5-year
estimates). This is in contrast to the
method used for creating national
average premiums for each specialty in
the 2015 update; in that update,
specialty premiums were weighted by
the total RVU per county, rather than by
the county share of the total U.S.
population. We refer readers to the CY
2016 PFS final rule with comment
period (80 FR 70909) for a discussion of
why we have adopted a weighting
method based on share of total U.S.
population. This calculation is then
divided by the average MP GPCI across
all counties for each specialty to yield
a normalized national average premium
for each specialty. The specialty
premiums are normalized for geographic
variation so that the locality cost
differences (as reflected by the 2019
GPCIs) would not be counted twice.
Without the geographic variation
adjustment, the cost differences among
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fee schedule areas would be reflected
once under the methodology used to
calculate the MP RVUs and again when
computing the service specific payment
amount for a given fee schedule area.
Step (2): Determine which premium
service risk groups to use within each
specialty.
Some specialties had premium rates
that differed for surgery, surgery with
obstetrics, and non-surgery. These
premium classes are designed to reflect
differences in risk of professional
liability and the cost of malpractice
claims if they occur. To account for the
presence of different classes in the
malpractice premium data and the task
of mapping these premiums to
procedures, we calculated distinct risk
factors for surgical, surgical with
obstetrics, and nonsurgical procedures
where applicable. However, the
availability of data by surgery and nonsurgery varied across specialties.
Historically, no single approach
accurately addressed the variability in
premium class among specialties, and
we previously employed several
methods for calculating average
premiums by specialty. These methods
are discussed below.
Developing Distinct Service Risk
Groups: We determined that there were
sufficient data for surgery and nonsurgery premiums, as well as sufficient
differences in rates between classes for
15 specialties (there were 10 such
specialties in the CY 2015 update).
These specialties are listed in Table 10.
Additionally, as described in the
proposed methodological refinements,
in some instances, we combined minor
surgery and major surgery premiums to
create a premium to develop the surgery
service risk group, rather than discard
minor surgery premium data as was
done in the previous update. Therefore,
we calculated a national average
surgical premium and non-surgical
premium for those specialties. For all
other specialties (those that are not
listed in Table 10) that typically do not
distinguish premiums as described
above, a single risk factor was
calculated, and that specialty risk factor
was applied to all services performed by
those specialties.
This is consistent with prior practice;
however, we have refined the
nomenclature to more precisely describe
that some specialties are delineated into
service risk groups, as is the case for
surgical, non-surgical, and surgical with
obstetrics, and some specialties are not
further delineated into service risk
subgroups and are instead referred to as
‘‘All’’—meaning that all services
performed by that specialty receive the
same risk factor.
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TABLE 10—PROPOSED SPECIALTIES SUBDIVIDED INTO SERVICE RISK GROUPS
Service risk groups
Specialties
Surgery/No Surgery .................
Otolaryngology (04), Cardiology (06), Dermatology (07), Gastroenterology (10), Neurology (13), Ophthalmology
(18), Urology (34), Geriatric Medicine (38), Nephrology (39), Endocrinology (46), Podiatry (48), Emergency
Medicine (93).
General Practice (01), Family Practice (08), OB/GYN (16).
Surgery/No Surgery/OB ...........
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Step (3): Calculate a risk factor for
each specialty.
The relative differences in national
average premiums between specialties
are expressed in our methodology as a
specialty-level risk factor. These risk
factors are calculated by dividing the
national average premium for each
specialty by the national average
premium for the specialty with the
lowest premiums for which we had
sufficient and reliable data, which
remains allergy and immunology (03).
For specialties with rate filings that are
indicative of sufficient surgical and nonsurgical premium data, we recognized
those service-risk groups (that is,
surgical, and non-surgical) as risk
groups of the specialty and we
calculated both a surgical and nonsurgical risk factor. Similarly, for
specialties with rate filings that
distinguished surgical premiums with
obstetrics, we recognized that servicerisk subgroup of the specialty and
calculated a separate surgical with
obstetrics risk factor.
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(a) Technical Component (TC) Only
Services
We note that for determining the risk
factor for suppliers of TC-only services
in the CY 2015 update, we updated the
premium data for independent
diagnostic testing facilities (IDTFs) that
we used in the CY 2010 update. Those
data were obtained from a survey
conducted by the Radiology Business
Management Association (RBMA) in
2009; we ultimately used those data to
calculate an updated TC specialty risk
factor. We applied the updated TC
specialty risk factor to suppliers of TConly services. In the CY 2015 final rule
with comment period (79 FR 67595),
RBMA voluntarily submitted updated
MP premium information collected from
IDTFs in 2014, and requested that we
use the data for calculating the CY 2015
MP RVUs for TC-only services. We
declined to utilize the data and stated
that we believe further study is
necessary and we would consider this
matter and propose any changes through
future rulemaking. We continue to
believe that data for a broader set of TC-
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only services are needed, and are
working to acquire a broader set of data.
For CY 2020, we propose to assign a
risk factor of 1.00 for TC-only services,
which corresponds to the lowest
physician specialty-level risk factor. We
assigned the risk factor of 1.00 to the
TC-only services because we do not
have sufficient comparable professional
liability premium data for the full range
of clinicians that furnish TC-only
services. In lieu of comprehensive,
comparable data, we propose to assign
1.00, the lowest physician specialtylevel risk factor calculated using the
updated premium data, as the default
minimum risk factor. However, we seek
information on the most comparable
and appropriate proxy for the broader
set of TC-only services for future use, as
well as any empirical information that
would support assignment of an
alternative risk factor for these services.
Table 11 shows the proposed risk
factors by specialty type and service risk
group.
BILLING CODE 4120–01–P
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Medicare Specialty Code and N arne
0 1-General practice
0 1-General practice
0 1-General practice
02-General surgery
03-Allergy/immunology
04-0tolaryngology
04-0tolaryngology
0 5-Anesthesiology
06-Cardiology
06-Cardiology
07 -Dermatology
07 -Dermatology
08-Family practice
08-Family practice
08-Family practice
09-Interventional pain management
10-Gastroenterology
10-Gastroenterology
11-Internal medicine
12-0steopathic manipulative therapy
13-Neurology
13-Neurology
14-Neurosurgery
15-Speech language pathology
16-0bstetrics/gynecology
16-0bstetrics/gynecology
16-0bstetrics/gynecology
17 -Hospice & palliative care
18-0phthalmology
18-0phthalmology
19-0ral surgery
20-0rthopedic surgery
21-Cardiac electrophysiology
22-Pathology
23-Sports medicine
24-Plastic and reconstructive surgery
25-Physical medicine and rehabilitation
26-Psychiatry
27 -Geriatric psychiatry
28-Colorectal surgery
29-Pulmonary disease
30-Diagnostic radiology
31-Intensive cardiac rehab
32-Anesthesiologist assistants
33-Thoracic surgery
34-Urology
34-Urology
35-Chiropractic
36-Nuclear medicine
37-Pediatric medicine
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2020 Sencice Risk Group
NO SURG
SURG
OB
ALL
ALL
NO SURG
SURG
ALL
NO SURG
SURG
NO SURG
SURG
NO SURG
SURG
OB
ALL
NOSURG
SURG
ALL
ALL
NO SURG
SURG
ALL
ALL
NO SURG
SURG
OB
ALL
NO SURG
SURG
ALL
ALL
ALL
ALL
ALL
ALL
ALL
ALL
ALL
ALL
ALL
ALL
ALL
ALL
ALL
NO SURG
SURG
ALL
ALL
ALL
Fmt 4701
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2020 Risk Factor
1.63
2.86
3.70
6.81
1.00
1.64
3.10
2.20
1.89
6.06
1.16
2.14
1.63
2.58
3.69
2.80
1.90
2.51
1.76
1.00
2.24
9.60
9.60
1.00
1.86
3.72
7.81
1.00
1.17
2.01
2.41
5.51
1.89
1.51
1.66
4.97
1.38
1.02
1.02
3.57
2.06
2.25
1.89
0.60
6.43
1.75
3.07
0.52
1.23
1.78
14AUP2
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TABLE 11: CY 2020 Proposed Risk Factors by Specialty and Service Risk Group
Medicare Specialty Code and N arne
38-Geriatric medicine
38-Geriatric medicine
39-Nephrology
39-Nephrology
40-Hand surgery
41-0ptometry
42-Certified nurse midwife
43-CRNA
44-Infectious disease
45-11ammography screening center
46-Endocrinology
46-Endocrinology
47-Independent diagnostic testing facility
48-Podiatry
48-Podiatry
62-Psychologist
63-Portable x-ray supplier
64-Audiologist
65-Physical therapist
66-Rheumatology
67-0ccupational therapist
68-Clinical psychologist
69-Clinicallaboratory
70-11ultispecialty clinic or group practice
71-Registered dietician/nutrition professional
72-Pain management
75-Slide preparation facilities
76-Peripheral vascular disease
77-Vascular surgery
78-Cardiac surgery
79-Addiction medicine
SO-Licensed clinical social worker
81-Critical care (intensivists)
82-Hematology
83-Hematology/oncology
84-Preventive medicine
85-11axillofacial surgery
86-Neuropsychiatry
90-11edical oncology
91-Surgical oncology
92-Radiation oncology
93-Emergency medicine
93-Emergency medicine
94-Interventional radiology
98-Gynecologist/oncologist
99-Unknown physician specialty
CO-Sleep medicine
CO-Sleep medicine
C3-Interventional cardiology
C6-Hospitalist
C7 -Advanced heart failure & transplant cardiology
BILLING CODE 4120–01–C
Step (4): Calculate malpractice RVUs
for each CPT/HCPCS code.
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2020 Sencice Risk Group
NO SURG
SURG
NO SURG
SURG
ALL
ALL
ALL
ALL
ALL
ALL
NO SURG
SURG
ALL
NO SURG
SURG
ALL
ALL
ALL
ALL
ALL
ALL
ALL
ALL
ALL
ALL
ALL
ALL
ALL
ALL
ALL
ALL
ALL
ALL
ALL
ALL
ALL
ALL
ALL
ALL
ALL
ALL
NO SURG
SURG
ALL
ALL
ALL
ALL
ALL
ALL
ALL
ALL
Resource-based MP RVUs were
calculated for each CPT/HCPCS code
that has work or PE RVUs. The first step
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40509
2020 Risk Factor
1.49
2.34
1.67
2.50
4.42
0.17
2.06
0.68
2.11
1.00
1.59
2.67
1.00
1.27
2.10
1.00
1.00
1.00
1.00
1.63
1.00
1.00
1.00
2.10
1.00
2.77
1.00
6.75
6.75
6.06
1.00
1.00
2.27
1.79
1.85
1.38
2.61
1.02
1.86
6.46
2.03
3.00
4.92
2.76
3.72
2.10
1.61
1.61
5.92
2.13
6.06
was to identify the percentage of
services furnished by each specialty for
each respective CPT/HCPCS code. This
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percentage was then multiplied by each
respective specialty’s risk factor as
calculated in Step 3. The products for
all specialties for the CPT/HCPCS code
were then added together, yielding a
specialty-weighted service specific risk
factor reflecting the weighted
malpractice costs across all specialties
furnishing that procedure. The service
specific risk factor was multiplied by
the greater of the work RVU or clinical
labor portion of the direct PE RVU for
that service, to reflect differences in the
complexity and risk-of-service between
services.
Low volume service codes: As we
discussed above in this proposed rule,
for low volume services code, we
finalized the proposal in the CY 2018
PFS final rule (82 FR 53000 through
53006) to apply the list of expected
specialties instead of the claims-based
specialty mix for low volume services to
address stakeholder concerns about the
year to year variability in PE and MP
RVUs for low volume services (which
also includes no volume services); these
are defined as codes that have 100
allowed services or fewer. These
service-level overrides are used to
determine the specialty for low volume
procedures for both PE and MP.
In the CY 2018 PFS final rule (82 FR
53000 through 53006), we also finalized
our proposal to eliminate general use of
an MP-specific specialty-mix crosswalk
for new and revised codes. However, we
indicated that we would continue to
consider, in conjunction with annual
recommendations, specific
recommendations regarding specialty
mix assignments for new and revised
codes, particularly in cases where
coding changes are expected to result in
differential reporting of services by
specialty, or where the new or revised
code is expected to be low-volume.
Absent such information, the specialty
mix assumption for a new or revised
code would derive from the analytic
crosswalk in the first year, followed by
the introduction of actual claims data,
which is consistent with our approach
for developing PE RVUs.
For CY 2020, we are soliciting public
comment on the list of expected
specialties. We also note that the list has
been updated to include a column
indicating if a service is identified as a
low volume service for CY 2020, and
therefore, whether or not the servicelevel override is being applied for CY
2020. The proposed list of codes and
expected specialties is available on our
website under downloads for the CY
2020 PFS proposed rule at https://
www.cms.gov/Medicare/Medicare-Feefor-Service-Payment/Physician
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FeeSched/PFS-Federal-RegulationNotices.html.
Step (5): Rescale for budget neutrality.
The statute requires that changes to
fee schedule RVUs must be budget
neutral. Thus, the last step is to adjust
for relativity by rescaling the proposed
MP RVUs so that the total proposed
resource based MP RVUs are equal to
the total current resource based MP
RVUs scaled by the ratio of the pools of
the proposed and current MP and work
RVUs. This scaling is necessary to
maintain the work RVUs for individual
services from year to year while also
maintaining the overall relationship
among work, PE, and MP RVUs.
Specialties Excluded from Ratesetting
Calculation: In section II.B. of this
proposed rule, Determination of Practice
Expense Relative Value Units, we
discuss specialties that are excluded
from ratesetting for the purposes of
calculating PE RVUs. We are proposing
to treat those excluded specialties in a
consistent manner for the purposes of
calculating MP RVUs. We note that all
specialties are included for purposes of
calculating the final BN adjustment. The
list of specialties excluded from the
ratesetting calculation for the purpose of
calculating the PE RVUs that we are
proposing to also exclude for the
purpose of calculating MP RVUs is
available in section II.B. of this
proposed rule, Determination of Practice
Expense Relative Value Units. The
proposed resource based MP RVUs are
shown in Addendum B, which is
available on the CMS website under the
downloads section of the CY 2020 PFS
rule at https://www.cms.gov/Medicare/
Medicare-Fee-for-Service-Payment/
PhysicianFeeSched/.
Because a different share of the
resources involved in furnishing PFS
services is reflected in each of the three
fee schedule components,
implementation of the resource-based
MP RVU update will have much smaller
payment effects than implementing
updates of resource-based work RVUs
and resource-based PE RVUs. On
average, work represents about 50.9
percent of payment for a service under
the fee schedule, PE about 44.8 percent,
and MP about 4.3 percent. Therefore, a
25 percent change in PE RVUs or work
RVUs for a service would result in a
change in payment of about 11 to 13
percent. In contrast, a corresponding 25
percent change in MP values for a
service would yield a change in
payment of only about 1 percent.
Estimates of the effects on payment by
specialty type can be found in section
VI. of this proposed rule, Regulatory
Impact Analysis.
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Additional information on our
proposed methodology for updating the
MP RVUs is available in the ‘‘Interim
Report for the CY 2020 Update of GPCIs
and MP RVUs for the Medicare
Physician Fee Schedule,’’ which is
available on the CMS website under the
downloads section of the CY 2020 PFS
proposed rule at https://www.cms.gov/
Medicare/Medicare-Fee-for-ServicePayment/PhysicianFeeSched/
index.html.
D. Geographic Practice Cost Indices
(GPCIs)
1. Background
Section 1848(e)(1)(A) of the Act
requires us to develop separate
Geographic Practice Cost Indices
(GPCIs) to measure relative cost
differences among localities compared
to the national average for each of the
three fee schedule components (that is,
work, practice expense (PE), and
malpractice (MP)). We discuss the
localities established under the PFS
below in this section. Although the
statute requires that the PE and MP
GPCIs reflect full relative cost
differences, section 1848(e)(1)(A)(iii) of
the Act requires that the work GPCIs
reflect only one-quarter of the relative
cost differences compared to the
national average. In addition, section
1848(e)(1)(G) of the Act sets a
permanent 1.5 work GPCI floor for
services furnished in Alaska beginning
January 1, 2009, and section
1848(e)(1)(I) of the Act sets a permanent
1.0 PE GPCI floor for services furnished
in frontier states (as defined in section
1848(e)(1)(I) of the Act) beginning
January 1, 2011. Additionally, section
1848(e)(1)(E) of the Act provided for a
1.0 floor for the work GPCIs, which was
set to expire at the end of 2017. Section
50201 of the Bipartisan Budget Act of
2018 (BBA of 2018) (Pub. L. 115–123,
enacted February 9, 2018) amended the
statute to extend the 1.0 floor for the
work GPCIs through CY 2019 (that is,
for services furnished no later than
December 31, 2019).
Section 1848(e)(1)(C) of the Act
requires us to review and, if necessary,
adjust the GPCIs at least every 3 years.
Section 1848(e)(1)(C) of the Act requires
that, if more than 1 year has elapsed
since the date of the last previous GPCI
adjustment, the adjustment to be
applied in the first year of the next
adjustment shall be 1⁄2 of the adjustment
that otherwise would be made.
Therefore, since the previous GPCI
update was implemented in CYs 2017
and 2018, we are proposing to phase in
1⁄2 of the latest GPCI adjustment in CY
2020.
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We have completed a review of the
GPCIs and are proposing new GPCIs in
this proposed rule. We also calculate a
geographic adjustment factor (GAF) for
each PFS locality. The GAFs are a
weighted composite of each PFS
localities work, PE and MP expense
GPCIs using the national GPCI cost
share weights. While we do not actually
use GAFs in computing the fee schedule
payment for a specific service, they are
useful in comparing overall areas costs
and payments. The actual effect on
payment for any actual service would
deviate from the GAF to the extent that
the proportions of work, PE and MP
RVUs for the service differ from those of
the GAF.
As noted above, section 50201 of the
BBA of 2018 extended the 1.0 work
GPCI floor for services furnished only
through December 31, 2019. Therefore,
the proposed CY 2020 work GPCIs and
summarized GAFs do not reflect the 1.0
work floor. However, as required by
sections 1848(e)(1)(G) and (I) of the Act,
the 1.5 work GPCI floor for Alaska and
the 1.0 PE GPCI floor for frontier states
are permanent, and therefore, applicable
in CY 2020. See Addenda D and E to
this proposed rule for the CY 2020
proposed GPCIs and summarized
proposed GAFs available on the CMS
website under the supporting
documents section of the CY 2020 PFS
proposed rule at https://www.cms.gov/
Medicare/Medicare-Fee-for-ServicePayment/PhysicianFeeSched/
index.html.
2. Payment Locality Background
Prior to 1992, Medicare payments for
physicians’ services were made under
the reasonable charge system. Payments
under this system largely reflected the
charging patterns of physicians, which
resulted in large differences in payment
for physicians’ services among types of
services, physician specialties and
geographic payment areas.
Local Medicare carriers initially
established 210 payment localities, to
reflect local physician charging patterns
and economic conditions. These
localities changed little between the
inception of Medicare in 1967 and the
beginning of the PFS in 1992. In 1994,
we undertook a study that culminated
in a comprehensive locality revision
(based on locality resource cost
differences as reflected by the GPCIs)
that we implemented in 1997. The
development of the current locality
structure is described in detail in the CY
1997 PFS final rule (61 FR 34615) and
the subsequent final rule with comment
period (61 FR 59494). The revised
locality structure reduced the number of
localities from 210 to 89, and increased
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the number of statewide localities from
22 to 34.
Section 220(h) of the Protecting
Access to Medicare Act (PAMA) (Pub. L.
113–93, enacted April 1, 2014) required
modifications to the payment localities
in California for payment purposes
beginning with 2017. As a result, in the
CY 2017 PFS final rule (81 FR 80265
through 80268) we established 23
additional localities, increasing the total
number of PFS localities from 89 to 112.
The 112 payment localities include 34
statewide areas (that is, only one
locality for the entire state) and 75
localities in the other 16 states, with 10
states having two localities, two states
having three localities, one state having
four localities, and three states having
five or more localities. The remainder of
the 112 PFS payment localities are
comprised as follows: The combined
District of Columbia, Maryland, and
Virginia suburbs; Puerto Rico; and the
Virgin Islands. We note that the
localities generally represent a grouping
of one or more constituent counties.
The current 112 fee schedule areas are
defined alternatively by state
boundaries (for example, Wisconsin),
metropolitan areas (for example,
Metropolitan St. Louis, MO), portions of
a metropolitan area (for example,
Manhattan), or rest-of-state areas that
exclude metropolitan areas (for
example, Rest of Missouri). This locality
configuration is used to calculate the
GPCIs that are in turn used to calculate
locality adjusted payments for
physicians’ services under the PFS.
As stated in the CY 2011 PFS final
rule with comment period (75 FR
73261), changes to the PFS locality
structure would generally result in
changes that are budget neutral within
a state. For many years, before making
any locality changes, we have sought
consensus from among the professionals
whose payments would be affected. We
refer readers to the CY 2014 PFS final
rule with comment period (78 FR 74384
through 74386) for further discussion
regarding additional information about
locality configuration considerations.
3. GPCI Update
As required by the statute, we
developed GPCIs to measure relative
cost differences among payment
localities compared to the national
average for each of the three fee
schedule components (that is, work, PE,
and MP). We describe the data sources
and methodologies we use to calculate
each of the three GPCIs below in this
section. Additional information on the
CY 2020 GPCI update is available in an
interim report, ‘‘Interim Report for the
CY 2020 Update of GPCIs and MP RVUs
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40511
for the Medicare Physician Fee
Schedule,’’ on our website located
under the supporting documents section
for the CY 2020 PFS proposed rule at
https://www.cms.gov/Medicare/
Medicare-Fee-for-Service-Payment/
PhysicianFeeSched/.
a. Work GPCIs
The work GPCIs are designed to
reflect the relative cost of physician
labor by Medicare PFS locality. As
required by statute, the work GPCI
reflects one quarter of the relative wage
differences for each locality compared
to the national average.
To calculate the work GPCIs, we use
wage data for seven professional
specialty occupation categories,
adjusted to reflect one-quarter of the
relative cost differences for each locality
compared to the national average, as a
proxy for physicians’ wages. Physicians’
wages are not included in the
occupation categories used in
calculating the work GPCI because
Medicare payments are a key
determinant of physicians’ earnings.
Including physician wage data in
calculating the work GPCIs would
potentially introduce some circularity to
the adjustment since Medicare
payments typically contribute to or
influence physician wages. That is,
including physicians’ wages in the
physician work GPCIs would, in effect,
make the indices, to some extent,
dependent upon Medicare payments.
The work GPCI updates in CYs 2001,
2003, 2005, and 2008 were based on
professional earnings data from the 2000
Census. However, for the CY 2011 GPCI
update (75 FR 73252), the 2000 data
were outdated and wage and earnings
data were not available from the more
recent Census because the ‘‘long form’’
was discontinued. Therefore, we used
the median hourly earnings from the
2006 through 2008 Bureau of Labor
Statistics (BLS) Occupational
Employment Statistics (OES) wage data
as a replacement for the 2000 Census
data. The BLS OES data meet several
criteria that we consider to be important
for selecting a data source for purposes
of calculating the GPCIs. For example,
the BLS OES wage and employment
data are derived from a large sample
size of approximately 200,000
establishments of varying sizes
nationwide from every metropolitan
area and can be easily accessible to the
public at no cost. Additionally, the BLS
OES is updated regularly, and includes
a comprehensive set of occupations and
industries (for example, 800
occupations in 450 industries). For the
CY 2014 GPCI update, we used updated
BLS OES data (2009 through 2011) as a
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replacement for the 2006 through 2008
data to compute the work GPCIs; and for
the CY 2017 GPCI update, we used
updated BLS OES data (2011 through
2014) as a replacement for the 2009
through 2011 data to compute the work
GPCIs.
Because of its reliability, public
availability, level of detail, and national
scope, we believe the BLS OES data
continue to be the most appropriate
source of wage and employment data for
use in calculating the work GPCIs (and
as discussed below, the employee wage
component and purchased services
component of the PE GPCI). Therefore,
for the proposed CY 2020 GPCI update,
we used updated BLS OES data (2014
through 2017) as a replacement for the
2011 through 2014 data to compute the
work GPCIs.
b. Practice Expense (PE) GPCIs
The PE GPCIs are designed to measure
the relative cost difference in the mix of
goods and services comprising PEs (not
including MP expenses) among the PFS
localities as compared to the national
average of these costs. Whereas the
physician work GPCIs (and as discussed
later in this section, the MP GPCIs) are
comprised of a single index, the PE
GPCIs are comprised of four component
indices (employee wages; purchased
services; office rent; and equipment,
supplies and other miscellaneous
expenses). The employee wage index
component measures geographic
variation in the cost of the kinds of
skilled and unskilled labor that would
be directly employed by a physician
practice. Although the employee wage
index adjusts for geographic variation in
the cost of labor employed directly by
physician practices, it does not account
for geographic variation in the cost of
services that typically would be
purchased from other entities, such as
law firms, accounting firms, information
technology consultants, building service
managers, or any other third-party
vendor. The purchased services index
component of the PE GPCI (which is a
separate index from employee wages)
measures geographic variation in the
cost of contracted services that
physician practices would typically
buy. For more information on the
development of the purchased service
index, we refer readers to the CY 2012
PFS final rule with comment period (76
FR 73084 through 73085). The office
rent index component of the PE GPCI
measures relative geographic variation
in the cost of typical physician office
rents. For the medical equipment,
supplies, and miscellaneous expenses
component, we believe there is a
national market for these items such
that there is not significant geographic
variation in costs. Therefore, the
equipment, supplies and other
miscellaneous expense cost index
component of the PE GPCI is given a
value of 1.000 for each PFS locality.
For the previous update to the GPCIs
(implemented in CY 2017), we used
2011 through 2014 BLS OES data to
calculate the employee wage and
purchased services indices for the PE
GPCI. As discussed previously in this
section, because of its reliability, public
availability, level of detail, and national
scope, we continue to believe the BLS
OES is the most appropriate data source
for collecting wage and employment
data. Therefore, in calculating the
proposed CY 2020 GPCI update, we
used updated BLS OES data (2014
through 2017) as a replacement for the
2011 through 2014 data for purposes of
calculating the employee wage
component and purchased service index
component of the PE GPCI. In
calculating the proposed CY 2020 GPCI
update, for the office rent index
component of the PE GPCI we used the
most recently available, 2013 through
2017, American Community Survey
(ACS) 5-year estimates as a replacement
for the 2009 through 2013 ACS data.
c. Malpractice Expense (MP) GPCIs
The MP GPCIs measure the relative
cost differences among PFS localities for
the purchase of professional liability
insurance (PLI). The MP GPCIs are
calculated based on insurer rate filings
of premium data for $1 million to $3
million mature claims-made policies
(policies for claims made rather than
losses occurring during the policy term).
For the CY 2017 GPCI update, we used
2014 and 2015 malpractice premium
data. The proposed CY 2020 MP GPCI
update reflects premium data presumed
in effect as of December 30, 2017. We
note that we finalized a few technical
refinements to the MP GPCI
methodology in CY 2017, and refer
readers to the CY 2017 PFS final rule
(81 FR 80270) for additional discussion.
d. GPCI Cost Share Weights
For CY 2020 GPCIs, we are proposing
to continue to use the current cost share
weights for determining the PE GPCI
values and locality GAFs. We refer
readers to the CY 2014 PFS final rule
with comment period (78 FR 74382
through 74383), for further discussion
regarding the 2006-based MEI cost share
weights revised in CY 2014 that we also
finalized for use in the CY 2017 GPCI
update.
The proposed GPCI cost share weights
for CY 2020 are displayed in Table 12.
TABLE 12—PROPOSED COST SHARE WEIGHTS FOR CY 2020 GPCI UPDATE
Current
cost share weight
(%)
Proposed
CY 2020
cost share weight
(%)
Work .............................................................................................................................................................
Practice Expense .........................................................................................................................................
—Employee Compensation ..................................................................................................................
—Office Rent ........................................................................................................................................
—Purchased Services ..........................................................................................................................
—Equipment, Supplies, Other ..............................................................................................................
Malpractice Insurance ..................................................................................................................................
50.866
44.839
16.553
10.223
8.095
9.968
4.295
50.866
44.839
16.553
10.223
8.095
9.968
4.295
Total ......................................................................................................................................................
100.000
100.000
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Expense category
e. PE GPCI Floor for Frontier States
Section 10324(c) of the Affordable
Care Act added a new subparagraph (I)
under section 1848(e)(1) of the Act to
establish a 1.0 PE GPCI floor for
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physicians’ services furnished in
frontier states effective January 1, 2011.
In accordance with section 1848(e)(1)(I)
of the Act, beginning in CY 2011, we
applied a 1.0 PE GPCI floor for
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physicians’ services furnished in states
determined to be frontier states. In
general, a frontier state is one in which
at least 50 percent of the counties are
‘‘frontier counties,’’ which are those that
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have a population per square mile of
less than 6. For more information on the
criteria used to define a frontier state,
we refer readers to the FY 2011
Inpatient Prospective Payment System
(IPPS) final rule (75 FR 50160 through
50161). There are no changes in the
states identified as Frontier States for
the CY 2020 PFS proposed rule. The
qualifying states are: Montana;
Wyoming; North Dakota; South Dakota;
and Nevada. In accordance with statute,
we would apply a 1.0 PE GPCI floor for
these states in CY 2020.
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f. Methodology for Calculating GPCIs in
the U.S. Territories
Prior to CY 2017, for all the island
territories other than Puerto Rico, the
lack of comprehensive data about
unique costs for island territories had
minimal impact on GPCIs because we
used either the Hawaii GPCIs (for the
Pacific territories: Guam; American
Samoa; and Northern Mariana Islands)
or used the unadjusted national
averages (for the Virgin Islands). In an
effort to provide greater consistency in
the calculation of GPCIs given the lack
of comprehensive data regarding the
validity of applying the proxy data used
in the States in accurately accounting
for variability of costs for these island
territories, in the CY 2017 PFS final rule
(81 FR 80268 through 80270), we
finalized a policy to treat the Caribbean
Island territories (the Virgin Islands and
Puerto Rico) in a consistent manner. We
do so by assigning the national average
of 1.0 to each GPCI index for both
Puerto Rico and the Virgin Islands. We
refer readers to the CY 2017 PFS final
rule for a comprehensive discussion of
this policy.
g. California Locality Update to the Fee
Schedule Areas Used for Payment
Under Section 220(h) of the Protecting
Access to Medicare Act
Section 220(h) of the PAMA added a
new section 1848(e)(6) to the Act that
modified the fee schedule areas used for
payment purposes in California
beginning in CY 2017. Prior to CY 2017,
the fee schedule areas used for payment
in California were based on the revised
locality structure that was implemented
in 1997 as previously discussed.
Beginning in CY 2017, section
1848(e)(6)(A)(i) of the Act required that
the fee schedule areas used for payment
in California must be Metropolitan
Statistical Areas (MSAs) as defined by
the Office of Management and Budget
(OMB) as of December 31 of the
previous year; and section
1848(e)(6)(A)(ii) of the Act required that
all areas not located in an MSA must be
treated as a single rest-of-state fee
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schedule area. The resulting
modifications to California’s locality
structure increased its number of
localities from 9 under the current
locality structure to 27 under the MSAbased locality structure; although for the
purposes of payment the actual number
of localities under the MSA-based
locality structure is 32. We refer readers
to the CY 2017 PFS final rule (81 FR
80267) for a detailed discussion of this
operational consideration.
Section 1848(e)(6)(D) of the Act
defined transition areas as the fee
schedule areas for 2013 that were the
rest-of-state locality, and locality 3,
which was comprised of Marin County,
Napa County, and Solano County.
Section 1848(e)(6)(B) of the Act
specified that the GPCI values used for
payment in a transition area are to be
phased in over 6 years, from 2017
through 2022, using a weighted sum of
the GPCIs calculated under the new
MSA-based locality structure and the
GPCIs calculated under the current PFS
locality structure. That is, the GPCI
values applicable for these areas during
this transition period are a blend of
what the GPCI values would have been
for California under the current locality
structure, and what the GPCI values
would be for California under the MSAbased locality structure. For example, in
CY 2020, which represents the fourth
year, the applicable GPCI values for
counties that were previously in rest-ofstate or locality 3 and are now in MSAs
are a blend of 2⁄3 of the GPCI value
calculated for the year under the MSAbased locality structure, and 1⁄3 of the
GPCI value calculated for the year under
the current locality structure. The
proportions continue to shift by 1⁄6 in
each subsequent year so that, by CY
2021, the applicable GPCI values for
counties within transition areas are a
blend of 5⁄6 of the GPCI value for the
year under the MSA-based locality
structure, and 1⁄6 of the GPCI value for
the year under the current locality
structure. Beginning in CY 2022, the
applicable GPCI values for counties in
transition areas are the values calculated
solely under the new MSA-based
locality structure. For clarity, we
reiterate that this incremental phase-in
is only applicable to those counties that
are in transition areas that are now in
MSAs, which are only some of the
counties in the 2013 California rest-of
state locality and locality 3.
Additionally, section 1848(e)(6)(C) of
the Act establishes a hold harmless for
transition areas beginning with CY 2017
whereby the applicable GPCI values for
a year under the new MSA-based
locality structure may not be less than
what they would have been for the year
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40513
under the current locality structure.
There are a total of 58 counties in
California, 50 of which are in transition
areas as defined in section 1848(e)(6)(D)
of the Act. The eight counties that are
not within transition areas are: Orange;
Los Angeles; Alameda; Contra Costa;
San Francisco; San Mateo; Santa Clara;
and Ventura counties.
For the purposes of calculating budget
neutrality and consistent with the PFS
budget neutrality requirements as
specified under section
1848(c)(2)(B)(ii)(II) of the Act, we
finalized the policy to start by
calculating the national GPCIs as if the
current localities are still applicable
nationwide; then, for the purposes of
payment in California, we override the
GPCI values with the values that are
applicable for California consistent with
the requirements of section 1848(e)(6) of
the Act. This approach is consistent
with the implementation of the GPCI
floor provisions that have previously
been implemented—that is, as an afterthe-fact adjustment that is implemented
for purposes of payment after both the
GPCIs and PFS budget neutrality have
already been calculated.
Additionally, section 1848(e)(1)(C) of
the Act requires that, if more than 1 year
has elapsed since the date of the last
previous GPCI adjustment, the
adjustment to be applied in the first year
of the next adjustment shall be 1⁄2 of the
adjustment that otherwise would be
made. However, since section
1848(e)(6)(B) of the Act provides for a
gradual phase in of the GPCI values
under the new MSA-based locality
structure for California, specifically in
one-sixth increments over 6 years, if we
were to also apply the requirement to
phase in 1⁄2 of the adjustment in year 1
of the GPCI update then the first year
increment would effectively be 1⁄12.
Therefore, in CY 2017, we finalized a
policy that the requirement at section
1848(e)(1)(C) of the Act to phase in 1⁄2
of the adjustment in year 1 of the GPCI
update would not apply to counties that
were previously in the rest-of-state or
locality 3 and are now in MSAs that are
subject to the blended phase-in as
described above in this section. We
reiterate that this is only applicable
through CY 2021 since, beginning in CY
2022, the GPCI values for such areas in
an MSA would be fully based on the
values calculated under the new MSAbased locality structure for California.
For a comprehensive discussion of this
provision, transition areas, and
operational considerations, we refer
readers to the CY 2017 PFS final rule
(81 FR 80265 through 80268).
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h. Refinements to the GPCI
Methodology
In the process of calculating GPCIs for
the purposes of this proposed rule, we
identified two technical refinements to
the methodology that yield
improvements over the current method;
these refinements are applicable to the
work GPCI and the employee wage
index and purchased services index
components of the PE GPCI. We are
proposing to weight by total
employment when computing county
median wages for each occupation code
which addresses the fact that the
occupation wage can vary by industry
within a county. Additionally, we are
also proposing to use a weighted
average when calculating the final
county-level wage index; this removes
the possibility that a county index
would imply a wage of 0 for any
occupation group not present in the
county’s data. These proposed
methodological refinements yield
improved mathematical precision.
Additional information on the GPCI
methodology and the proposed
refinements are available in the interim
report, ‘‘Interim Report for the CY 2020
Update of GPCIs and MP RVUs for the
Medicare Physician Fee Schedule’’ on
our website located under the
supporting documents section of the CY
2020 PFS proposed rule at https://
www.cms.gov/Medicare/Medicare-Feefor-Service-Payment/Physician
FeeSched/.
i. Proposed GPCI Update Summary
As explained above in the
Background section above, the periodic
review and adjustment of GPCIs is
mandated by section 1848(e)(1)(C) of the
Act. At each update, the proposed
GPCIs are published in the PFS
proposed rule to provide an opportunity
for public comment and further
revisions in response to comments prior
to implementation. The proposed CY
2020 updated GPCIs for the first and
second year of the 2-year transition,
along with the GAFs, are displayed in
Addenda D and E to this proposed rule
available on our website under the
supporting documents section of the CY
2020 PFS proposed rule web page at
https://www.cms.gov/Medicare/
Medicare-Fee-for-Service-Payment/
PhysicianFeeSched/.
E. Potentially Misvalued Services Under
the PFS
1. Background
Section 1848(c)(2)(B) of the Act
directs the Secretary to conduct a
periodic review, not less often than
every 5 years, of the RVUs established
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under the PFS. Section 1848(c)(2)(K) of
the Act requires the Secretary to
periodically identify potentially
misvalued services using certain criteria
and to review and make appropriate
adjustments to the relative values for
those services. Section 1848(c)(2)(L) of
the Act also requires the Secretary to
develop a process to validate the RVUs
of certain potentially misvalued codes
under the PFS, using the same criteria
used to identify potentially misvalued
codes, and to make appropriate
adjustments.
As discussed in section II.N. of this
proposed rule, Valuation of Specific
Codes, each year we develop
appropriate adjustments to the RVUs
taking into account recommendations
provided by the RUC, MedPAC, and
other stakeholders. For many years, the
RUC has provided us with
recommendations on the appropriate
relative values for new, revised, and
potentially misvalued PFS services. We
review these recommendations on a
code-by-code basis and consider these
recommendations in conjunction with
analyses of other data, such as claims
data, to inform the decision-making
process as authorized by law. We may
also consider analyses of work time,
work RVUs, or direct PE inputs using
other data sources, such as Department
of Veteran Affairs (VA), National
Surgical Quality Improvement Program
(NSQIP), the Society for Thoracic
Surgeons (STS), and the Merit-based
Incentive Payment System (MIPS) data.
In addition to considering the most
recently available data, we assess the
results of physician surveys and
specialty recommendations submitted to
us by the RUC for our review. We also
consider information provided by other
stakeholders. We conduct a review to
assess the appropriate RVUs in the
context of contemporary medical
practice. We note that section
1848(c)(2)(A)(ii) of the Act authorizes
the use of extrapolation and other
techniques to determine the RVUs for
physicians’ services for which specific
data are not available and requires us to
take into account the results of
consultations with organizations
representing physicians who provide
the services. In accordance with section
1848(c) of the Act, we determine and
make appropriate adjustments to the
RVUs.
In its March 2006 Report to the
Congress (https://www.medpac.gov/docs/
default-source/reports/Mar06_
Ch03.pdf?sfvrsn=0), MedPAC discussed
the importance of appropriately valuing
physicians’ services, noting that
misvalued services can distort the
market for physicians’ services, as well
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as for other health care services that
physicians order, such as hospital
services. In that same report, MedPAC
postulated that physicians’ services
under the PFS can become misvalued
over time. MedPAC stated, ‘‘When a
new service is added to the physician
fee schedule, it may be assigned a
relatively high value because of the
time, technical skill, and psychological
stress that are often required to furnish
that service. Over time, the work
required for certain services would be
expected to decline as physicians
become more familiar with the service
and more efficient in furnishing it.’’ We
believe services can also become
overvalued when PE declines. This can
happen when the costs of equipment
and supplies fall, or when equipment is
used more frequently than is estimated
in the PE methodology, reducing its cost
per use. Likewise, services can become
undervalued when physician work
increases or PE rises.
As MedPAC noted in its March 2009
Report to Congress (https://
www.medpac.gov/docs/default-source/
reports/march-2009-report-to-congressmedicare-payment-policy.pdf), in the
intervening years since MedPAC made
the initial recommendations, CMS and
the RUC have taken several steps to
improve the review process. Also,
section 1848(c)(2)(K)(ii) of the Act
augments our efforts by directing the
Secretary to specifically examine, as
determined appropriate, potentially
misvalued services in the following
categories:
• Codes that have experienced the
fastest growth.
• Codes that have experienced
substantial changes in PE.
• Codes that describe new
technologies or services within an
appropriate time period (such as 3
years) after the relative values are
initially established for such codes.
• Codes which are multiple codes
that are frequently billed in conjunction
with furnishing a single service.
• Codes with low relative values,
particularly those that are often billed
multiple times for a single treatment.
• Codes that have not been subject to
review since implementation of the fee
schedule.
• Codes that account for the majority
of spending under the PFS.
• Codes for services that have
experienced a substantial change in the
hospital length of stay or procedure
time.
• Codes for which there may be a
change in the typical site of service
since the code was last valued.
• Codes for which there is a
significant difference in payment for the
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same service between different sites of
service.
• Codes for which there may be
anomalies in relative values within a
family of codes.
• Codes for services where there may
be efficiencies when a service is
furnished at the same time as other
services.
• Codes with high intraservice work
per unit of time.
• Codes with high PE RVUs.
• Codes with high cost supplies.
• Codes as determined appropriate by
the Secretary.
Section 1848(c)(2)(K)(iii) of the Act
also specifies that the Secretary may use
existing processes to receive
recommendations on the review and
appropriate adjustment of potentially
misvalued services. In addition, the
Secretary may conduct surveys, other
data collection activities, studies, or
other analyses, as the Secretary
determines to be appropriate, to
facilitate the review and appropriate
adjustment of potentially misvalued
services. This section also authorizes
the use of analytic contractors to
identify and analyze potentially
misvalued codes, conduct surveys or
collect data, and make
recommendations on the review and
appropriate adjustment of potentially
misvalued services. Additionally, this
section provides that the Secretary may
coordinate the review and adjustment of
any RVU with the periodic review
described in section 1848(c)(2)(B) of the
Act. Section 1848(c)(2)(K)(iii)(V) of the
Act specifies that the Secretary may
make appropriate coding revisions
(including using existing processes for
consideration of coding changes) that
may include consolidation of individual
services into bundled codes for payment
under the PFS.
2. Progress in Identifying and Reviewing
Potentially Misvalued Codes
To fulfill our statutory mandate, we
have identified and reviewed numerous
potentially misvalued codes as specified
in section 1848(c)(2)(K)(ii) of the Act,
and we intend to continue our work
examining potentially misvalued codes
in these areas over the upcoming years.
As part of our current process, we
identify potentially misvalued codes for
review, and request recommendations
from the RUC and other public
commenters on revised work RVUs and
direct PE inputs for those codes. The
RUC, through its own processes, also
identifies potentially misvalued codes
for review. Through our public
nomination process for potentially
misvalued codes established in the CY
2012 PFS final rule with comment
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period, other individuals and
stakeholder groups submit nominations
for review of potentially misvalued
codes as well. Individuals and
stakeholder groups may submit codes
for review under the potentially
misvalued codes initiative to CMS in
one of two ways. Nominations may be
submitted to CMS via email or through
postal mail. Email submissions should
be sent to the CMS emailbox
MedicarePhysicianFeeSchedule@
cms.hhs.gov, with the phrase
‘‘Potentially Misvalued Codes’’ in the
subject line. Physical letters for
nominations should be sent via the U.S.
Postal Service to the Centers for
Medicare and Medicaid Service, Mail
Stop: C4–01–26, 7500 Security Blvd.,
Baltimore, Maryland 21244. Envelopes
containing the nomination letters must
be labeled ‘‘Attention: Division of
Practitioner Services, Potentially
Misvalued Codes’’. Nominations for
consideration in our next annual rule
cycle should be received by our
February 10th deadline. Since CY 2009,
as a part of the annual potentially
misvalued code review and Five-Year
Review process, we have reviewed
approximately 1,700 potentially
misvalued codes to refine work RVUs
and direct PE inputs. We have assigned
appropriate work RVUs and direct PE
inputs for these services as a result of
these reviews. A more detailed
discussion of the extensive prior
reviews of potentially misvalued codes
is included in the Medicare Program;
Payment Policies Under the Physician
Fee Schedule, Five-Year Review of
Work Relative Value Units, Clinical
Laboratory Fee Schedule: Signature on
Requisition, and Other Revisions to Part
B for CY 2012; Final Rule (76 FR 73052
through 73055) (hereinafter referred to
as the CY 2012 PFS final rule with
comment period). In the CY 2012 PFS
final rule with comment period (76 FR
73055 through 73958), we finalized our
policy to consolidate the review of
physician work and PE at the same time,
and established a process for the annual
public nomination of potentially
misvalued services.
In the Medicare Program; Revisions to
Payment Policies Under the Physician
Fee Schedule, DME Face-to-Face
Encounters, Elimination of the
Requirement for Termination of NonRandom Prepayment Complex Medical
Review and Other Revisions to Part B
for CY 2013 (77 FR 68892) (hereinafter
referred to as the CY 2013 PFS final rule
with comment period), we built upon
the work we began in CY 2009 to review
potentially misvalued codes that have
not been reviewed since the
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40515
implementation of the PFS (so-called
‘‘Harvard-valued codes’’). In the
Medicare Program; Revisions to
Payment Policies Under the Physician
Fee Schedule and Other Revisions to
Part B for CY 2009; and Revisions to the
Amendment of the E-Prescribing
Exemption for Computer Generated
Facsimile Transmissions; Proposed Rule
(73 FR 38589) (hereinafter referred to
the CY 2009 PFS proposed rule), we
requested recommendations from the
RUC to aid in our review of Harvardvalued codes that had not yet been
reviewed, focusing first on high-volume,
low intensity codes. In the fourth FiveYear Review (76 FR 32410), we
requested recommendations from the
RUC to aid in our review of Harvardvalued codes with annual utilization of
greater than 30,000 services. In the CY
2013 PFS final rule with comment
period, we identified specific Harvardvalued services with annual allowed
charges that total at least $10,000,000 as
potentially misvalued. In addition to the
Harvard-valued codes, in the CY 2013
PFS final rule with comment period we
finalized for review a list of potentially
misvalued codes that have stand-alone
PE (codes with physician work and no
listed work time and codes with no
physician work that have listed work
time).
In the Medicare Program; Revisions to
Payment Policies under the Physician
Fee Schedule and Other Revisions to
Part B for CY 2016 final rule with
comment period (80 FR 70886)
(hereinafter referred to as the CY 2016
PFS final rule with comment period),
we finalized for review a list of
potentially misvalued services, which
included eight codes in the
neurostimulators analysis-programming
family (CPT codes 95970–95982). We
also finalized as potentially misvalued
103 codes identified through our screen
of high expenditure services across
specialties.
In the Medicare Program; Revisions to
Payment Policies under the Physician
Fee Schedule and Other Revisions to
Part B for CY 2017; Medicare Advantage
Bid Pricing Data Release; Medicare
Advantage and Part D Medical Loss
Ratio Data Release; Medicare Advantage
Provider Network Requirements;
Expansion of Medicare Diabetes
Prevention Program Model; Medicare
Shared Savings Program Requirements
final rule (81 FR 80170) (hereinafter
referred to as the CY 2017 PFS final
rule), we finalized for review a list of
potentially misvalued services, which
included eight codes in the end-stage
renal disease home dialysis family (CPT
codes 90963–90970). We also finalized
as potentially misvalued 19 codes
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identified through our screen for 0-day
global services that are typically billed
with an evaluation and management (E/
M) service with modifier 25.
In the CY 2018 PFS final rule, we
finalized arthrodesis of sacroiliac joint
(CPT code 27279) as potentially
misvalued. Through the use of comment
solicitations with regard to specific
codes, we also examined the valuations
of other services, in addition to, new
potentially misvalued code screens (82
FR 53017 through 53018).
3. CY 2020 Identification and Review of
Potentially Misvalued Services
In the CY 2012 PFS final rule with
comment period (76 FR 73058), we
finalized a process for the public to
nominate potentially misvalued codes.
In the CY 2015 PFS final rule with
comment period (79 FR 67606 through
67608), we modified this process
whereby the public and stakeholders
may nominate potentially misvalued
codes for review by submitting the code
with supporting documentation by
February 10th of each year. Supporting
documentation for codes nominated for
the annual review of potentially
misvalued codes may include the
following:
• Documentation in peer reviewed
medical literature or other reliable data
that demonstrate changes in physician
work due to one or more of the
following: Technique, knowledge and
technology, patient population, site-ofservice, length of hospital stay, and
work time.
• An anomalous relationship between
the code being proposed for review and
other codes.
• Evidence that technology has
changed physician work.
• Analysis of other data on time and
effort measures, such as operating room
logs or national and other representative
databases.
• Evidence that incorrect
assumptions were made in the previous
valuation of the service, such as a
misleading vignette, survey, or flawed
crosswalk assumptions in a previous
evaluation.
• Prices for certain high cost supplies
or other direct PE inputs that are used
to determine PE RVUs are inaccurate
and do not reflect current information.
• Analyses of work time, work RVU,
or direct PE inputs using other data
sources (for example, VA, NSQIP, the
STS National Database, and the MIPS
data).
• National surveys of work time and
intensity from professional and
management societies and
organizations, such as hospital
associations.
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We evaluate the supporting
documentation submitted with the
nominated codes and assess whether the
nominated codes appear to be
potentially misvalued codes appropriate
for review under the annual process. In
the following year’s PFS proposed rule,
we publish the list of nominated codes
and indicate for each nominated code
whether we agree with its inclusion as
a potentially misvalued code. The
public has the opportunity to comment
on these and all other proposed
potentially misvalued codes. In that
year’s final rule, we finalize our list of
potentially misvalued codes.
a. Public Nominations
We received three submissions that
nominated codes for review under the
potentially misvalued code initiative,
prior to our February 10, 2019 deadline.
In addition to three public nominations,
CMS also nominated one additional
code for review.
One commenter requested that CMS
consider CPT code 10005 (Fine needle
aspiration biopsy, including ultrasound
guidance; first lesion) and CPT code
10021 (Fine needle aspiration biopsy,
without imaging guidance; first lesion)
for nomination as potentially
misvalued. We note that these two CPT
codes were recently reviewed within a
family of 13 similar codes. Our review
of these codes and our rationale for
finalizing the current values are
discussed extensively in the CY 2019
PFS final rule (83 FR 59517). For CPT
code 10021, the RUC recommended a 32
percent reduction from its previous
physician time and a 5 percent
reduction in the work RVU. The
commenter disagreed with this change
and stated that there was a change in
intensity of the procedure now as
compared to what it was in 1995 when
this code was last evaluated. The
commenter also stated that there was a
change in intensity of the work
performed due to use of more
complicated equipment, more stringent
specimen sampling that allow for
extensive examination of smaller and
deeper lesions within the body. The
commenter disagreed with the CMS’
crosswalked CPT code 36440 (Push
blood transfusion, patient 2 years or
younger) and presented CPT codes
40490 (Biopsy of lip) and 95865 (Needle
measurement and recording of electrical
activity of muscles of voice box) as more
appropriate crosswalks.
Another commenter requested that
CMS consider HCPCS code G0166
(External counterpulsation, per
treatment session) as potentially
misvalued. This code was reviewed for
the CY 2019 PFS final rule (83 FR
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59578), and the work RVU and direct PE
inputs as recommended by the AMA
RUC were finalized by CMS. We
finalized the valuation of this code with
no refinements. However, the
commenter noted that the PE inputs that
were considered for this code did not
fully reflect the total resources required
to deliver the service. We will review
the commenter’s submission of
additional new data and public
comments received in combination with
what was previously presented in the
CY 2019 PFS final rule.
CMS nominated CPT code 76377 (3D
rendering with interpretation and
reporting of computed tomography,
magnetic resonance imaging,
ultrasound, or other tomographic
modality with image postprocessing
under concurrent supervision; requiring
image postprocessing on an
independent workstation) as potentially
misvalued. CPT code 76376 (3D
rendering with interpretation and
reporting of computed tomography,
magnetic resonance imaging,
ultrasound, or other tomographic
modality with image postprocessing
under concurrent supervision; not
requiring image postprocessing on an
independent workstation) was reviewed
by the AMA RUC at the April 2018 RUC
meeting. However, CPT code 76377,
which is very similar to CPT code
76376, was not reviewed, and is likely
now misvalued, in light of the
similarities between the two codes. The
specialty societies noted that the two
codes are different because they are
utilized by different patient populations
(as evidenced by the ICD–10 diagnoses);
however, we view both codes to be
similar enough that CPT code 76377
should be reviewed to maintain
relativity in the code family.
We are proposing the aforementioned
public and CMS nominated codes as
potentially misvalued and welcome
public comment on these codes.
Another commenter provided
information to CMS in which they
stated that the work involved in
furnishing services represented by the
office/outpatient evaluation and
management (E/M) code set (CPT codes
99201–99215) has changed sufficiently
to warrant revaluation. Specifically, the
commenter stated that these codes have
not been reviewed in over 12 years and
in that time have suffered passive
devaluation as more and more
procedures and other services have been
added to the CPT code set, which are
subsequently valued in a budget neutral
manner, through notice and comment
rulemaking, on the Medicare PFS. The
commenter also stated that re-evaluation
of these codes is critical to the success
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of CMS’ objective of advancing valuebased care through the introduction of
advanced alternative payment models
(APMs) as these APMs rely on the
underlying E/M codes as the basis for
payment or reference price for bundled
payments.
We acknowledge the points made by
the commenter, and continue to
consider the best ways to recognize the
significant changes in healthcare
practice as discussed by the commenter.
We agree, in principle, that the existing
set of office/outpatient E/M CPT codes
may not be correctly valued. In recent
years, we have specifically considered
how best to update and revalue the E/
M codes, which represent a significant
proportion of PFS expenditures, and
have also engaged in ongoing dialogue
with the practitioner community. In the
CY 2019 PFS proposed and final rules,
in part due to these ongoing stakeholder
discussions, we proposed and finalized
changes to E/M payment and
documentation requirements to
implement policy objectives focused on
reducing provider documentation
burden (83 FR 59625). Concurrently, the
CPT Editorial Panel, under similar
burden reduction guiding principles,
convened a workgroup and proposed to
refine and revalue the existing E/M
office/outpatient code set. We thank the
commenter for the views represented in
their comment. As stated earlier in this
section, we agree in principle that the
existing set of office/outpatient E/M
CPT codes may not be correctly valued,
and therefore, we will continue to
consider opportunities to revalue these
codes, in light of their significance to
payment for services billed under
Medicare.
Table 13 lists the HCPCS and CPT
codes that we are proposing as
potentially misvalued.
TABLE 13—HCPCS AND CPT CODES
PROPOSED
AS
POTENTIALLY
MISVALUED
CPT/HCPCS
code
Short description
10005 .............
10021 .............
76377 .............
Fna bx w/us gdn 1st les.
Fna bx w/o img gdn 1st les.
3d render w/intrp
postproces.
Extrnl counterpulse, per tx.
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G0166 ............
F. Payment for Medicare Telehealth
Services Under Section 1834(m) of the
Act
As discussed in this rule and in prior
rulemaking, several conditions must be
met for Medicare to make payment for
telehealth services under the PFS. For
further details, see the full discussion of
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the scope of Medicare telehealth
services in the CY 2018 PFS final rule
(82 FR 53006) and in 42 CFR 410.78 and
414.65.
1. Adding Services to the List of
Medicare Telehealth Services
In the CY 2003 PFS final rule with
comment period (67 FR 79988), we
established a process for adding services
to or deleting services from the list of
Medicare telehealth services in
accordance with section
1834(m)(4)(F)(ii) of the Act. This
process provides the public with an
ongoing opportunity to submit requests
for adding services, which are then
reviewed by us. Under this process, we
assign any submitted request to add to
the list of telehealth services to one of
the following two categories:
• Category 1: Services that are similar
to professional consultations, office
visits, and office psychiatry services that
are currently on the list of telehealth
services. In reviewing these requests, we
look for similarities between the
requested and existing telehealth
services for the roles of, and interactions
among, the beneficiary, the physician
(or other practitioner) at the distant site
and, if necessary, the telepresenter, a
practitioner who is present with the
beneficiary in the originating site. We
also look for similarities in the
telecommunications system used to
deliver the service; for example, the use
of interactive audio and video
equipment.
• Category 2: Services that are not
similar to those on the current list of
telehealth services. Our review of these
requests includes an assessment of
whether the service is accurately
described by the corresponding code
when furnished via telehealth and
whether the use of a
telecommunications system to furnish
the service produces demonstrated
clinical benefit to the patient. Submitted
evidence should include both a
description of relevant clinical studies
that demonstrate the service furnished
by telehealth to a Medicare beneficiary
improves the diagnosis or treatment of
an illness or injury or improves the
functioning of a malformed body part,
including dates and findings, and a list
and copies of published peer reviewed
articles relevant to the service when
furnished via telehealth. Our
evidentiary standard of clinical benefit
does not include minor or incidental
benefits.
Some examples of clinical benefit
include the following:
• Ability to diagnose a medical
condition in a patient population
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40517
without access to clinically appropriate
in-person diagnostic services.
• Treatment option for a patient
population without access to clinically
appropriate in-person treatment options.
• Reduced rate of complications.
• Decreased rate of subsequent
diagnostic or therapeutic interventions
(for example, due to reduced rate of
recurrence of the disease process).
• Decreased number of future
hospitalizations or physician visits.
• More rapid beneficial resolution of
the disease process treatment.
• Decreased pain, bleeding, or other
quantifiable symptom.
• Reduced recovery time.
The list of telehealth services,
including the proposed additions
described later in this section, can be
located on the CMS website at https://
www.cms.gov/Medicare/Medicare-Feefor-Service-Payment/Physician
FeeSched/PFS-Federal-RegulationNotices.html.
Historically, requests to add services
to the list of Medicare telehealth
services had to be submitted and
received no later than December 31 of
each calendar year to be considered for
the next rulemaking cycle. However,
beginning in CY 2019 we stated that for
CY 2019 and onward, we intend to
accept requests through February 10,
consistent with the deadline for our
receipt of code valuation
recommendations from the RUC. For
example, to be considered during PFS
rulemaking for CY 2021, requests to add
services to the list of Medicare
telehealth services must be submitted
and received by February 10, 2020. Each
request to add a service to the list of
Medicare telehealth services must
include any supporting documentation
the requester wishes us to consider as
we review the request. Because we use
the annual PFS rulemaking process as
the vehicle to make changes to the list
of Medicare telehealth services,
requesters should be advised that any
information submitted as part of a
request is subject to public disclosure
for this purpose. For more information
on submitting a request to add services
to the list of Medicare telehealth
services, including where to mail these
requests, see our website at https://
www.cms.gov/Medicare/MedicareGeneral-Information/Telehealth/
index.html.
2. Requests To Add Services to the List
of Telehealth Services for CY 2020
Under our current policy, we add
services to the telehealth list on a
Category 1 basis when we determine
that they are similar to services on the
existing telehealth list for the roles of,
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and interactions among, the beneficiary,
physician (or other practitioner) at the
distant site and, if necessary, the
telepresenter. As we stated in the CY
2012 PFS final rule with comment
period (76 FR 73098), we believe that
the Category 1 criteria not only
streamline our review process for
publicly requested services that fall into
this category, but also expedite our
ability to identify codes for the
telehealth list that resemble those
services already on this list.
We did not receive any requests from
the public for additions to the Medicare
Telehealth list for CY 2020. We believe
that the vast majority of services under
the PFS that can be appropriately
furnished as Medicare telehealth
services have already been added to the
list.
However, there are three HCPCS Gcodes describing new services being
proposed in section II.H. of this rule for
CY 2020 which we believe are
sufficiently similar to services currently
on the telehealth list to be added on a
Category 1 basis. Therefore, we are
proposing to add the face-to-face
portions of the following services to the
telehealth list on a Category 1 basis for
CY 2020:
• HCPCS code GYYY1: Office-based
treatment for opioid use disorder,
including development of the treatment
plan, care coordination, individual
therapy and group therapy and
counseling; at least 70 minutes in the
first calendar month.
• HCPCS code GYYY2: Office-based
treatment for opioid use disorder,
including care coordination, individual
therapy and group therapy and
counseling; at least 60 minutes in a
subsequent calendar month.
• HCPCS code GYYY3: Office-based
treatment for opioid use disorder,
including care coordination, individual
therapy and group therapy and
counseling; each additional 30 minutes
beyond the first 120 minutes (List
separately in addition to code for
primary procedure).
Similar to our addition of the required
face-to-face visit component of TCM
services to the Medicare Telehealth list
in the CY 2014 PFS final rule with
comment period (78 FR 74403), since
HCPCS codes GYYY1, GYYY2, and
GYYY3 include face-to-face
psychotherapy services, we believe that
the face-to-face portions of these
services are sufficiently similar to
services currently on the list of
Medicare telehealth services for these
services to be added under Category 1.
Specifically, we believe that the
psychotherapy portions of the bundled
codes are similar to the psychotherapy
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codes described by CPT codes 90832
and 90853, which are currently on the
Medicare telehealth services list. We
note that like certain other non-face-toface PFS services, the other components
of HCPCS codes GYYY1–3 describing
care coordination are commonly
furnished remotely using
telecommunications technology, and do
not require the patient to be present inperson with the practitioner when they
are furnished. As such, we do not need
to consider whether the non-face-to-face
aspects of HCPCS codes GYYY1–3 are
similar to other telehealth services.
Were these components of HCPCS codes
GYYY1–3 separately billable, they
would not need to be on the Medicare
telehealth list to be covered and paid in
the same way as services delivered
without the use of telecommunications
technology.
As discussed in the CY 2019 PFS final
rule (83 FR 59496), we note that section
2001(a) of the SUPPORT Act (Pub. L.
115–271, October 24, 2018) amended
section 1834(m) of the Act, adding a
new paragraph (7) that removes the
geographic limitations for telehealth
services furnished on or after July 1,
2019, for individuals diagnosed with a
substance use disorder (SUD) for the
purpose of treating the SUD or a cooccurring mental health disorder.
Section 1834(m)(7) of the Act also
allows telehealth services for treatment
of a diagnosed SUD or co-occurring
mental health disorder to be furnished
to individuals at any telehealth
originating site (other than a renal
dialysis facility), including in a patient’s
home. Section 2001(a) of the SUPPORT
Act additionally amended section
1834(m) of the Act to require that no
originating site facility fee will be paid
in instances when the individual’s
home is the originating site. We believe
that adding HCPCS codes GYYY1,
GYYY2, and GYYY3 will complement
the existing policies related to
flexibilities in treating SUDs under
Medicare Telehealth.
We note that we welcome public
nominations for additions to the
Medicare telehealth list. More
information on the nomination process
is posted under the Telehealth section
of the CMS website, which can be
accessed at the following web address
https://www.cms.gov/Medicare/
Medicare-General-Information/
Telehealth/.
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G. Medicare Coverage for Opioid Use
Disorder Treatment Services Furnished
by Opioid Treatment Programs (OTPs)
1. Overview
Opioid use disorder (OUD) and deaths
from prescription and illegal opioid
overdoses have reached alarming levels.
The Centers for Disease Control and
Prevention (CDC) estimated 47,000
overdose deaths were from opioids in
2017 and 36 percent of those deaths
were from prescription opioids.1 OUD
has become a public health crisis. On
October 26, 2017, Acting Health and
Human Services Secretary, Eric D.
Hargan declared a nationwide public
health emergency on the opioid crisis as
requested by President Donald Trump.2
This public health emergency was
renewed by Secretary Alex M. Azar II on
January 24, 2018, April 24, 2018, July
23, 2018, and October 21, 2018, January
17, 2019 and most recently, on April 19,
2019.3
The Medicare population, including
individuals who are eligible for both
Medicare and Medicaid, has the fastest
growing prevalence of OUD compared
to the general adult population, with
more than 300,000 beneficiaries
diagnosed with OUD in 2014.4 An
effective treatment for OUD is known as
medication-assisted treatment (MAT).
The Substance Abuse and Mental
Health Services Administration
(SAMHSA) defines MAT as the use of
medication in combination with
behavioral health services to provide an
individualized approach to the
treatment of substance use disorder,
including opioid use disorder (42 CFR
8.2). Currently, Medicare covers
medications for MAT, including
buprenorphine, buprenorphinenaloxone combination products, and
extended-release injectable naltrexone
under Part B or Part D, but does not
cover methadone. Medicare also covers
counseling and behavioral therapy
services that are reasonable and
necessary and furnished by practitioners
that can bill and receive payment under
Medicare.
Historically, Medicare has not
covered methadone for MAT because of
the unique manner in which this drug
is dispensed and administered.
Medicare Part B covers physicianadministered drugs, drugs used in
1 https://www.cdc.gov/drugoverdose/data/
index.html.
2 https://www.hhs.gov/about/news/2017/10/26/
hhs-acting-secretary-declares-public-healthemergency-address-national-opioid-crisis.html.
3 https://www.phe.gov/emergency/news/
healthactions/phe/Pages/opioid-19apr2019.aspx.
4 https://jamanetwork.com/journals/
jamapsychiatry/fullarticle/2535238.
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conjunction with durable medical
equipment, and certain other statutorily
specified drugs. Medicare Part D covers
drugs that are dispensed upon a
prescription by a pharmacy. Methadone
for MAT is not a drug administered by
a physician under the incident to
benefit like other MAT drugs (that is,
implanted buprenorphine or injectable
extended-release naltrexone) and
therefore has not previously been
covered by Medicare Part B. Methadone
for MAT is also not a drug dispensed by
a pharmacy like certain other MAT
drugs (that is buprenorphine or
buprenorphine-naloxone combination
products) and therefore is not covered
under Medicare Part D. Methadone for
MAT is a schedule II controlled
substance that is highly regulated
because it has a high potential for abuse
which may lead to severe psychological
or physical dependence. As a result,
methadone for MAT can only be
dispensed and administered by an
opioid treatment program (OTP) as
provided under section 303(g)(1) of the
Controlled Substances Act (21 U.S.C.
823(g)(1)) and 42 CFR part 8.
Additionally, OTPs, which are
healthcare entities that focus on
providing MAT for people diagnosed
with OUD, were not previously entities
that could bill and receive payment
from Medicare for the services they
furnish. Therefore, there has historically
been a gap in Medicare coverage of
MAT for OUD since methadone (one of
the three FDA-approved drugs for MAT)
has not been covered.
Section 2005 of the Substance Use–
Disorder Prevention that Promotes
Opioid Recovery and Treatment for
Patients and Communities Act (the
SUPPORT Act) (Pub. L. 115–271,
enacted October 24, 2018) added a new
section 1861(jjj) to the Act, establishing
a new Part B benefit category for OUD
treatment services furnished by an OTP
beginning on or after January 1, 2020.
Section 1861(jjj)(1) of the Act defines
OUD treatment services as items and
services furnished by an OTP (as
defined in section 1861(jjj)(2)) for
treatment of OUD. Section 2005 of the
SUPPORT Act also amended the
definition of ‘‘medical and other health
services’’ in section 1861(s) of the Act
to provide for coverage of OUD
treatment services and added a new
section 1834(w) to the Act and amended
section 1833(a)(1) of the Act to establish
a bundled payment to OTPs for OUD
treatment services furnished during an
episode of care beginning on or after
January 1, 2020.
OTPs must have a current, valid
certification from SAMHSA to satisfy
the Controlled Substances Act
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registration requirement under 21 U.S.C.
823(g)(1). To obtain SAMHSA
certification, OTPs must have a valid
accreditation by an accrediting body
approved by SAMHSA, and must be
certified by SAMHSA as meeting federal
opioid treatment standards in 42 CFR
8.12. There are currently about 1,700
OTPs nationwide.5 All states except
Wyoming have OTPs. Approximately 74
percent of patients receiving services
from OTPs receive methadone for MAT,
with the vast majority of the remaining
patients receiving buprenorphine.6
Many payers currently cover MAT
services for treatment of OUD.
Medicaid 7 is one of the largest payers of
medications for substance use disorder
(SUD), including methadone for MAT
provided in OTPs.8 OUD treatment
services and MAT are also covered by
other payers such as TRICARE and
private insurers. TRICARE established
coverage and payment for MAT and
OUD treatment services furnished by
OTPs in late 2016 (81 FR 61068). In
addition, as discussed in the ‘‘Patient
Protection and Affordable Care Act;
HHS Notice of Benefit and Payment
Parameters for 2020’’ proposed rule,
many qualified health plans covered
MAT medications for plan year 2018 (84
FR 285).
In the CY 2019 PFS final rule (83 FR
59497), we included a Request for
Information (RFI) to solicit public
comments on the implementation of the
new Medicare benefit category for OUD
treatment services furnished by OTPs
established by section 2005 of the
SUPPORT Act. We received 9 public
comments. Commenters were generally
supportive of the new benefit and
expanding access to OUD treatment for
Medicare beneficiaries. We received
feedback that the bundled payments to
OTPs should recognize the intensity of
services furnished in the initiation
stages, durations of care, the needs of
patients with more complex needs, costs
of emerging technologies, and use of
peer support groups. We also received
feedback that costs associated with care
5 https://dpt2.samhsa.gov/treatment/
directory.aspx.
6 https://wwwdasis.samhsa.gov/dasis2/
nssats.htm.
7 Medicaid provides health care coverage to 65.9
million Americans, including low-income adults,
children, pregnant women, elderly adults and
people with disabilities. Medicaid is administered
by states, according to federal requirements, and is
funded jointly by states and the federal government.
States have the flexibility to administer the
Medicaid program to meet their own state needs
within the Medicaid program parameters set forth
in federal statute and regulations. As a result, there
is variation in how each state implements its
programs.
8 https://store.samhsa.gov/system/files/medicaid
financingmatreport.pdf.
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40519
coordination among the beneficiary’s
practitioners should be included in the
bundled payment given the myriad of
health issues beneficiaries with OUD
face. We considered this feedback as we
developed our proposals for
implementing the new benefit category
for OUD treatment services furnished by
OTPs and the proposed bundled
payments for these services.
To implement section 2005 of the
SUPPORT Act, we are proposing to
establish rules to govern Medicare
coverage of and payment for OUD
treatment services furnished in OTPs. In
the following discussion, we propose to
establish definitions of OUD treatment
services and OTP for purposes of the
Medicare Program. We also propose a
methodology for determining Medicare
payment for such services provided by
OTPs. We are proposing to codify these
policies in a new section of the
regulations at § 410.67. For a discussion
about Medicare enrollment
requirements and the proposed program
integrity approach for OTPs, we refer
readers to section III.H. Medicare
Enrollment of Opioid Treatment
Programs, in this proposed rule.
2. Proposed Definitions
a. Opioid Use Disorder Treatment
Services
The SUPPORT Act amended section
1861 of the Act by adding a new
subsection (jjj)(1) that defines ‘‘opioid
use disorder treatment services’’ as the
items and services that are furnished by
an OTP for the treatment of OUD, as set
forth in subparagraphs (A) through (F)
of section 1861(jjj)(1) of the Act which
include:
• Opioid agonist and antagonist
treatment medications (including oral,
injected, or implanted versions) that are
approved by the Food and Drug
Administration (FDA) under section 505
of the Federal Food, Drug, and Cosmetic
Act (FFDCA) (21 U.S.C. 355) for use in
the treatment of OUD;
• Dispensing and administration of
such medications, if applicable;
• Substance use counseling by a
professional to the extent authorized
under state law to furnish such services;
• Individual and group therapy with
a physician or psychologist (or other
mental health professional to the extent
authorized under state law);
• Toxicology testing; and
• Other items and services that the
Secretary determines are appropriate
(but in no event to include meals or
transportation).
As described previously, section
1861(jjj)(1)(A) of the Act defines covered
OUD treatment services to include oral,
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injected, and implanted opioid agonist
and antagonist medications approved by
FDA under section 505 of the FFDCA
for use in the treatment of OUD. There
are three drugs currently approved by
the FDA for the treatment of opioid
dependence: Buprenorphine,
methadone, and naltrexone.9 FDA notes
that all three of these medications have
been demonstrated to be safe and
effective in combination with
counseling and psychosocial support
and that those seeking treatment for an
OUD should be offered access to all
three options as this allows providers to
work with patients to select the
medication best suited to an
individual’s needs.10 Each of these
medications is discussed below in more
detail.
Buprenorphine is FDA-approved for
acute and chronic pain in addition to
opioid dependence. It is listed by the
Drug Enforcement Administration
(DEA) as a Schedule III controlled
substance because of its moderate to low
potential for physical and psychological
dependence.11 12 The medication’s
partial agonist properties allow for its
use in opioid replacement therapy,
which is a process of treating OUD by
using a substance, for example,
buprenorphine or methadone, to
substitute for a stronger full agonist
opioid.13 Buprenorphine drug products
that are currently FDA-approved and
marketed for the treatment of opioid
dependence include oral buprenorphine
and naloxone 14 films and tablets, an
extended-release buprenorphine
injection for subcutaneous use, and a
buprenorphine implant for subdermal
administration.15 In most patients with
opioid dependence, the initial oral dose
is 2 to 4 mg per day with a maintenance
dose of 8–12 mg per day.16 Dosing for
the extended-release injection is 300 mg
monthly for the first 2 months followed
by a maintenance dose of 100 mg
monthly.17 The extended-release
injection is indicated for patients who
have initiated treatment with an oral
buprenorphine product for a minimum
9 https://www.fda.gov/drugs/drugsafety/
informationbydrugclass/ucm600092.htm.
10 https://www.fda.gov/drugs/drugsafety/
informationbydrugclass/ucm600092.htm.
11 https://www.deadiversion.usdoj.gov/schedules/
orangebook/c_cs_alpha.pdf.
12 https://www.dea.gov/drug-scheduling.
13 https://www.ncbi.nlm.nih.gov/books/
NBK459126/.
14 Naloxone is added to buprenorphine in order
to reduce its abuse potential and limit diversion.
15 https://www.fda.gov/drugs/drugsafety/
informationbydrugclass/ucm600092.htm.
16 https://www.ncbi.nlm.nih.gov/books/
NBK459126/.
17 https://www.accessdata.fda.gov/drugsatfda_
docs/label/2018/209819s001lbl.pdf.
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of 7 days.18 The buprenorphine implant
consists of four rods containing 74.2 mg
of buprenorphine each, and provides up
to 6 months of treatment for patients
who are clinically stable on low-tomoderate doses of an oral
buprenorphine-containing product.19
Currently, federal regulations permit
buprenorphine to be prescribed or
dispensed by qualifying physicians and
qualifying other practitioners at officebased practices and dispensed in
OTPs.20 21
Methadone is FDA-approved for
management of severe pain in addition
to opioid dependence. It is listed by the
DEA as a Schedule II controlled
substance because of its high potential
for abuse, with use potentially leading
to severe psychological or physical
dependence.22 23 Methadone drug
products that are FDA-approved for the
treatment of opioid dependence include
oral methadone concentrate and
tablets.24 In patients with opioid
dependence, the total daily dose of
methadone on the first day of treatment
should not ordinarily exceed 40 mg,
unless the program physician
documents in the patient’s record that
40 milligrams did not suppress opioid
abstinence, with clinical stability
generally achieved at doses between 80
to 120 mg/day.25 By law, methadone can
only be dispensed through an OTP
certified by SAMHSA.26
Naltrexone is FDA-approved to treat
alcohol dependence in addition to
opioid use disorder.27 Unlike
buprenorphine and methadone, which
activate opioid receptors, naltrexone
binds and blocks opioid receptors and
reduces opioid cravings.28 Therefore,
naltrexone is not a scheduled substance;
there is no abuse and diversion
potential with naltrexone.29 30 The
naltrexone drug product that is FDA18 https://www.accessdata.fda.gov/drugsatfda_
docs/label/2018/209819s001lbl.pdf.
19 https://www.accessdata.fda.gov/drugsatfda_
docs/label/2018/204442s006lbl.pdf.
20 https://www.fda.gov/Drugs/NewsEvents/
ucm611659.htm.
21 21 U.S.C. 823(g)(2).
22 https://www.deadiversion.usdoj.gov/schedules/
orangebook/c_cs_alpha.pdf.
23 https://www.dea.gov/drug-scheduling.
24 https://www.fda.gov/drugs/drugsafety/
informationbydrugclass/ucm600092.htm.
25 https://www.accessdata.fda.gov/drugsatfda_
docs/label/2018/017116s032lbl.pdf.
26 https://www.samhsa.gov/medication-assistedtreatment/treatment/methadone.
27 https://www.accessdata.fda.gov/drugsatfda_
docs/label/2018/021897s042lbl.pdf.
28 https://www.samhsa.gov/medication-assistedtreatment/treatment/naltrexone.
29 https://www.deadiversion.usdoj.gov/schedules/
orangebook/c_cs_alpha.pdf.
30 https://www.samhsa.gov/medication-assistedtreatment/treatment/naltrexone.
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approved for the treatment of opioid
dependence is an extended-release,
intramuscular injection.31 The
recommended dose is 380 mg delivered
intramuscularly every 4 weeks or once
a month after the patient has achieved
an opioid-free duration of a minimum of
7–10 days.32 Naltrexone can be
prescribed by any health care provider
who is licensed to prescribe
medications.33
We propose that the OUD treatment
services that may be furnished by OTPs
include the first five items and services
listed in the statutory definition
described above, specifically the
medications approved by the FDA
under section 505 of the FFDCA for use
in the treatment of OUD; the dispensing
and administration of such medication,
if applicable; substance use counseling;
individual and group therapy; and
toxicology testing. We also propose to
use our discretion under section
1861(jjj)(1)(F) of the Act to include other
items and services that the Secretary
determines are appropriate to include
the use of telecommunications for
certain services, as discussed later in
this section. We propose to codify this
definition of OUD treatment services
furnished by OTPs at § 410.67(b). As
part of this definition, we also propose
to specify that an OUD treatment service
is an item or service that is furnished by
an OTP that meets the applicable
requirements to participate in the
Medicare Program and receive payment.
We seek comment on any other items
and services (not including meals or
transportation as they are statutorily
prohibited) currently covered and paid
for under Medicare Part B when
furnished by Medicare-enrolled
providers/suppliers that the Secretary
should consider adding to this
definition, including any evidence
supporting the impact of the use of such
items and services in the treatment of
OUD and enumeration of their costs. We
are particularly interested in public
feedback on whether intake activities,
which may include services such as an
initial physical examination, initial
assessments and preparation of a
treatment plan, as well as periodic
assessments, should be included in the
definition of OUD treatment services.
Additionally, we understand that while
the current FDA-approved medications
under section 505 of the FFDCA for the
treatment of OUD are opioid agonists
and antagonist medications, other
31 https://www.fda.gov/drugs/drugsafety/
informationbydrugclass/ucm600092.htm.
32 https://www.accessdata.fda.gov/drugsatfda_
docs/label/2018/021897s042lbl.pdf.
33 https://www.samhsa.gov/medication-assistedtreatment/treatment/naltrexone.
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medications that are not opioid agonist
and antagonist medications, including
drugs and biologicals, could be
developed for the treatment of OUD in
the future. We would like public
feedback on whether there are any drug
development efforts in the pipeline that
could result in medications intended for
use in the treatment of OUD with a
novel mechanism of action that does not
involve opioid agonist and antagonist
mechanisms (that is, outside of
activating and/or blocking opioid
receptors). We also welcome comment
on how medications that may be
approved by the FDA in the future for
use in the treatment of OUD with a
novel mechanism of action, such as
medications approved under section
505 of the FFDCA to treat OUD and
biological products licensed under
section 351 of the Public Health Service
Act to treat OUD, should be considered
in the context of OUD treatment services
provided by OTPs, and whether CMS
should use the discretion afforded
under section 1861(jjj)(1)(F) of the Act
to include such medications in the
definition of OUD treatment services
given the possibility that such
medications could be approved in the
future.
b. Opioid Treatment Program
Section 2005 of the SUPPORT Act
also amended section 1861 of the Act by
adding a new subsection (jjj)(2) to define
an OTP as an entity meeting the
definition of OTP in 42 CFR 8.2 or any
successor regulation (that is, a program
or practitioner engaged in opioid
treatment of individuals with an opioid
agonist treatment medication registered
under 21 U.S.C. 823(g)(1)), that meets
the additional requirements set forth in
subparagraphs (A) through (D) of section
1861(jjj)(2) of the Act. Specifically that
the OTP:
• Is enrolled under section 1866(j) of
the Act;
• Has in effect a certification by
SAMHSA for such a program;
• Is accredited by an accrediting body
approved by SAMHSA; and
• Meets such additional conditions as
the Secretary may find necessary to
ensure the health and safety of
individuals being furnished services
under such program and the effective
and efficient furnishing of such services.
These requirements are discussed in
more detail in this section.
(1) Enrollment
As discussed previously, under
section 1861(jjj)(2)(A) of the Act, an
OTP must be enrolled in Medicare to
receive Medicare payment for covered
OUD treatment services under section
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1861(jjj)(1) of the Act. We refer the
reader to section III.H. of this proposed
rule, Medicare Enrollment of Opioid
Treatment Programs, for further details
on our proposed policies related to
enrollment of OTPs.
(2) Certification by SAMHSA
As provided in section 1861(jjj)(2)(B)
of the Act, OTPs must be certified by
SAMHSA to furnish Medicare-covered
OUD treatment services. SAMHSA has
created a system to certify and accredit
OTPs, which is governed by 42 CFR part
8, subparts B and C. This regulatory
framework allows SAMHSA to focus its
oversight efforts on improving treatment
rather than solely ensuring that OTPs
are meeting regulatory criteria, and
preserves states’ authority to regulate
OTPs. To be certified by SAMHSA,
OTPs must comply with the federal
opioid treatment standards as outlined
in § 8.12, be accredited by a SAMHSAapproved accreditation body, and
comply with any other conditions for
certification established by SAMHSA.
Specifically, SAMHSA requires OTPs to
provide the following services:
• General—OTPs shall provide
adequate medical, counseling,
vocational, educational, and other
assessment and treatment services.
• Initial medical examination
services—OTPs shall require each
patient to undergo a complete, fully
documented physical evaluation by a
program physician or a primary care
physician, or an authorized healthcare
professional under the supervision of a
program physician, before admission to
the OTP.
• Special services for pregnant
patients—OTPs must maintain current
policies and procedures that reflect the
special needs of patients who are
pregnant. Prenatal care and other gender
specific services for pregnant patients
must be provided either by the OTP or
by referral to appropriate healthcare
providers.
• Initial and periodic assessment
services—Each patient accepted for
treatment at an OTP shall be assessed
initially and periodically by qualified
personnel to determine the most
appropriate combination of services and
treatment.
• Counseling services—OTPs must
provide adequate substance abuse
counseling to each patient as clinically
necessary by a program counselor,
qualified by education, training, or
experience to assess the patient’s
psychological and sociological
background.
• Drug abuse testing services—OTPs
must provide adequate testing or
analysis for drugs of abuse, including at
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least eight random drug abuse tests per
year, per patient in maintenance
treatment, in accordance with generally
accepted clinical practice. For patients
in short-term detoxification treatment,
defined in 42 CFR 8.2 as detoxification
treatment not in excess of 30 days, the
OTP shall perform at least one initial
drug abuse test. For patients receiving
long-term detoxification treatment, the
program shall perform initial and
monthly random tests on each patient.
The provisions governing
recordkeeping and patient
confidentiality at § 8.12(g)(1) require
that OTPs shall establish and maintain
a recordkeeping system that is adequate
to document and monitor patient care.
All records are required to be kept
confidential in accordance with all
applicable federal and state
requirements. The requirements at
§ 8.12(g)(2) state that OTPs shall
document in each patient’s record that
the OTP made a good faith effort to
review whether or not the patient is
enrolled in any other OTP. A patient
enrolled in an OTP shall not be
permitted to obtain treatment in any
other OTP except in exceptional
circumstances, which is determined by
the medical director or program
physician of the OTP in which the
patient is enrolled (42 CFR 8.12(g)(2)).
Additionally, the requirements at
§ 8.12(h) address medication
administration, dispensing, and use.
SAMHSA requires that OTPs shall
ensure that opioid agonist treatment
medications are administered or
dispensed only by a practitioner
licensed under the appropriate state law
and registered under the appropriate
state and federal laws to administer or
dispense opioid drugs, or by an agent of
such a practitioner, supervised by and
under the order of the licensed
practitioner. OTPs shall use only those
opioid agonist treatment medications
that are approved by the FDA for use in
the treatment of OUD. They must
maintain current procedures that are
adequate to ensure that the dosing
requirements are met, and each opioid
agonist treatment medication used by
the program is administered and
dispensed in accordance with its
approved product labeling.
At § 8.12(i), regarding unsupervised or
‘‘take-home’’ use of opioid agonist
treatment medications, SAMHSA has
specified that OTPs must follow
requirements specified by SAMHSA to
limit the potential for diversion of
opioid agonist treatment medications to
the illicit market when dispensed to
patients as take-homes, including
maintaining current procedures to
identify the theft or diversion of take-
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home medications. The requirements at
§ 8.12(j) for interim maintenance
treatment, state that the program
sponsor of a public or nonprofit private
OTP subject to the approval of
SAMHSA and the state, may place an
individual, who is eligible for admission
to comprehensive maintenance
treatment, in interim maintenance
treatment if the individual cannot be
placed in a public or nonprofit private
comprehensive program within a
reasonable geographic area and within
14 days of the individual’s application
for admission to comprehensive
maintenance treatment. Patients in
interim maintenance treatment are
permitted to receive daily dosing, but
take-homes are not permitted. During
interim maintenance treatment, initial
treatment plans and periodic treatment
plan evaluations are not required and a
primary counselor is not required to be
assigned to the patient. The OTP must
be able to transfer these patients from
interim maintenance into
comprehensive maintenance treatment
within 120 days. Interim maintenance
treatment must be provided in a manner
consistent with all applicable federal
and state laws.
The SAMHSA requirements at
§ 8.12(b) address administrative and
organizational structure, requiring that
an OTP’s organizational structure and
facilities shall be adequate to ensure
quality patient care and meet the
requirements of all pertinent federal,
state, and local laws and regulations. At
a minimum, each OTP shall formally
designate a program sponsor and
medical director who is a physician
who is licensed to practice medicine in
the jurisdiction in which the OTP is
located. The program sponsor shall
agree on behalf of the OTP to adhere to
all requirements set forth in 42 CFR part
8, subpart C and any regulations
regarding the use of opioid agonist
treatment medications in the treatment
of OUD, which may be promulgated in
the future. The medical director shall
assume responsibility for administering
all medical services performed by the
OTP. In addition, the medical director
shall be responsible for ensuring that
the OTP is in compliance with all
applicable federal, state, and local laws
and regulations.
The provision governing patient
admission criteria at § 8.12(e) requires
that an OTP shall maintain current
procedures designed to ensure that
patients are admitted to maintenance
treatment by qualified personnel who
have determined, using accepted
medical criteria such as those listed in
the Diagnostic and Statistical Manual of
Mental Disorders, including that the
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person has an OUD, and that the person
has had an OUD at least 1 year before
admission for treatment. If under 18
years of age, the patient is required to
have had two documented unsuccessful
attempts at short-term detoxification or
drug-free treatment within a 12-month
period and have the written consent of
a parent, legal guardian or responsible
adult designated by the relevant state
authority to be eligible for maintenance
treatment.
To ensure continuous quality
improvement, the requirements at
§ 8.12(c) state that an OTP must
maintain current quality assurance and
quality control plans that include,
among other things, annual reviews of
program policies and procedures and
ongoing assessment of patient outcomes
and a current Diversion Control Plan as
part of its quality assurance program.
The requirements at § 8.12(d) with
respect to staff credentials, state that
each person engaged in the treatment of
OUD must have sufficient education,
training, and experience, or any
combination thereof, to enable that
person to perform the assigned
functions.
In addition to meeting the criteria
described above, OTPs must apply to
SAMHSA for certification. As part of the
conditions for certification, SAMHSA
specifies that OTPs shall:
• Comply with all pertinent state
laws and regulations.
• Allow inspections and surveys by
duly authorized employees of
SAMHSA, by accreditation bodies, by
the DEA, and by authorized employees
of any relevant State or federal
governmental authority.
• Comply with the provisions of 42
CFR part 2 (regarding confidentiality of
substance use disorder patient records).
• Notify SAMHSA within 3 weeks of
any replacement or other change in the
status of the program sponsor or
medical director.
• Comply with all regulations
enforced by the DEA under 21 CFR
chapter II, and be registered by the DEA
before administering or dispensing
opioid agonist treatment medications.
• Operate in accordance with federal
opioid treatment standards and
approved accreditation elements.
Furthermore, SAMHSA has issued
additional guidance for OTPs that
describes how programs can achieve
and maintain compliance with federal
regulations.34
34 https://store.samhsa.gov/system/files/pep15fedguideotp.pdf.
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(3) Accreditation of OTPs by a
SAMHSA-Approved Accrediting Body
As provided in section 1861(jjj)(2)(C)
of the Act, OTPs must be accredited by
a SAMHSA-approved accrediting body
in order to furnish Medicare-covered
OUD treatment services. In 2001, the
Department of Health and Human
Services (HHS) and SAMHSA issued
final regulations to establish a new
oversight system for the treatment of
substance use disorders with MAT (42
CFR part 8). SAMHSA-approved
accrediting bodies evaluate OTPs and
perform site visits to ensure SAMHSA’s
opioid dependency treatment standards
are met. SAMHSA also requires OTPs to
be accredited by a SAMHSA-approved
accrediting body (42 CFR 8.11).
The SAMHSA regulations establish
procedures for an entity to apply to
become a SAMHSA-approved
accrediting body (42 CFR 8.3). When
determining whether to approve an
applicant as an accreditation body,
SAMHSA examines the following:
• Evidence of the nonprofit status of
the applicant (that is, of fulfilling
Internal Revenue Service requirements
as a nonprofit organization) if the
applicant is not a state governmental
entity or political subdivision;
• The applicant’s accreditation
elements or standards and a detailed
discussion showing how the proposed
accreditation elements or standards will
ensure that each OTP surveyed by the
applicant is qualified to meet or is
meeting each of the federal opioid
treatment standards set forth in § 8.12;
• A detailed description of the
applicant’s decision-making process,
including:
++ Procedures for initiating and
performing onsite accreditation surveys
of OTPs;
++ Procedures for assessing OTP
personnel qualifications;
++ Copies of an application for
accreditation, guidelines, instructions,
and other materials the applicant will
send to OTPs during the accreditation
process;
++ Policies and procedures for
notifying OTPs and SAMHSA of
deficiencies and for monitoring
corrections of deficiencies by OTPs; for
suspending or revoking an OTP’s
accreditation; and to ensure processing
of applications for accreditation and for
renewal of accreditation within a
timeframe approved by SAMHSA; and;
++ A description of the applicant’s
appeals process to allow OTPs to
contest adverse accreditation decisions.
• Policies and procedures established
by the accreditation body to avoid
conflicts of interest, or the appearance
of conflicts of interest;
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• A description of the education,
experience, and training requirements
for the applicant’s professional staff,
accreditation survey team membership,
and the identification of at least one
licensed physician on the applicant’s
staff;
• A description of the applicant’s
training policies;
• Fee schedules, with supporting cost
data;
• Satisfactory assurances that the
applicant will comply with the
requirements of § 8.4, including a
contingency plan for investigating
complaints under § 8.4(e);
• Policies and procedures established
to protect confidential information the
applicant will collect or receive in its
role as an accreditation body; and
• Any other information SAMHSA
may require.
SAMHSA periodically evaluates the
performance of accreditation bodies
primarily by inspecting a selected
sample of the OTPs accredited by the
accrediting body and by evaluating the
accreditation body’s reports of surveys
conducted, to determine whether the
OTPs surveyed and accredited by the
accreditation body are in compliance
with the federal opioid treatment
standards. There are currently six
SAMHSA-approved accreditation
bodies.35
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(4) Provider Agreement
Section 2005(d) of the SUPPORT Act
amends section 1866(e) of the Act by
adding a new paragraph (3) which
includes opioid treatment programs (but
only with respect to the furnishing of
opioid use disorder treatment services)
as a ‘‘provider of services’’ for purposes
of section 1866 of the Act. All providers
of services under section 1866 of the Act
must enter into a provider agreement
with the Secretary and comply with
other requirements specified in that
section. These requirements are
implemented at 42 CFR part 489.
Therefore, we are proposing to amend
part 489 to include OTPs (but only with
respect to the furnishing of opioid use
disorder treatment services) as a
provider. Specifically, we are proposing
to add OTPs (but only with respect to
the furnishing of opioid use disorder
treatment services) to the list of
providers in § 489.2. This addition
makes clear that the other requirements
specified in Section 1866, and
implemented in part 489, which include
the limits on charges to beneficiaries,
would apply to OTPs (with respect to
35 https://www.samhsa.gov/medication-assistedtreatment/opioid-treatment-accrediting-bodies/
approved.
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the furnishing of opioid use disorder
treatment services). We are also
proposing additional changes to make
clear that certain parts of part 489,
which implement statutory
requirements other than section 1866 of
the Act, do not apply to OTPs. For
example, since we are not proposing
any conditions of participation for
OTPs, we are proposing to amend
§ 489.10(a), which states that providers
specified in § 489.2 must meet
conditions of participation, to add that
OTPs must meet the requirements set
forth in part 489 and elsewhere in that
chapter. In addition, we are proposing
to specify that the effective date of the
provider agreement is the date on which
CMS accepts a signed agreement
(proposed amendment to § 489.13(a)(2)),
and is not dependent on surveys or an
accrediting organization’s determination
related to conditions of participation.
Finally, as noted earlier in the preamble,
OTPs are required to be certified by
SAMHSA and accredited by an
accrediting body approved by
SAMHSA. In § 489.53, we are proposing
to create a basis for termination of the
provider agreement if the OTP no longer
meets the requirements set forth in part
489 or elsewhere in that chapter
(including if it no longer has a SAMHSA
certification or accreditation by a
SAMHSA-approved accrediting body).
Finally, we are also proposing to revise
42 CFR part 498 to ensure that OTPs
have access to the appeal process in
case of an adverse determination
concerning continued participation in
the Medicare program. Specifically, we
are amending the definition of provider
in § 498.2 to include OTPs. We are
continuing to review the application of
the provider agreement requirements to
OTPs and may make further
amendments to parts 489 and 498 as
necessary to ensure that the existing
provider agreement regulations are
applied to OTPs consistent with our
proposals and Section 2005 of the
SUPPORT Act.
(5) Additional Conditions
As provided in section 1861(jjj)(2)(D)
of the Act, to furnish Medicare-covered
OUD treatment services, OTPs must
meet any additional conditions as the
Secretary may find necessary to ensure
the health and safety of individuals
being furnished services under such
program and the effective and efficient
furnishing of such services. The
comprehensive OTP standards for
certification of OTPs address the same
topics as would be addressed by CMS
supplier standards, such as client
assessment and the services required to
be provided. Furthermore, the detailed
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40523
process established by SAMHSA for
selecting and overseeing its
accreditation organizations is similar to
the accrediting organization oversight
process that would typically be
established by CMS. Thus, we believe
the existing SAMHSA certification and
accreditation requirements are both
appropriate and sufficient to ensure the
health and safety of individuals being
furnished services by OTPs, as well as
the effective and efficient furnishing of
such services. We also believe that
creating additional conditions at this
time for participation in Medicare by
OTPs could create unnecessary
regulatory duplication and could be
potentially burdensome for OTPs.
Therefore, CMS is not proposing any
additional conditions for participation
in Medicare by OTPs at this time. We
welcome public comments on this
proposed approach, including input on
whether there are any additional
conditions that should be required for
OTPs furnishing Medicare-covered OUD
treatment services.
(6) Proposed Definition of Opioid
Treatment Program
We propose to define ‘‘opioid
treatment program’’ at § 410.67(b) as an
entity that is an opioid treatment
program as defined in 42 CFR 8.2 (or
any successor regulation) and meets the
applicable requirements for an OTP. We
propose to codify this definition at
§ 410.67(b). In addition, we propose that
for an OTP to participate and receive
payment under the Medicare program,
the OTP must be enrolled under section
1866(j) of the Act, have in effect a
certification by SAMHSA for such a
program, and be accredited by an
accrediting body approved by
SAMHSA. We are also proposing that an
OTP must have a provider agreement as
required by section 1866(a) of the Act.
We propose to codify these
requirements at § 410.67(c). We
welcome public comments on the
proposed definition of OTP and the
proposed Medicare requirements for
OTPs.
3. Proposed Bundled Payments for OUD
Treatment Services
Section 1834(w) of the Act, added by
section 2005 of the SUPPORT Act,
directs the Secretary to pay to the OTP
an amount that is equal to 100 percent
of a bundled payment for OUD
treatment services that are furnished by
the OTP to an individual during an
episode of care. We are proposing to
establish bundled payments for OUD
treatment services which, as discussed
above, would include the medications
approved by the FDA under section 505
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of the FFDCA for use in the treatment
of OUD; the dispensing and
administration of such medication, if
applicable; substance use counseling;
individual and group therapy; and
toxicology testing. In calculating the
proposed bundled payments, we
propose to apply separate payment
methodologies for the drug component
(which includes the medications
approved by the FDA under section 505
of the FFDCA for use in the treatment
of OUD) and the non-drug component
(which includes the dispensing and
administration of such medications, if
applicable; substance use counseling;
individual and group therapy; and
toxicology testing) of the bundled
payments. We propose to calculate the
full bundled payment rate by combining
the drug component and the non-drug
components. Below, we discuss our
proposals for determining the bundled
payments for OUD treatment services.
As part of this discussion, we address
payment rates for these services under
the Medicaid and TRICARE programs,
duration of the episode of care for
which the bundled payment is made
(including partial episodes),
methodology for determining bundled
payment rates for the drug and non-drug
components, site of service, coding and
beneficiary cost sharing. We propose to
codify the methodology for determining
the bundled payment rates for OUD
treatment services at § 410.67(d).
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a. Review of Medicaid and TRICARE
Programs
Section 1834(w)(2) of the Act, added
by section 2005(c) of the SUPPORT Act,
provides that in developing the bundled
payment rates for OUD treatment
services furnished by OTPs, the
Secretary may consider payment rates
paid to the OTPs for comparable
services under the state plans under title
XIX of the Act (Medicaid) or under the
TRICARE program under chapter 55 of
title 10 of the United States Code
(U.S.C.). The payments for comparable
services under TRICARE and Medicaid
programs are discussed below. We
understand that many private payers
cover services furnished by OTPs, and
welcome comment on the scope of
private payer OTP coverage and the
payment rates private payers have
established for OTPs furnishing
comparable OUD treatment services. We
may consider this information as part of
the development of the final bundled
payment rates for OUD treatment
services furnished by OTPs in the final
rule.
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(1) TRICARE
In the ‘‘TRICARE: Mental Health and
Substance Use Disorder Treatment’’
final rule, which appeared in the
September 2, 2016 Federal Register (81
FR 61068) (hereinafter referred to as the
2016 TRICARE final rule), the
Department of Defense (DOD) finalized
its methodology for determining
payments for services furnished to
TRICARE beneficiaries by an OTP in the
regulations at 32 CFR 199.14(a)(2)(ix).
The payments are also described in
Chapter 7, Section 5 and Chapter 1,
Section 15 of the TRICARE
Reimbursement Manual 6010.61–M,
April 1, 2015. As discussed in the 2016
TRICARE final rule, a number of
commenters indicated that they
believed the rates established by DOD
are near market rates and acceptable (81
FR 61079).
In the 2016 TRICARE final rule, DOD
established separate payment
methodologies for treatment in OTPs
based on the particular medication
being administered. DOD finalized a
weekly all-inclusive per diem rate for
OTPs when furnishing methadone for
MAT. Under 32 CFR
199.14(a)(2)(ix)(A)(3)(i), this weekly rate
includes the cost of the drug and the
cost of related non-drug services (that is,
the costs related to the intake/
assessment, drug dispensing and
screening and integrated psychosocial
and medical treatment and supportive
services), hereafter referred as the nondrug services. We note that the services
included in the TRICARE weekly
bundle are generally comparable to the
definition of OUD treatment services in
Section 2005 of the SUPPORT Act. The
weekly all-inclusive per diem rate for
these services was determined based on
preliminary review of industry billing
practices (which included Medicaid and
other third-party payers) for the
dispensing of methadone, including an
estimated daily drug cost of $3 and a
daily estimated cost of $15 for the nondrug services. These daily costs were
converted to an estimated weekly per
diem rate of $126 ($18 per day × 7 days)
in the 2016 TRICARE final rule. Under
32 CFR 199.14(a)(2)(iv)(C)(S), this rate is
updated annually by the Medicare
hospital inpatient prospective payment
system (IPPS) update factor. The 2019
TRICARE weekly per diem rate for
methadone treatment in an OTP is
$133.15.36 Beneficiary cost-sharing
consists of a flat copayment that may be
applied to this weekly rate.
36 https://health.mil/Military-Health-Topics/
Business-Support/Rates-and-Reimbursement/
MHSUD-Facility-Rates.
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DOD also established payment rates
for other medications used for MAT
(buprenorphine and extended-release
injectable naltrexone) to allow OTPs to
bill for the full range of medications
available. Under 32 CFR
199.14(a)(2)(ix)(A)(3)(ii), DOD
established a fee-for-service payment
methodology for buprenorphine and
extended-release injectable naltrexone
because they are more likely to be
prescribed and administered in an
office-based treatment setting but are
still available for treatment furnished in
an OTP. DOD stated in the 2016
TRICARE final rule (81 FR 61080) that
treatment with buprenorphine and
naltrexone is more variable in dosage
and frequency than with methadone.
Therefore, TRICARE pays for these
medications and the accompanying nondrug services separately on a fee-forservice basis. Buprenorphine is paid
based on 95 percent of average
wholesale price (AWP) and the nondrug component is paid on a per visit
basis at an estimated cost of $22.50 per
visit. Extended-release injectable
naltrexone is paid at the average sales
price (ASP) plus a drug administration
fee while the non-drug services are also
paid at an estimated per visit cost of
$22.50. DOD also reserved discretion to
establish the payment methodology for
new drugs and biologicals that may
become available for the treatment of
SUDs in OTPs.
DOD instructed that OTPs use the
‘‘Alcohol and/or other drug use services,
not otherwise specified’’ H-code for
billing the non-drug services when
buprenorphine or naltrexone is used,
and required OTPs to also include both
the J-code and the National Drug Code
(NDC) for the drug used, as well as the
dosage and acquisition cost on the claim
form.37 Drugs listed on Medicare’s Part
B ASP files are paid using the ASP.38
Drugs not appearing on the Medicare
ASP file are paid at the lesser of billed
charges or 95 percent of the AWP.39
Using this methodology, TRICARE
estimated a daily drug cost of $10 for
buprenorphine and a monthly drug cost
of $1,129 for extended-release injectable
naltrexone.40
37 81
FR 61080.
38 https://manuals.health.mil/pages/Display
ManualHtmlFile/TR15/30/AsOf/TR15/C7S5.html;
https://manuals.health.mil/pages/Display
ManualHtmlFile/TR15/30/AsOf/TR15/
c1s15.html2FM10546.
39 https://manuals.health.mil/pages/Display
ManualHtmlFile/TR15/30/AsOf/TR15/C7S5.html;
https://manuals.health.mil/pages/Display
ManualHtmlFile/TR15/30/AsOf/TR15/
c1s15.html2FM10546.
40 81 FR 61080.
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(2) Medicaid (Title XIX)
States have the flexibility to
administer the Medicaid program to
meet their own needs within the
Medicaid program parameters set forth
in federal statute and regulations. All
states cover and pay for some form of
medications for medication-assisted
treatment of OUD under their Medicaid
programs. However, as of 2018, only 42
states covered methadone for MAT for
OUD under their Medicaid programs.41
We note that section 1006(b) of the
SUPPORT Act amends sections 1902
and 1905 of the Social Security Act to
require that Medicaid State plans cover
all drugs approved under section 505 of
the FFDCA to treat OUD, including
methadone, and all biological products
licensed under section 351 of the Public
Health Service Act to treat OUD,
beginning October 1, 2020. This
requirement sunsets on September 30,
2025.
In reviewing Medicaid payments for
OUD treatment services furnished by
OTPs in a few states, we found
significant variation in the MAT
coverage, OUD treatment services, and
payment structure among the states.
Thus, it is difficult to identify a
standardized Medicaid payment amount
for OTP services. A number of factors
such as the unit of payment, types of
services bundled within a payment
code, and how MAT services are paid
varied among the states. For example,
for treatment of OUD using methadone
for MAT, most OTPs bill under HCPCS
code H0020 (Alcohol and/or drug
services; methadone administration
and/or service (provision of the drug by
a licensed program)) under the
Medicaid program; however, the unit of
payment varies by state from daily,
weekly, or monthly. For example, the
unit of payment in California is daily for
methadone treatment,42 while the unit
of payment in Maryland for methadone
maintenance is weekly,43 and Vermont
uses a monthly unit 44 of payment of
these OUD treatment items and services.
For the other MAT drugs, all states
cover buprenorphine and the
buprenorphine-naloxone medications; 45
however, fewer than 70 percent cover
41 https://store.samhsa.gov/system/files/medicaid
financingmatreport.pdf.
42 https://www.dhcs.ca.gov/formsandpubs/
Documents/MHSUDS%20Information%20Notices/
MHSUDS_Information_Notices_2018/MHSUDS_
Information_Notice_18_037_SPA_Rates_
Exhibit.pdf.
43 https://health.maryland.gov/bhd/Documents/
Rebundling%20Initiative%209-6-16.pdf.
44 https://www.healthvermont.gov/sites/default/
files/documents/pdf/ADAP_Medicaid%20
Rate%20Sheet.pdf.
45 https://store.samhsa.gov/system/files/medicaid
financingmatreport.pdf.
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the implanted or extended-release
injectable versions of buprenorphine.46
In addition, all states cover the
extended-release injectable
naltrexone.47 We also found that many
states pay different rates based on the
specific type of drug used for MAT.
Non-drug items and services may be
included in a bundled payment with the
drug or paid separately, depending on
the state, and can include dosing,
dispensing and administration of the
drug, individual and group counseling,
and toxicology testing. In some states,
certain services such as assessments,
individual and group counseling, and
toxicology testing can be billed
separately. For example, some states
(such as Maryland,48 Texas,49 and
California) 50 separately reimburse for
individual and group counseling
services, while other states (such as
Vermont 51 and New Mexico) 52
included these services in the OUD
bundled payment.
b. Aspects of the Bundle
(1) Duration of Bundle
Section 1834(w)(1) of the Act requires
the Secretary to pay an OTP an amount
that is equal to 100 percent of the
bundled payment for OUD treatment
services that are furnished by the OTP
to an individual during an episode of
care (as defined by the Secretary)
beginning on or after January 1, 2020.
We are proposing that the duration of an
episode of care for OUD treatment
services would be a week (that is, a
contiguous 7-day period that may start
on any day of the week). This is similar
to the structure of the TRICARE bundled
payment to OTPs for methadone, which
is based on a weekly bundled rate (81
FR 61079), as well as the payments by
some state Medicaid programs. Given
46 https://store.samhsa.gov/system/files/medicaid
financingmatreport.pdf.
47 https://store.samhsa.gov/system/files/medicaid
financingmatreport.pdf.
48 https://health.maryland.gov/bhd/Documents/
Rebundling%20Initiative%209-6-16.pdf.
49 https://www.tmhp.com/News_Items/2018/11Nov/11-16-18%20Substance%20Use%20
Disorder%20Benefits%20to%20Change%20for%20
Texas%20Medicaid%20
January%201,%202019.pdf.
50 https://www.dhcs.ca.gov/formsandpubs/
Documents/MHSUDS%20Information%20Notices/
MHSUDS_Information_Notices_2018/MHSUDS_
Information_Notice_18_037_SPA_Rates_
Exhibit.pdf.
51 https://www.healthvermont.gov/sites/default/
files/documents/pdf/ADAP_
Medicaid%20Rate%20Sheet.pdf.
52 https://www.hsd.state.nm.us/uploads/FileLinks/
e7cfb008157f422597cccdc11d2034f0/MAT_
Proposed_reimb_MAD_website_pdf.pdf.
https://stre.samhsa.gov/system/files/medicaid
financingmatreport.pdfnm.us/uploads/FileLinks/
c78b68d063e04ce5adffe29376ff402e/12_10_MAT_
OTC_Clinics_Supp_09062012__2_.pdf.
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this similarity to existing coding
structures, we believe a weekly duration
for an episode of care would be most
familiar to OTPs and therefore the least
disruptive to adopt. We welcome
comments on whether we should
consider a daily or monthly bundled
payment. We are proposing to define an
episode of care at § 410.67(b) as a 1
week (contiguous 7-day) period.
We recognize that patients receiving
MAT are often on this treatment
regimen for an indefinite amount of
time and therefore, we are not proposing
any maximum number of weeks during
an overall course of treatment for OUD.
(a) Requirements for an Episode
We note that SAMHSA requires OTPs
to have a treatment plan for each patient
that identifies the frequency with which
items and services are to be provided
(§ 8.12(f)(4)). We recognize that there is
a range of service intensity depending
on the severity of a patient’s OUD and
stage of treatment and therefore, a ‘‘full
weekly bundle’’ may consist of a very
different frequency of services for a
patient in the initial phase of treatment
compared to a patient in the
maintenance phase of treatment, but
that we would still consider the
requirements to bill for the full weekly
bundle to be met if the patient is
receiving the majority of the services
identified in their treatment plan at that
time. However, for the purposes of
valuation, we assumed one substance
use counseling session, one individual
therapy session, and one group therapy
session per week and one toxicology test
per month. Given the anticipated
changes in service intensity over time
based on the individual patient’s needs,
we expect that treatment plans would be
updated to reflect these changes or
noted in the patient’s medical record,
for example, in a progress note. In cases
where the OTP has furnished the
majority (51 percent or more) of the
services identified in the patient’s
current treatment plan (including any
changes noted in the patient’s medical
record) over the course of a week, we
propose that it could bill for a full
weekly bundle. We are proposing to
codify the payment methodology for full
episodes of care (as well as partial
episodes of care and non-drug episodes
of care, as discussed below) in
§ 410.67(d)(2).
(b) Partial Episode of Care
We understand that there may be
instances in which a beneficiary does
not receive all of the services expected
in a given week due to any number of
issues, including, for example, an
inpatient hospitalization during which a
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beneficiary would not be able to go to
the OTP or inclement weather that
impedes access to transportation. To
provide more accurate payment to OTPs
in cases where a beneficiary is not able
to or chooses not to receive all items
and services described in their
treatment plan or the OTP is unable to
furnish services, for example, in the
case of a natural disaster, we are
proposing to establish separate payment
rates for partial episodes that
correspond with each of the full weekly
bundles. In cases where the OTP has
furnished at least one of the items or
services (for example, dispensing one
day of an oral MAT medication or one
counseling session or one toxicology
test) but less than 51 percent of the
items and services included in OUD
treatment services identified in the
patient’s current treatment plan
(including any changes noted in the
patient’s medical record) over the
course of a week, we propose that it
could bill for a partial weekly bundle.
In cases in which the beneficiary does
not receive a drug during the partial
episode, we propose that the code
describing a non-drug partial weekly
bundle must be used. For example, the
OTP could bill for a partial episode in
instances where the OTP is transitioning
the beneficiary from one OUD
medication to another and therefore the
beneficiary is receiving less than a week
of one type of medication. In those
cases, two partial episodes could be
billed, one for each of the medications,
or one partial episode and one full
episode, if all requirements for billing
are met. We intend to monitor this issue
and will consider whether we would
need to make changes to this policy in
future rulemaking to ensure that the
billing for partial episodes is not being
abused. We are proposing to define a
partial episode of care in § 410.67(b) and
to codify the payment methodology for
partial episodes in § 410.67(d). We seek
comments on our proposed approach to
full and partial episodes, including the
threshold that should be applied to
determine when an OTP may bill for the
full weekly bundle versus a partial
episode. We also seek comment on the
minimum threshold that should be
applied to determine when a partial
episode could be billed (for example, at
least one item or service, or an
alternative threshold such as 10 or 25
percent of the items and services
included in OUD treatment services
identified in the patient’s current
treatment plan (including any changes
noted in the patient’s medical record)
over the course of a week). We also
welcome feedback regarding whether
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any other payers of OTP services allow
for billing partial bundles and what
thresholds they use.
(c) Non-Drug Episode of Care
In addition to the bundled payments
for full and partial episodes of care that
are based on the medication
administered for treatment (and include
both a drug and non-drug component
described in detail below), we are
proposing to establish a non-drug
episode of care to provide a mechanism
for OTPs to bill for non-drug services,
including substance use counseling,
individual and group therapy, and
toxicology testing that are rendered
during weeks when a medication is not
administered, for example, in cases
where a patient is being treated with
injectable buprenorphine or naltrexone
on a monthly basis or has a
buprenorphine implant. We are
proposing to codify this non-drug
episode of care at § 410.67(d).
(2) Drug and Non-Drug Components
As discussed above, in establishing
the bundled payment rates, we propose
to develop separate payment
methodologies for the drug component
and the non-drug (which includes the
dispensing and administration of such
medication, if applicable; substance use
counseling; individual and group
therapy; and toxicology testing)
components of the bundled payment.
Each of these components is discussed
in this section.
(a) Drug Component
As discussed previously, the cost of
medications used by OTPs to treat OUD
varies widely. Creating a single bundled
payment rate that does not reflect the
type of drug used could result in access
issues for beneficiaries who might be
best served by treatment using a more
expensive medication. As a result, we
believe that the significant variation in
the cost of these drugs needs to be
reflected adequately in the bundled
payment rates for OTP services to avoid
impairing access to appropriate care.
Section 1834(w)(2) of the Act states
that the Secretary may implement the
bundled payment to OTPs though one
or more bundles based on a number of
factors, including the type of medication
provided (such as buprenorphine,
methadone, extended-release injectable
naltrexone, or a new innovative drug).
Accordingly, consistent with the
discretion afforded under section
1834(w)(2) of the Act, and after
consideration of payment rates paid to
OTPs for comparable services by other
payers as discussed above, we propose
to base the OTP bundled payment rates,
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in part, on the type of medication used
for treatment. Specifically, we propose
the following categories of bundled
payments to reflect those drugs
currently approved by the FDA under
section 505 of the FFDCA for use in
treatment of OUD:
• Methadone (oral).
• Buprenorphine (oral).
• Buprenorphine (injection).
• Buprenorphine (implant).
• Naltrexone (injection).
In addition, we propose to create a
category of bundled payment describing
a drug not otherwise specified to be
used for new drugs (as discussed further
below). We are also proposing a nondrug bundled payment to be used when
medication is not administered (as
discussed further below). We believe
creating these categories of bundled
payments based on the drug used for
treatment would strike a reasonable
balance between recognizing the
variable costs of these medications and
the statutory requirement to make a
bundled payment for OTP services. We
propose to codify this policy of
establishing the categories of bundled
payments based on the type of opioid
agonist and antagonist treatment
medication in § 410.67(d)(1).
i. New Drugs
We anticipate that there may be new
FDA-approved opioid agonist and
antagonist treatment medications to
treat OUD in the future. In the scenario
where an OTP furnishes MAT using a
new FDA-approved opioid agonist or
antagonist medication for OUD
treatment that is not specified in one of
our existing codes, we propose that
OTPs would bill for the episode of care
using the medication not otherwise
specified (NOS) code, HCPCS code
GXXX9 (or GXXX19 for a partial
episode). In such cases, we propose to
use the typical or average maintenance
dose to determine the drug cost for the
new bundle. Then, we propose that
pricing would be determined based on
the relevant pricing methodology as
described later in this section (section
II.G.) of the proposed rule or invoice
pricing in the event the information
necessary to apply the relevant pricing
methodology is not available. For
example, in the case of injectable and
implantable drugs, which are generally
covered and paid for under Medicare
Part B, we propose to use the
methodology in section 1847A of the
Act (which bases most payments on
ASP). For oral medications, which are
generally covered and paid for under
Medicare Part D, we propose to use
ASP-based payment when we receive
manufacturer-submitted ASP data for
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these drugs. In the event that we do not
receive manufacturer-submitted ASP
pricing data, we are considering several
potential pricing mechanisms (as
discussed further below) to estimate the
payment amounts for oral drugs
typically paid for under Medicare Part
D but that would become OTP drugs
paid under Part B when used as part of
MAT furnished in an OTP. We are not
proposing a specific pricing mechanism
at this time for the situation in which
we do not receive manufacturersubmitted ASP pricing data, but are
requesting public comment on several
potential approaches for estimating the
acquisition cost and payment amounts
for these drugs. We will consider the
comments received in developing our
final policy for determining these drug
prices. If the information necessary to
apply the alternative pricing
methodology chosen for the oral drugs
is also not available to price the new
medication, we propose to use invoice
pricing until either ASP pricing data or
the information necessary to apply the
chosen pricing methodology becomes
available to price the medication. We
are proposing to codify this approach
for determining the amount of the
bundled payment for new medications
in § 410.67(d)(2).The medication NOS
code would be used until CMS has the
opportunity to consider through
rulemaking establishing a unique
bundled payment for episodes of care
during which the new drug is furnished.
We welcome comments on this
proposed approach to the treatment of
new drugs used for MAT in OTPs.
As discussed above, we also welcome
comments on how new medications that
may be approved by the FDA in the
future for use in the treatment of OUD
with a novel mechanism of action (for
example, not an opioid agonist and/or
antagonist), such as medications
approved under section 505 of the
FFDCA to treat OUD and biological
products licensed under section 351 of
the Public Health Service Act to treat
OUD, should be considered in the
context of OUD treatment services
provided by OTPs. We additionally
welcome comments on how such new
drugs with a novel mechanism of action
should be priced, and specifically
whether pricing for these new nonopioid agonist and/or antagonist
medications should be determined
using the same pricing methodology
proposed for new opioid agonist and
antagonist treatment medications,
described above or whether an
alternative pricing methodology should
be used.
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(b) Non-Drug Component
i. Counseling, Therapy, Toxicology
Testing, and Drug Administration
As discussed above, the bundled
payment is for OUD treatment services
furnished during the episode of care,
which we are proposing to define as the
FDA-approved opioid agonist and
antagonist treatment medications, the
dispensing and administration of such
medications (if applicable), substance
use disorder counseling by a
professional to the extent authorized
under state law to furnish such services,
individual and group therapy with a
physician or psychologist (or other
mental health professional to the extent
authorized under state law), and
toxicology testing. The non-drug
component of the OUD treatment
services includes all items and services
furnished during an episode of care
except for the medication.
Under the SAMSHA certification
standards at § 8.12(f)(5), OTPs must
provide adequate substance abuse
counseling to each patient as clinically
necessary. We note that section
1861(jjj)(1)(C) of the Act, as added by
section 2005(b) of the SUPPORT Act
defines OUD treatment services as
including ‘‘substance use counseling by
a professional to the extent authorized
under state law to furnish such
services.’’ Therefore, professionals
furnishing therapy or counseling
services for OUD treatment must be
operating within state law and scope of
practice. These professionals could
include licensed professional
counselors, licensed clinical alcohol
and drug counselors, and certified peer
specialists that are permitted to furnish
this type of therapy or counseling by
state law and scope of practice. To the
extent that the individuals furnishing
therapy or counseling services are not
authorized under state law to furnish
such services, the therapy or counseling
services would not be covered as OUD
treatment services.
Additionally, under SAMSHA
certification standards at § 8.12(f)(6),
OTPs are required to provide adequate
testing or analysis for drugs of abuse,
including at least eight random drug
abuse tests per year, per patient in
maintenance treatment, in accordance
with generally accepted clinical
practice. These drug abuse tests (which
are identified as toxicology tests in the
definition of OUD treatment services in
section 1861(jjj)(1)(E) of the Act) are
used for diagnosing, monitoring and
evaluating progress in treatment. The
testing typically includes tests for
opioids and other controlled substances.
Urinalysis is primarily used for this
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40527
testing; however, there are other types of
testing such as hair or fluid analysis that
could be used. We note that any of these
types of toxicology tests would be
considered to be OUD treatment
services and would be included in the
bundled payment for services furnished
by an OTP.
The non-drug component of the
bundle also includes the cost of drug
dispensing and/or administration, as
applicable. Additional details regarding
our proposed approach for pricing this
aspect of the non-drug component of the
bundle are included in our discussion of
payment rates later in this section.
ii. Other Services
As discussed earlier, we are proposing
to define OUD treatment services as
those items and services that are
specifically enumerated in section
1861(jjj)(1) of the Act, including services
that are furnished via
telecommunications technology, and are
seeking comment on any other items
and services we might consider
including as OUD treatment services
under the discretion given to the
Secretary in subparagraph (F) of that
section to determine other appropriate
items and services. If we were to finalize
a definition of OUD treatment services
that includes any other items or
services, such as intake activities or
periodic assessments as discussed
above, we would consider whether any
changes to the payment rates for the
bundled payments are necessary. See
below for additional discussion related
to how we could price these services.
(3) Adjustment to Bundled Payment
Rate for Additional Counseling or
Therapy Services
In addition to the items and services
already included in the proposed
bundles, we recognize that counseling
and therapy are important components
of MAT and that patients may need to
receive counseling and/or therapy more
frequently at certain points in their
treatment. We seek to ensure that
patients have access to these needed
services. Accordingly, we are proposing
to adjust the bundled payment rates
through the use of an add-on code in
order to account for instances in which
effective treatment requires additional
counseling or group or individual
therapy to be furnished for a particular
patient that substantially exceeds the
amount specified in the patient’s
individualized treatment plan. As noted
previously, we understand that there is
variability in the frequency of services
a patient might receive in a given week
depending on the patient’s severity and
stage of treatment; however, we assume
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that a typical case might include one
substance use counseling session, one
individual therapy session, and one
group therapy session per week. We
further understand that the frequency of
services will vary among patients and
will change over time based on the
individual patient’s needs. We expect
that the patient’s treatment plan or the
medical record will be updated to
reflect when there are changes in the
expected frequency of medically
necessary services based on the patient’s
condition and following such an update,
the add-on code should no longer be
billed if the frequency of the patient’s
counseling and/or therapy services is
consistent with the treatment plan or
medical record. In the case of
unexpected or unforeseen
circumstances that are time-limited,
resolve quickly, and do not lead to
updates to the treatment plan, we expect
that the medical necessity for billing the
add-on code would be documented in
the medical record. This add-on code
(HCPCS code GXX19) would describe
each additional 30 minutes of
counseling or group or individual
therapy furnished in a week of MAT,
which could be billed in conjunction
with the codes describing the full
episode of care or the partial episodes.
For example, there may be some weeks
when a patient has a relapse or
unexpected psychosocial stressors arise
that warrant additional reasonable and
necessary counseling services that were
not foreseen at the time that the
treatment plan was developed.
Additionally, we note that there may be
situations in which the add-on code
could be billed in conjunction with the
code for a partial episode; for example,
if a patient requires prolonged
counseling services on the initial day of
treatment, but does not return for any of
the other services specified in their
treatment plan, such as daily
medication dispensing, for the
remainder of that week. We
acknowledge that an unintended
consequence of using the treatment plan
is a potential incentive for OTPs to
document minimal counseling and/or
therapy needs for a beneficiary, thereby
resulting in increased opportunity for
billing the add-on code. We expect that
OTPs will ensure that treatment plans
reflect the full scope of services
expected to be furnished during an
episode of care and that they will
update treatment plans regularly to
reflect changes. We intend to monitor
this issue and will consider whether we
need to make changes to this policy
through future rulemaking to ensure
that this adjustment is not being abused.
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We welcome comments on the proposed
add-on code and the threshold for
billing. We propose to codify this
adjustment to the bundled payment rate
for additional counseling or therapy
services in § 410.67(d)(3)(i).
(4) Site of Service
(Telecommunications)
In recent years, we have sought to
decrease barriers to access to care by
furthering policies that expand the use
of communication technologies. In the
CY 2019 PFS final rule (83 FR 59482),
we finalized new separate payments for
communication technology-based
services, including a virtual check-in
and a remote evaluation of pre-recorded
patient information. SAMHSA’s federal
guidelines (https://store.samhsa.gov/
system/files/pep15-fedguideotp.pdf) for
OTPs refer to the CMS guidance on
telemedicine and also state that OTPs
are advised to proceed with full
understanding of requirements
established by state or health
professional licensing boards.
SAMHSA’s federal guidelines for OTPs
state that exceptional attention needs to
be paid to data security and privacy in
this evolving field. Telemedicine
services should, under no
circumstances, expand the scope of
practice of a healthcare professional or
permit practice in a jurisdiction (the
location of the patient) where the
provider is not licensed.
We are proposing to allow OTPs to
furnish the substance use counseling,
individual therapy, and group therapy
included in the bundle via two-way
interactive audio-video communication
technology, as clinically appropriate, in
order to increase access to care for
beneficiaries. We believe this is an
appropriate approach because, as
discussed previously, we expect the
telehealth services that will be
furnished by OTPs will be similar to the
Medicare telehealth services furnished
under section 1834(m) of the Act, and
the use of two-way interactive audiovideo communication technology is
required for these Medicare telehealth
services under § 410.78(a)(3). By
allowing use of communication
technology in furnishing these services,
OTPs in rural communities or other
health professional shortage areas could
facilitate treatment through virtual care
coming from an urban or other external
site; however, we note that the
physicians and other practitioners
furnishing these services would be
required to comply with all applicable
requirements related to professional
licensing and scope of practice.
We note that section 1834(m) of the
Act applies only to Medicare telehealth
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services furnished by a physician or
other practitioner. Because OUD
treatment services furnished by an OTP
are not considered to be services
furnished by a physician or other
practitioner, the restrictions of section
1834(m) of the Act would not apply.
Additionally, we note that counseling or
therapy furnished via communication
technology as part of OUD treatment
services furnished by an OTP must not
be separately billed by the practitioner
furnishing the counseling or therapy
because these services would already be
paid through the bundled payment
made to the OTP.
We are proposing to include language
in § 410.67(b) in the definition of opioid
use disorder treatment services to allow
OTPs to use two-way interactive audiovideo communication technology, as
clinically appropriate, in furnishing
substance use counseling and
individual and group therapy services,
respectively. We invite comment as to
whether this proposal, including
whether furnishing these services
through communication technology is
clinically appropriate. We also invite
public comment on other components of
the bundle that may be clinically
appropriate to be furnished via
communication technology, while also
considering SAMHSA’s guidance that
OTPs should pay exceptional attention
to data security and privacy.
(5) Coding
We are proposing to adopt a coding
structure for OUD treatment services
that varies by the medication
administered. To operationalize this
approach, we are proposing to establish
G codes for weekly bundles describing
treatment with methadone,
buprenorphine oral, buprenorphine
injectable, buprenorphine implants
(insertion, removal, and insertion/
removal), extended-release injectable
naltrexone, a non-drug bundle, and one
for a medication not otherwise
specified. We also propose to establish
partial episode G codes to correspond
with each of those bundles,
respectively. Additionally, we propose
to create an add-on code to describe
additional counseling that is furnished
beyond the amount specified in the
patient’s treatment plan. As discussed
above, we are seeking comment on
whether to include intake activities and
periodic assessments in the definition of
OUD treatment services. Were we to
finalize including these activities in the
definition of OUD treatment services,
we welcome feedback on whether we
should consider modifying the payment
associated with the bundle or creating
add-on codes for services such as the
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initial physical examination, initial
assessments and preparation of a
treatment plan, periodic assessments or
additional toxicology testing, and if so,
what inputs we might consider in
pricing such services, such as payment
amounts for similar services under the
PFS or Clinical Lab Fee Schedule
(CLFS). For example, to price the initial
assessment, medical examination, and
development of a treatment plan, we
could crosswalk to the Medicare
payment rate for a level 3 Evaluation
and Management (E/M) visit for a new
patient and to price the periodic
assessments, we could crosswalk to the
Medicare payment rate for a level 3 E/
M visit for an established patient. To
price additional toxicology testing, we
could crosswalk to the Medicare
payment for presumptive drug testing,
such as that described by CPT code
80305. Additionally, we welcome
feedback on whether we should
consider creating codes to describe
bundled payments that include only the
cost of the drug and drug administration
as applicable in order to account for
beneficiaries who are receiving interim
maintenance treatment (as described
previously in this section) or other
situations in which the beneficiary is
not receiving all of the services
described in the full bundles.
Regarding the non-drug bundle, we
note that this code would be billed for
services furnished during an episode of
care or partial episode of care when a
medication is not administered. For
example, when a patient receives a
buprenorphine injection on a monthly
basis, the OTP will only require
payment for the medication during the
first week of the month when the
injection is given, and therefore, would
bill the code describing the bundle that
includes injectable buprenorphine
during the first week of the month and
would bill the code describing the nondrug bundle for the remaining weeks in
that month for services such as
substance use counseling, individual
and group therapy, and toxicology
testing.
As discussed previously, we propose
that the codes describing the bundled
payment for an episode of care with a
medication not otherwise specified,
HCPCS codes GXXX9 and GXX18,
should be used when the OTP furnishes
MAT with a new opioid agonist or
antagonist treatment medication
approved by the FDA under section 505
of the FFDCA for the treatment of OUD.
OTPs would use these codes until we
have the opportunity to propose and
finalize a new G code to describe the
bundled payment for treatment using
that drug and price it accordingly in the
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next rulemaking cycle. We note that the
code describing the weekly bundle for a
medication not otherwise specified
should not be used when the drug being
administered is not a new opioid
agonist or antagonist treatment
medication approved by the FDA under
section 505 of the FFDCA for the
treatment of OUD, and therefore, for
which Medicare would not have the
authority to make payment since section
1861(jjj)(1)(A) of the Act requires that
the medication must be an opioid
agonist or antagonist treatment
medication approved by the FDA under
section 505 of the FFDCA for the
treatment of OUD. Given the program
integrity concerns regarding the
potential for misuse of such a code, we
also welcome comments as to whether
this code is needed.
The codes and long descriptors for the
proposed OTP bundled services are:
• HCPCS code GXXX1: Medication
assisted treatment, methadone; weekly
bundle including dispensing and/or
administration, substance use
counseling, individual and group
therapy, and toxicology testing, if
performed (provision of the services by
a Medicare-enrolled Opioid Treatment
Program).
• HCPCS code GXXX2: Medication
assisted treatment, buprenorphine
(oral); weekly bundle including
dispensing and/or administration,
substance use counseling, individual
and group therapy, and toxicology
testing if performed (provision of the
services by a Medicare-enrolled Opioid
Treatment Program).
• HCPCS code GXXX3: Medication
assisted treatment, buprenorphine
(injectable); weekly bundle including
dispensing and/or administration,
substance use counseling, individual
and group therapy, and toxicology
testing if performed (provision of the
services by a Medicare-enrolled Opioid
Treatment Program).
• HCPCS code GXXX4: Medication
assisted treatment, buprenorphine
(implant insertion); weekly bundle
including dispensing and/or
administration, substance use
counseling, individual and group
therapy, and toxicology testing if
performed (provision of the services by
a Medicare-enrolled Opioid Treatment
Program).
• HCPCS code GXXX5: Medication
assisted treatment, buprenorphine
(implant removal); weekly bundle
including dispensing and/or
administration, substance use
counseling, individual and group
therapy, and toxicology testing if
performed (provision of the services by
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a Medicare-enrolled Opioid Treatment
Program).
• HCPCS code GXXX6: Medication
assisted treatment, buprenorphine
(implant insertion and removal); weekly
bundle including dispensing and/or
administration, substance use
counseling, individual and group
therapy, and toxicology testing if
performed (provision of the services by
a Medicare-enrolled Opioid Treatment
Program).
• HCPCS code GXXX7: Medication
assisted treatment, naltrexone; weekly
bundle including dispensing and/or
administration, substance use
counseling, individual and group
therapy, and toxicology testing if
performed (provision of the services by
a Medicare-enrolled Opioid Treatment
Program).
• HCPCS code GXXX8: Medication
assisted treatment, weekly bundle not
including the drug, including substance
use counseling, individual and group
therapy, and toxicology testing if
performed (provision of the services by
a Medicare-enrolled Opioid Treatment
Program).
• HCPCS code GXXX9: Medication
assisted treatment, medication not
otherwise specified; weekly bundle
including dispensing and/or
administration, substance use
counseling, individual and group
therapy, and toxicology testing, if
performed (provision of the services by
a Medicare-enrolled Opioid Treatment
Program).
• HCPCS code GXX10: Medication
assisted treatment, methadone; weekly
bundle including dispensing and/or
administration, substance use
counseling, individual and group
therapy, and toxicology testing if
performed (provision of the services by
a Medicare-enrolled Opioid Treatment
Program); partial episode. Do not report
with GXXX1.
• HCPCS code GXX11: Medication
assisted treatment, buprenorphine
(oral); weekly bundle including
dispensing and/or administration,
substance use counseling, individual
and group therapy, and toxicology
testing if performed (provision of the
services by a Medicare-enrolled Opioid
Treatment Program); partial episode. Do
not report with GXXX2.
• HCPCS code GXX12: Medication
assisted treatment, buprenorphine
(injectable); weekly bundle including
dispensing and/or administration,
substance use counseling, individual
and group therapy, and toxicology
testing if performed (provision of the
services by a Medicare-enrolled Opioid
Treatment Program); partial episode. Do
not report with GXXX3.
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• HCPCS code GXX13: Medication
assisted treatment, buprenorphine
(implant insertion); weekly bundle
including dispensing and/or
administration, substance use
counseling, individual and group
therapy, and toxicology testing if
performed (provision of the services by
a Medicare-enrolled Opioid Treatment
Program); partial episode (only to be
billed once every 6 months). Do not
report with GXXX4.
• HCPCS code GXX14: Medication
assisted treatment, buprenorphine
(implant removal); weekly bundle
including dispensing and/or
administration, substance use
counseling, individual and group
therapy, and toxicology testing if
performed (provision of the services by
a Medicare-enrolled Opioid Treatment
Program); partial episode. Do not report
with GXXX5.
• HCPCS code GXX15: Medication
assisted treatment, buprenorphine
(implant insertion and removal); weekly
bundle including dispensing and/or
administration, substance use
counseling, individual and group
therapy, and toxicology testing if
performed (provision of the services by
a Medicare-enrolled Opioid Treatment
Program); partial episode. Do not report
with GXXX6.
• HCPCS code GXX16: Medication
assisted treatment, naltrexone; weekly
bundle including dispensing and/or
administration, substance use
counseling, individual and group
therapy, and toxicology testing if
performed (provision of the services by
a Medicare-enrolled Opioid Treatment
Program); partial episode. Do not report
with GXXX7.
• HCPCS code GXX17: Medication
assisted treatment, weekly bundle not
including the drug, including substance
use counseling, individual and group
therapy, and toxicology testing if
performed (provision of the services by
a Medicare-enrolled Opioid Treatment
Program); partial episode. Do not report
with GXXX8.
• HCPCS code GXX18: Medication
assisted treatment, medication not
otherwise specified; weekly bundle
including dispensing and/or
administration, substance use
counseling, individual and group
therapy, and toxicology testing, if
performed (provision of the services by
a Medicare-enrolled Opioid Treatment
Program); partial episode. Do not report
with GXXX9.
• HCPCS code GXX19: Each
additional 30 minutes of counseling or
group or individual therapy in a week of
medication assisted treatment,
(provision of the services by a Medicare-
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enrolled Opioid Treatment Program);
List separately in addition to code for
primary procedure.
See Table 15 for proposed valuations
for HCPCS codes GXXX1–GXX19. We
propose that only an entity enrolled
with Medicare as an OTP could bill
these codes. Additionally, we propose
that OTPs would be limited to billing
only these codes describing bundled
payments, and may not bill for other
codes, such as those paid under the
PFS.
(6) Payment Rates
The codes describing the proposed
OTP bundled services (HCPCS codes
GXXX1–GXX19) would be assigned flat
dollar payment amounts, which are
listed in Table 15. As discussed
previously, section 2005 of the
SUPPORT Act amended the definition
of ‘‘medical and other health services’’
in section 1861(s) of the Act to provide
for coverage of OUD treatment services
furnished by an OTP and also added a
new section 1834(w) to the Act and
amended section 1833(a)(1) of the Act to
establish a bundled payment to OTPs
for OUD treatment services furnished
during an episode of care beginning on
or after January 1, 2020. Therefore, OUD
treatment services and the payments for
such services are wholly separate from
physicians’ services, as defined under
section 1848(j)(3) of the Act, and for
which payment is made under the
section 1848 of the Act. Because OUD
treatment services are not considered
physicians’ services and are paid
outside the PFS, they would not be
priced using relative value units (RVUs).
Consistent with section 1834(w) of the
Act, which requires the Secretary to
make a bundled payment for OUD
treatment services furnished by OTPs,
we are proposing to build the payment
rates for OUD treatment services by
combining the cost of the drug and the
non-drug components (as applicable)
into a single bundled payment as
described in more detail below.
(a) Drug Component
As part of determining a payment rate
for these proposed bundles for OUD
treatment services, a dosage of the
applicable medication must be selected
in order to calculate the costs of the
drug component of the bundle. We
propose to use the typical or average
maintenance dose, as discussed earlier
in this section, to determine the drug
costs for each of the proposed bundles.
As dosing for some, but not all, of these
drugs varies considerably, this approach
attempts to strike an appropriate
balance between high- and low-dose
drug regimens in the context of a
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bundled payment. Specifically, we
propose to calculate payment rates
using a 100 mg daily dose for
methadone, a 10 mg daily dose for oral
buprenorphine, a 100 mg monthly dose
for the extended-release buprenorphine
injection, four rods each containing 74.2
mg of buprenorphine for the 6-month
buprenorphine implant, and a 380 mg
monthly dose for extended-release
injectable naltrexone. We invite public
comments on our proposal to use the
typical maintenance dose in order to
calculate the drug component of the
bundled payment rate for each of the
proposed codes. We also seek comment
on the specific typical maintenance
dosage level that we have identified for
each drug, and a process for identifying
the typical maintenance dose for new
opioid agonist or antagonist treatment
medication approved by the FDA under
section 505 of the FFDCA when such
medications are billed using the
medication NOS code, such as using the
FDA-approved prescribing information
or a review of the published, preferably
peer-reviewed, literature. We note that
the bundled payment rates are intended
to be comprehensive with respect to the
drugs provided; therefore, we do not
intend to include any other amounts
related to drugs, other than for
administration, as discussed below.
This means, for example, that we would
not pay for drug wastage, which we do
not anticipate to be significant in the
OTP setting.
i. Potential Drug Pricing Data Sources
Payment structures that are closely
tailored to the provider’s actual
acquisition cost reduce the likelihood
that a drug will be chosen primarily for
a reason that is unrelated to the clinical
care of the patient, such as the drug’s
profit margin for a provider. We are
proposing to estimate an OTP’s costs for
the drug component of the bundles
based on available data regarding drug
costs rather than a provider-specific
cost-to-charge ratio or another more
direct assessment of facility or industryspecific drug costs. OTPs do not
currently report costs associated with
their services to the Medicare program,
and we do not believe that a cost-tocharge ratio based on such reported
information could be available for a
significant period of time. Furthermore,
we are unaware of any industry-specific
data that may be used to more
accurately assess the prices at which
OTPs acquire the medications used for
OUD treatment. Therefore, at this time,
we are proposing to estimate an OTP’s
costs for the drugs used in MAT based
on other available data sources, rather
than applying a cost-to-charge ratio or
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another more direct assessment of drug
acquisition cost, though we intend to
continue to explore alternate ways to
gather this information. As described in
greater detail below, we propose that the
payment amounts for the drug
component of the bundles be based on
CMS pricing mechanisms currently in
place. We request comment on other
potential data sources for pricing OUD
treatment medications either generally
or specifically with respect to
acquisition by OTPs. In the case of oral
drugs that we are proposing to include
in the OTP bundled payments and for
which we do not receive manufacturersubmitted ASP data, we are considering
several potential approaches for
determining the payment amounts for
the drug component of the bundles.
Although we are not proposing a
specific pricing mechanism at this time,
we are soliciting comments on several
different approaches, and we intend to
develop a final policy for determining
the payment amount for the drug
component of the relevant bundles after
considering the comments received.
In considering the payment amount
for the drug component of each of the
bundled payments that include a drug,
we will begin by breaking the drugs into
two categories based on their current
coverage and payment by Medicare.
First, we discuss the injectable and
implantable drugs, which are generally
covered and paid for under Medicare
Part B, and then discuss the oral
medications, which are generally
covered and paid for under Medicare
Part D.53 Buprenorphine (injection),
buprenorphine (implant), and
naltrexone (injection) would fall into
the former category and methadone and
buprenorphine (oral) would fall into the
latter category.
ii. Part B Drugs
Part B includes a limited drug benefit
that encompasses drugs and biologicals
described in section 1861(t) of the Act.
Currently, covered Part B drugs fall into
three general categories: Drugs
furnished incident to a physician’s
services, drugs administered via a
covered item of durable medical
equipment, and other drugs specified by
statute (generally in section 1861(s)(2) of
the Act). Types of providers and
suppliers that are paid for all or some
of the Medicare-covered Part B drugs
53 Because,
by law, methadone used in MAT
cannot be dispensed by a pharmacy, it is not
currently considered a Part D drug when used for
MAT. Methadone used for this purpose can be
dispensed only through an OTP certified by
SAMHSA. However, methadone dispensed for pain
may be considered a Part D drug and can be
dispensed by a pharmacy.
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that they furnish include physicians,
pharmacies, durable medical equipment
suppliers, hospital outpatient
departments, and end-stage renal
disease (ESRD) facilities.
The majority of Part B drug
expenditures are for drugs furnished
incident to a physician’s service. Drugs
furnished incident to a physician’s
service are typically injectable drugs
that are administered in a non-facility
setting (covered under section
1861(s)(2)(A) of the Act) or in a hospital
outpatient setting (covered under
section 1861(s)(2)(B) of the Act). The
statute (sections 1861(s)(2)(A) and
1861(s)(2)(B) of the Act) limits ‘‘incident
to’’ services to drugs that are not usually
self-administered; self-administered
drugs, such as orally administered
tablets and capsules are not paid for
under the ‘‘incident to’’ provision.
Payment for drugs furnished incident to
a physician’s service falls under section
1842(o) of the Act. In accordance with
section 1842(o)(1)(C) of the Act,
‘‘incident to’’ drugs furnished in a nonfacility setting are paid under the
methodology in section 1847A of the
Act. ‘‘Incident to’’ drugs furnished in a
facility setting also are paid using the
methodology in section 1847A of the
Act when it has been incorporated
under the relevant payment system (for
example, the Hospital Outpatient
Prospective Payment System (OPPS) 54).
In most cases, determining payment
using the methodology in section 1847A
of the Act means payment is based on
the ASP plus a statutorily mandated 6
percent add-on. The payment for these
drugs does not include costs for
administering the drug to the patient
(for example, by injection or infusion);
payments for these physician and
hospital services are made separately,
and the payment amounts are
determined under the PFS 55 and the
OPPS, respectively. The ASP payment
amount determined under section
1847A of the Act reflects a volumeweighted ASP for all NDCs that are
assigned to a HCPCS code. The ASP is
calculated quarterly using
manufacturer-submitted data on sales to
all purchasers (with limited exceptions
as articulated in section 1847A(c)(2) of
the Act such as sales at nominal charge
and sales exempt from best price) with
manufacturers’ rebates, discounts, and
price concessions reflected in the
manufacturer’s determination of ASP.
54 See https://www.cms.gov/Medicare/MedicareFee-for-Service-Payment/HospitalOutpatientPPS/
index.html.
55 See https://www.cms.gov/Medicare/MedicareFee-for-Service-Payment/PhysicianFeeSched/
index.html.
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Although the Part B drug benefit is
generally considered to be limited in
scope, it includes many categories of
drugs and encompasses a variety of care
settings and payment methodologies. In
addition to the ‘‘incident to’’ drugs
described above, Part B also covers and
pays for certain oral drugs with specific
benefit categories defined under section
1861(s) of the Act including certain oral
anti-cancer drugs and certain oral
antiemetic drugs. In accordance with
section 1842(o)(1) of the Act or through
incorporation under the relevant
payment system as discussed above,
most of these oral Part B drugs are also
paid based on the ASP methodology
described in section 1847A of the Act.
However, at times Part B drugs are
paid based on wholesale acquisition
cost (WAC) as authorized under section
1847A(c)(4) of the Act 56 or average
manufacturer price (AMP)-based price
substitutions as authorized under
section 1847A(d) of the Act.57 Also, in
accordance with section 1842(o) of the
Act, other payment methodologies may
be applied to determine the payment
amount for certain Part B drugs, for
example, AWP-based payments (using
current AWP) are made for influenza,
pneumococcal pneumonia, and
hepatitis B vaccines.58 We also use
current AWP to make payment under
the OPPS for very new drugs without an
ASP.59 Contractors may also make
independent payment amount
determinations in situations where a
national price is not available for
physician and other supplier claims and
for drugs that are specifically excluded
from payment based on section 1847A
of the Act (for example,
radiopharmaceuticals as noted in
section 303(h) of the Medicare
Prescription Drug, Improvement and
Modernization Act of 2003 (MMA) (Pub.
L. 108–173, enacted December 8, 2003).
In such cases, pricing may be
determined based on compendia or
invoices.60
While most Part B drugs are paid
based on the ASP methodology,
MedPAC has noted that the ASP
methodology may encourage the use of
more expensive drugs because the 6
percent add-on generates more revenue
56 See 75 FR 73465–73466, the section titled
Partial Quarter ASP data.
57 See 77 FR 69140.
58 Section 1842(o)(1)(A)(iv) of the Act.
59 80 FR 70426 and 80 FR 70442–3; Medicare
Claims Processing Manual 100–04, Chapter 17,
Section 20.1.3.
60 Medicare Claims Processing Manual 100–04,
Chapter 17, Section 20.1.3.
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for more expensive drugs.61 The ASP
payment amount also does not vary
based on the price an individual
provider or supplier pays to acquire the
drug. The statute does not identify a
reason for the additional 6 percent addon above ASP; however, as noted in the
MedPAC report (and by sources cited in
the report), the add-on is needed to
account for handling and overhead costs
and/or for additional mark-up in the
distribution channels that are not
captured in the manufacturer-reported
ASP.62
We propose to use the methodology in
section 1847A of the Act (which bases
most payments on ASP) to set the
payment rates for the ‘‘incident to’’
drugs. However, we propose to limit the
payment amounts for ‘‘incident to’’
drugs to 100 percent of the volumeweighted ASP for a HCPCS code instead
of 106 percent of the volume-weighted
ASP for a HCPCS code. We believe
limiting the add-on will incentivize the
use of the most clinically appropriate
drug for a given patient. In addition, we
understand that many OTPs purchase
directly from drug manufacturers,
thereby limiting the markup from
distribution channels. We also propose
to use the same version of the quarterly
manufacturer-submitted data used for
calculating the most recently posted
ASP data files in preparing the CY 2020
payment rates for OTPs. Please note that
the quarterly ASP Drug Pricing Files
include ASP plus 6 percent payment
amounts.63 Accordingly, we would
adjust these amounts consistent with
our proposal to limit the payment
amounts for these drugs to 100 percent
of the volume-weighted ASP for a
HCPCS code. Proposed payment rates
are provided below in this section of
this proposed rule. A discussion of the
proposed annual payment update
methodology is also provided below.
We propose to codify the ASP payment
methodology for the drug component at
§ 410.67(d)(2). We solicit public
comment on these proposals, as well as
on using alternative ASP-based
payments to price these drugs, such as
a rolling average of the past year’s ASP
payment rates.
iii. Oral Drugs
We propose to use ASP-based
payment, which would be determined
based on ASP data that have been
calculated consistent with the
61 See
MedPAC Report to the Congress: Medicare
and the Health Care Delivery System June 2015,
pages 65–72.
62 Ibid.
63 See https://www.cms.gov/Medicare/MedicareFee-for-Service-Part-B-Drugs/McrPartBDrugAvg
SalesPrice/2016ASPFiles.html.
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provisions in 42 CFR part 414, subpart
800, to set the payment rates for the oral
product categories when we receive
manufacturer-submitted ASP data for
these drugs. We believe that using the
ASP pricing data for oral OTP drugs
currently covered under Part D 64 would
facilitate the computation of the
estimated costs of these drugs. However,
we do not collect ASP pricing
information under section 1927(b) of the
Act for these drugs. We request public
comment on whether manufacturers
would be willing to submit ASP pricing
data for OTP drugs currently covered
under Part D on a voluntary basis.
We also propose to limit the payment
amounts for oral drugs to 100 percent of
the volume-weighted ASP for a HCPCS
code instead of 106 percent of the
volume-weighted ASP for a HCPCS
code. We believe limiting the add-on
will incentivize the use of the most
clinically appropriate drug for a given
patient. In addition, we understand that
many OTPs purchase directly from drug
manufacturers, thereby limiting the
markup from distribution channels. We
propose to use the same version of the
quarterly manufacturer-submitted data
used for calculating the most recently
posted ASP data files in preparing the
CY 2020 payment rates for OTPs. Please
note that the quarterly ASP Drug Pricing
Files include ASP plus 6 percent
payment amounts.65 Accordingly, we
would adjust these amounts consistent
with our proposal to limit the payment
amounts for these drugs to 100 percent
of the volume-weighted ASP for a
HCPCS code. Proposed payment rates
are provided below in this section of
this proposed rule. A discussion of the
proposed annual payment update
methodology is also provided below.
We propose to codify the ASP payment
methodology for the drug component at
§ 410.67(d)(2). We solicit public
comment on these proposals, as well as
on using alternative ASP-based
payments to price these drugs, such as
a rolling average of the past year’s ASP
payment rates.
In the event that we do not receive
manufacturer-submitted ASP pricing
data, we are considering several
potential pricing mechanisms to
estimate the payment amounts for oral
drugs typically paid for under Medicare
Part D but that would become OTP
64 Please note that methadone is not currently
considered a Part D drug when used for MAT.
Methadone used for this purpose can be dispensed
only through an OTP certified by SAMHSA.
However, methadone dispensed for pain may be
considered a Part D drug.
65 See https://www.cms.gov/Medicare/MedicareFee-for-Service-Part-B-Drugs/McrPartBDrugAvg
SalesPrice/2016ASPFiles.html.
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drugs paid under Part B when used as
part of MAT in an OTP. We are not
proposing a specific pricing mechanism
for these drugs at this time, but are
requesting public comment on the
following potential approaches for
estimating the acquisition cost and
payment amounts for these drugs and
on alternative approaches. We will
consider the comments received in
developing our final policy for
determining these drug prices.
Approach 1: The Methodology in
Section 1847A of the Act
One approach for estimating the cost
of the drugs that are currently covered
under Part D and for which ASP data
are not available would be to use the
methodology in section 1847A of the
Act. Please see above for a discussion of
the methodology in section 1847A of the
Act. Under the methodology in section
1847A of the Act, when ASP data are
not available, this option would price
drugs using, for example, WAC or
invoice pricing.
Approach 2: Medicare’s Part D
Prescription Drug Plan Finder Data
On January 28, 2005, we issued the
‘‘Medicare Program; Medicare
Prescription Drug Benefit’’ final rule (70
FR 4194) which implemented the
Medicare voluntary prescription drug
benefit, as enacted by section 101 of the
MMA. Beginning on January 1, 2006, a
prescription drug benefit program was
available to beneficiaries with much
broader drug coverage than was
previously provided under Part B to
include: Brand-name prescription drugs
and biologicals, generic drugs,
biosimilars, vaccines, and medical
supplies associated with the injection of
insulin.66 This prescription drug benefit
is offered to Medicare beneficiaries
through Medicare Advantage Drug Plans
(MA–PDs) and stand-alone Prescription
Drug Plans (PDPs). The prescription
drug benefit under Medicare Part D is
administered based on the ‘‘negotiated
prices’’ of covered Part D drugs. Under
§ 423.100 of the Part D regulations, the
negotiated price of a Part D drug equals
the amount paid by the Part D sponsor
(or its pharmacy benefit manager) to the
pharmacy at the point-of-sale for that
drug. Typically, these Part D
‘‘negotiated prices’’ are based on AWP
minus a percentage for brand drugs or
either the maximum allowable cost,
which is based on proprietary
methodologies used to establish the
same payment for therapeutically
equivalent products marketed by
multiple labelers with different AWPs,
66 See
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section 1860D–2(e) of the Act.
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or the Generic Effective Rate, which
guarantees aggregate minimum
reimbursement (for example, AWP–85
percent). The negotiated price under
Part D also includes a dispensing fee
(for example, $1–$2), which is added to
the cost of the drug.
Many of the beneficiaries who choose
to enroll in Part D drug plans must pay
premiums, deductibles, and
copayments/co-insurance. The Medicare
Prescription Drug Plan Finder is an
online tool available at https://
www.medicare.gov. This web tool
allows beneficiaries to make informed
choices about enrolling in Part D plans
by comparing the plans’ benefit
packages, premiums, formularies,
pharmacies, and pricing data. PDPs and
MA–PDs are required to submit this
information to CMS for posting on the
Medicare Drug Plan Finder. The
database structure provides the drug
pricing and pharmacy network
information necessary to accurately
communicate plan information in a
comparative format. The Medicare
Prescription Drug Plan Finder displays
information on pharmacies that are
contracted to participate in the
sponsors’ network as either retail or
mail order pharmacies.
Another approach for estimating the
cost of the drugs that are currently
covered under Part D and for which
ASP data are not available would be to
use data retrieved from the online
Medicare Prescription Drug Plan Finder.
For example, the Part D drug prices for
each drug used by an OTP as part of
MAT could be estimated based on a
national average price charged by all
Part D plans and their network
pharmacies. However, the prices listed
in the Medicare Prescription Drug Plan
Finder generally reflect the prices that
are negotiated by larger buying groups,
as larger pharmacies often have
significant buying power and smaller
pharmacies generally contract with a
pharmacy services administrative
organization (PSAO). As a result, our
primary concern with this pricing
approach is that such prices may fail to
reflect the drug prices that smaller OTP
facilities may pay in acquiring these
drugs and could therefore disadvantage
these facilities. If we were to select this
pricing approach for oral drugs for
which ASP data are not available, we
would anticipate setting the pricing for
these drugs using the most recent
Medicare Drug Plan Finder data
available at the drafting of the CY 2020
PFS final rule. We note that, for the Part
B ESRD prospective payment system
(PPS) outlier calculation, which
provides ESRD facilities with additional
payment in situations where the costs
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for treating patients exceed an
established threshold under the ESRD
PPS, we chose to adopt the ASP
methodology in section 1847A of the
Act, and the other pricing
methodologies under section 1847A of
the Act, as appropriate, when ASP data
are not available, to price the renal
dialysis drugs and biological products
that were or would have been separately
billable under Part B prior to
implementation of the ESRD PPS,67 and
the national average drug prices based
on the Medicare Prescription Drug Plan
Finder as the data source for pricing the
renal dialysis drugs or biological
products that were or would have been
separately covered under Part D prior to
implementation of the ESRD PPS.68
We believe that all of the MAT drugs
proposed for inclusion in the OTP
benefit that are currently covered under
Part D have clinical treatment
indications beyond MAT such as for the
treatment of pain.69 These drugs will
continue to be covered under Part D for
these other indications. Buprenorphine
will continue to be covered under Part
D for MAT as well. Consequently, Part
D pricing information should continue
to be available for these drugs and could
be used in the computation of payment
under the approach discussed above.
Because, by law, methadone used in
MAT cannot be dispensed by a
pharmacy, it is not currently considered
a Part D drug when used for MAT.
Methadone used for this purpose can be
dispensed only through an OTP
certified by SAMHSA. However,
methadone dispensed for pain may be
considered a Part D drug and can be
dispensed by a pharmacy. Accordingly,
we also seek comment on the
applicability of Part D payment rates for
methadone dispensed by a pharmacy to
methadone dispensed by an OTP for
MAT.
Approach 3: Wholesale Acquisition Cost
(WAC)
Another approach for estimating the
cost of the oral drugs that we propose
to include as part of the bundled
payments but for which ASP data are
not available would be to use WAC.
Section 1847A(c)(6)(B) of the Act
defines WAC as the manufacturer’s list
price for the drug to wholesalers or
direct purchasers in the U.S., not
including prompt pay or other
discounts, rebates, or reductions in
price, for the most recent month for
67 82
FR 50742 through 50745.
FR 49142.
69 For example, while methadone is not covered
by Medicare Part D for MAT, methadone dispensed
for pain may be considered a Part D drug.
68 75
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which the information is available, as
reported in wholesale price guides or
other publications of drug pricing data.
As noted above in the discussion of Part
B drugs, WAC is used as the basis for
pricing some Part B drugs; for example,
it is used when it is less than ASP in
the case of single source drugs (section
1847A(b)(4) of the Act) and in cases
where ASP is unavailable during the
first quarter of sales (section 1847A(c)(4)
of the Act).
Because WAC is the manufacturer’s
list price to wholesalers, we believe that
it is more reflective of the price paid by
the end user than the AWP. As a result,
we believe that this pricing mechanism
would be consistent with pricing that
currently occurs for drugs that are
separately billable under Part B.
However, we have concerns about the
fact that WAC does not include prompt
pay or other discounts, rebates, or
reductions in price. If we select this
option to estimate the cost of certain
drugs, we would develop pricing using
the most recent data files available at
the drafting of the CY 2020 PFS final
rule.
Approach 4: National Average Drug
Acquisition Cost (NADAC)
Another approach for estimating the
cost of the oral drugs that we propose
to include as part of the bundled
payments but for which ASP data are
not available would be to use
Medicaid’s NADAC survey. This survey
provides another national drug pricing
benchmark. CMS conducts surveys of
retail community pharmacy prices,
including drug ingredient costs, to
develop the NADAC pricing benchmark.
The NADAC was designed to create a
national benchmark that is reflective of
the prices paid by retail community
pharmacies to acquire prescription and
over-the-counter covered outpatient
drugs and is available for consideration
by states to assist with their individual
pharmacy payment policies.
State Medicaid agencies reimburse
pharmacy providers for prescribed
covered outpatient drugs dispensed to
Medicaid beneficiaries. The
reimbursement formula consists of two
parts: (1) Drug ingredient costs; and (2)
a professional dispensing fee. In a final
rule with comment period titled
‘‘Medicaid Program; Covered Outpatient
Drugs,’’ which appeared in the February
1, 2016 Federal Register (81 FR 5169),
we revised the methodology that state
Medicaid programs use to determine
drug ingredient costs, establishing an
Actual Acquisition Cost (AAC) based
determination, as opposed to a
determination based on estimated
acquisition costs (EAC). AAC is defined
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at 42 CFR 447.502 as the agency’s
determination of the pharmacy
providers’ actual prices paid to acquire
drugs marketed or sold by specific
manufacturers. As explained in the
Covered Outpatient Drugs final rule
with comment period (81 FR 5175),
CMS believes shifting from an EAC to
an AAC based determination of
ingredient costs is more consistent with
the dictates of section 1902(a)(30)(A) of
the Act. In 2010, a working group
within the National Association of State
Medicaid Directors (NASMD)
recommended the establishment of a
single national pricing benchmark based
on average drug acquisition costs.
Pricing metrics based on actual drug
purchase prices provide greater
accuracy and transparency in how drug
prices are established and are more
resistant to manipulation. The NASMD
requested that CMS coordinate, develop,
and support this benchmark.
Section 1927(f) of the Act provides, in
part, that CMS may contract with a
vendor to conduct monthly surveys
with respect to prices for covered
outpatient drugs dispensed by retail
community pharmacies. We entered
into a contract with Myers & Stauffer,
LLC to perform a monthly nationwide
retail price survey of retail community
pharmacy covered outpatient drug
prices (CMS–10241, OMB 0938–1041)
and to provide states with weekly
updates on pricing files, that is, the
NADAC files. The NADAC survey
process focuses on drug ingredient costs
for retail community pharmacies. The
survey collects acquisition costs for
covered outpatient drugs purchased by
retail pharmacies, which include
invoice prices from independent and
chain retail community pharmacies. The
survey data provide information that
CMS uses to assure compliance with
federal requirements. We believe
NADAC data could be used to set the
prices for the oral drugs furnished by
OTPs for which ASP data are not
available. Survey data on invoice prices
provide the closest pricing metric to
ASP that we are aware of. However,
similar to the other available pricing
metrics, we have concerns about the
applicability of retail pharmacy prices
to the acquisition costs available to
OTPs since we have no evidence to
suggest that these entities would be able
to acquire drugs at a similar price point.
If we select this option, we would
develop pricing using the most recent
data files available at the drafting of the
CY 2020 PFS final rule.
Alternative Methadone Pricing:
TRICARE
We are also considering an approach
for estimating the cost of methadone
using the amount calculated by
TRICARE. As discussed above in this
section of this proposed rule, the
TRICARE rates for medications used in
OTPs to treat opioid use disorder are
spelled out in the 2016 TRICARE final
rule (81 FR 61068); in the regulations at
§ 199.14(a)(2)(ix); and in Chapter 7,
Section 5 and Chapter 1, Section 15 of
the TRICARE Reimbursement Manual
6010.61–M, April 1, 2015.
In the 2016 TRICARE final rule, DOD
established separate payment
methodologies for OTPs based on the
particular medication being
administered for treatment.70 Based on
TRICARE’s review of industry billing
practices, the initial weekly bundled
rate for administration of methadone
included a daily drug cost of $3, which
is subject to an update factor.71
This option would only be applicable
for methadone because TRICARE has
developed a fee-for-service payment
methodology for buprenorphine and
naltrexone.72 In the 2016 TRICARE final
rule, the DOD stated that the payments
for buprenorphine and naltrexone are
more variable in dosage and frequency
for both the drug and non-drug
services.73 Accordingly, TRICARE pays
for drugs listed on Medicare’s Part B
ASP files, such as the injectable and
implantable versions of buprenorphine
using the ASP; drugs not appearing on
the Medicare ASP file, such as oral
buprenorphine, are priced at the lesser
of billed charges or 95 percent of the
AWP.74
We believe that pricing methadone
consistent with the TRICARE payment
rate may provide a reasonable payment
amount for methadone when ASP data
are not available. As DOD noted in the
2016 TRICARE final rule, ‘‘a number of
commenters indicated that they
believed the rates DOD proposed for
OTPs’ services are near market rates and
are acceptable.’’ 75
We are proposing to codify this
proposal to apply an alternative
approach for determining the payment
rate for oral drugs only if ASP data are
not available in § 410.67(d)(2). We
request public comment on the potential
alternative approaches set forth above
for estimating the cost of oral drugs that
we propose to include as part of the
bundled payments but for which ASP
data are not available, including any
other alternate sources of data to
estimate the cost of these oral MAT
drugs. Payment rates based on these
different options are set forth in Table
14. We will consider the comments
received on these different potential
approaches when deciding on the
approach that we will use to determine
the payment rates for these drugs in the
CY 2020 PFS final rule. We also invite
public comment on any other potential
data sources for estimating the provider
acquisition costs of OTP drugs currently
paid under either Part B or Part D. As
noted previously, we welcome
comments on how new drugs with a
novel mechanism of action should be
priced, and specifically whether pricing
for non-opioid agonist and/or antagonist
medications should be determined
using the same pricing methodology,
including the alternatives discussed
above, as would be used for medications
included in the proposed definition of
OUD treatment services.
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TABLE 14—ESTIMATED * INITIAL DRUG PAYMENT RATES FOR EACH PRICING APPROACH
Pricing approach
(or alternative)
Estimated initial weekly drug payment
for methadone
Proposal: ASP-Based Payment .........................
Approach 1: The Methodology in Section
1847A of the Act.
Approach 2: Medicare’s Part D Prescription
Drug Plan Finder Data.
Approach 3: WAC ..............................................
Approach 4: NADAC ..........................................
ASPs currently not reported ............................
$29.61 ..............................................................
ASPs currently not reported.
$117.68.
22.47 ................................................................
97.65.
27.93 ................................................................
11.76 ................................................................
111.02.
97.02.
70 81
73 81
71 81
FR 61079.
FR 61079.
72 81 FR 61080.
74 https://manuals.health.mil/pages/
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Estimated initial weekly drug payment
for oral buprenorphine
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75 81 FR 61080.
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40535
TABLE 14—ESTIMATED * INITIAL DRUG PAYMENT RATES FOR EACH PRICING APPROACH—Continued
Pricing approach
(or alternative)
Estimated initial weekly drug payment
for methadone
Alternative Methadone Pricing: TRICARE .........
22.19 ................................................................
Estimated initial weekly drug payment
for oral buprenorphine
N/A.
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* The estimated payment amounts in this table are based on data files posted at the time of the drafting of this proposed rule. We would develop the final pricing for CY 2020 using the most recent data files available at the drafting of the CY 2020 PFS final rule.
(b) Non-Drug Component
To price the non-drug component of
the bundled payments, we are
proposing to use a crosswalk to the nondrug component of the TRICARE weekly
bundled rate for services furnished
when a patient is prescribed methadone.
As described above, in 2016, TRICARE
finalized a weekly bundled rate for
administration of methadone that
included a daily drug cost of $3, along
with a $15 per day cost for non-drug
services (that is, the costs related to the
intake/assessment, drug dispensing and
screening and integrated psychosocial
and medical treatment and supportive
services). The daily projected per diem
cost ($18/day) was converted to a
weekly rate of $126 ($18/day × 7 days)
(81 FR 61079). TRICARE updates the
weekly bundled methadone rate for
OTPs annually using the Medicare
update factor used for other mental
health care services rendered (that is,
the Inpatient Prospective Payment
System update factor) under TRICARE
(81 FR 61079). The updated amount for
CY 2019 to $133.15 (of which $22.19 is
the methadone cost and the remainder,
$110.96, is for the non-drug services).76
We believe using the TRICARE weekly
bundled rate is a reasonable approach to
setting the payment rate for the nondrug component of the bundled
payments to OTPs, particularly given
the time constraints in developing a
payment methodology prior to the
January 1, 2020 effective date of this
new Medicare benefit category. The
TRICARE rate is an established national
payment rate that was established
through notice and comment
rulemaking. As a result, OTPs and other
interested parties had an opportunity to
present information regarding the costs
of these services. Furthermore the
TRICARE rate describes a generally
similar bundle of services to those
services that are included in the
definition of OUD treatment services in
section 1861(jjj)(1) of the Act. We
recognize that there are differences in
the patient population for TRICARE
compared with the Medicare beneficiary
population. However, as OTP services
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have not previously been covered by
Medicare, it is not clear what impact, if
any, these differences would have on
the cost of the services included in the
non-drug component of the proposed
bundled payments. We are proposing to
codify the methodology for determining
the payment rate for the non-drug
component of the bundled payments
using the TRICARE weekly rate for nondrug services at § 410.67(d)(2). As part
of this proposal, we would plan to
monitor utilization of non-drug services
by Medicare beneficiaries and, if
needed, would consider in future
rulemaking ways we could tailor the
TRICARE payment rate for these nondrug services to the Medicare
population, including dually eligible
beneficiaries.
Because the TRICARE payment rate
for the non-drug services included in its
weekly bundled rate for methadone
includes daily administration of
methadone, as part of our proposed
approach we would adjust the TRICARE
payment rate for non-drug services for
most of the other bundled payments to
more accurately reflect the cost of
administering the other drugs used in
MAT. For the oral buprenorphine
bundled payment, we propose to retain
the same amount as the rate for the
methadone bundled payment based on
an assumption that this drug is also
being dispensed daily. We understand
that patients who have stabilized may
be given 7–14 day supplies of oral
buprenorphine at a time, but for the
purposes of developing the proposed
rates, we valued this service to include
daily drug dispensing to account for
cases where daily drug dispensing is
occurring. For the injectable drugs
(buprenorphine and naltrexone), we
propose to subtract from the non-drug
component, an amount that is
comparable to the dispensing fees paid
by several state Medicaid programs
($10.50) for a week of daily dispensing
of methadone. This adjustment accounts
for the fact that these injectable drugs
are not oral drugs that are dispensed
daily; we would then instead add the
fee that Medicare pays for the
administration of an injection (which is
currently $16.94 under the CY 2019
non-facility Medicare payment rate for
CPT code 96372). We propose to update
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the amount of this adjustment annually
using the same methodology that we are
proposing to use to update the non-drug
component of the bundled payments.
Similarly, the payment rates for the
non-drug component of the codes for
the weekly bundled payments for
buprenorphine implants would be
adjusted to add an amount for insertion
and/or removal based on a direct
crosswalk to the non-facility payment
rates under the Medicare PFS for the
insertion, removal, or insertion and
removal of these implants, which
describe the physician work, practice
expense (PE), and malpractice costs
associated with these procedures, and to
remove the costs of daily drug
dispensing (determined based on the
dispensing fees paid by several state
Medicaid programs for a week of daily
dispensing of methadone, currently
$10.50). For HCPCS code GXXX5, we
would use a crosswalk to the rate for
HCPCS code G0516 (Insertion of nonbiodegradable drug delivery implants, 4
or more (services for subdermal rod
implant)); for HCPCS code GXXX6, we
would use a crosswalk to the rate for
HCPCS code G0517 (Removal of nonbiodegradable drug delivery implants, 4
or more (services for subdermal
implants)); and for HCPCS code GXXX7,
we would use a crosswalk to the rate for
HCPCS code G0518 (Removal with
reinsertion, non-biodegradable drug
delivery implants, 4 or more (services
for subdermal implants)). The amounts
for HCPCS codes G0516, G0517 and
G0518 under the CY 2019 non-facility
Medicare payment rate are $111.00,
$126.86, and $204.70, respectively.
In order to determine the payment
rates for the code describing a non-drug
bundled payment, HCPCS code GXXX8,
we propose to use a crosswalk to the
reimbursement rate for the non-drug
services included in the TRICARE
weekly bundled rate for administration
of methadone, adjusted to subtract the
cost of methadone dispensing (using an
amount that is comparable to the
dispensing fees paid by several state
Medicaid programs for a week of daily
dispensing of methadone, which is
currently $10.50).
We propose that the payment rate for
the add-on code, HCPCS code GXX19,
would be based on 30 minutes of
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substance use counseling and valued
based on a crosswalk to the rates set by
state Medicaid programs for similar
services.
i. Medication Not Otherwise Specified
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We would expect the non-drug
component for medication not
otherwise specified bundled payments
(HCPCS code GXXX9) to be consistent
with the pricing methodology for the
other bundled payments and therefore,
be based on a crosswalk to the TRICARE
rate, adjusted for any applicable
administration and dispensing fees. For
example, for oral medications, we
would use the rate for the non-drug
services included in the TRICARE
methadone bundle, based on an
assumption that the drug is also being
dispensed daily. For the injectable
medications, we would adjust the
TRICARE payment rate for non-drug
services using the same methodology we
are proposing for injectable medications
above (to subtract an amount for daily
dispensing and add the non-facility
Medicare payment rate for
administration of the injection). For
implantable medications, we would also
use the same methodology we propose
above, with the same crosswalked nonfacility Medicare payment rates (for
insertion, removal, and insertion and
removal). We welcome comments on all
of the proposed pricing methodologies
described in this section. As noted
above, we also welcome comments on
how new drugs with a novel mechanism
of action (that is, drugs that are not
opioid agonists and/or antagonists)
should be priced. We additionally
welcome comments on how the price of
the non-drug component of such
bundled payments should be
determined, in particular the dispensing
and/or administration fees, including
whether the methodology we propose
above for determining the payment rate
for the non-drug component of an
episodes of are that includes a new
opioid agonist and antagonist
medication (which is based on whether
the drug is oral, injectable, or
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implantable) would be appropriate to
use for these new drugs.
(c) Partial Episode of Care
For HCPCS codes GXX10 and GXX11
(codes describing partial episodes for
methadone and oral buprenorphine), we
propose that the payment rates for the
non-drug component would be
calculated by taking one half of the
payment rate for the non-drug
component for the corresponding
weekly bundles. We chose one half as
the best approximation of the median
cost of the services furnished during a
partial episode consistent with our
proposal above to make a partial
episode bundled payment when the
majority of services described in a
beneficiary’s treatment plan are not
furnished during a specific episode of
care. However, we welcome comment
on other methods that could be used to
calculate these payment rates. We
propose that the payment rates for the
drug component of these partial episode
bundles would be calculated by taking
one half of the payment rate for the drug
component of the corresponding weekly
bundles.
For HCPCS codes GXX12 and GXX16
(codes describing partial episodes for
injectable buprenorphine and
naltrexone), we propose that the
payment rates for the drug component
would be the same as the payment rate
for the drug component of the full
weekly bundle so that the OTP would
be reimbursed for the cost of the drug
that is given at the start of the episode.
For the non-drug component, we
propose that the payment rate would be
calculated as follows: The TRICARE
non-drug component payment rate
($110.96), adjusted to remove the cost of
daily administration of an oral drug
($10.50), then divided by two; that
amount would be added to the fee that
Medicare pays for the administration of
an injection (which is currently $16.94
under the CY 2019 non-facility
Medicare payment rate for CPT code
96372).
For HCPCS codes GXX13, GXX14,
GXX15 (codes describing partial
episodes for the buprenorphine implant
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insertion, removal, and insertion and
removal, respectively) we propose that
the payment rates for drug component
would be the same as the payment rate
for the corresponding weekly bundle.
For the non-drug component, we
propose that the payment rate would be
calculated as follows: The TRICARE
non-drug component payment rate
($110.96), adjusted to remove the cost of
daily administration of an oral drug
($10.50), then divided by two; that
amount would be added to the Medicare
non-facility payment rate for the
insertion, removal, or insertion and
removal of the implants, respectively
(based on the non-facility rates for
HCPCS codes G0516, G0517, and
G0518, which are currently $111.00,
$126.86, and $204.70, respectively).
For HCPCS code GXX17 (code
describing a non-drug partial episode of
care), we propose that the payment rate
would be calculated by taking one half
of the payment rate for the
corresponding weekly bundle.
We propose that the payment rate for
the code describing partial episodes for
a medication not otherwise specified
(HCPCS code GXX18) would be
calculated based on whether the
medication is oral, injectable or
implantable, following the methodology
described above. For oral drugs, we
would follow the methodology
described for HCPCS codes GXX10 and
GXX11. For injectable drugs, we would
follow the methodology described for
HCPCS codes GXX12 and GXX16. For
implantable drugs, we would follow the
methodology described for HCPCS
codes GXX13, GXX14, and GXX15. We
welcome comments on how partial
episodes of care using new drugs with
a novel mechanism of action (that is,
non-opioid agonist and/or antagonist
treatment medications) should be
priced. For example, we could use the
same approach described previously for
pricing new opioid agonist and
antagonist medications not otherwise
specified, which is to follow the
methodology based on whether the drug
is oral, injectable or implantable.
BILLING CODE 4120–01–P
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TABLE 15: OTP Code Descriptors and Proposed Approximate Payment Amounts
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l)escJiptnt
HCPCS
...
GXXX1
GXXX2
GXXX3
GXXX4
GXXX5
GXXX6
GXXX7
GXXX8
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GXXX9
GXX10
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•..
·.
Full weeks
Medication assisted treatment, methadone; weekly bundle including
dispensing and/or administration, substance use counseling, individual and
group therapy, and toxicology testing, if performed (provision of the
services by a Mcdicarc-cmollcd Opioid Treatment Program)
Medication assisted treatment, buprenorphine (oral); weekly bundle
including dispensing and/or administration, substance use counseling,
individual and group therapy, and toxicology testing if performed
(provision of the services by a Medicare-emolled Opioid Treatment
Program)
Medication assisted treatment, buprenorphine (injectable); weekly bundle
including dispensing and/or administration, substance use counseling,
individual and group therapy, and toxicology testing if performed
(provision of the services by a Medicare-emolled Opioid Treatment
Program)
Medication assisted treatment, buprenorphine (implant insertion); weekly
bundle including dispensing and/or administration, substance use
counseling, individual and group therapy, and toxicology testing if
performed (provision of the services by a Medicare-emolled Opioid
Treatment Program)
Medication assisted treatment, buprenorphine (implant removal); weekly
bm1dle including dispensing and/or administration, substance use
counseling, individual and group therapy, and toxicology testing if
performed (provision of the services by a Medicare-emolled Opioid
Treatment Program)
Medication assisted treatment, buprenorphine (implant insertion and
removal); weekly bundle including dispensing and/or administration,
substance use counseling, individual and group therapy, and toxicology
testing if performed (provision of the services by a Medicare-emolled
Opioid Treatment Program)
Medication assisted treatment, naltrexone; weekly bundle including
dispensing and/or administration, substance use counseling, individual and
group therapy, and toxicology testing if performed (provision of the
services by a Medicare-emolled Opioid Treatment Program)
Medication assisted treatment, weekly bundle not including the drug,
including substance use counseling, individual and group therapy, and
toxicology testing if performed (provision of the services by a Medicareemolled Opioid Treatment Program)
Medication assisted treatment, medication not otherwise specified; weekly
bundle including dispensing and/or administration, substance use
counseling, individual and group therapy, and toxicology testing, if
performed (provision of the services by a Medicare-emolled Opioid
Treatment Program)
Partial episodes
Medication assisted treatment, methadone; weekly bundle including
dispensing and/or administration, substance use counseling, individual and
group therapy, and toxicology testing if performed (provision of the
services by a Medicare-emolled Opioid Treatment Program); partial
episode. Do not report with GXXXJ.
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DJ:Ug
Component
··· Payment
Amount**
Non~Drug
Compon~ll.t
.
··.
.···.. Total
Payment···
Amount~"*
Payment
Alnount
$22.19
$110.96
$133.15
$97.02
$110.96
$207.98
$1,580.00
$117.40
$1,697.40
$4,792.10
$211.46
$5,003.56
$0
$227.32
$227.32
$4,792.10
$305.16
$5,097.26
$1,164.38
$117.40
$1,281.78
N/A
$100.46
$100.46
-
-
-
$11.10
$55.48
$66.58
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I•HCPCS
Descriptor
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....
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Prllg
·...· Com)lon~nt
Paymen,~ ••
Amount . ··
N1tn-Drug
Component
Pay~e~t··
Amount· ·
..
.·•
Total
~ayiJtent
Amount
Medication assisted treatment, buprenorphine (oral); weekly bundle
including dispensing and/or administration, substance use counseling,
GXXll individual and group therapy, and toxicology testing if performed
$48.51
$55.48
$103.99
(provision of the services by a Medicare-enrolled Opioid Treatment
Program); partial episode. Do not report with GXXO.
Medication assisted treatment, buprenorphine (injectable); weekly bundle
including dispensing and/or administration, substance use counseling,
$1,647.17
GXX12 individual and group therapy, and toxicology testing if performed
$1,580.00
$67.17
*
(provision of the services by a Medicare-enrolled Opioid Treatment
Program); partial episode. Do not report with GXXX3.
Medication assisted treatment, buprenorphine (implant insertion); weekly
bundle including dispensing and/or administration, substance use
counseling, individual and group therapy, and toxicology testing if
$4,953.33
GXXl3
$4,792.10
$161.23
performed (provision of the services by a Medicare-enrolled Opioid
*
Treatment Program); partial episode (only to be billed once every 6
months). Do not report with GXXX4.
Medication assisted treatment, buprenorphine (implant removal); weekly
btmdle including dispensing and/or administration, substance use
GXX14 counseling, individual and group therapy, and toxicology testing if
$0
$177.09
$177.09*
performed (provision of the services by a Medicare-enrolled Opioid
Treatment Program); partial episode. Do not report with GX\'X5.
Medication assisted treatment, buprenorphine (implant insertion and
removal); weekly bundle including dispensing and/or administration,
$5,047.03
GXX15 substance use counseling, individual and group therapy, and toxicology
$4,792.10
$254.93
*
testing if perfonned (provision of the services by a Medicare-enrolled
Opioid Treatment Program); partial episode. Do not report with GX\'X6.
Medication assisted treatment, naltrexone; weekly bundle including
dispensing and/or administration, substance use counseling, individual and
$1,231.55
GXX16 group therapy, and toxicology testing if performed (provision of the
$1,164.38
$67.17
*
services by a Medicare-enrolled Opioid Treatment Program); partial
episode. Do not report with GXXX7.
Medication assisted treatment, weekly bundle not including the drug,
including substance use counseling, individual and group therapy, and
GXX17 toxicology testing if performed (provision of the services by a MedicareN!A
$50.23
$50.23
enrolled Opioid Treatment Program); partial episode. Do not report with
GXXX8.
Medication assisted treatment, medication not otherwise specified; weekly
bundle including dispensing and/or administration, substance use
GXX18 counseling, individual and group therapy, and toxicology testing, if
performed (provision of the services by a Medicare-enrolled Opioid
Treatment Program); partial episode. Do not report with GXXX9.
Intensity Add-on code
Each additional 30 minutes of counseling or therapy in a week of
medication assisted treatment, (provision of the services by a MedicareGXX19
N!A
$26.60
$26.60
enrolled Opioid Treatment Program); List separately in addition to code for
primary procedure .
. .
* Full drug cost and adnumstratiOn!dispensmg fee mcluded.
**Drug pricing subject to change pending additional data. Methadone drug costs are calculated here using TRICARE rates,
oral buprenorphine drug costs are calculated here using NADAC data, and the other drug costs are calculated using the ASP
data. The estimated payment amounts in this table are based on data files posted at the time of the drafting of this proposed
rule. We would develop the final pricing for CY 2020 using the most recent data files available at the drafting of the CY 2020
PFS final rule.
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BILLING CODE 4120–01–C
(8) Place of Service (POS) Code for
Services Furnished at OTPs
We are creating a new POS code
specific to OTPs since there are no
existing POS codes that specifically
describe OTPs. Claims for OTP services
would include this place of service
code. We note that POS codes are
available for use by all payers. We are
not proposing to make any differential
payment based on the use of this new
POS code. Further guidance will be
issued regarding the POS code that
should be used by OTPs.
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c. Duplicative Payments Under Parts B
or D
Section 1834(w)(1) of the Act, added
by section 2005(c) of the SUPPORT Act,
requires the Secretary to ensure, as
determined appropriate by the
Secretary, that no duplicative payments
are made under Part B or Part D for
items and services furnished by an OTP.
We note that many of the individual
items or services provided by OTPs that
would be included in the bundled
payment rates under our proposal may
also be appropriately available to
beneficiaries through other Medicare
benefits. Although we recognize the
potential for significant program
integrity concerns when similar items or
services are payable under separate
Medicare benefits, we also believe that
it is important that any efforts to prevent
duplicative payments not inadvertently
restrict Medicare beneficiaries’ access to
other Medicare benefits even for the
time period they are being treated by an
OTP. For example, we believe that a
beneficiary receiving counseling or
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therapy as part of an OTP bundle of
services may also be receiving medically
reasonable and necessary counseling or
therapy as part of a physician’s service
during the same time period. Similarly,
we believe there could be circumstances
where Medicare beneficiaries with OUD
could receive treatment and/or
medication from non-OTP entities that
would not result in duplicative
payments, presuming that both the OTP
and the other entity appropriately
furnished separate medically necessary
services or items. Consequently, we do
not believe that provision of the same
kinds of services by both an OTP and a
separate provider or supplier would
itself constitute a duplicative payment.
We believe that duplicative payments
would result from the submission of
claims to Medicare leading to payment
for drugs furnished to a Medicare
beneficiary and the associated
dispensing fees on a certain date of
service to both an OTP and another
provider or supplier under a different
benefit. In these circumstances, we
would consider only one of the claims
to be paid for appropriately.
Accordingly, for purposes of
implementing section 1834(w)(1) of the
Act, we propose to consider payment for
medications delivered, administered or
dispensed to the beneficiary as part of
the OTP bundled payment to be a
duplicative payment if delivery,
administration or dispensing of the
same medications was also separately
paid under Medicare Parts B or D. We
propose to codify this policy at
§ 410.67(d)(4). We understand that some
OTPs negotiate arrangements whereby
community pharmacies supply MATrelated medications to OTPs. If the OTP
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40539
provides medically necessary MATrelated medications as part of an
episode of care, we would expect the
OTP to take measures to ensure that
there is no claim for payment for these
drugs other than as part of the OTP
bundled payment. (For example, the
MAT drugs billed by an OTP as part of
a bundled payment should not be
reported to or paid under a Part D plan.)
We expect that OTPs will take
reasonable steps to ensure that the items
and services furnished under their care
are not reported or billed under a
different Medicare benefit. CMS intends
to monitor for duplicative payments,
and would take appropriate action as
needed when such duplicative
payments are identified. Therefore, we
are proposing that in cases where a
payment for drugs used as part of an
OTP’s treatment plan is identified as
being a duplicative payment because the
same costs were paid under a different
Medicare benefit, CMS will generally
recoup the duplicative payment made to
the OTP as the OTP would be in the best
position to know whether or not the
drug that is included as part of the
beneficiary’s treatment plan is furnished
by the OTP or by another provider or
supplier given that the OTP is
responsible for managing the
beneficiary’s overall OUD treatment. We
propose to codify this policy at
§ 410.67(d)(4). CMS notes that this
general approach would not preclude
CMS or other auditors from conducting
appropriate oversight of duplicative
payments made to the other provider or
suppliers, particularly in cases of fraud
and/or abuse.
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d. Cost Sharing
Section 2005(c) of the SUPPORT Act
amends section 1833(a)(1) of the Act,
relating to payment of Part B services,
by adding a new subparagraph (CC),
which specifies with respect to OUD
treatment services furnished by an OTP
during an episode of care that the
amount paid shall be equal to the
amount payable under section 1834(w)
of the Act less any copayment required
as specified by the Secretary. Section
1834(w) of the Act, which was also
added by section 2005(c) of the
SUPPORT Act, requires that the
Secretary pay an amount that is equal to
100 percent of a bundled payment
under this part for OUD treatment
services. Given these two provisions, we
believe that there is flexibility for CMS
to set the copayment amount for OTP
services either at zero or at an amount
above zero. Therefore, we are proposing
to set the copayment at zero for a timelimited duration (for example, for the
duration of the national opioid crisis),
as we believe this would minimize
barriers to patient access to OUD
treatment services. Setting the
copayment at zero also ensures OTP
providers receive the full Medicare
payment amount for Medicare
beneficiaries if secondary payers are not
available or do not pay the copayment,
especially for those dually eligible for
Medicare and Medicaid.77 We intend to
continue to monitor the opioid crisis in
order to determine at what point in the
future a copayment may be imposed. At
such a time we deem appropriate, we
would institute cost sharing through
future notice and comment rulemaking.
We welcome feedback from the public
on our proposal to set the copayment at
zero for a time-limited duration, such as
for the duration of the national opioid
crisis, and any other metrics CMS might
consider using to determine when to
start requiring a copayment. In
developing our proposed approach, we
also considered other alternatives, such
as setting the copayment at a fixed fee
calculated based on 20 percent of the
77 For those dually eligible individuals in the
Qualified Medicare Beneficiary program (7.7
million of the 12 million dually eligible individuals
in 2017), state Medicaid programs cover the
Medicare Part A and B deductible and coinsurance.
However, section 4714 of the Balanced Budget Act
of 1997 (Pub. L. 105–33) provides discretion for
states to pay Medicare cost-sharing only if the
Medicaid payment rate for the service is above the
Medicare paid amount for the service. Since most
states opt for this discretion, and most Medicaid
rates are lower than Medicare’s, states often do not
pay the provider for the Medicare cost-sharing
amount. Providers are further prohibited from
collecting the Medicare cost-sharing amount from
the beneficiary, effectively having to take a discount
compared to the amount received for other
Medicare beneficiaries.
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payment rate for the bundle, consistent
with the standard copayment
requirement for other Part B services, or
applying a flat dollar copayment
amount similar to TRICARE’s
copayment; however, we recognize that
setting the copayment for OUD services
at a non-zero amount could create a
barrier to access to treatment for many
beneficiaries. We propose to codify the
proposed copayment amount of zero at
§ 410.67(e). We welcome feedback on
our proposal to set the copayment
amount for OTP services at zero, and on
the alternatives considered, including
whether we should consider any of
these alternatives for CY 2020 or future
years.
Separately, we note that the Part B
deductible would apply for OUD
treatment services, as mandated for all
Part B services by section 1833(b) of the
Act.
4. Adjustments to Bundled Payment
Rates for OUD Treatment Services
The costs of providing OUD treatment
services will likely vary over time and
depending on the geographic location
where the services are furnished. Below
we discuss our proposed adjustments to
the bundled payment rates to account
for these factors.
a. Locality Adjustment
Section 1834(w)(2) of the Act, as
added by section 2005(c) of the
SUPPORT Act provides that the
Secretary may implement the bundled
payment for OUD treatment services
furnished by OTPs through one or more
bundles based on the type of
medications, the frequency of services,
the scope of services furnished,
characteristics of the individuals
furnished such services, or other factors
as the Secretary determines appropriate.
The cost for the provision of OTP
treatment services, like many other
healthcare services covered by
Medicare, will likely vary across the
country based upon the differing cost in
a given geographic locality. To account
for such geographic cost differences in
the provision of services, in a number of
payment systems, Medicare routinely
applies geographic locality adjustments
to the payment rates for particular
services. As we believe OTP treatment
services will also be subject to varying
cost based upon the geographic locality
where the services are furnished, we
propose to apply a geographic locality
adjustment to the bundled payment rate
for OTP treatment services. Below, we
discuss our proposed approach with
respect to the drug component (which
reflects payment for the drug) and the
non-drug component (which reflects
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payment for all other services furnished
to the beneficiary by the OTP, such as
drug administration, counseling,
toxicology testing, etc.) of the bundled
payment.
(1) Drug Component
Because our proposed approaches for
pricing the MAT drugs included in the
bundles all reflect national pricing, and
because there is no geographic
adjustment factor applied to the
payment of Part B drugs under the ASP
methodology, we do not believe that it
is necessary to adjust the drug
component of the bundled payment
rates for OTP services based upon
geographic locality. Therefore, we are
proposing not to apply a geographic
locality adjustment to the drug
component of the bundled payment rate
for OTP services.
(2) Non-Drug Component
Unlike the national pricing of drugs,
the costs for the services included in the
non-drug component of the OTP
bundled payment for OUD treatments
are not constant across all geographic
localities. For example, OTPs’ costs for
rent or employee wages could vary
significantly across different localities
and could potentially result in disparate
costs for the services included in the
non-drug component of OUD treatment
services. Because the costs of furnishing
the services included in the non-drug
component of the OTP bundled
payment for OUD treatment services
will vary based upon the geographic
locality in which the services are
provided, we believe it would be
appropriate to apply a geographic
locality adjustment to the non-drug
component of the bundled payments.
We believe that the geographic variation
in cost of the non-drug services
provided by OTPs will be similar to the
geographic variation in the cost of
services furnished in physician offices.
Therefore, to account for the differential
costs of OUD treatment services across
the country, we are proposing to adjust
the non-drug component of the bundled
payment rates for OUD treatment
services using an approach similar to
the established methodology used to
geographically adjust payments under
the PFS based upon the location where
the service is furnished. The PFS
currently provides for an adjustment to
the payment for PFS services based
upon the fee schedule area in which the
service is provided through the use of
Geographic Practice Cost Indices
(GPCIs), which measure the relative cost
differences among localities compared
to the national average for each of the
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three fee schedule components (work,
PE, and malpractice).
Although we are proposing to adjust
the non-drug component of the OUD
treatment services using an approach
similar to the established methodology
used to adjust PFS payment for
geographic locality, because GPCIs
provide for the application of
geographic locality adjustments to the
three distinct components of PFS
services, and the OTP bundled payment
is a flat rate payment for all OUD
treatment services furnished during an
episode of care, a single factor would be
required to apply the geographic locality
adjustment to the non-drug component
of the OTP bundled payment rate.
Therefore, to apply a geographic locality
adjustment to the non-drug component
of the OTP bundled payment for OUD
treatment services through a single
factor, we are proposing to use the
Geographic Adjustment Factor (GAF) at
§ 414.26. Specifically, we are proposing
to use the GAF to adjust the payment for
the non-drug component of the OTP
bundled payment to reflect the costs of
furnishing the non-drug component of
OUD treatment services in each of the
PFS fee schedule areas. The GAF is
calculated using the GPCIs under the
PFS, and is used to account for cost
differences in furnishing physicians’
services in differing geographic
localities. The GAF is calculated for
each fee schedule area as the weighted
composite of all three GPCIs (work, PE,
and malpractice) for that given locality
using the national GPCI cost share
weights. In developing this proposal, we
also considered geographically adjusting
the payment for the non-drug
component of the OTP bundled
payment using only the PE GPCI value
for each fee schedule area. However,
because the the non-drug component of
OUD treatment services is comprised of
work, PE, and malpractice expenses, we
ultimately decided to propose using the
GAF as we believe the weighted
composite of all three GPCIs reflected in
the GAF would be the more appropriate
geographic adjustment factor to reflect
geographic variations in the cost of
furnishing these services.
The GAF, which is determined under
§ 414.26, is further discussed earlier in
section II.D.1. of this proposed rule and
the specific GAF values for each
payment locality are posted in
Addendum D to this proposed rule. In
developing the proposed geographic
locality adjustment for the non-drug
component of the OUD treatment
services payment rate, we also
considered other potential locality
adjustments, such as the Inpatient
Prospective Payment System (IPPS)
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hospital wage index. However, we have
opted to propose using the GAF as we
believe the services provided in an OTP
more closely resemble the services
provided at a physician office than the
services provided in other settings, such
as inpatient hospitals. We propose to
codify using the GAF to adjust the nondrug component of the OTP bundled
payments to reflect the cost differences
in furnishing these services in differing
geographic localities at
§ 410.67(d)(3)(ii). We invite public
comment on our proposal to adjust the
non-drug component of the OTP
bundled payments for geographic
variations in the costs of furnishing
OUD treatment services using the GAF.
We also welcome comments on any
factors, other than the GAF, that could
be used to make this payment
adjustment.
Additionally, we note that the
majority of OTPs operate in urban
localities. In light of this fact, we are
interested in receiving information on
whether rural areas have appropriate
access to treatment for OUD. We are
particularly interested in any potential
limitations on access to care for OUD in
rural areas and whether there are
additional adjustments to the proposed
bundled payments that should be made
to account for the costs incurred by
OTPs in furnishing OUD treatment
services in rural areas. We invite public
comment on this issue and potential
solutions we could consider adopting to
address this potential issue through
future rulemaking.
b. Annual Update
Section 1834(w)(3) of the Act, as
added by section 2005(c) of the
SUPPORT Act, requires that the
Secretary provide an update each year
to the OTP bundled payment rates. To
fulfill this statutory requirement, we are
proposing to apply a blended annual
update, comprised of distinct updates
for the drug and non-drug components
of the bundled payment rates, to
account for the differing rate of growth
in the prices of drugs relative to other
services. We propose that this blended
annual update for the OTP bundled
payment rates would first apply for
determining the CY 2021 OTP bundled
payment rates. The specific details of
the proposed updates for the drug and
non-drug components respectively are
discussed in this section.
(1) Drug Component
As stated above, we are proposing to
establish the pricing of the drug
component of the OTP bundled
payment rates for OUD treatment
services based on CMS pricing
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40541
mechanisms currently in place. To
recognize the potential change in costs
of the drugs used in MAT from year to
year and to fulfill the requirement to
provide an annual update to the OTP
bundled payment rates, we are
proposing to update the payment for the
drug component based upon the
changes in drug costs reported under
the pricing mechanism used to establish
the pricing of the drug component of the
applicable bundled payment rate, as
discussed earlier. As an example, if we
were to finalize our proposal to price
the drug component of the bundled
payment rate for episodes of care that
include injectable and implantable
drugs generally covered and paid under
Medicare Part B using ASP data, the
pricing of the drug component for these
OTP bundled payments, would be
updated using the most recently
available ASP data at the time of
ratesetting for the applicable calendar
year. Similarly, if we finalize our
proposal to price the drug component of
the bundled payment rate for episodes
of care that include oral drugs using
ASP data, if such data are available, we
would also update the pricing of the
drug component using the most recently
available ASP data at the time of
ratesetting for the applicable calendar
year. Previously, we also discussed a
number of alternative data sources that
could be used to price oral drugs in the
drug component of OTP bundled
payments in cases when we do not
receive manufacturer-submitted ASP
pricing data. As an example, if we were
to use NADAC data as discussed as one
of the alternatives, to determine the
payment for the drug component of the
bundled payment for oral drugs in cases
when we do not have manufacturersubmitted ASP pricing data, this
payment rate would also be updated
using the most recently available
NADAC data at the time of ratesetting
for the applicable calendar year. We
propose to codify this methodology for
determining the annual update to the
payment rate for the drug component at
§ 410.67(d)(3)(i).
In developing the proposal to
annually update the pricing of the drug
component of the OUD treatment
services payment rate, we also
considered other methodologies,
including applying a single uniform
update factor to the drug and non-drug
components of the proposed payment
rates. We ultimately determined not to
propose the use of a single uniform
update factor, because we believe that it
is important to apply an annual update
to the payment rates that recognizes the
differing rate of growth of drug costs
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compared to the rate of growth in the
cost of the other services. In addition,
we also considered annually updating
the pricing of the drug component of the
OUD treatment services payment rate
via an established update factor such as
the Producer Price Index (PPI) for
chemicals and allied products,
analgesics (WPU06380202). The PPI for
chemicals and allied products,
analgesics is a subset of the PPI
produced by the Bureau of Labor
Statistics, which measures the average
change over time in the selling prices
received by domestic producers for their
output. Ultimately we decided against
updating the pricing of the drug
component of the OUD treatment
services payment rate via an established
update factor such as the PPI in favor of
our proposed approach because we
believe the proposed approach updated
the pricing of the drug component of the
OUD treatment services payment rate in
the manner most familiar to
stakeholders. We invite public comment
on our proposed approach to updating
the drug component of the bundled
payment rates. We also seek comment
on possible alternate methodologies for
updating the drug component of the
payment rate for OUD treatment
services, such as use of the PPI for
chemicals and allied products,
analgesics.
(2) Non-Drug Component
To account for the potential changing
costs of the services included in the
non-drug component of the bundled
payment rates for OUD treatment
services, we are proposing to update the
non-drug component of the bundled
payment for OUD treatment services
based upon the Medicare Economic
Index (MEI). The MEI is defined in
section 1842(i)(3) of the Act and the
methodology for computing the MEI is
described in § 405.504(d). The MEI is
used to update the payment rates for
physician services under section
1842(b)(3) of the Act, which states that
prevailing charge levels beginning after
June 30, 1973, may not exceed the level
from the previous year except to the
extent that the Secretary finds, on the
basis of appropriate economic index
data, that such a higher level is justified
by year-to-year economic changes. The
MEI is a fixed-weight input price index
that reflects the physicians’ own time
and the physicians’ practice expenses,
with an adjustment for the change in
economy-wide, private nonfarm
business multifactor productivity. The
MEI was last revised in the CY 2014 PFS
final rule with comment period (78 FR
74264). In developing the proposed
update factor for the non-drug
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component of the OUD treatment
services payment rate, we considered
other potential update factors, such as
the Bureau of Labor Statistics Consumer
Price Index for All Items for Urban
Consumers (Bureau of Labor Statistics
#CUUR0000SA0 (https://www.bls.gov/
cpi/data.htm) and the IPPS hospital
market basket reduced by the
multifactor productivity adjustment.
The Consumer Price Index for All Items
(CPI–U) is a measure of the average
change over time in the prices paid by
urban consumers for a market basket of
consumer goods and services. However,
we concluded that a healthcare-specific
update factor, such as the MEI, would
be more appropriate for OTPs than the
CPI–U, which measures general
inflation, as the MEI would more
accurately reflect the change in the
prices of goods and services included in
the non-drug component of the OTP
bundled payments.
Similarly, we believe the MEI would
be more appropriate than the IPPS
market basket to update the non-drug
component of the bundled payment
rates as the services provided by an OTP
more closely resemble the services
provided at a physician office than the
services provided by an inpatient
hospital. Accordingly, we propose to
update the payment amount for the nondrug component of each of the bundled
payment rates for OUD treatment
services furnished by OTPs based upon
the most recently available historical
annual growth in the MEI available at
the time of rulemaking. We propose to
codify this proposal at
§ 410.67(d)(3)(iii). We invite public
comment on this proposal.
H. Bundled Payments Under the PFS for
Substance Use Disorders
1. Background and Proposal
In the CY 2019 PFS proposed rule (83
FR 35730), we solicited comment on
creating a bundled episode of care
payment for management and
counseling treatment for substance use
disorders. We received approximately
50 comments on this topic, most of
which were supportive of creating a
separate bundled payment for these
services. Some commenters
recommended focusing the bundle on
services related to medication assisted
treatment (MAT) used in treatment for
opioid use disorder (OUD). Several
commenters also recommended that we
establish higher payment amounts for
patients with more complex needs who
require more intensive services and
management, and also expressed
concern that an episode of care that
limited the duration of treatment would
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not be conducive to treating OUD, given
the chronic nature of this disorder.
Other commenters recommended that
we establish separate bundled payments
for treatment of substance use disorders
that does, and does not, involve MAT.
In response to the public comments,
we are proposing to establish bundled
payments for the overall treatment of
OUD, including management, care
coordination, psychotherapy, and
counseling activities. We note that, if a
patient’s treatment involves MAT, this
proposed bundled payment would not
include payment for the medication
itself. Billing and payment for
medications under Medicare Part B or
Part D would remain unchanged.
Additionally, payment for medically
necessary toxicology testing would not
be included in the proposed OUD
bundle, and would continue to be billed
separately under the Clinical Lab Fee
Schedule. We are also proposing in this
proposed rule to implement the new
Medicare Part B benefit added by
section 2005 of the SUPPORT Act for
coverage of certain services furnished by
Opioid Treatment Programs (OTPs)
beginning in CY 2020. We believe the
proposed bundled payment under the
PFS for OUD treatment described below
will create an avenue for physicians and
other health professionals to bill for a
bundle of services that is similar to the
new bundled OUD treatment services
benefit, but not furnished by an OTP. By
creating a separate bundled payment for
these services under the PFS, we hope
to incentivize increased provision of
counseling and care coordination for
patients with OUD in the office setting,
thereby expanding access to OUD care.
To implement this new bundled
payment, we are proposing to create two
HCPCS G-codes to describe monthly
bundles of services that include overall
management, care coordination,
individual and group psychotherapy
and counseling for office-based OUD
treatment. Although we considered
proposing weekly-reported codes to
describe a bundle of services that would
align with the proposed OTP bundle, we
believe that monthly-reported codes
will better align with the practice and
billing of other types of care
management services furnished in office
settings and billed under the PFS (for
example, behavioral health integration
(BHI) services). We believe monthlyreported codes would be less
administratively burdensome for
practitioners, and more likely to be
consistent with care management and
prescribing patterns in the office setting
(as compared with an OTP) given the
increased use of long-acting MAT drugs
(such as injectable naltrexone or
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implanted buprenorphine) in the office
setting compared to the OTP setting.
Based on feedback we received through
the comment solicitation, we are
proposing to create a code to describe
the initial month of treatment, which
would include intake activities and
development of a treatment plan, as
well as assessments to aid in
development of the treatment plan in
addition to care coordination,
individual therapy, group therapy, and
counseling; a code to describe
subsequent months of treatment
including care coordination, individual
therapy, group therapy, and counseling;
and an add-on code that could be billed
in circumstances when effective
treatment requires additional resources
for a particular patient that substantially
exceed the resources included in the
base codes. In other words, the add-on
code would address extraordinary
circumstances that are not contemplated
by the bundled code. We acknowledge
that the course of treatment for OUD is
variable, and in some instances, the first
several months of treatment may be
more resource intensive. We welcome
comments on whether we should
consider creating a separately billable
code or codes to describe additional
resources involved in furnishing OUD
treatment-related services after the first
month, for example, when substantial
revisions to the treatment plan are
needed, and what resource inputs we
might consider in setting values for such
codes.
We believe that, in general, bundled
payments create incentives to provide
efficient care by mitigating incentives
tied to volume of services furnished,
and that these incentives can be
undermined by creating separate billing
mechanisms to account for higher
resource costs for particular patients.
However, we share some of the concerns
raised by commenters that an OUD
bundle should not inadvertently limit
the appropriate amount of OUD care
furnished to patients with varying
medical needs. In consideration of this
concern, we are proposing to create an
add-on code to make appropriate
payment for additional resource costs in
order to mitigate the risks that the
bundled OUD payment might limit
clinically-indicated patient care for
patients that require significantly more
care than is in the range of what is
typical for the kinds of care described
by the base codes. However, we are also
interested in comments regarding ways
we might better stratify the coding for
OUD treatment to reflect the varying
needs of patients (based on complexity
or frequency of services, for example)
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while maintaining the full advantage of
the bundled payment, including
increased efficiency and flexibility in
furnishing care.
We anticipate that these services
would often be billed by addiction
specialty practitioners, but note that
these codes are not limited to any
particular physician or non-physician
practitioner specialty. Additionally,
unlike the codes that describe care
furnished using the psychiatric
collaborative care model (CPT codes
99492, 99493, and 99494), which
require consultation with a psychiatric
consultant, we are not proposing to
require consultation with a specialist as
a condition of payment for these codes.
The codes and descriptors for the
proposed services are:
• HCPCS code GYYY1: Office-based
treatment for opioid use disorder,
including development of the treatment
plan, care coordination, individual
therapy and group therapy and
counseling; at least 70 minutes in the
first calendar month.
• HCPCS code GYYY2: Office-based
treatment for opioid use disorder,
including care coordination, individual
therapy and group therapy and
counseling; at least 60 minutes in a
subsequent calendar month.
• HCPCS code GYYY3: Office-based
treatment for opioid use disorder,
including care coordination, individual
therapy and group therapy and
counseling; each additional 30 minutes
beyond the first 120 minutes (List
separately in addition to code for
primary procedure).
For the purposes of valuation for
HCPCS codes GYYY1 and GYYY2, we
are assuming two individual
psychotherapy sessions per month and
four group psychotherapy sessions per
month; however, we understand that the
number of therapy and counseling
sessions furnished per month will vary
among patients and also fluctuate over
time based on the individual patient’s
needs. Consistent with the methodology
for pricing other services under the PFS,
HCPCS codes GYYY1, GYYY2, and
GYYY3 are valued based on what we
believe to be a typical case, and we
understand that based on variability in
patient needs, some patients will
require more resources, and some fewer.
In order to maintain the advantages
inherent in developing a payment
bundle, we are proposing that the addon code (HCPCS code GYYY3) can only
be billed when the total time spent by
the billing professional and the clinical
staff furnishing the OUD treatment
services described by the base code
exceeds double the minimum amount of
service time required to bill the base
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code for the month. We believe it is
appropriate to limit billing of the addon code to situations where medically
necessary OUD treatment services for a
particular patient exceed twice the
minimum service time for the base code
because, as noted above, the add-on
code is intended to address
extraordinary situations where effective
treatment requires additional resources
that substantially exceed the resources
included in the base codes. For
example, the needs of a particular
patient in a month may be unusually
acute, well beyond the needs of the
typical patient; or there may be some
months when psychosocial stressors
arise that were unforeseen at the time
the treatment plan was developed, but
warrant additional or more intensive
therapy services for the patient. We are
proposing that when the time
requirement is met, HCPCS code
GYYY3 could be billed as an add-on
code during the initial month or
subsequent months of OUD treatment.
Practitioners should document the
medical necessity for the use of the addon code in the patient’s medical record.
We welcome comments on this
proposal.
We are proposing to value HCPCS
codes GYYY1, GYYY2, and GYYY3
using a building block methodology that
sums the work RVUs and direct PE
inputs from codes that describe the
component services we believe would
be typical, consistent with the approach
we have previously used in valuing
monthly care management services that
include face-to-face services within the
payment. For HCPCS code GYYY1, we
developed proposed inputs using a
crosswalk to CPT code 99492 (Initial
psychiatric collaborative care
management, first 70 minutes in the
first calendar month of behavioral
health care manager activities, in
consultation with a psychiatric
consultant, and directed by the treating
physician or other qualified health care
professional, with the following required
elements: Outreach to and engagement
in treatment of a patient directed by the
treating physician or other qualified
health care professional; initial
assessment of the patient, including
administration of validated rating
scales, with the development of an
individualized treatment plan; review by
the psychiatric consultant with
modifications of the plan if
recommended; entering patient in a
registry and tracking patient follow-up
and progress using the registry, with
appropriate documentation, and
participation in weekly caseload
consultation with the psychiatric
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consultant; and provision of brief
interventions using evidence-based
techniques such as behavioral
activation, motivational interviewing,
and other focused treatment strategies.),
which is assigned a work RVU of 1.70,
plus CPT code 90832 (Psychotherapy,
30 minutes with patient), which is
assigned a work RVU of 1.50 (assuming
two over the course of the month), and
CPT code 90853 (Group psychotherapy
(other than of a multiple-family group)),
which is assigned a work RVU of 0.59
(assuming four over the course of a
month), for a work RVU of 7.06. The
required minimum number of minutes
described in HCPCS code GYYY1 is also
based on a crosswalk to CPT codes
99492. Additionally, for HCPCS code
GYYY1, we are proposing to use a
crosswalk to the direct PE inputs
associated with CPT code 99492, CPT
code 90832 (times two), and CPT code
90853 (times four). We believe that the
work and practice expense described by
these crosswalk codes is analogous to
the services described in HCPCS code
GYYY1 because HCPCS code GYYY1
includes similar care coordination
activities as described in CPT code
99492 and bundles in the
psychotherapy services described in
CPT codes 90832 and 90853.
We are proposing to value HCPCS
code GYYY2 using a crosswalk to CPT
code 99493 (Subsequent psychiatric
collaborative care management, first 60
minutes in a subsequent month of
behavioral health care manager
activities, in consultation with a
psychiatric consultant, and directed by
the treating physician or other qualified
health care professional, with the
following required elements: Tracking
patient follow-up and progress using the
registry, with appropriate
documentation; participation in weekly
caseload consultation with the
psychiatric consultant; ongoing
collaboration with and coordination of
the patient’s mental health care with the
treating physician or other qualified
health care professional and any other
treating mental health providers;
additional review of progress and
recommendations for changes in
treatment, as indicated, including
medications, based on
recommendations provided by the
psychiatric consultant; provision of brief
interventions using evidence-based
techniques such as behavioral
activation, motivational interviewing,
and other focused treatment strategies;
monitoring of patient outcomes using
validated rating scales; and relapse
prevention planning with patients as
they achieve remission of symptoms
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and/or other treatment goals and are
prepared for discharge from active
treatment), which is assigned a work
RVU of 1.53, plus CPT code 90832,
which is assigned a work RVU of 1.50
(assuming two over the course of the
month), and CPT code 90853, which is
assigned a work RVU of 0.59 (assuming
four over the course of a month), for a
work RVU of 6.89. The required
minimum number of minutes described
in HCPCS code GYYY2 is also based on
a crosswalk to CPT codes 99493. For
HCPCS code GYYY2, we are proposing
to use a crosswalk to the direct PE
inputs associated with CPT code 99493,
CPT code 90832 (times two), and CPT
code 90853 (times four). We believe that
the work and practice expense
described by these crosswalk codes is
analogous to the services described in
HCPCS code GYYY2 because HCPCS
code GYYY2 includes similar care
coordination activities as described in
CPT code 99493 and bundles in the
psychotherapy services described in
CPT codes 90832 and 90853.
We are proposing to value HCPCS
code GYYY3 using a crosswalk to CPT
code 99494 (Initial or subsequent
psychiatric collaborative care
management, each additional 30
minutes in a calendar month of
behavioral health care manager
activities, in consultation with a
psychiatric consultant, and directed by
the treating physician or other qualified
health care professional (List separately
in addition to code for primary
procedure)), which is assigned a work
RVU of 0.82. The required minimum
number of minutes described in HCPCS
code GYYY2 is also based on a
crosswalk to CPT codes 99493. For
HCPCS code GYYY3, we are proposing
to use a crosswalk to the direct PE
inputs associated with CPT code 99494.
We believe that the work and practice
expense described by this crosswalk
code is analogous to the services
described in HCPCS code GYYY3
because HCPCS code GYYY3 includes
similar care coordination activities as
described in CPT code 99494.
For additional details on the proposed
direct PE inputs for HCPCS codes
GYYY1–GYYY3, see Table 22.
We understand that many
beneficiaries with OUD have
comorbidities and may require
medically-necessary psychotherapy
services for other behavioral health
conditions. In order to avoid duplicative
billing, we are proposing that, when
furnished to treat OUD, CPT codes
90832, 90834, 90837, and 90853 may
not be reported by the same practitioner
for the same beneficiary in the same
month as HCPCS codes GYYY1,
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GYYY2, and GYYY3. We welcome
comments on this proposal.
We are proposing that practitioners
reporting the OUD bundle must furnish
a separately reportable initiating visit in
association with the onset of OUD
treatment, since the bundle requires a
level of care coordination that cannot be
effective without appropriate evaluation
of the patient’s needs. This is similar to
the requirements for chronic care
management (CCM) services (CPT codes
99487, 99489, 99490, and 99491) and
BHI services (CPT codes 99484, 99492,
99493, and 99494) finalized in the CY
2017 PFS final rule (81 FR 80239) The
initiating visit would establish the
beneficiary’s relationship with the
billing practitioner, ensure the billing
practitioner assesses the beneficiary to
determine clinical appropriateness of
MAT in cases where MAT is being
furnished, and provide an opportunity
to obtain beneficiary consent to receive
care management services (as discussed
further below). We propose that the
same services that can serve as the
initiating visit for CCM services and BHI
services can serve as the initiating visit
for the proposed services described by
HCPCS codes GYYY1–GYYY3. For new
patients or patients not seen by the
practitioner within a year prior to the
commencement of CCM services and
BHI services, the billing practitioner
must initiate the service during a
‘‘comprehensive’’ E/M visit (levels 2
through 5 E/M visits), annual wellness
visit (AWV) or initial preventive
physical exam (IPPE). The face-to-face
visit included in transitional care
management (TCM) services (CPT codes
99495 and 99496) also qualifies as a
‘‘comprehensive’’ visit for CCM and BHI
initiation. We propose that these visits
could similarly serve as the initiating
visit for OUD services.
We are proposing that the counseling,
therapy, and care coordination
described in the proposed OUD
treatment codes could be provided by
professionals who are qualified to
provide the services under state law and
within their scope of practice ‘‘incident
to’’ the services of the billing physician
or other practitioner. We are also
proposing that the billing clinician
would manage the patient’s overall care,
as well as supervise any other
individuals participating in the
treatment, similar to the structure of the
BHI codes describing the psychiatric
collaborative care model finalized in the
CY 2017 PFS final rule (81 FR 80229),
in which services are reported by a
treating physician or other qualified
health care professional and include the
services of the treating physician or
other qualified health care professional,
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as well as the services of other
professionals who furnish services
incident to the services of the treating
physician or other qualified health care
professional. Additionally, we are
proposing to add these codes to the list
of designated care management services
for which we allow general supervision
of the non-face-to-face portion of the
required services. Consistent with
policies for other separately billable care
management services under the PFS,
because these proposed OUD treatment
bundles include non-face-to-face care
management components, we are
proposing that the billing practitioner or
clinical staff must document in the
beneficiary’s medical record that they
obtained the beneficiary’s consent to
receive the services, and that, as part of
the consent, they informed the
beneficiary that there is cost sharing
associated with these services,
including potential deductible and
coinsurance amounts, for both in-person
and non-face-to-face services that are
provided.
We are also proposing to allow any of
the individual therapy, group therapy
and counseling services included in
HCPCS codes GYYY1, GYYY2, and
GYYY3 to be furnished via telehealth, as
clinically appropriate, in order to
increase access to care for beneficiaries.
As discussed in section II.F. of this
proposed rule regarding Telehealth
Services, like certain other non-face-toface PFS services, the components of
HCPCS codes GYYY1 through GYYY3
describing care coordination are
commonly furnished remotely using
telecommunications technology, and do
not require the patient to be present inperson with the practitioner when they
are furnished. As such, these services
are not considered telehealth services
for purposes of Medicare, and we do not
need to consider whether the non-faceto-face aspects of HCPCS codes GYYY1
through GYYY3 are similar to other
telehealth services. If the non-face-toface components of HCPCS codes
GYYY1 through GYYY3 were separately
billable, they would not need to be on
the Medicare telehealth list to be
covered and paid in the same way as
services delivered without the use of
telecommunications technology.
Section 2001(a) of the SUPPORT Act
amended section 1834(m) of the Act,
adding a new paragraph (7) that
removes the geographic limitations for
telehealth services furnished on or after
July 1, 2019, to an individual with a
substance use disorder (SUD) diagnosis
for purposes of treatment of such
disorder or co-occurring mental health
disorder. The new paragraph at section
1834(m)(7) of the Act also allows
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telehealth services for treatment of a
diagnosed SUD or co-occurring mental
health disorder to be furnished to
individuals at any telehealth originating
site (other than a renal dialysis facility),
including in a patient’s home. As
discussed in section II.F. of this
proposed rule, Telehealth Services, we
are proposing to add HCPCS codes
GYYY1, GYYY2, and GYYY3 to the list
of Medicare Telehealth services.
Because certain required services (such
as individual psychotherapy or group
psychotherapy services) that are
included in the proposed OUD bundled
payment codes would be furnished to
treat a diagnosed SUD, and would
ordinarily require a face-to-face
encounter, they could be furnished
more broadly as telehealth services as
permitted under section 1834(m)(7) of
the Act.
For these proposed services described
above (HCPCS codes GYYY1, GYYY2,
and GYYY3), we seek comment on how
these potential codes, descriptors, and
payment rates align with state Medicaid
coding and payment rates for the
purposes of state payment of cost
sharing for Medicare-Medicaid dually
eligible individuals. Additionally, we
understand that treatment for OUD can
vary, and that MAT alone has
demonstrated efficacy. In cases where a
medication such as buprenorphine or
naltrexone is used to treat OUD alone,
without therapy or counseling, we note
that existing applicable codes can be
used to furnishing and bill for that care
(for example, using E/M visits, in lieu of
billing the bundled OUD codes
proposed here).
As discussed in section II.G. of this
proposed rule, Medicare Coverage for
Certain Services Furnished by Opioid
Treatment Programs, we are proposing
to set the copayment at zero for OUD
services furnished by an OTP, given the
flexibility in section 1834(w)(1) of the
Act for us to set the copayment amount
for OTP services either at zero or at an
amount above zero. We note that we do
not have the statutory authority to
eliminate the deductible and
coinsurance requirements for the
bundled OUD treatment services under
the PFS. We acknowledge the potential
impact of coinsurance on patient health
care decisions and intend to monitor its
impact if these proposals were to be
finalized.
Finally, we recognize that historically,
the CPT Editorial Panel has frequently
created CPT codes describing services
that we originally established using Gcodes and adopted them through the
CPT Editorial Panel process. We note
that we would consider new using any
available CPT coding to describe
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services similar to those described here
in future rulemaking, as early as CY
2021. We would consider and adopt any
such CPT codes through subsequent
rulemaking.
Additionally, we understand that in
some cases, OUD can first become
apparent to practitioners in the
emergency department setting. We
recognize that there is not specific
coding that describes diagnosis of OUD
or the initiation of, or referral for, MAT
in the emergency department setting.
We are seeking comment on the use of
MAT in the emergency department
setting, including initiation of MAT and
the potential for either referral or
follow-up care, as well as the potential
for administration of long-acting MAT
agents in this setting, in order to better
understand typical practice patterns to
help inform whether we should
consider making separate payment for
such services in future rulemaking. We
welcome feedback from stakeholders
and the public on other potential
bundles describing services for other
substance use disorders for our
consideration in future rulemaking.
2. Rural Health Clinics (RHCs) and
Federally-Qualified Health Centers
(FQHCs)
In the CY 2018 PFS final rule (82 FR
53169 through 53180), we established
payment for General Care Management
(CCM) services using HCPCS G0511
which is an RHC and FQHC-specific G
code for at least 20 minutes of CCM,
complex CCM, or general behavioral
health services. Payment for this code is
currently set at the average of the nonfacility, non-geographically adjusted
payment rates for CPT codes 99490,
99487, 99491, and 99484. The types of
chronic conditions that are eligible for
care management services include
mental health or behavioral health
conditions, including substance use
disorders.
In the CY 2018 PFS final rule with
comment period (82 FR 53169 through
53180), we also established payment for
psychiatric Collaborative Care Services
(CoCM) using HCPCS code G0512,
which is an RHC and FQHC specific Gcode for at least 70 minutes in the first
calendar month, and at least 60 minutes
in subsequent calendar months of
psychiatric CoCM services. Payment for
this code is set at the average of the nonfacility, non-geographically adjusted
rates for CPT codes 99492 and 99493.
The psychiatric CoCM model of care
may be used to treat patients with any
behavioral health condition that is being
treated by the billing practitioner,
including substance use disorders.
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RHCs and FQHCs can also bill for
individual psychotherapy services using
CPT codes 90791, 90792, 90832, 90834,
90837, 90839, or 90845, which are
billable visits under the RHC allinclusive rate (AIR) and FQHC
Prospective Payment System (PPS)
when furnished by an RHC or FQHC
practitioner. If a qualified mental health
service is furnished on the same day as
a qualified primary care service, the
RHC or FQHC can bill for 2 visits.
RHCs and FQHCs are engaged
primarily in providing services that are
furnished typically in a physician’s
office or an outpatient clinic. As a result
of the proposed bundled payment under
the PFS for OUD treatment furnished by
physicians, we reviewed the
applicability of RHCs and FQHCs
furnishing and billing for similar
services. Specifically, we considered
establishing a new RHC and FQHC
specific G code for OUD treatment with
the payment rate set at the average of
the non-facility, non-geographically
adjusted payment rates for GYYY1 and
GYYY2, beginning on January 1, 2020.
The requirements to bill the services
would be similar to the requirements
under the PFS for GYYY1 and GYYY2,
including that an initiating visit with a
primary care practitioner must occur
within one year before OUD services
begin, and that consent be obtained
before services are furnished.
However, because RHCs and FQHCs
that choose to furnish OUD services can
continue to report these individual
codes when treating OUD, and can also
offer their patients comprehensive care
coordination services using HCPCS
codes G0511 and G0512, we do not
believe that adding a new and separate
code to report a bundle of OUD services
is necessary. Therefore, we are not
proposing to add a new G code for a
bundle of OUD service.
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I. Physician Supervision for Physician
Assistant (PA) Services
1. Background
Section 4072(e) of the Omnibus
Budget Reconciliation Act of 1986 (Pub.
L. 99–509, October 21, 1986), added
section 1861(s)(2)(K)(i) of the Act to
establish a benefit for services furnished
by a physician assistant (PA) under the
supervision of a physician. We have
interpreted this physician supervision
requirement in the regulation at
§ 410.74(a)(2)(iv) to require PA services
to be furnished under the general
supervision of a physician. This general
supervision requirement was based
upon another longstanding regulation at
§ 410.32(b)(3)(i) that defines three levels
of supervision for diagnostic tests,
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which are general, direct and personal
supervision. Of these three supervision
levels, general supervision is the most
lenient. Specifically, the general
supervision requirement means that PA
services must be furnished under a
physician’s overall direction and
control, but the physician’s presence is
not required during the performance of
PA services.
In the CY 2018 PFS proposed rule (82
FR 34172 through 34173), we published
a request for information (RFI) on CMS
flexibilities and efficiencies. In response
to this RFI, commenters including PA
stakeholders informed us about recent
changes in the practice of medicine for
PAs, particularly regarding physician
supervision. These commenters also
reached out separately to CMS with
their concerns. They stated that PAs are
now practicing more autonomously, like
nurse practitioners (NPs) and clinical
nurse specialists (CNSs), as members of
medical teams that often consist of
physicians, nonphysician practitioners
and other allied health professionals.
This changed approach to the delivery
of health care services involving PAs
has resulted in changes to scope of
practice laws for PAs regarding
physician supervision across some
states. According to these commenters,
some states have already relaxed their
requirements for PAs related to
physician supervision, some states have
made changes and are now silent about
their physician supervision
requirements, while other states have
not yet changed their PA scope of
practice in terms of their physician
supervision requirements. Overall, these
commenters believe that as states
continue to make changes to their
physician supervision requirements for
PAs, the Medicare requirement for
general supervision of PA services may
become increasingly out of step with
current medical practice, imposing a
more stringent standard than state laws
governing physician supervision of PA
services. Furthermore, as currently
defined, stakeholders have suggested
that the supervision requirement is
often misinterpreted or misunderstood
in a manner that restricts PAs’ ability to
practice to the full extent of their
education and expertise. The
stakeholders have suggested that the
current regulatory definition of
physician supervision as it applies to
PAs could inappropriately restrict the
practice of PAs in delivering their
professional services to the Medicare
population.
We note that we have understood our
current policy to require general
physician supervision for PA services to
fulfill the statutory physician
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supervision requirement; and we
believe that general physician
supervision gives PAs flexibility to
furnish their professional services
without the need for a physician’s
physical presence or availability.
Nonetheless, we appreciate the concerns
articulated by stakeholders. To more
fully understand the current landscape
for medical practice involving PA
services and how the current regulatory
definition may be problematic, we
invite public comments on specific
examples of changes in state law and
state scope of practice rules that enable
PAs to practice more broadly such that
those rules are in tension with the
Medicare requirement for general
physician supervision of PA services
that has been in place since the
inception of the PA benefit category
under Medicare law.
Given the commenters’ understanding
of ongoing changes underway to the
state scope of practice laws regarding
physician supervision of PA services,
commenters on our CY 2018 RFI have
requested that CMS reconsider its
interpretation of the statutory
requirement that PA services must be
furnished under the supervision of a
physician to allow PAs to operate
similarly to NPs and CNSs, who are
required by section 1861(s)(2)(K)(ii) of
the Act to furnish their services ‘‘in
collaboration’’ with a physician. In
general, we have interpreted
collaboration for this purpose at
§§ 410.75(c)(3) and 410.76(c)(3) of our
regulations to mean a process in which
an NP or CNS (respectively) works with
one or more physicians to deliver health
care services within the scope of the
practitioner’s expertise, with medical
direction and appropriate supervision as
provided by state law in which the
services are performed. The commenters
stated that allowing PA services to be
furnished using such a collaborative
process would offer PAs the flexibility
necessary to deliver services more
effectively under today’s health care
system in accordance with the scope of
practice in the state(s) where they
practice, rather than being limited by
the system that was in place when PA
services were first covered under
Medicare Part B over 30 years ago.
2. Proposal
After considering the comments we
received on the RFI, as well as
information we received regarding the
scope of practice laws in some states
regarding supervision requirements for
PAs, we are proposing to revise the
regulation at § 410.74 that establishes
physician supervision requirements for
PAs. Specifically, we are proposing to
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revise § 410.74(a)(2) to provide that the
statutory physician supervision
requirement for PA services at section
1861(s)(2)(K)(i) of the Act would be met
when a PA furnishes their services in
accordance with state law and state
scope of practice rules for PAs in the
state in which the services are
furnished, with medical direction and
appropriate supervision as provided by
state law in which the services are
performed. In the absence of state law
governing physician supervision of PA
services, the physician supervision
required by Medicare for PA services
would be evidenced by documentation
in the medical record of the PA’s
approach to working with physicians in
furnishing their services. Consistent
with current rules, such documentation
would need to be available to CMS,
upon request. This proposed change
would substantially align the regulation
on physician supervision for PA
services at § 410.74(a)(2) with our
current regulations on physician
collaboration for NP and CNS services at
§§ 410.75(c)(3) and 410.76(c)(3). We
continue to engage with key
stakeholders on this issue and receive
information on the expanded role of
nonphysician practitioners as members
of the medical team. As we are informed
about transitions in state law and state
scope of practice governing physician
supervision, as well as changes in the
way that PAs practice, we acknowledge
the state’s role and autonomy to
establish, uphold, and enforce their
state laws and PA scope of practice
requirements to ensure that an
appropriate level of physician oversight
occurs when PAs furnish their
professional services to Medicare Part B
patients. Our policy proposal on this
issue largely defers to state law and state
scope of practice and enables states the
flexibility to develop requirements for
PA services that are unique and
appropriate for their respective state,
allowing the states to be accountable for
the safety and quality of health care
services that PAs furnish.
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J. Review and Verification of Medical
Record Documentation
1. Background
In an effort to reduce mandatory and
duplicative medical record evaluation
and management (E/M) documentation
requirements, we finalized an amended
regulatory provision at 42 CFR part 415,
subpart D, in the CY 2019 PFS final rule
(83 FR 59653 through 59654).
Specifically, § 415.172(a) requires as a
condition of payment under the PFS
that the teaching physician (as defined
in § 415.152) must be present during
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certain portions of services that are
furnished with the involvement of
residents (individuals who are training
in a graduate medical education
program). Section 415.174(a) provides
for an exception to the teaching
physician presence requirements in the
case of certain E/M services under
certain conditions, but requires that the
teaching physician must direct and
review the care provided by no more
than four residents at a time. Sections
415.172(b) and 415.174(a)(6),
respectively require that the teaching
physician’s presence and participation
in services involving residents must be
documented in the medical record. We
amended these regulations to provide
that a physician, resident, or nurse may
document in the patient’s medical
record that the teaching physician
presence and participation requirements
were met. As a result, for E/M visits
furnished beginning January 1, 2019, the
extent of the teaching physician’s
participation in services involving
residents may be demonstrated by notes
in the medical records made by a
physician, resident, or nurse.
For the same burden reduction
purposes, we issued CR 10412,
Transmittal 3971 https://www.cms.gov/
Regulations-and-Guidance/Guidance/
Transmittals/2018Downloads/
R3971CP.pdf on February 2, 2018,
which revised a paragraph in our
manual instructions on ‘‘Teaching
Physician Services’’ at Pub. 100–04,
Medicare Claims Processing Manual,
Chapter 12, Section 100.1.1B., to reduce
duplicative documentation
requirements by allowing a teaching
physician to review and verify (sign/
date) notes made by a student in a
patient’s medical record for E/M
services, rather than having to redocument the information, largely
duplicating the student’s notes. We
issued corrections to CR 10412 through
Transmittal 4068 https://www.cms.gov/
Regulations-and-Guidance/Guidance/
Transmittals/2018Downloads/
R4068CP.pdf and re-issued the CR on
May 31, 2018. Pub. 100–04, Medicare
Claims Processing Manual, Chapter 12,
Section 100 contains a list of definitions
pertinent to teaching physician services.
Following these amendments to our
regulations and manual, certain
stakeholders raised concerns about the
definitions in this section, particularly
those for teaching physician, student,
and documentation; and when
considered in conjunction with the
interpretation of the manual provision
at Pub. 100–04, Medicare Claims
Processing Manual, Chapter 12, Section
100.1.1B., which addresses
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40547
documentation of E/M services
involving students. While there is no
regulatory definition of student, the
manual instruction defines a student as
an individual who participates in an
accredited educational program (for
example, a medical school) that is not
an approved graduate medical
education (GME) program. The manual
instructions also specify that a student
is never considered to be an intern or a
resident, and that Medicare does not
pay for services furnished by a student
(see Section 100.1.1B. for a discussion
concerning E/M service documentation
performed by students).
We are aware that nonphysician
practitioners who are authorized under
Medicare Part B to furnish and be paid
for all levels of E/M services are seeking
similar relief from burdensome E/M
documentation requirements that would
allow them to review and verify medical
record notes made by their students,
rather than having to re-document the
information. These nonphysician
practitioners include nurse practitioners
(NPs), clinical nurse specialists (CNSs),
and certified nurse-midwives (CNMs),
collectively referred to hereafter for
purposes of this discussion as advanced
practice registered nurses (APRNs), as
well as physician assistants (PAs).
Subsequent to the publication of the CY
2019 PFS final rule (83 FR 59653
through 59654), through feedback from
listening sessions hosted by CMS’
Documentation Requirements
Simplification workgroup, we began to
hear concerns from a variety of
stakeholders about the requirements for
teaching physician review and
verification of documentation added to
the medical record by other individuals.
Physician and nonphysician
practitioner stakeholders expressed
concern about the scope of the changes
to §§ 415.172(b) and 415.174(a)(6)
which authorize only a physician,
resident, or nurse to include notes in the
medical record to document E/M
services furnished by teaching
physicians, because they believed that
students and other members of the
medical team should be similarly
permitted to provide E/M medical
record documentation. In addition to
students, these stakeholders indicated
that ‘‘other members of the medical
team’’ could include individuals who
the teaching physician, other
physicians, PA and APRN preceptors
designate as being appropriate to
document services in the medical
record, which the billing practitioner
would then review and verify, and rely
upon for billing purposes.
Subsequent to the publication of the
student documentation manual
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instruction change at section 100.1.1B of
the Medicare Claims Processing Manual,
representatives of PAs and APRNs
requested clarification about whether
PA and APRN preceptors and their
students were subject to the same E/M
documentation requirements as teaching
physicians and their medical students.
These stakeholders suggested that the
reference to ‘‘student’’ in the manual
instruction on E/M documentation
provided by students is ambiguous
because it does not specify ‘‘medical
student’’. These stakeholders also
suggested that the definition of
‘‘student’’ in section 100 of this manual
instruction is ambiguous because PA
and APRN preceptors also educate
students who are individuals who
participate in an accredited educational
program that is not an approved GME
program. Accordingly, these
stakeholders expressed concern that the
uncertainty throughout the health care
industry, including among our
contractors, concerning the student E/M
documentation review and verification
policy under these manual guidelines
results in unequal treatment as
compared to teaching physicians. The
stakeholders stated that depending on
how the manual instruction is
interpreted, PA and APRN preceptors
may be required to re-document E/M
services in full when their students
include notes in the medical records,
without having the same option that
teaching physicians do to simply review
and verify medical student
documentation.
2. Proposal
After considering the concerns
expressed by these stakeholders, we
believe it would be appropriate to
provide broad flexibility to the
physicians, PAs and APRNs (regardless
of whether they are acting in a teaching
capacity) who document and who are
paid under the PFS for their
professional services. Therefore, we
propose to establish a general principle
to allow the physician, the PA, or the
APRN who furnishes and bills for their
professional services to review and
verify, rather than re-document,
information included in the medical
record by physicians, residents, nurses,
students or other members of the
medical team. This principle would
apply across the spectrum of all
Medicare-covered services paid under
the PFS. Because this proposal is
intended to apply broadly, we propose
to amend regulations for teaching
physicians, physicians, PAs, and APRNs
to add this new flexibility for medical
record documentation requirements for
professional services furnished by
physicians, PAs and APRNs in all
settings. We invite comments on this
proposal.
Specifically, to reflect our simplified
and standardized approach to medical
record documentation for all
professional services furnished by
physicians, PAs and APRNs paid under
the PFS, we are proposing to amend
§§ 410.20 (Physicians’ services), 410.74
(PA services), 410.75 (NP services),
410.76 (CNS services) and 410.77 (CNM
services) to add a new paragraph
entitled, ‘‘Medical record
documentation.’’ This paragraph would
specify that, when furnishing their
professional services, the clinician may
review and verify (sign/date) notes in a
patient’s medical record made by other
physicians, residents, nurses, students,
or other members of the medical team,
including notes documenting the
practitioner’s presence and participation
in the services, rather than fully redocumenting the information. We note
that, while the proposed change
addresses who may document services
in the medical record, subject to review
and verification by the furnishing and
billing clinician, it does not modify the
scope of, or standards for, the
documentation that is needed in the
medical record to demonstrate medical
necessity of services, or otherwise for
purposes of appropriate medical
recordkeeping.
We are also proposing to make
conforming amendments to
§§ 415.172(b) and 415.174(a)(6) to also
allow physicians, residents, nurses,
students, or other members of the
medical team to enter information in the
medical record that can then be
reviewed and verified by a teaching
physician without the need for redocumentation. We invite comments on
these proposed amendments to our
regulations.
K. Care Management Services
1. Background
In recent years, we have updated PFS
payment policies to improve payment
for care management and care
coordination. Working with the CPT
Editorial Panel and other clinicians, we
have expanded the suite of codes
describing these services. New CPT
codes were created that distinguish
between services that are face-to-face;
represent a single encounter, monthly
service or both; are timed services;
represent primary care versus specialty
care; address specific conditions; and
represent the work of the billing
practitioner, their clinical staff, or both
(see Table 16). Additional information
regarding recent new codes and
associated PFS payment rules is
available on our website at https://
www.cms.gov/Medicare/Medicare-Feefor-Service-Payment/Physician
FeeSched/Care-Management.html.
TABLE 16—SUMMARY OF SPECIAL CARE MANAGEMENT CODES
Service
Summary
Care Plan Oversight (CPO) (also referred to as Home Health Supervision, Hospice Supervision) (HCPCS Codes G0181, G0182).
ESRD Monthly Services (CPT Codes 90951–70) ...................................
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Transitional Care Management (TCM) (adopted in 2013) (CPT Codes
99495, 99496).
Chronic Care Management (CCM) (adopted in 2015, 2017, 2019) (CPT
Codes 99487, 99489, 99490, 99491).
Advance Care Planning (ACP) (adopted in 2016) (CPT Codes 99497,
99498).
Behavioral Health Integration (BHI) (adopted in 2017) (CPT Codes
99484, 99492, 99493, 99494).
Assessment/Care Planning for Cognitive Impairment (adopted in 2017)
(CPT Code 99483).
Prolonged Evaluation & Management (E/M) Without Direct Patient Contact (adopted in 2017) (CPT Codes 99358, 99359).
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Supervision of home health, hospice, per month.
ESRD management, with and without face-to-face visits, by age, per
month.
Management of transition from acute care or certain outpatient stays to
a community setting, with face-to-face visit, once per patient within
30 days post-discharge.
Management of all care for patients with two or more serious chronic
conditions, timed, per month.
Counseling/discussing advance directives, face-to-face, timed.
Management of behavioral health conditions(s), timed, per month.
Assessment and care planning of cognitive impairment, face-to-face
visit.
Non-face-to-face E&M work related to a face-to-face visit, timed.
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40549
TABLE 16—SUMMARY OF SPECIAL CARE MANAGEMENT CODES—Continued
Service
Summary
Remote Patient Monitoring (adopted in 2019) (CPT Code 99091) .........
Interprofessional Consultation (adopted in 2019) (CPT Codes 99446,
99447, 99448, 99449, 99451, 99452).
Based on our review of the Medicare
claims data we estimate that
approximately 3 million unique
beneficiaries (9 percent of the Medicare
fee-for-service (FFS) population) receive
these services annually, with higher use
of chronic care management (CCM),
transitional care management (TCM),
and advance care planning (ACP)
services. We believe gaps remain in
coding and payment, such as for care
management of patients having a single,
serious, or complex chronic condition.
In this proposed rule, we continue our
ongoing work in this area through code
set refinement related to TCM services
and CCM services, in addition to
proposing new coding for principal care
management (PCM) services, and
addressing chronic care remote
physiologic monitoring (RPM) services.
2. Transitional Care Management (TCM)
Services
Utilization of TCM services has
increased each year since CMS
established coding and began paying
separately for TCM services.
Specifically, there were almost 300,000
TCM professional claims during 2013,
the first year of TCM services, and
almost 1.3 million professional claims
during 2018, the most recent year of
complete claims data. However, based
upon an analysis of claims data by
Bindman and Cox,78 utilization of TCM
services is low when compared to the
number of Medicare beneficiaries with
eligible discharges. Additionally,
Bindman and Cox noted that the
beneficiaries who received TCM
services demonstrated reduced
readmission rates, lower mortality, and
Review and analysis of patient-generated health data, timed, per 30
days.
Inter-practitioner consultation.
decreased health care costs. Based upon
these findings, we believe that
increasing utilization of TCM services
could positively affect patient outcomes.
In developing a proposal designed to
increase utilization of TCM services, we
considered possible factors contributing
to low utilization. Bindman and Cox
identified two likely contributing
factors: The administrative burdens
associated with billing TCM services
and the payment amount to physicians
for services.
We focused initially on the
requirements for billing TCM services.
In reviewing the TCM billing
requirements, we noted that we had
established in the CY 2013 PFS final
rule with comment period a list of 57
HCPCS codes that cannot be billed
during the 30-day period covered by
TCM services by the same practitioner
reporting TCM (77 FR 68990). This list
mirrored reporting restrictions put in
place by the CPT Editorial Panel for the
TCM codes upon their creation. At the
time we established separate payment
for the TCM CPT codes, we agreed with
the CPT Editorial Panel that the services
described by the 57 codes could be
overlapping and duplicative with TCM
in their definition and scope; although,
many of these codes were not separately
payable or covered under the PFS so
even if they were reported for PFS
payment, they would not be have been
separately paid (see, for example, 77 FR
68985). In response to those concerns,
we adopted billing restrictions to avoid
duplicative billing and payment for
covered services. In our recent analysis
of the services associated with the 57
codes, we found that the majority of
codes on the list remain either bundled,
noncovered by Medicare, or invalid for
Medicare payment purposes. Table 17
provides detailed information regarding
the subset of these codes that would be
separately payable under the PFS
(Status Indicator ‘‘A’’) and, as such, are
the focus of this year’s CY 2020
proposed policy for TCM. Fourteen (14)
codes on the list represent active codes
that are paid separately under the PFS
and that upon reconsideration, we
believe may not substantially overlap
with TCM services and should be
separately payable alongside TCM. For
example, CPT code 99358 (Prolonged E/
M service before and/or after direct
patient care; first hour; non-face-to-face
time spent by a physician or other
qualified health care professional on a
given date providing prolonged service)
would allow the physician or other
qualified healthcare professional extra
time to review records and manage
patient support services after the faceto-face visit required as part of TCM
services. CPT code 99091 (Collection &
interpretation of physiologic data,
requiring a minimum of 30 minutes
each 30 days) would permit the
physician or other qualified healthcare
professional to collect and analyze
physiologic parameters associated with
the patient’s chronic disease.
Thus, after review of the services
described by these 14 HCPCS codes, we
believe these codes, when medically
necessary, may complement TCM
services rather than substantially
overlap or duplicate services. We also
believe removing the billing restrictions
associated with these codes may
increase utilization of TCM services.
TABLE 17—14 HCPCS CODES THAT CURRENTLY CANNOT BE BILLED CONCURRENTLY WITH TCM BY THE SAME
PRACTITIONER AND ARE ACTIVE CODES PAYABLE BY MEDICARE PFS
HCPCS
code
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Code family
Prolonged Services without Direct Patient
Contact.
99358
99359
78 Bindman, AB, Cox DF. Changes in health care
costs and mortality associated with transitional care
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Descriptor
Prolonged E/M service before and/or after direct patient care; first hour; non-face-toface time spent by a physician or other qualified health care professional on a
given date providing prolonged service.
Prolonged E/M service before and/or after direct patient care; each additional 30
minutes beyond the first hour of prolonged services.
management services after a discharge among
Medicare beneficiaries [published online July 30,
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2018]. JAMA Intern Med, doi:10.1001/
jamainternmed.2018.2572.
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TABLE 17—14 HCPCS CODES THAT CURRENTLY CANNOT BE BILLED CONCURRENTLY WITH TCM BY THE SAME
PRACTITIONER AND ARE ACTIVE CODES PAYABLE BY MEDICARE PFS—Continued
HCPCS
code
Code family
Home and Outpatient International Normalized Ratio (INR) Monitoring Services.
93792
93793
End Stage Renal Disease Services (patients who are 20+ years).
90960
90961
90962
90966
90970
Interpretation of Physiological Data ...........
99091
Complex Chronic Care Management Services.
Care Plan Oversight Services ....................
99487
99489
G0181
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G0182
Thus, with the goal of increasing
medically appropriate use of TCM
services, we are proposing to revise our
billing requirements for TCM by
allowing TCM codes to be billed
concurrently with any of these codes.
Before we finalize such a rule, however,
we seek comment on whether overlap of
services exists, and if so, which services
should be restricted from being billed
concurrently with TCM. We also seek
comment on whether any overlap would
depend upon whether the same or a
different practitioner reports the
services. We note that CPT reporting
rules generally apply at the practitioner
level, and we are seeking input from
stakeholders as to whether our policy
should differ based on whether it is the
same or a different practitioner
reporting the services. We are seeking
comment on whether the newest CPT
code in the chronic care management
services family (CPT code 99491 for
CCM by a physician or other qualified
health professional, established in 2019)
overlaps with TCM or should be
reportable and separately payable in the
same service period.
As part of our analysis of the
utilization data for TCM services, we
also examined how current payment
rates for TCM might negatively affect
the appropriate utilization of TCM
services, an idea proposed by Bindman
and Cox. CPT code 99495 (Transitional
Care Management services with the
following required elements:
Communication (direct contact,
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Descriptor
Patient/caregiver training for initiation of home INR monitoring.
Anticoagulant management for a patient taking warfarin; includes review and interpretation of a new home, office, or lab INR test result, patient instructions, dosage
adjustment and scheduling of additional test(s).
ESRD related services monthly with 4 or more face-to-face visits per month; for patients 20 years and older.
ESRD related services monthly with 2–3 face-to-face visits per month; for patients 20
years and older.
ESRD related services with 1 face-to-face visit per month; for patients 20 years and
older.
ESRD related services for home dialysis per full month; for patients 20 years and
older.
ESRD related services for dialysis less than a full month of service; per day; for patient 20 years and older.
Collection & interpretation of physiologic data, requiring a minimum of 30 minutes
each 30 days.
Complex Chronic Care with 60 minutes of clinical staff time per calendar month.
Complex Chronic Care; additional 30 minutes of clinical staff time per month.
Physician supervision of a patient receiving Medicare-covered services provided by a
participating home health agency (patient not present) requiring complex and multidisciplinary care modalities within a calendar month; 30+ minutes.
Physician supervision of a patient receiving Medicare-covered hospice services (Pt
not present) requiring complex and multidisciplinary care modalities; within a calendar month; 30+ minutes.
telephone, electronic) with the patient
and/or caregiver within two business
days of discharge; medical decision
making of at least moderate complexity
during the service period; face-to-face
visit within 14 calendar days of
discharge) and CPT code 99496
(Transitional Care Management services
with the following required elements:
Communication (direct contact,
telephone, electronic) with the patient
and/or caregiver within two business
days of discharge; medical decision
making of at least high complexity
during the service period; face-to-face
visit within 7 calendar days of
discharge) were resurveyed during 2018
as part of a regular RUC review of new
technologies or services. For this RUC
resurvey, several years of claims data
were available and clinicians had more
experience to inform their views about
the work required to furnish TCM
services. Based upon the results of the
2018 RUC survey of the two TCM codes,
the RUC recommended a slight increase
in work RVUs for both codes. We
believe the results from the new survey
will better reflect the work involved in
furnishing TCM services as care
management services. Thus, also for CY
2020, we are proposing the RUCrecommended work RVU of 2.36 for
CPT code 99495 and the RUCrecommended work RVU of 3.10 for
CPT code 99496. We are not proposing
any direct PE refinements to the RUC’s
recommendations for this code family.
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3. Chronic Care Management (CCM)
Services
CCM services are comprehensive care
coordination services per calendar
month, furnished by a physician or nonphysician practitioner (NPP) managing
overall care and their clinical staff, for
patients with two or more serious
chronic conditions. There are currently
two subsets of codes: One for noncomplex chronic care management
(starting in 2015, with a new code for
2019) and a set of codes for complex
chronic care management (starting in
2017). Table 17 provides a high-level
summary of the CCM service elements.
Early data show that, in general, CCM
services are increasing patient and
practitioner satisfaction, saving costs
and enabling solo practitioners to
remain in independent practice.79
Utilization has reached approximately
75 percent of the level we initially
assumed under the PFS when we began
paying for CCM services separately
under the PFS. While these are positive
results, we believe that CCM services
(especially complex CCM services)
continue to be underutilized. In
addition, we note that, at the February
2019 CPT Editorial Panel meeting,
certain specialty associations requested
refinements to the existing CCM codes,
and consideration of their proposal was
postponed. Also, we have heard from
some stakeholders suggesting that the
79 https://innovation.cms.gov/Files/reports/
chronic-care-mngmt-finalevalrpt.pdf.
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time increments for non-complex CCM
performed by clinical staff should be
changed to recognize finer increments of
time, and that certain requirements
related to care planning are unclear.
Based on our consideration of this
ongoing feedback, we believe some of
the refinements requested by specialty
associations and other stakeholders may
be necessary to improve payment
accuracy, reduce unnecessary burden
and help ensure that beneficiaries who
need CCM services have access to them.
Accordingly, we are proposing the
following changes to the CCM code set
for CY 2020.
a. Non-Complex CCM Services by
Clinical Staff (CPT Code 99490, HCPCS
Codes GCCC1 and GCCC2)
Currently, the clinical staff CPT code
for non-complex CCM, CPT code 99490
(Chronic care management services, at
least 20 minutes of clinical staff time
directed by a physician or other
qualified health care professional, per
calendar month, with the following
required elements: Multiple (two or
more) chronic conditions expected to
last at least 12 months, or until the
death of the patient; chronic conditions
place the patient at significant risk of
death, acute exacerbation/
decompensation, or functional decline;
comprehensive care plan established,
implemented, revised, or monitored.)
describes 20 or more minutes of clinical
staff time spent performing chronic care
management activities under the
direction of a physician/qualified health
care professional. When we initially
adopted this code for payment and, in
feedback we have since received, a
number of stakeholders suggested that
CMS undervalued the PE RVU because
we assumed that the minimum time for
the code (20 minutes of clinical staff
time) would be typical (see, for
example, 79 FR 67717 through 67718).
In the CY 2017 PFS final rule with
comment period, we continued to
consider whether the payment amount
for CPT code 99490 is appropriate,
given the amount of time typically spent
furnishing CCM services (81 FR 80243
through 80244). We adopted the
complex CCM codes for payment
beginning in CY 2017, in part, to pay
more appropriately for services
furnished to beneficiaries requiring
longer service times.
There are two CPT codes for complex
CCM:
• CPT code 99487 (Complex chronic
care management services, with the
following required elements: Multiple
(two or more) chronic conditions
expected to last at least 12 months, or
until the death of the patient; chronic
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conditions place the patient at
significant risk of death, acute
exacerbation/decompensation, or
functional decline; establishment or
substantial revision of a comprehensive
care plan; moderate or high complexity
medical decision making; 60 minutes of
clinical staff time directed by physician
or other qualified health care
professional, per calendar month.
(Complex chronic care management
services of less than 60 minutes
duration, in a calendar month, are not
reported separately); and
• CPT code 99489 (each additional 30
minutes of clinical staff time directed by
a physician or other qualified health
care professional, per calendar month
(List separately in addition to code for
primary procedure).
Complex CCM describes care
management for patients who require
not only more clinical staff time, but
also complex medical decision-making.
Some stakeholders continue to
recommend that, in addition to separate
payment for the complex CCM codes,
we should create an add-on code for
non-complex CCM, such that noncomplex CCM would be defined and
valued in 20-minute increments of time
with additional payment for each
additional 20 minutes, or extra payment
for 20 to 40 minutes of clinical staff time
spent performing care management
activities.
We agree that coding changes that
identify additional time increments
would improve payment accuracy for
non-complex CCM. Accordingly, we
propose to adopt two new G codes with
new increments of clinical staff time
instead of the existing single CPT code
(CPT code 99490). The first G code
would describe the initial 20 minutes of
clinical staff time, and the second G
code would describe each additional 20
minutes thereafter. We intend these
would be temporary G codes, to be used
for PFS payment instead of CPT code
99490 until the CPT Editorial Panel can
consider revisions to the current CPT
code set. We would consider adopting
any CPT code(s) once the CPT Editorial
Panel completes its work. We
acknowledge that imposing a
transitional period during which G
codes would be used under the PFS in
lieu of the CPT codes is potentially
disruptive, and are seeking comment on
whether the benefit of proceeding with
the proposed G codes outweighs the
burden of transitioning to their use in
the intervening year(s) before a decision
by the CPT Editorial Panel.
We are proposing that the base code
would be HCPCS code GCCC1 (Chronic
care management services, initial 20
minutes of clinical staff time directed by
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a physician or other qualified health
care professional, per calendar month,
with the following required elements:
Multiple (two or more) chronic
conditions expected to last at least 12
months, or until the death of the
patient; chronic conditions place the
patient at significant risk of death, acute
exacerbation/decompensation, or
functional decline; and comprehensive
care plan established, implemented,
revised, or monitored. (Chronic care
management services of less than 20
minutes duration, in a calendar month,
are not reported separately)). We
propose a work RVU of 0.61 for HCPCS
code GCCC1, which we crosswalked
from CPT code 99490. We believe these
codes have a similar amount of work
since they would have the same intraservice time of 15 minutes.
We propose an add-on HCPCS code
GCCC2 (Chronic care management
services, each additional 20 minutes of
clinical staff time directed by a
physician or other qualified health care
professional, per calendar month (List
separately in addition to code for
primary procedure). (Use GCCC2 in
conjunction with GCCC1). (Do not report
GCCC1, GCCC2 in the same calendar
month as GCCC3, GCCC4, 99491)). We
are proposing a work RVU of 0.54 for
HCPCS code GCCC2 based on a
crosswalk to CPT code 11107 (Incisional
biopsy of skin (eg, wedge) (including
simple closure, when performed); each
separate/additional lesion (List
separately in addition to code for
primary procedure)), which has a work
RVU of 0.54, which we believe
accurately reflects the work associated
with each additional 20 minutes of CCM
services. Both codes have the same
intraservice time of 15 minutes. We note
that the nature of the PFS relative value
system is such that all services are
appropriately subject to comparisons to
one another. Although codes that
describe clinically similar services are
sometimes stronger comparator codes,
codes need not share the same site of
service, patient population, or
utilization level to serve as an
appropriate crosswalk. In this case, CPT
code 11107 shares a similar work
intensity to proposed HCPCS code
GCCC2. Furthermore, although HCPCS
codes GCCC1 and GCCC2 share the
same intraservice time, add-on codes
often have lower intensity than the base
codes because they describe the
continuation of an already initiated
service.
We are soliciting public comment on
whether we should limit the number of
times this add-on code (HCPCS code
GCCC2) can be reported in a given
service period for a given beneficiary. It
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is not clear how often more than 40
minutes of clinical staff time is
currently spent or is medically
necessary. In addition, once 60 minutes
of clinical staff time is spent, many or
most patients might also require
complex medical decision-making, and
such patients would be already
described under existing coding for
complex CCM. A limit (such as allowing
the add-on code to be reported only
once per service period per beneficiary)
may be appropriate in order to maintain
distinctions between complex and noncomplex CCM, as well as appropriately
limit beneficiary cost sharing and
program spending to medically
necessary services. We note that
complex CCM already describes (in
part) 60 or more minutes of clinical staff
time in a service period. We are seeking
comment on whether and how often
beneficiaries who do not require
complex CCM (for example, do not
require the complex medical decision
making that is part of complex CCM)
would need 60 or more minutes of noncomplex CCM clinical staff time and
thereby warrant more than one use of
HCPCS code GCCC2 within a service
period.
b. Complex CCM Services (CPT Codes
99487 and 99489, and HCPCS Codes
GCCC3 and GCCC4)
Currently, the CPT codes for complex
CCM include in the code descriptors a
requirement for establishment or
substantial revision of the
comprehensive care plan (see above).
The code descriptors for complex CCM
also include moderate to high
complexity medical decision-making
(moderate to high complexity medical
decision-making is an explicit part of
the services). We propose to adopt two
new G codes that would be used for
billing under the PFS instead of CPT
codes 99487 and 99489, and that would
not include the service component of
substantial care plan revision. We
believe it is not necessary to explicitly
include substantial care plan revision
because patients requiring moderate to
high complexity medical decision
making implicitly need and receive
substantial care plan revision. The
service component of substantial care
plan revision is potentially duplicative
with the medical decision making
service component and, therefore, we
believe it is unnecessary as a means of
distinguishing eligible patients. Instead
of CPT code 99487, we propose to adopt
HCPCS code GCCC3 (Complex chronic
care management services, with the
following required elements: Multiple
(two or more) chronic conditions
expected to last at least 12 months, or
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until the death of the patient; chronic
conditions place the patient at
significant risk of death, acute
exacerbation/decompensation, or
functional decline; comprehensive care
plan established, implemented, revised,
or monitored; moderate or high
complexity medical decision making; 60
minutes of clinical staff time directed by
physician or other qualified health care
professional, per calendar month.
(Complex chronic care management
services of less than 60 minutes
duration, in a calendar month, are not
reported separately)). We are proposing
a work RVU of 1.00 for HCPCS code
GCCC3, which is a crosswalk to CPT
code 99487.
Instead of CPT code 99489, we
propose to adopt HCPCS code GCCC4
(each additional 30 minutes of clinical
staff time directed by a physician or
other qualified health care professional,
per calendar month (List separately in
addition to code for primary procedure).
(Report GCCC4 in conjunction with
GCCC3). (Do not report GCCC4 for care
management services of less than 30
minutes additional to the first 60
minutes of complex chronic care
management services during a calendar
month)). We are proposing a work RVU
of 0.50 for HCPCS code GCCC4, which
is a crosswalk to CPT code 99489.
We intend these would be temporary
G codes to remain in place until the CPT
Editorial Panel can consider revising the
current code descriptors for complex
CCM services. We would consider
adopting any new or revised complex
CCM CPT code(s) once the CPT
Editorial Panel completes its work. We
acknowledge that imposing a
transitional period during which G
codes would be used under the PFS in
lieu of the CPT codes is potentially
disruptive. We are seeking comment on
whether the benefit of proceeding with
the proposed G codes outweighs the
burden of transitioning to their use in
the intervening year(s) before a decision
by the CPT Editorial Panel.
c. Typical Care Plan
In 2013, in working with the
physician community to develop and
propose the CCM codes for PFS
payment, the medical community
recommended and CMS agreed that
adequate care planning is integral to
managing patients with multiple
chronic conditions. We stated our belief
that furnishing care management to
beneficiaries with multiple chronic
conditions requires complex and
multidisciplinary care modalities that
involve, among other things, regular
physician development and/or revision
of care plans and integration of new
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information into the care plan (78 FR
43337). In the CY 2014 PFS final rule
with comment period (78 FR 74416
through 74418), consistent with
recommendations CMS received in 2013
from the AMA’s Complex Chronic Care
Coordination Workgroup, we finalized a
CCM scope of service element for a
patient-centered plan of care with the
following characteristics: It is a
comprehensive plan of care for all
health problems and typically includes,
but is not limited to, the following
elements: Problem list; expected
outcome and prognosis; measurable
treatment goals; cognitive and
functional assessment; symptom
management; planned interventions;
medical management; environmental
evaluation; caregiver assessment;
community/social services ordered; how
the services of agencies and specialists
unconnected to the practice will be
directed/coordinated; identify the
individuals responsible for each
intervention, requirements for periodic
review; and when applicable, revisions
of the care plan.
The CPT Editorial Panel also
incorporated and adopted this language
in the prefatory language for Care
Management Services codes (page 49 of
the 2019 CPT Codebook) including CCM
services.
As we continue to consider the need
for potential refinements to the CCM
code set, we have heard that there is
still some confusion in the medical
community regarding what a care plan
typically includes. We have re-reviewed
this language for CCM, and we believe
there may be aspects of the typical care
plan language we adopted for CCM that
are redundant or potentially unduly
burdensome. We note that because these
are ‘‘typical’’ care plan elements, these
elements do not comprise a set of strict
requirements that must be included in
a care plan for purposes of billing for
CCM services; the elements are intended
to reflect those that are typically, but
perhaps not always, included in a care
plan as medically appropriate for a
particular beneficiary. Nevertheless, we
are proposing to eliminate the phrase
‘‘community/social services ordered,
how the services of agencies and
specialists unconnected to the practice
will be directed/coordinated, identify
the individuals responsible for each
intervention’’ and insert the phrase
‘‘interaction and coordination with
outside resources and practitioners and
providers.’’ We believe simpler language
would describe the important work of
interacting and coordinating with
resources external to the practice. While
it is preferable, when feasible, to
identify who is responsible for
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interventions, it may be difficult to
maintain an up-to-date listing of
responsible individuals especially when
they are outside of the practice, for
example, when there is staff turnover or
assignment changes.
Our proposed new language would
read: The comprehensive care plan for
all health issues typically includes, but
is not limited to, the following elements:
• Problem list.
• Expected outcome and prognosis.
• Measurable treatment goals.
• Cognitive and functional
assessment.
• Symptom management.
• Planned interventions.
• Medical management.
• Environmental evaluation.
• Caregiver assessment.
• Interaction and coordination with
outside resources and practitioners and
providers.
• Requirements for periodic review.
• When applicable, revision of the
care plan.
We welcome feedback on our
proposal, including language that would
best guide practitioners as they decide
what to include in their comprehensive
care plan for CCM recipients.
Additional information regarding the
existing requirements for billing CCM,
including links to prior rules, is
available on our website at https://
www.cms.gov/Medicare/Medicare-Feefor-Service-Payment/Physician
FeeSched/Care-Management.html.
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4. Principal Care Management (PCM)
Services
A gap we identified in coding and
payment for care management services
is care management for patients with
only one chronic condition. The current
CCM codes require patients to have two
or more chronic conditions. These codes
are primarily billed by practitioners
who are managing a patient’s total care
over a month, including primary care
practitioners and some specialists such
as cardiologists or nephrologists. We
have heard from a number of
stakeholders, especially those in
specialties that use the office/outpatient
E/M code set to report the majority of
their services, that there can be
significant resources involved in care
management for a single high risk
disease or complex chronic condition
that is not well accounted for in existing
coding (FR 78 74415). This issue has
also been raised by the stakeholder
community in proposal submissions to
the Physician-Focused Payment Model
Technical Advisory Committee (PTAC),
which are available at https://
aspe.hhs.gov/ptac-physician-focusedpayment-model-technical-advisory-
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committee. Therefore, we are proposing
separate coding and payment for
Principal Care Management (PCM)
services, which describe care
management services for one serious
chronic condition. A qualifying
condition would typically be expected
to last between three months and a year,
or until the death of the patient, may
have led to a recent hospitalization,
and/or place the patient at significant
risk of death, acute exacerbation/
decompensation, or functional decline.
While we are not proposing any
restrictions on the specialties that could
bill for PCM, we expect that most of
these services would be billed by
specialists who are focused on
managing patients with a single
complex chronic condition requiring
substantial care management. We expect
that, in most instances, initiation of
PCM would be triggered by an
exacerbation of the patient’s complex
chronic condition or recent
hospitalization such that diseasespecific care management is warranted.
We anticipate that in the majority of
instances, PCM services would be billed
when a single condition is of such
complexity that it could not be managed
as effectively in the primary care setting,
and instead requires management by
another, more specialized, practitioner.
For example, a typical patient may
present to their primary care
practitioner with an exacerbation of an
existing chronic condition. While the
primary care practitioner may be able to
provide care management services for
this one complex chronic condition, it
is also possible that the primary care
practitioner and/or the patient could
instead decide that another clinician
should provide relevant care
management services. In this case, the
primary care practitioner would still
oversee the overall care for the patient
while the practitioner billing for PCM
services would provide care
management services for the specific
complex chronic condition. The treating
clinician may need to provide a diseasespecific care plan or may need to make
frequent adjustments to the patient’s
medication regimen. The expected
outcome of PCM is for the patient’s
condition to be stabilized by the treating
clinician so that overall care
management for the patient’s condition
can be returned to the patient’s primary
care practitioner. If the beneficiary only
has one complex chronic condition that
is overseen by the primary care
practitioner, then the primary care
practitioner would also be able to bill
for PCM services. We are proposing that
PCM services include coordination of
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medical and/or psychosocial care
related to the single complex chronic
condition, provided by a physician or
clinical staff under the direction of a
physician or other qualified health care
professional.
We anticipate that many patients will
have more than one complex chronic
condition. If a clinician is providing
PCM services for one complex chronic
condition, management of the patient’s
other conditions would continue to be
managed by the primary care
practitioner while the patient is
receiving PCM services for a single
complex condition. It is also possible
that the patient could receive PCM
services from more than one clinician if
the patient experiences an exacerbation
of more than one complex chronic
condition simultaneously.
For CY 2020, we are proposing to
make separate payment for PCM
services via two new G codes: HCPCS
code GPPP1 (Comprehensive care
management services for a single highrisk disease, e.g., Principal Care
Management, at least 30 minutes of
physician or other qualified health care
professional time per calendar month
with the following elements: One
complex chronic condition lasting at
least 3 months, which is the focus of the
care plan, the condition is of sufficient
severity to place patient at risk of
hospitalization or have been the cause
of a recent hospitalization, the
condition requires development or
revision of disease-specific care plan,
the condition requires frequent
adjustments in the medication regimen,
and/or the management of the condition
is unusually complex due to
comorbidities) and HCPCS code GPPP2
(Comprehensive care management for a
single high-risk disease services, e.g.,
Principal Care Management, at least 30
minutes of clinical staff time directed by
a physician or other qualified health
care professional, per calendar month
with the following elements: One
complex chronic condition lasting at
least 3 months, which is the focus of the
care plan, the condition is of sufficient
severity to place patient at risk of
hospitalization or have been cause of a
recent hospitalization, the condition
requires development or revision of
disease-specific care plan, the condition
requires frequent adjustments in the
medication regimen, and/or the
management of the condition is
unusually complex due to
comorbidities). HCPCS code GPPP1
would be reported when, during the
calendar month, at least 30 minutes of
physician or other qualified health care
provider time is spent on
comprehensive care management for a
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single high risk disease or complex
chronic condition. HCPCS code GPPP2
would be reported when, during the
calendar month, at least 30 minutes of
clinical staff time is spent on
comprehensive management for a single
high risk disease or complex chronic
condition.
For HCPCS code GPPP1, we are
proposing a crosswalk to the work value
associated with CPT code 99217
(Observation care discharge day
management (This code is to be utilized
to report all services provided to a
patient on discharge from outpatient
hospital ‘‘observation status’’ if the
discharge is on other than the initial
date of ‘‘observation status.’’ To report
services to a patient designated as
‘‘observation status’’ or ‘‘inpatient
status’’ and discharged on the same
date, use the codes for Observation or
Inpatient Care Services [including
Admission and Discharge Services,
99234–99236 as appropriate])) as we
believe these values most accurately
reflect the resource costs associated
when the billing practitioner performs
PCM services. CPT code 99217 has the
same intraservice time as HCPCS code
GPPP1 and the physician work is of
similar intensity. Therefore, we are
proposing a work RVU of 1.28 for
HCPCS code GPPP1.
For HCPCS code GPPP2 we are
proposing a crosswalk to the work and
PE inputs associated with CPT code
99490 (clinical staff non-complex CCM)
as we believe these values reflect the
resource costs associated with the
clinician’s direction of clinical staff who
are performing the PCM services, and
the intraservice times and intensity of
the work for the two codes would be the
same. Therefore, we are proposing a
work RVU of 0.61 for HCPCS code
GPPP2.
While we are proposing separate
coding and payment for PCM services
performed by clinical staff with the
oversight of the billing professional and
services furnished directly by the billing
professional, we are seeking comment
on whether both codes are necessary to
appropriately describe and bill for PCM
services. We note that we are basing this
coding structure on the codes for CCM
services with CPT code 99491 reflecting
care management by the billing
professional and CPT code 99490
reflecting care management by clinical
staff directed by a physician or other
qualified health care professional.
We acknowledge that we are
concurrently proposing revisions for
both complex and non-complex CCM
services. Were we not to finalize the
proposed changes for both complex and
non-complex CCM services, we believe
that the overall structure and
description of the CCM services remain
close enough to serve as a model for the
coding structure and description of
services for the proposed PCM services.
We are seeking public comment on
whether it would be appropriate to
create an add-on code for additional
time spent each month (similar to
HCPCS code GCCC2 discussed above)
when PCM services are furnished by
clinical staff under the direction of the
billing practitioner.
While we believe that PCM services
describe a situation where a patient’s
condition is severe enough to require
care management for a single complex
chronic condition beyond what is
described by CCM or performed in the
primary care setting, we are concerned
that a possible unintended consequence
of making separate payment for care
management for a single chronic
condition is that a patient with multiple
chronic conditions could have their care
managed by multiple practitioners, each
only billing for PCM, which could
potentially result in fragmented patient
care, overlaps in services, and
duplicative services. While we are not
proposing additional requirements for
the proposed PCM services, we did
consider alternatives such as requiring
that the practitioner billing PCM must
document ongoing communication with
the patient’s primary care practitioner to
demonstrate that there is continuity of
care between the specialist and primary
care settings, or requiring that the
patient have had a face-to-face visit with
the practitioner billing PCM within the
prior 30 days to demonstrate that they
have an ongoing relationship. We are
seeking comment on whether
requirements such as these are
necessary or appropriate, and whether
there should be additional requirements
to prevent potential care fragmentation
or service duplication.
Due to the similarity between the
description of the PCM and CCM
services, both of which involve nonface-to-face care management services,
we are proposing that the full CCM
scope of service requirements apply to
PCM, including documenting the
patient’s verbal consent in the medical
record. We are seeking comment on
whether there are required elements of
CCM services that the public and
stakeholders believe should not be
applicable to PCM, and should be
removed or altered. A high level
summary of these requirements is
available in Table 18 and available at
https://www.cms.gov/Outreach-andEducation/Medicare-Learning-NetworkMLN/MLNProducts/Downloads/
ChronicCareManagement.pdf. Both the
initiating visit and the patient’s verbal
consent are necessary as not all patients
who meet the criteria to receive
separately billable PCM services may
want to receive these services. The
beneficiary should be educated as to
what PCM services are and any cost
sharing that may apply. Additionally, as
practitioners have informed us that
beneficiary cost sharing is a significant
barrier to provision of other care
management services, we are seeking
comment on how best to educate
practitioners and beneficiaries on the
benefits of PCM services.
Additionally, we are proposing to add
GPPP2 to the list of designated care
management services for which we
allow general supervision as described
in our regulation at § 410.26(b)(5). Due
to the potential for duplicative payment,
we are proposing that PCM could not be
billed by the same practitioner for the
same patient concurrent with certain
other care management services, such as
CCM, behavioral health integration
services, and monthly capitated ESRD
payments. We are also proposing that
PCM would not be billable by the same
practitioner for the same patient during
a surgical global period, as we believe
those resource costs would already be
included in the valuation of the global
surgical code.
TABLE 18—CHRONIC CARE MANAGEMENT SERVICES SUMMARY
CCM Service Summary *
Verbal Consent:
• Inform regarding availability of the service; that only one practitioner can bill per month; the right to stop services effective at the end of
any service period; and that cost sharing applies (if no supplemental insurance).
• Document that consent was obtained.
Initiating Visit for New Patients (separately paid).
Certified Electronic Health Record (EHR) Use:
• Structured Recording of Core Patient Information Using Certified EHR (demographics, problem list, medications, allergies).
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TABLE 18—CHRONIC CARE MANAGEMENT SERVICES SUMMARY—Continued
CCM Service Summary *
24/7 Access (‘‘On Call’’ Service).
Designated Care Team Member.
Comprehensive Care Management:
• Systematic needs assessment (medical and psychosocial).
• Ensure receipt of preventive services.
• Medication reconciliation, management and oversight of self-management.
Comprehensive Electronic Care Plan:
• Plan is available timely within and outside the practice (can include fax).
• Copy of care plan to patient/caregiver (format not prescribed).
• Establish, implement, revise or monitor the plan.
Management of Care Transitions/Referrals (e.g., discharges, ED visit follow up, referrals):
• Create/exchange continuity of care document(s) timely (format not prescribed).
Home- and Community-Based Care Coordination:
• Coordinate with any home- and community-based clinical service providers, and document communication with them regarding psychosocial needs and functional deficits.
Enhanced Communication Opportunities:
• Offer asynchronous non-face-to-face methods other than telephone, such as secure email.
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* All elements that are medically reasonable and necessary must be furnished during the month, but all elements do not necessarily apply
every month. Consent need only be obtained once, and initiating visits are only for new patients or patients not seen within a year prior to initiation of CCM.
We are also seeking comment on any
potential for duplicative payment
between the proposed PCM services and
other services, such as interprofessional
consultation services (CPT codes
99446–99449 (Interprofessional
telephone/internet/electronic health
record assessment and management
service provided by a consultative
physician, including a verbal and
written report to the patient’s treating/
requesting physician or other qualified
health care professional), CPT code
99451 (Interprofessional telephone/
internet/electronic health record
assessment and management service
provided by a consultative physician,
including a written report to the
patient’s treating/requesting physician
or other qualified health care
professional, 5 minutes or more of
medical consultative time), and CPT
code 99452 (Interprofessional
telephone/internet/electronic health
record referral service(s) provided by a
treating/requesting physician or other
qualified health care professional, 30
minutes)) or remote patient monitoring
(CPT code 99091 (Collection and
interpretation of physiologic data (e.g.,
ECG, blood pressure, glucose
monitoring) digitally stored and/or
transmitted by the patient and/or
caregiver to the physician or other
qualified health care professional,
qualified by education, training,
licensure/regulation (when applicable)
requiring a minimum of 30 minutes of
time, each 30 days), CPT code 99453
(Remote monitoring of physiologic
parameter(s) (e.g., weight, blood
pressure, pulse oximetry, respiratory
flow rate), initial; set-up and patient
education on use of equipment), and
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CPT code 99457 (Remote physiologic
monitoring treatment management
services, 20 minutes or more of clinical
staff/physician/other qualified health
care professional time in a calendar
month requiring interactive
communication with the patient/
caregiver during the month)).
5. Chronic Care Remote Physiologic
Monitoring Services
Chronic Care remote physiologic
monitoring (RPM) services involve the
collection, analysis, and interpretation
of digitally collected physiologic data,
followed by the development of a
treatment plan, and the managing of a
patient under the treatment plan. The
current CPT code 99457 is a treatment
management code, billable after 20
minutes or more of clinical staff/
physician/other qualified professional
time with a patient in a calendar month.
In September 2018, the CPT Editorial
Panel revised the CPT code structure for
CPT code 99457 effective beginning in
CY 2020. The new code structure retains
CPT code 99457 as a base code that
describes the first 20 minutes of the
treatment management services, and
uses a new add-on code to describe
subsequent 20 minute intervals of the
service. The new code descriptors for
CY 2020 are: CPT code 99457 (Remote
physiologic monitoring treatment
management services, clinical staff/
physician/other qualified health care
professional time in a calendar month
requiring interactive communication
with the patient/caregiver during the
month; initial 20 minutes) and CPT code
994X0 (Remote physiologic monitoring
treatment management services, clinical
staff/physician/other qualified health
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care professional time in a calendar
month requiring interactive
communication with the patient/
caregiver during the month; additional
20 minutes).
In considering the work RVUs for the
new add-on CPT code 994X0, we first
considered the value of its base code.
We previously valued the base code at
0.61 work RVUs. Given the value of the
base code, we do not agree with the
RUC-recommended work RVU of 0.61
for the add-on code. Instead, we are
proposing a work RVU of 0.50 for the
add-on code. This value is supported by
CPT code 88381 (Microdissection (i.e.,
sample preparation of microscopically
identified target); manual), which has
the same intraservice and total times of
20 minutes with an XXX global period
and work RVU of 0.53, as well as the
survey value at the 25th percentile. We
are proposing the RUC-recommended
direct PE inputs for CPT code 994X0.
Finally, we are proposing that RPM
services reported with CPT codes 99457
and 994X0 may be furnished under
general supervision rather than the
currently required direct supervision.
Because care management services
include establishing, implementing,
revising, or monitoring treatment plans,
as well as providing support services,
and because RPM services (that is, CPT
codes 99457 and 994X0) include
establishing, implementing, revising,
and monitoring a specific treatment
plan for a patient related to one or more
chronic conditions that are monitored
remotely, we believe that CPT codes
99457 and 994X0 should be included as
designated care management services.
Designated care management services
can be furnished under general
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supervision. Section 410.26(b)(5) of our
regulations states that designated care
management services can be furnished
under the general supervision of the
‘‘physician or other qualified health care
professional (who is qualified by
education, training, licensure/regulation
and facility privileging)’’ (see also 2019
CPT Codebook, page xii) when these
services or supplies are provided
incident to the services of a physician
or other qualified healthcare
professional. The physician or other
qualified healthcare professional
supervising the auxiliary personnel
need not be the same individual treating
the patient more broadly. However, only
the supervising physician or other
qualified healthcare professional may
bill Medicare for incident to services.
6. Comment Solicitation on Consent for
Communication Technology-Based
Services
In the CY 2019 PFS Final Rule, CMS
finalized separate payment for a number
of services that could be furnished via
telecommunications technology.
Specifically, CMS finalized HCPCS code
G2010 (Remote evaluation of recorded
video and/or images submitted by an
established patient (e.g., store and
forward), including interpretation with
follow-up with the patient within 24
business hours, not originating from a
related E/M service provided within the
previous 7 days nor leading to an E/M
service or procedure within the next 24
hours or soonest available
appointment)), HCPCS code G2012
(Brief communication technology-based
service, e.g. virtual check-in, by a
physician or other qualified health care
professional who can report evaluation
and management services, provided to
an established patient, not originating
from a related E/M service provided
within the previous 7 days nor leading
to an E/M service or procedure within
the next 24 hours or soonest available
appointment; 5–10 minutes of medical
discussion)), CPT codes 99446–99449
(Interprofessional telephone/internet/
electronic health record assessment and
management service provided by a
consultative physician, including a
verbal and written report to the patient’s
treating/requesting physician or other
qualified health care professional), CPT
code 99451 (Interprofessional
telephone/internet/electronic health
record assessment and management
service provided by a consultative
physician, including a written report to
the patient’s treating/requesting
physician or other qualified health care
professional, 5 minutes or more of
medical consultative time), and CPT
code 99452 (Interprofessional
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telephone/internet/electronic health
record referral service(s) provided by a
treating/requesting physician or other
qualified health care professional, 30
minutes).
As discussed in that rule, (83 FR
59490–59491), while a few commenters
suggested that it would be less
burdensome to obtain a general consent
for multiple services at once, we
stipulated that verbal consent must be
documented in the medical record for
each service furnished so that the
beneficiary is aware of any applicable
cost sharing. This is similar to the
requirements for other non-face-to-face
care management services under the
PFS.
We have continued to hear from
stakeholders that requiring advance
beneficiary consent for each of these
services is burdensome. For HCPCS
codes G2010 and G2012, stakeholders
have stated that it is difficult and
burdensome to obtain consent at the
outset of each of what are meant to be
brief check-in services. For CPT codes
99446–99449, 99451 and 99452,
practitioners have informed us that it is
particularly difficult for the consulting
practitioner to obtain consent from a
patient they have never seen. Given our
longstanding goals to reduce burden and
promote the use of communication
technology-based services, we are
seeking comment on whether a single
advance beneficiary consent could be
obtained for a number of
communication technology-based
services. During the consent process, the
practitioner would make sure the
beneficiary is aware that utilization of
these services will result in a cost
sharing obligation. We are seeking
comment on the appropriate interval of
time or number of services for which
consent could be obtained, for example,
for all these services furnished within a
6 month or one year period, or for a set
number of services, after which a new
consent would need to be obtained. We
are also seeking comment on the
potential program integrity concerns
associated with allowing advance
consent and how best to minimize those
concerns.
7. Rural Health Clinics (RHCs) and
Federally-Qualified Health Centers
(FQHCs)
RHCs and FQHCs are paid for general
care management services using HCPCS
code G0511, which is an RHC and
FQHC-specific G-code for 20 minutes or
more of CCM services, complex CCM
services, or general behavioral health
services. Payment for this service is set
at the average of the national, nonfacility payment rates for CPT codes
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99490, 99487, and 99484. We are
proposing to use the non-facility
payment rates for HCPCS codes GCCC1
and GCCC3 instead of the non-facility
payment rates for CPT codes 99490 and
99487, respectively, if these changes are
finalized for practitioners billing under
the PFS. We note that we are not
proposing any changes in the valuation
of these codes. Upon finalization, the
payment for HCPCS code G0511 would
be set at the average of the national,
non-facility payment rates for HCPCS
codes GCCC1 and GCCC3 and CPT code
99484.
L. Coinsurance for Colorectal Cancer
Screening Tests
Section 1861(pp) of the Act defines
‘‘colorectal cancer screening tests’’ and,
under sections 1861(pp)(1)(B) and (C) of
the Act, ‘‘screening flexible
sigmoidoscopy’’ and ‘‘screening
colonoscopy’’ are two of the recognized
procedures. Among other things, section
1861(pp)(1)(D) of the Act authorizes the
Secretary to include other tests or
procedures in the definition, and
modifications to the tests and
procedures described under this
subsection, ‘‘with such frequency and
payment limits, as the Secretary
determines appropriate, in consultation
with appropriate organizations.’’
Section 1861(s)(2)(R) of the Act includes
these colorectal cancer screening tests in
the definition of the medical and other
health services that fall within the scope
of Medicare Part B benefits described in
section 1832(a)(1) of the Act. Section
1861(ddd)(3) of the Act includes these
colorectal cancer screening services
within the definition of ‘‘preventive
services.’’ In addition, section
1833(a)(1)(Y) of the Act provides for
payment for preventive services
recommended by the United States
Preventive Services Task Force
(USPSTF) with a grade of A or B under
the PFS at 100 percent of the lesser of
the actual charge or the fee schedule
amount for these colorectal cancer
screening tests, and under the OPPS at
100 percent of the OPPS payment
amount. As such, there is no beneficiary
responsibility for coinsurance for
recommended colorectal cancer
screening tests as defined in section
1861(pp)(1) of the Act.
Under these statutory provisions, we
have issued regulations governing
payment for colorectal cancer screening
tests at 42 CFR 410.152(l)(5). We pay
100 percent of the Medicare payment
amount established under the
applicable payment methodology for the
setting for providers and suppliers, and
beneficiaries are not required to pay Part
B coinsurance.
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In addition to screening tests, which
typically are furnished to patients in the
absence of signs or symptoms of illness
or injury, Medicare also covers various
diagnostic tests (§ 410.32). In general,
diagnostic tests must be ordered by the
physician or practitioner who is treating
the beneficiary, and who uses the
results of the diagnostic test in the
management of the patient’s specific
medical problem. Under Part B,
Medicare may cover flexible
sigmoidoscopies and colonoscopies as
diagnostic tests when those tests are
reasonable and necessary as specified in
section 1862(a)(1)(A) of the Act. When
these services are furnished as
diagnostic tests rather than as screening
tests, patients are responsible for the
Part B coinsurance (normally 20
percent) associated with these services.
We define ‘‘colorectal cancer
screening tests’’ in our regulation at
§ 410.37(a)(1) to include ‘‘flexible
screening sigmoidoscopies’’ and
‘‘screening colonoscopies, including
anesthesia furnished in conjunction
with the service.’’ Under our current
policies, we exclude from the definition
of colorectal screening services
colonoscopies and sigmoidoscopies that
begin as a screening service, but where
a polyp or other growth is found and
removed as part of the procedure. The
exclusion of these services from the
definition of colorectal cancer screening
services is based upon separate
provisions of the statute dealing with
the detection of lesions or growths
during procedures (62 FR 59048, 59082,
October 31, 1997). Section 1834(d)(2)(D)
of the Act provides that if, during the
course of a screening flexible
sigmoidoscopy, a lesion or growth is
detected which results in a biopsy or
removal of the lesion or growth,
payment under Medicare Part B shall
not be made for the screening flexible
sigmoidoscopy but shall be made for the
procedure classified as a flexible
sigmoidoscopy with such biopsy or
removal. Similarly, section
1834(d)(3)(D) of the Act that provides if,
during the course of a screening
colonoscopy, a lesion or growth is
detected which results in a biopsy or
removal of the lesion or growth,
payment under Medicare Part B shall
not be made for the screening
colonoscopy but shall be made for the
procedure classified as a colonoscopy
with such biopsy or removal.
Because we interpret sections
1834(d)(2)(C)(ii) and 1834(d)(3)(C)(ii) of
the Act to require us to pay for these
tests as diagnostic tests, rather than as
screening tests, the 100 percent payment
rate for recommended preventive
services under section 1833(a)(1)(Y) of
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the Act, as codified in our regulation at
§ 410.152(l)(5), would not apply to those
diagnostic procedures. As such,
beneficiaries are responsible for the
usual coinsurance that applies to the
services (20 or 25 percent of the cost of
the services depending on the setting).
Under section 1833(b) of the Act,
before making payment under Medicare
Part B for expenses incurred by a
beneficiary for covered Part B services,
beneficiaries must first meet the
applicable deductible for the year.
Section 4104 of the Affordable Care Act
(that is, the Patient Protection and
Affordable Care Act (Pub. L. 111–148,
enacted March 23, 2010), and the Health
Care and Education Reconciliation Act
of 2010 (Pub. L. 111–152, enacted
March 30, 2010), collectively referred to
as the ‘‘Affordable Care Act’’) amended
section 1833(b)(1) of the Act to make the
deductible inapplicable to expenses
incurred for certain preventive services
that are recommended with a grade of
A or B by the USPSTF, including
colorectal cancer screening tests as
defined in section 1861(pp) of the Act.
Section 4104 of the Affordable Care Act
also added a sentence at the end of
section 1833(b)(1) of the Act specifying
that the exception to the deductible
shall apply with respect to a colorectal
cancer screening test regardless of the
code that is billed for the establishment
of a diagnosis as a result of the test, or
for the removal of tissue or other matter
or other procedure that is furnished in
connection with, as a result of, and in
the same clinical encounter as the
screening test. Although the Affordable
Care Act addressed the applicability of
the deductible in the case of a colorectal
cancer screening test that involves
biopsy or tissue removal, it did not alter
the coinsurance provision in section
1833(a) of the Act for such procedures.
Although public commenters
encouraged the agency to also eliminate
the coinsurance in these circumstances,
the agency found that the statute did not
provide for elimination of the
coinsurance (75 FR 73170, 73431,
November 29, 2010).
Beneficiaries have continued to
contact us noting their ‘‘surprise’’ that a
coinsurance (20 or 25 percent
depending on the setting) applies when
they expected to receive a colorectal
screening procedure to which
coinsurance does not apply, but instead
received what Medicare considers to be
a diagnostic procedure because polyps
were discovered and removed.
Similarly, physicians have also
expressed concerns about the reactions
of beneficiaries when they are informed
that they will be responsible for
coinsurance if polyps are discovered
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40557
and removed during what they expected
to be a screening procedure to which
coinsurance does not apply. Other
stakeholders and some members of
Congress have regularly expressed to us
that they consider the agency’s policy
on coinsurance for colorectal screening
procedures during which tissue is
removed to be a misinterpretation of the
law.
Over the years, we have released a
wide variety of publicly available
educational materials that explain the
Medicare preventive services benefits as
part of our overall outreach activities to
Medicare beneficiaries. These materials
contain a complete description of the
Medicare preventive services benefits,
including information on colorectal
cancer screening, and also provide
relevant details on the applicability of
cost sharing. These materials can be
found at https://www.cms.gov/
Outreach-and-Education/MedicareLearning-Network-MLN/MLNProducts/
MLN-Publications-Items/
CMS1243319.html. We believe that the
information in these materials can be
instrumental in continuing to educate
physicians and beneficiaries about cost
sharing obligations in order to mitigate
instances of ‘‘surprise’’ billing. We
invite comment on whether we should
consider establishing a requirement that
the physician who plans to furnish a
colorectal cancer screening notify the
patient in advance that a screening
procedure could result in a diagnostic
procedure if polyps are discovered and
removed, and that coinsurance may
apply. We specifically invite comment
on whether we should require the
physician, or their staff, to provide a
verbal notice with a notation in the
medical record, or whether we should
consider a different approach to
informing patients of the copay
implications, such as a written notice
with standard language that we would
require the physician, or their staff, to
provide to patients prior to a colorectal
cancer screening. We note that we
would consider adopting such a
requirement in the final rule in
accordance with public comments. We
also invite comment on what
mechanism, if any, we should consider
using to monitor compliance with a
notification requirement if we decide to
finalize one for CY 2020 or through
future rulemaking.
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M. Therapy Services
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1. Repeal of the Therapy Caps and
Limitation To Ensure Appropriate
Therapy
a. Background
In the CY 2019 PFS proposed and
final rules (83 FR 34850; 83 FR 59654
and 59661), we discussed the statutory
requirements of section 50202 of the
Bipartisan Budget Act of 2018 (BBA of
2018) (Pub. L. 115–123, February 9,
2018). Beginning January 1, 2018,
section 50202 of the BBA of 2018
repealed the Medicare outpatient
therapy caps and the therapy cap
exceptions process, while retaining the
cap amounts as limitations and
requiring medical review to ensure that
therapy services are furnished when
appropriate. Section 50202 of the BBA
of 2018 amended section 1833(g) of the
Act by adding a new paragraph (7)(A)
requiring that after expenses incurred
for the beneficiary’s outpatient therapy
services for the year have exceeded one
or both of the previous therapy cap
amounts, all therapy suppliers and
providers must continue to use an
appropriate modifier on claims. We
implemented this provision by
continuing to require use of the existing
KX modifier. By using the KX modifier
on the claim, the therapy supplier or
provider is attesting that the services are
medically necessary and that supportive
justification is documented in the
medical record. As with the incurred
expenses for the prior therapy cap
amounts, there is one amount for
physical therapy (PT) and speech
language pathology (SLP) services
combined, and a separate amount for
occupational therapy (OT) services.
These KX modifier threshold amounts
are indexed annually by the Medicare
Economic Index (MEI). After the
beneficiary’s incurred expenditures for
outpatient therapy services exceed the
KX modifier threshold amount for the
year, claims for outpatient therapy
services without the KX modifier are
denied.
Section 50202 of the BBA of 2018 also
added a new paragraph 7(B) to section
1833(g) of the Act which retained the
targeted medical review (MR) process
for 2018 and subsequent years, but
established a lower threshold amount of
$3,000 rather than the $3,700 threshold
amount that had applied for the original
manual MR process established by
section 3005(g) of the Middle Class Tax
Relief and Jobs Creation Act of 2012
(MCTRJCA) (Pub. L. 112–96, February
22, 2012). The manual MR process with
a threshold amount of $3,700 was
replaced by the targeted MR process
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with the same threshold amount
through amendments made by section
202 of the Medicare Access and CHIP
Reauthorization Act of 2015 (MACRA)
(Pub. L. 114–10, April 16, 2015).
With the latest amendments made by
the BBA of 2018, for CY 2018 (and each
successive calendar year until 2028, at
which time it is indexed annually by the
MEI), the MR threshold is $3,000 for PT
and SLP services and $3,000 for OT
services. For purposes of applying the
targeted MR process, we use a criteriabased process for selecting providers
and suppliers that includes factors such
as a high percentage of patients
receiving therapy beyond the medical
review threshold as compared to peers.
For information on the targeted medical
review process, please visit https://
www.cms.gov/Research-Statistics-Dataand-Systems/Monitoring-Programs/
Medicare-FFS-Compliance-Programs/
Medical-Review/TherapyCap.html.
In the CY 2019 PFS final rule (83 FR
59661), when discussing our tracking
and accrual process for outpatient
therapy services in the section on the
KX Threshold Amounts, we noted that
we track each beneficiary’s incurred
expenses for therapy services annually
by applying the PFS-based payment
amount for each service less any
applicable multiple procedure reduction
for CMS-designated ‘‘always therapy’’
services. We also stated that we use the
PFS rates to accrue expenses for therapy
services provided in critical access
hospitals (CAHs) as required by section
1833(g)(6)(B) of the Act, added by
section 603(b) of the American Taxpayer
Relief Act of 2012 (ATRA) (Pub. L. 112–
240, January 2, 2013). As discussed
below, we mistakenly indicated that this
statutory requirement was extended by
subsequent legislation, including
section 50202 of the BBA of 2018.
b. Proposed Regulatory Revisions
While we explained and implemented
the changes required by section 50202
of the BBA of 2018 in CY 2019 PFS
rulemaking (83 FR 34850; 83 FR 59654
and 59661), we did not codify those
changes in regulation text. We are now
proposing to revise the regulations at
§§ 410.59 (outpatient occupational
therapy) and 410.60 (physical therapy
and speech-language pathology) to
incorporate the changes made by section
50202 of the BBA of 2018. We propose
to add a new paragraph (e)(1)(v) to
§§ 410.59 and 410.60 to clarify that the
specified amounts of annual perbeneficiary incurred expenses are no
longer applied as limitations but as
threshold amounts above which services
require, as a condition of payment,
inclusion of the KX modifier; and that
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use of the KX modifier confirms that the
services are medically necessary as
justified by appropriate documentation
in the patient’s medical record. We
propose to amend paragraph (e)(2) in
§§ 410.59 and 410.60 to specify the
therapy services and amounts that are
accrued for purposes of applying the KX
modifier threshold, including the
continued accrual of therapy services
furnished by CAHs directly or under
arrangements at the PFS-based payment
rates. We are also proposing to amend
paragraph (e)(3) in §§ 410.59 and 410.60
for the purpose of applying the medical
review threshold to clarify the threshold
amounts and the applicable years for
both the manual MR process originally
established through section 3005(g) of
MCTRJCA and the targeted MR process
established by the MACRA, and
including the changes made through
section 50202 of the BBA of 2018 as
discussed previously.
In the CY 2019 PFS final rule (83 FR
59661), we incorrectly stated that
section 1833(g)(6)(B) of the Act
continues to require that we accrue
expenses for therapy services furnished
by CAHs at the PFS rate because the
provision, originally added by section
603(b) of the ATRA, was extended by
subsequent legislation, including
section 50202 of the BBA of 2018. The
requirement in section 1833(g)(6)(B) of
the Act was actually time-limited to
services furnished in CY 2013. To apply
the therapy caps (and now the KX
modifier thresholds) after the expiration
of the requirement in 1833(g)(6)(B) of
the Act, we needed a process to accrue
the annual expenses for therapy services
furnished by CAHs and, in the CY 2014
PFS final rule with comment period, we
elected to continue the process
prescribed in section 1833(g)(6)(B) of
the Act (78 FR 74405 through 74410).
2. Proposed Payment for Outpatient PT
and OT Services Furnished by Therapy
Assistants
a. Background
Section 53107 of the BBA of 2018
added a new subsection 1834(v) to the
Act to require in paragraph (1) that, for
services furnished on or after January 1,
2022, payment for outpatient physical
and occupational therapy services for
which payment is made under sections
1848 or 1834(k) of the Act which are
furnished in whole or in part by a
therapy assistant must be paid at 85
percent of the amount that is otherwise
applicable. Section 1834(v)(2) of the Act
further required that we establish a
modifier to identify these services by
January 1, 2019, and that claims for
outpatient therapy services furnished in
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whole or in part by a therapy assistant
must include the modifier effective for
dates of service beginning on January 1,
2020. Section 1834(v)(3) of the Act
required that we implement the
subsection through notice and comment
rulemaking.
In the CY 2019 PFS proposed and
final rules (83 FR 35850 through 35852
and 83 FR 59654 through 50660,
respectively), we established two
modifiers—one to identify services
furnished in whole or in part by a
physical therapist assistant (PTA) and
the other to identify services furnished
in whole or in part by an occupational
therapy assistant (OTA). The modifiers
are defined as follows:
• CQ Modifier: Outpatient physical
therapy services furnished in whole or
in part by a physical therapist assistant.
• CO Modifier: Outpatient
occupational therapy services furnished
in whole or in part by an occupational
therapy assistant.
In the CY 2019 PFS final rule, we
clarified that the CQ and CO modifiers
are required to be used when applicable
for services furnished on or after
January 1, 2020, on the claim line of the
service alongside the respective GP or
GO therapy modifier to identify services
furnished under a PT or OT plan of care.
The GP and GO therapy modifiers, along
with the GN modifier for speechlanguage pathology (SLP) services, have
been used since 1998 to track and
accrue the per-beneficiary incurred
expenses amounts to different therapy
caps, now KX modifier thresholds, one
amount for PT and SLP services
combined and a separate amount for OT
services. We also clarified in the CY
2019 PFS final rule that the CQ and CO
modifiers will trigger application of the
reduced payment rate for outpatient
therapy services furnished in whole or
in part by a PTA or OTA, beginning for
services furnished in CY 2022.
In response to public comments on
the CY 2019 PFS proposed rule, we did
not finalize our proposed definition of
‘‘furnished in whole or in part by a PTA
or OTA’’ as a service for which any
minute of a therapeutic service is
furnished by a PTA or OTA. Instead, we
finalized a de minimis standard under
which a service is considered to be
furnished in whole or in part by a PTA
or OTA when more than 10 percent of
the service is furnished by the PTA or
OTA.
We also explained in the CY 2019 PFS
proposed and final rules (83 FR 35850
through 35852 and 83 FR 59654 through
59660, respectively) that the CQ and CO
modifiers would not apply to claims for
outpatient therapy services that are
furnished by, or incident to the services
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of, physicians or nonphysician
practitioners (NPPs) including nurse
practitioners, physician assistants, and
clinical nurse specialists. This is
because our regulations for outpatient
physical and occupational therapy
services require that an individual
furnishing outpatient therapy services
incident to the services of a physician
or NPP must meet the qualifications and
standards for a therapist. As such, only
therapists and not therapy assistants can
furnish outpatient therapy services
incident to the services of a physician
or NPP (83 FR 59655 through 59656);
and, the new PTA and OTA modifiers
cannot be used on the line of service of
the professional claim when the
rendering NPI identified on the claim is
a physician or an NPP. We also intend
to revise our manual provisions at Pub.
100–02, Medicare Benefit Policy Manual
(MBPM), Chapter 15, section 230, as
appropriate, to reflect requirements for
the new CQ and CO modifiers that will
be used to identify services furnished in
whole or in part by a PTA or OTA
starting in CY 2020. We anticipate
amending these manual provisions for
CY 2020 to reflect the policies we adopt
through the CY 2020 PFS notice and
comment rulemaking process.
In PFS rulemaking for CY 2019, we
identified certain situations when the
therapy assistant modifiers do apply.
The modifiers are applicable to:
• Therapeutic portions of outpatient
therapy services furnished by PTAs/
OTAs, as opposed to administrative or
other non-therapeutic services that can
be performed by others without the
education and training of OTAs and
PTAs.
• Services wholly furnished by PTAs
or OTAs without physical or
occupational therapists.
• Evaluative services that are
furnished in part by PTAs/OTAs
(keeping in mind that PTAs/OTAs are
not recognized to wholly furnish PT and
OT evaluation or re-evaluations).
We also identified some situations
when the therapy assistant modifiers do
not apply. They do not apply when:
• PTAs/OTAs furnish services that
can be done by a technician or aide who
does not have the training and
education of a PTA/OTA.
• Therapists exclusively furnish
services without the involvement of
PTAs/OTAs.
Finally, we noted that we would be
further addressing application of the
modifiers for therapy assistant services
and the 10 percent de minimis standard
more specifically in PFS rulemaking for
CY 2020, including how the modifiers
are applied in different scenarios for
different types of services.
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b. Applying the CQ and CO Modifiers
CMS interprets the references in
section 1834(v)(1) and (2) of the Act to
outpatient physical therapy ‘‘service’’
and outpatient occupational therapy
‘‘service’’ to mean a specific procedure
code that describes a PT or OT service.
This interpretation makes sense because
section 1834(v)(2) of the Act requires
the use of a modifier to identify on each
request for payment, or bill submitted
for an outpatient therapy service
furnished in whole or in part by a PTA/
OTA. For purposes of billing, each
outpatient therapy service is identified
by a procedure code.
To apply the de minimis standard
under which a service is considered to
be furnished in whole or in part by a
PTA or OTA when more than 10 percent
of the service is furnished by the PTA
or OTA, we propose to make the 10
percent calculation based on the
respective therapeutic minutes of time
spent by the therapist and the PTA/
OTA, rounded to the nearest whole
minute. The minutes of time spent by a
PTA/OTA furnishing a therapeutic
service can overlap partially or
completely with the time spent by a
physical or occupational therapist
furnishing the service. We propose that
the total time for a service would be the
total time spent by the therapist
(whether independent of, or concurrent
with, a PTA/OTA) plus any additional
time spent by the PTA/OTA
independently furnishing the
therapeutic service. When deciding
whether the therapy assistant modifiers
apply, we propose that if the PTA/OTA
participates in the service concurrently
with the therapist for only a portion of
the total time that the therapist delivers
a service, the CQ/CO modifiers apply
when the minutes furnished by the
therapy assistant are greater than 10
percent of the total minutes spent by the
therapist furnishing the service. If the
PTA/OTA and the therapist each
separately furnish portions of the same
service, we propose that the CQ/CO
modifiers would apply when the
minutes furnished by the therapy
assistant are greater than 10 percent of
the total minutes—the sum of the
minutes spent by the therapist and
therapy assistant—for that service. We
propose to apply the CQ/CO modifier
policies to all services that would be
billed with the respective GP or GO
therapy modifier. We believe this is
appropriate because it is the same way
that CMS currently identifies physical
therapy or occupational therapy services
for purposes of accruing incurred
expenses for the thresholds and targeted
review process.
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For purposes of deciding whether the
10 percent de minimis standard is
exceeded, we offer two different ways to
compute this. The first is to divide the
PTA/OTA minutes by the total minutes
for the service—which is (a) the
therapist’s total time when PTA/OTA
minutes are furnished concurrently with
the therapist, or (b) the sum of the PTA/
OTA and therapist minutes when the
PTA/OTA’s services are furnished
separately from the therapist; and then
to multiply this number by 100 to
calculate the percentage of the service
that involves the PTA/OTA. We propose
to round to the nearest whole number so
that when this percentage is 11 percent
or greater, the 10 percent de minimis
standard is exceeded and the CQ/CO
modifier is applied. The other method is
simply to divide the total time for the
service (as described above) by 10 to
identify the 10 percent de minimis
standard, and then to add one minute to
identify the number of minutes of
service by the PTA/OTA that would be
needed to exceed the 10 percent
standard. For example, where the total
time of a service is 60 minutes, the 10
percent standard is six (6) minutes, and
adding one minute yields seven (7)
minutes. Once the PTA/OTA furnishes
at least 7 minutes of the service, the CQ/
CO modifier is required to be added to
the claim for that service. As noted
above, we propose to round the minutes
and percentages of the service to the
nearest whole integer. For example,
when the total time for the service is 45
minutes, the 10 percent calculation
would be 4.5 which would be rounded
up to 5, and the PTA/OTA’s
contribution would need to meet or
exceed 6 minutes before the CQ/CO
modifier is required to be reported on
the claim. See Table 19 for minutes
needed to meet or exceed using the
‘‘simple’’ method with typical times for
the total time of a therapy service.
TABLE 19—SIMPLE METHOD FOR DETERMINING WHEN CQ/CO MODIFIERS APPLY
Method Two: simple method to apply 10 percent de minimis standard
Total Time * examples using
typical service total times
Determine the 10 percent
standard by dividing service
Total Time by 10
Round 10 percent standard to
next whole integer
PTA/OTA Minutes needed to
exceed—apply CQ/CO
10
15
20
30
45
60
75
1.0
1.5
2.0
3.0
4.5
6.0
7.5
1.0
2.0
2.0
3.0
5.0
6.0
8.0
2.0
3.0
3.0
4.0
6.0
7.0
9.0
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Total Time equals total therapist minutes plus any PTA/OTA independent minutes. Concurrent minutes: When PTA/OTA’s minutes are furnished concurrently with the therapist, total time equals the total minutes of the therapist’s service. Separate minutes: When PTA/OTA’s minutes
are furnished separately from the minutes furnished by the therapist, total time equals the sum of the minutes of the service furnished by the PT/
OT plus the minutes of the service furnished separately by the PTA/OTA.
We want to clarify that the 10 percent
de minimis standard, and therefore the
CQ/CO modifiers, are not applicable to
services in which the PTA/OTA did not
participate. To the extent that the PTA/
OTA and the physical therapist/
occupational therapist (PT/OT)
separately furnish different services that
are described by procedure codes
defined in 15-minute increments, billing
examples and proposed policies are
included below in Scenario Two.
As we indicated in the CY 2019 PFS
final rule, we are addressing more
specifically in this proposed rule the
application of the 10 percent de minimis
standard in various clinical scenarios to
decide when the CQ/CO modifiers
apply. We acknowledge that application
of the 10 percent de minimis standard
can work differently depending on the
types of services and scenarios
involving both the PTA/OTA and the
PT/OT. Therapy services are typically
furnished in multiple units of the same
or different services on a given
treatment day, which can include
untimed services (not billable in
multiple units) and timed services that
are defined by codes described in 15minute intervals. The majority of the
untimed services that therapists bill for
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fall into three categories: (1) Evaluative
procedures, (2) group therapy, and (3)
supervised modalities. We discuss each
of these in greater detail below. Only
one (1) unit can be reported in the claim
field labeled ‘‘units’’ for each procedure
code representing an untimed service.
The preponderance of therapy services,
though, are billed using codes that are
described in 15-minute increments.
These services are typically furnished to
a patient on a single day in multiple
units of the same and/or different
services. Under our current policy, the
total number of units of one or more
timed services that can be added to a
claim depends on the total time for all
the 15-minute timed codes that were
delivered to a patient on a single date
of service. We address our proposals for
applying the CQ/CO modifiers using the
10 percent de minimis standard, along
with applicable billing scenarios, by
category below. In each of these
scenarios, we assume that the PTA/OTA
minutes are for therapeutic services.
• Evaluations and re-evaluations:
CPT codes 97161 through 97163 for
physical therapy evaluations for low,
moderate, and high complexity level,
and CPT code 97164 for physical
therapy re-evaluation; and CPT codes
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97165 through 97167 for occupational
therapy evaluations for low, moderate,
and high complexity level, and CPT
97168 for occupational therapy reevaluation. These PT and OT evaluative
procedures are untimed codes and
cannot be billed in multiple units—one
unit is billed on the claim. As discussed
in CY 2019 PFS rulemaking (83 FR
35852 and 83 FR 59656) and noted
above, PTAs/OTAs are not recognized to
furnish evaluative or assessment
services, but to the extent that they
furnish a portion of an evaluation or reevaluation (such as completing clinical
labor tasks for each code) that exceeds
the 10 percent de minimis standard, the
appropriate therapy assistant modifier
(CQ or CO) must be used on the claim.
We note that it is possible for the PTA/
OTA to furnish these minutes either
concurrently or separately from the
therapist. For example, when the PTA/
OTA assists the PT/OT concurrently for
a 5-minute portion of the 30 minutes
that a PT or OT spent furnishing an
evaluation (for example, CPT code
97162 for moderate complexity PT
evaluation or CPT code 97165 for a low
complexity OT evaluation—each have a
typical therapist face-to-face time of 30
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minutes), the respective CQ or CO
modifier is applied to the service
because the 5 minutes surpasses the 10
percent de minimis standard. In other
words, 10 percent of 30 minutes is 3
minutes, and the CQ or CO modifier
applies if the PTA/OTA furnishes more
than 3 minutes, meaning at least 4
minutes, of the service. If the PTA/OTA
separately furnishes a portion of the
service that takes 5 minutes (for
example, performing clinical labor tasks
such as obtaining vital signs, providing
self-assessment tool to the patient and
verifying its completion), and then the
PT/OT separately (without the PTA/
OTA) furnishes a 30 minute face-to-face
evaluative procedure—bringing the total
time of the service to 35 minutes (the
sum of the separate PTA/OTA minutes,
that is, 5 minutes, plus the 30-minute
therapist service), the CQ or CO
modifier would be applied to the service
because the 5 minutes of OTA/PTA time
exceeds 10 percent of the 35 total
minutes for the service. In other words,
10 percent of 35 minutes is 3.5 minutes
which is rounded up to 4 minutes. The
CQ or CO modifier would apply when
the PTA/OTA furnishes 5 or more
minutes of the service, as discussed
above and referenced in Table 19.
• Group Therapy: CPT code 97150
(requires constant attendance of
therapist or assistant, or both). CPT
code 97150 describes a service
furnished to a group of 2 or more
patients. Like evaluative services, this
code is an untimed service and cannot
be billed in multiple units on the claim,
so one unit of the service is billed for
each patient in the group. For the group
service, the CQ/CO modifier would
apply when the PTA/OTA wholly
furnishes the service without the
therapist. The CQ/CO modifier would
also apply when the total minutes of the
service furnished by the PTA/OTA
(whether concurrently with, or
separately from, the therapist), exceed
10 percent of the total time, in minutes,
of the group therapy service (that is, the
total minutes of service spent by the
therapist (with or without the PTA/
OTA) plus any minutes spent by the
PTA/OTA separately from the
therapist). For example, the modifiers
would apply when the PTA/OTA
participates concurrently with the
therapist for 5 minutes of a total group
therapy service time of 40-minutes
(based on the time of the therapist); or
when the PTA/OTA separately
furnishes 5 minutes of a total group time
of 40 minutes (based on the sum of
minutes of the PTA/OTA (5) and
therapist (35)).
• Supervised Modalities: CPT codes
97010 through 97028, and HCPCS codes
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G0281, G0183, and G0329. Modalities,
in general, are physical agents that are
applied to body tissue in order to
produce a therapeutic change through
various forms of energy, including but
not limited to thermal, acoustic, light,
mechanical or electric. Supervised
modalities, for example vasopneumatic
devices, paraffin bath, and electrical
stimulation (unattended), do not require
the constant attendance of the therapist
or supervised therapy assistant, unlike
the modalities defined in 15-minute
increments that are discussed in the
below category. When a supervised
modality, such as whirlpool (CPT code
97022), is provided without the direct
contact of a PT/OT and/or PTA/OTA,
that is, it is furnished entirely by a
technician or aide, the service is not
covered and cannot be billed to
Medicare. Supervised modality services
are untimed, so only one unit of the
service can be billed regardless of the
number of body areas that are treated.
For example, when paraffin bath
treatment is provided to both of the
patient’s hands, one unit of CPT code
97018 can be billed, not two. For
supervised modalities, the CQ or CO
modifier would apply to the service
when the PTA/OTA fully furnishes all
the minutes of the service, or when the
minutes provided by the PTA or OTA
exceed 10 percent of total minutes of the
service. For example, the CQ/CO
modifiers would apply when either (1)
the PTA/OTA concurrently furnishes 2
minutes of a total 8-minute service by
the therapist furnishing paraffin bath
treatment (HCPCS code 97018) because
2 minutes is greater than 10 percent of
8 minutes (0.8 minute, or 1 minute after
rounding); or (2) the PTA/OTA
furnishes 3 minutes of the service
separately from the therapist who
furnishes 5 minutes of treatment for a
total time of 8 minutes (total time equals
the sum of the PT/OT minutes plus the
separate PTA/OTA minutes) because 3
minutes is greater than 10 percent of 8
total minutes (0.8 minute rounded to 1
minute).
• Services defined by 15-minute
increments/units: These timed codes are
included in the following current CPT
code ranges: CPT codes 97032 through
97542—including the subset of codes for
modalities in the series CPT codes
97032 through 97036; and, codes for
procedures in the series CPT codes
97110–97542; CPT codes 97750–97755
for tests and measurements; and CPT
codes: 97760–97763 for orthotic
management and training and
prosthetic training. Based on CPT
instructions for these codes, the
therapist (or their supervised therapy
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assistant, as appropriate) is required to
furnish the service directly in a one-onone encounter with the patient, meaning
they are treating only one patient during
that time. Examples of modalities
requiring one-on-one patient contact
include electrical stimulation
(attended), CPT code 97032, and
ultrasound, CPT code 97035. Examples
of procedures include therapeutic
exercise, CPT code 97110,
neuromuscular reeducation, CPT 97112,
and gait training, CPT code 97116.
Our policy for reporting of service
units with HCPCS codes for both
untimed services and timed services
(that is, only those therapy services
defined in 15-minute increments) is
explained in section 20.2 of Chapter 5
of the Medicare Claims Processing
Manual (MCPM). To bill for services
described by the timed codes (hereafter,
those codes described per each 15minutes) furnished to a patient on a date
of service, the therapist or therapy
assistant needs to first identify all timed
services furnished to a patient on that
day, and then total all the minutes of all
those timed codes. Next, the therapist or
therapy assistant needs to identify the
total number of units of timed codes
that can be reported on the claim for the
physical or occupational therapy
services for a patient in one treatment
day. Once the number of billable units
is identified, the therapist or therapy
assistant assigns the appropriate number
of unit(s) to each timed service code
according to the total time spent
furnishing each service. For example, to
bill for one 15-minute unit of a timed
code, the qualified professional (the
therapist or therapy assistant) must
furnish at least 8 minutes and up to 22
minutes of the service; to bill for 2 units,
at least 23 minutes and up to 37
minutes, and to bill for 3 units, at least
38 minutes and up to 52 minutes. We
note that these minute ranges are
applicable when one service, or
multiple services, defined by timed
codes are furnished by the qualified
professional on a treatment day. We
understand that the therapy industry
often refers to these billing conventions
as the ‘‘eight-minute rule.’’ The idea is
that when a therapist or therapy
provider bills for one or more units of
services that are described by timed
codes, the therapist’s direct, one-on-one
patient contact time would average 15
minutes per unit. This idea is also the
basis for the work values we have
established for these timed codes. Our
current policies for billing of timed
codes and related documentation do not
take into consideration whether a
service is furnished ‘‘in whole or in
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part’’ by a PTA/OTA, or otherwise
address the application of the CQ/CO
modifier when the 10 percent de
minimis standard is exceeded, for those
services in which both the PTA/OTA
and the PT/OT work together to furnish
a service or services.
To support the number of 15-minute
timed units billed on a claim for each
treatment day, we require that the total
timed-code treatment time be
documented in the medical record, and
that the treatment note must document
each timed service, whether or not it is
billed, because the unbilled timed
service(s) can impact billing. The
minutes that each service is furnished
can be, but are not required to be,
documented. We also require that each
untimed service be documented in the
treatment note in order to support these
services billed on the claim; and, that
the total treatment time for each
treatment day be documented—
including minutes spent providing
services represented by the timed codes
(the total timed-code treatment time)
and the untimed codes. To minimize
burden, we are not proposing changes to
these documentation requirements in
this proposed rule.
Beginning January 1, 2020, in order to
provide support for application of the
CQ/CO modifier(s) to the claim as
required by section 1834(v)(2)(B) of the
Act and our proposed regulations at
§§ 410.59(a)(4) and 410.60(a)(4), we
propose to add a requirement that the
treatment notes explain, via a short
phrase or statement, the application or
non-application of the CQ/CO modifier
for each service furnished that day. We
would include this documentation
requirement in subsection in Chapter
15, MBPM, section 220.3.E on treatment
notes. Because the CQ/CO modifiers
also apply to untimed services, our
proposal to revise our documentation
requirement for the daily treatment note
extends to those codes and services as
well. For example, when PTAs/OTAs
assist PTs/OTs to furnish services, the
treatment note could state one of the
following, as applicable: (a) ‘‘Code
97110: CQ/CO modifier applied—PTA/
OTA wholly furnished’’; or, (b) ‘‘Code
97150: CQ/CO modifier applied—PTA/
OTA minutes = 15%’’; or ‘‘Code 97530:
CQ/CP modifier not applied—PTA/OTA
minutes less than 10% standard.’’ For
those therapy services furnished
exclusively by therapists without the
use of PTAs/OTA, the PT/OT could note
one of the following: ‘‘CQ/CO modifier
NA’’, or ‘‘CQ/CO modifier NA—PT/OT
fully furnished all services.’’ Given that
the minutes of service furnished by or
with the PTA/OTA and the total time in
minutes for each service (timed and
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untimed) are used to decide whether the
CQ/CO modifier is applied to a service,
we seek comment on whether it would
be appropriate to require documentation
of the minutes as part of the CQ/CO
modifier explanation as a means to
avoid possible additional burden
associated with a contractor’s medical
review process conducted for these
services. We are also interested in
hearing from therapists and therapy
providers about current burden
associated with the medical review
process based on our current policy that
does not require the times for individual
services to be documented. Based on
comments received, if we were to adopt
a policy to include documentation of
the PTA/OTA minutes and total time
(TT) minutes, the CQ/CO modifier
explanation could read similar to the
following: ‘‘Code 97162 (TT = 30
minutes): CQ/CO modifier not applied—
PTA/OTA minutes (3) did not exceed
the 10 percent standard.’’
To recap, under our proposed policy,
therapists or therapy assistants would
apply the therapy assistant modifiers to
the timed codes by first following the
usual process to identify all procedure
codes for the 15-minute timed services
furnished to a beneficiary on the date of
service, add up all the minutes of the
timed codes furnished to the beneficiary
on the date of service, decide how many
total units of timed services are billable
for the beneficiary on the date of service
(based on time ranges in the chart in the
manual), and assign billable units to
each billable procedure code. The
therapist or therapy assistant would
then need to decide for each billed
procedure code whether or not the
therapy assistant modifiers apply.
As previously explained, the CQ/CO
modifier does not apply if all units of a
procedure code were furnished entirely
by the therapist; and, where all units of
the procedure code were furnished
entirely by the PTA/OTA, the
appropriate CQ/CO modifier would
apply. When some portion of the billed
procedure code is furnished by the
PTA/OTA, the therapist or therapy
assistant would need to look at the total
minutes for all the billed units of the
service, and compare it to the minutes
of the service furnished by the PTA/
OTA as described above in order to
decide whether the 10 percent de
minimis standard is exceeded. If the
minutes of the service furnished by the
PTA/OTA are more than 10 percent of
the total minutes of the service, the
therapist or therapy assistant would
assign the appropriate CQ or CO
modifier. We would make clarifying
technical changes to chapter 5, section
20.2 of the MCPM to reflect the policies
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adopted through in this rulemaking
related to the application or nonapplication of the therapy assistant
modifiers. We anticipate that we will
add examples to illustrate when the
applicable therapy assistant modifiers
must be applied, similar to the examples
provided below.
We are providing the following
examples of clinical scenarios to
illustrate how the 10 percent de minimis
standard would be applied under our
proposals when therapists and their
assistants work together concurrently or
separately to treat the same patient on
the same day. These examples reflect
how the therapist or therapy provider
would decide whether the CQ or CO
therapy assistant modifier should be
included when billing for one or more
service units of the 15-minute timed
codes. In the following scenarios, ‘‘PT’’
is used to represent physical therapist
and ‘‘OT’’ is used to refer to an
occupational therapist for ease of
reference; and, the services of the PTA/
OTA are assumed to be therapeutic in
nature, and not services that a
technician or aide without the
education and training of a PTA/OTA
could provide.
• Scenario One: Where only one
service, described by a single HCPCS
code defined in 15-minute increments,
is furnished in a treatment day:
(1) The PT/OT and PTA/OTA each
separately, that is individually and
exclusively, furnish minutes of the same
therapeutic exercise service (HCPCS
code 97110) in different time frames:
The PT/OT furnishes 7 minutes and the
PTA furnishes 7 minutes for a total of
14 minutes, one unit can be billed using
the total time minute range of at least 8
minutes and up to 22 minutes.
Billing Example: One 15-minute unit
of HCPCS code 97110 is reported on the
claim with the CQ/CO modifier to signal
that the time of the service furnished by
the PTA/OTA (7 minutes) exceeded 10
percent of the 14-minute total service
time (1.4 minutes rounded to 1 minute,
so the modifier would apply if the PTA/
OTA had furnished 2 or more minutes
of the service).
(2) The PT/OT and PTA/OTA each
separately, exclusive of the other,
furnish minutes of the same therapeutic
exercise service (HCPCS code 97110) in
different time frames: The PT/OT
furnishes 20 minutes and the PTA/OTA
furnishes 25 minutes for a total of 45
minutes, three units can be billed using
the total time minute range of at least 38
minutes and up to 52 minutes.
Billing Example: All three units of
CPT code 97110 are reported on the
claim with the corresponding CQ/CO
modifier because the 25 minutes
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furnished by the PTA/OTA exceeds 10
percent of the 45-minute total service
time (4.5 minutes rounded to 5 minutes,
so the modifier would apply if the PTA/
OTA had furnished 6 or more minutes
of the service).
(3) The PTA/OTA works concurrently
with the respective PT/OT as a team to
furnish the same neuromuscular
reeducation service (HCPCS code
97112) for a 30-minute session, resulting
in 2 billable units of the service (at least
23 minutes and up to 37 minutes).
Billing Example: Both units of HCPCS
code 97112 are reported with the
appropriate CQ or CO modifier because
the service time furnished by the PTA/
OTA (30 minutes) exceeded 10 percent
of the 30-minute total service time (3
minutes, so the modifier would apply if
the PTA/OTA had furnished 4 or more
minutes of the service).
• Scenario Two: When services that
are represented by different procedure
codes are furnished. Follow our current
policy to identify the procedure codes to
bill and the units to bill for the
service(s) provided for the most time.
We propose that when the PT/OT and
the PTA/OTA each independently
furnish a service defined by a different
procedure code for the same number of
minutes, for example 10 minutes, for a
total time of 20 minutes, qualifying for
1 unit to be billed (at least 8 minutes up
to 23 minutes), the code for the service
furnished by the PT/OT is selected to
break the tie—one unit of that service
would be billed without the CQ/CO
modifier.
(1) When only one unit of a service
can be billed (requires a minimum of 8
minutes but less than 23 minutes):
(a) The PT/OT independently
furnishes 15 minutes of manual therapy
(HCPCS code 97140) and the PTA/OTA
independently furnishes 7 minutes of
therapeutic exercise (HCPCS code
97110). One unit of HCPCS code 97140
can be billed (at least 8 minutes and up
to 22 minutes).
Billing Example: One unit of HCPCS
code 97140 is billed without the CQ/CO
modifier because the PT/OT exclusively
(without the PTA/OTA) furnished a full
unit of a service defined by 15-minute
time interval (current instructions
require ‘‘1’’ unit to be reported). The 7
minutes of a different service delivered
solely by the PTA/OTA do not result in
a billable service. Both services, though,
are documented in the medical record,
noting which services were furnished by
the PT/OT or PTA/OTA; and, the 7
minutes of HCPCS code 97110 would be
included in the total minutes of timed
codes that are considered when
identifying the procedure codes and
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units of each that can be billed on the
claim.
(b) If instead, the PT/OT
independently furnished 7 minutes of
CPT code 97140 and the PTA/OTA
independently furnished a full 15minutes of CPT code 97110, one unit of
CPT code 97110 is billed and the CQ/
CO modifier is applied; the 7 minutes of
the PT/OT service (CPT code 97140) do
not result in billable service, but all the
minutes are documented and included
in the total minutes of the timed codes
that are considered when identifying the
procedure codes and units of each that
can be billed on the claim.
(c) If the PT/OT and PTA/OTA each
independently furnish an equal number
of minutes of CPT codes 97140 and
97110, respectively, that is less than the
full 15-minute mark, and the total
minutes of the timed codes qualify for
billing one unit of a service, the code
furnished by the PT/OT would be
selected to break the tie and billed
without a CQ/CO modifier because the
PT/OT furnished that service
independently of the PTA/OTA.
If instead the PT/OT furnishes an 8minute service (CPT code 97140) and
the PTA/OTA delivers a 13-minute
service (CPT code 97110), one unit of
the 13-minute PTA/OTA-delivered
service (CPT code 97110) would be
billed consistent with our current policy
to bill the service with the greater time;
and the service would be billed with a
CQ/CO modifier because the PTA/OTA
furnished the service independently.
(2) When two or more units can be
billed (requires a minimum of 23
minutes), follow current instructions for
billing procedure codes and units for
each timed code.
(a) The PT/OT furnishes 20 minutes
of neuromuscular reeducation (CPT
code 97112) and the PTA/OTA
furnishes 8 minutes of therapeutic
exercise (CPT code 97110) for a total of
28 minutes, which permits two units of
the timed codes to be billed (at least 23
minutes and up to 37 minutes).
Billing Example: Following our usual
process for billing for the procedure
codes and units based on services
furnished with the most minutes, one
unit of each procedure code would be
billed—one unit of CPT code 97112 is
billed without a CQ/CO modifier and
one unit of CPT code 97110 is billed
with a CQ/CO modifier. This is because,
under our current policy, the two
billable units of timed codes are
allocated among procedure codes by
assigning the first 15 minutes of service
to code 97112 (the code with the highest
number of minutes), which leaves
another 13 minutes of timed services: 5
minutes of code 97112 (20 minus 15)
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and 8 minutes of code 97110. Since the
8 minutes of code 97110 is greater than
the remaining 5 minutes of code 97112,
the second billable unit of service
would be assigned to 97110. The CQ/CO
modifier would not apply to CPT code
97112 because the therapist furnished
all minutes of that service
independently. The CQ/CO modifier
would apply to CPT code 97110 because
the PTA/OTA furnished all minutes of
that service independently.
(b) The PT/OT furnishes 32 minutes
of neuromuscular reeducation (CPT
code 97112), the PT/OT and the PTA/
OTA each separately furnish 12 minutes
and 14 minutes, respectively, of
therapeutic exercise (CPT code 97110)
for a total of 26 minutes, and the PTA/
OTA independently furnishes 12
minutes of self-care (CPT code 97535)
for a total of 70 minutes of timed code
services, permitting five units to be
billed (68–82 minutes). Under our
current policy, the five billable units
would be assigned as follows: Two units
to CPT code 97112, two units to CPT
code 97110, and one unit to CPT code
97535.
Billing Example: The two units of CPT
code 97112 would be billed without a
CQ/CO modifier because all 32 minutes
of that service were furnished
independently by the PT/OT. The two
units of CPT code 97110 would be
billed with the CQ/CO modifier because
the PTA/OTA’s 14 minutes of the
service are greater than 10 percent of the
26 total minutes of the service (2.6
minutes which is rounded to 3 minutes,
so the modifiers would apply if the
PTA/OTA furnished 4 or more minutes
of the service), and the one unit of CPT
code 97535 would be billed with a CQ/
CO modifier because the PTA/OTA
independently furnished all minutes of
that service.
(c) The PT/OT independently
furnishes 12 minutes of neuromuscular
reeducation activities (CPT code 97112)
and the PTA/OTA independently
furnishes 8 minutes of self-care
activities (CPT code 97535) and 7
minutes of therapeutic exercise (CPT
code 97110)—the total treatment time of
27 minutes allows for two units of
service to be billed (at least 23 minutes
and up to 37 minutes). Under our
current policy, the two billable units
would be assigned as follows: One unit
of CPT code 97112 and one unit of CPT
code 97535.
Billing Example: The one unit of
HCPCS code 97112 would be billed
without the CQ/CO modifier because it
was furnished independently by the PT/
OT; and, the one unit of CPT code
97535 is billed with the CQ/CO modifier
because it was independently furnished
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by the PTA/OTA. In this example, CPT
code 97110 is not billable; however, the
minutes for all three codes are
documented and counted toward the
total time of the timed code services
furnished to the patient on the date of
service.
(d) The PT/OT furnishes 15 minutes
of each of two services described by
CPT codes 97112 and 97535, and is
assisted by the PTA/OTA who furnishes
3 minutes of each service concurrently
with the PT/OT. The total time of 30
minutes allows two 15-minute units to
be billed—one unit each of CPT code
97112 and CPT code 97535.
Billing Example: Both CPT codes
97112 and 97535 are billed with the
applicable CQ/CO modifier because the
time the PTA/OTA spent assisting the
PT/OT for each service exceeds 10
percent of the 15-minute total time for
each service (1.5 minutes which is
rounded to 2 minutes, so that the
modifiers apply if the PTA/OTA
furnishes 3 or more minutes of the
service).
c. Proposed Regulatory Provisions
In accordance with section
1834(v)(2)(B) of the Act, we are
proposing to amend §§ 410.59(a)(4) and
410.60(a)(4) for outpatient physical and
occupational therapy services,
respectively, and § 410.105(d) for
physical and occupational therapy
services furnished by comprehensive
outpatient rehabilitation facilities
(CORFs) as authorized under section
1861(cc) of the Act, to establish as a
condition of payment that claims for
services furnished in whole or in part by
an OTA or PTA must include a
prescribed modifier; and that services
will not be considered furnished in part
by an OTA or PTA unless they exceed
10 percent of the total minutes for that
service, beginning for services furnished
on and after January 1, 2020. To
implement section 1834(v)(1) of the Act,
we are proposing to amend
§§ 410.59(a)(4) and 410.60(a)(4) for
outpatient physical and occupational
therapy services, respectively, and at
§ 410.105(d) for physical and
occupational therapy services furnished
by CORFs to specify that claims from
physical and occupational therapists in
private practice paid under section 1848
of the Act and from providers paid
under section 1834(k) of the Act for
physical therapy and occupational
therapy services that contain a therapy
assistant modifier, are paid at 85 percent
of the otherwise applicable payment
amount for the service for dates of
service on and after January 1, 2022. As
specified in the CY 2019 PFS final rule,
we also note that the CQ or CO modifier
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is to be applied alongside the
corresponding GP or GO therapy
modifier that is required on each claim
line of service for physical therapy or
occupational therapy services.
Beginning for dates of service and after
January 1, 2020, claims missing the
corresponding GP or GO therapy
modifier will be rejected/returned to the
therapist or therapy provider so they
can be corrected and resubmitted for
processing.
As discussed in the CY 2019 PFS
proposed and final rules (see 83 FR
35850 and 83 FR 59654), we established
that the reduced payment rate under
section 1834(v)(1) of the Act for the
outpatient therapy services furnished in
whole or in part by therapy assistants is
not applicable to outpatient therapy
services furnished by CAHs, for which
payment is made under section 1834(g)
of the Act. We would like to take this
opportunity to clarify that we do not
interpret section 1834(v) of the Act to
apply to outpatient physical therapy or
occupational therapy services furnished
by CAHs, or by other providers for
which payment for outpatient therapy
services is not made under section
1834(k) of the Act based on the PFS
rates.
N. Valuation of Specific Codes
1. Background: Process for Valuing
New, Revised, and Potentially
Misvalued Codes
Establishing valuations for newly
created and revised CPT codes is a
routine part of maintaining the PFS.
Since the inception of the PFS, it has
also been a priority to revalue services
regularly to make sure that the payment
rates reflect the changing trends in the
practice of medicine and current prices
for inputs used in the PE calculations.
Initially, this was accomplished
primarily through the 5-year review
process, which resulted in revised work
RVUs for CY 1997, CY 2002, CY 2007,
and CY 2012, and revised PE RVUs in
CY 2001, CY 2006, and CY 2011, and
revised MP RVUs in CY 2010 and CY
2015. Under the 5-year review process,
revisions in RVUs were proposed and
finalized via rulemaking. In addition to
the 5-year reviews, beginning with CY
2009, CMS and the RUC identified a
number of potentially misvalued codes
each year using various identification
screens, as discussed in section II.E. of
this proposed rule, Potentially
Misvalued Services under the PFS.
Historically, when we received RUC
recommendations, our process had been
to establish interim final RVUs for the
potentially misvalued codes, new codes,
and any other codes for which there
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were coding changes in the final rule
with comment period for a year. Then,
during the 60-day period following the
publication of the final rule with
comment period, we accepted public
comment about those valuations. For
services furnished during the calendar
year following the publication of
interim final rates, we paid for services
based upon the interim final values
established in the final rule. In the final
rule with comment period for the
subsequent year, we considered and
responded to public comments received
on the interim final values, and
typically made any appropriate
adjustments and finalized those values.
In the CY 2015 PFS final rule with
comment period (79 FR 67547), we
finalized a new process for establishing
values for new, revised and potentially
misvalued codes. Under the new
process, we include proposed values for
these services in the proposed rule,
rather than establishing them as interim
final in the final rule with comment
period. Beginning with the CY 2017 PFS
proposed rule (81 FR 46162), the new
process was applicable to all codes,
except for new codes that describe truly
new services. For CY 2017, we proposed
new values in the CY 2017 PFS
proposed rule for the vast majority of
new, revised, and potentially misvalued
codes for which we received complete
RUC recommendations by February 10,
2016. To complete the transition to this
new process, for codes for which we
established interim final values in the
CY 2016 PFS final rule with comment
period (81 FR 80170), we reviewed the
comments received during the 60-day
public comment period following
release of the CY 2016 PFS final rule
with comment period (80 FR 70886),
and reproposed values for those codes
in the CY 2017 PFS proposed rule.
We considered public comments
received during the 60-day public
comment period for the proposed rule
before establishing final values in the
CY 2017 PFS final rule. As part of our
established process, we will adopt
interim final values only in the case of
wholly new services for which there are
no predecessor codes or values and for
which we do not receive
recommendations in time to propose
values.
As part of our obligation to establish
RVUs for the PFS, we thoroughly review
and consider available information
including recommendations and
supporting information from the RUC,
the Health Care Professionals Advisory
Committee (HCPAC), public
commenters, medical literature,
Medicare claims data, comparative
databases, comparison with other codes
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within the PFS, as well as consultation
with other physicians and healthcare
professionals within CMS and the
federal government as part of our
process for establishing valuations.
Where we concur that the RUC’s
recommendations, or recommendations
from other commenters, are reasonable
and appropriate and are consistent with
the time and intensity paradigm of
physician work, we propose those
values as recommended. Additionally,
we continually engage with
stakeholders, including the RUC, with
regard to our approach for accurately
valuing codes, and as we prioritize our
obligation to value new, revised, and
potentially misvalued codes. We
continue to welcome feedback from all
interested parties regarding valuation of
services for consideration through our
rulemaking process.
2. Methodology for Establishing Work
RVUs
For each code identified in this
section, we conduct a review that
included the current work RVU (if any),
RUC-recommended work RVU,
intensity, time to furnish the preservice,
intraservice, and postservice activities,
as well as other components of the
service that contribute to the value. Our
reviews of recommended work RVUs
and time inputs generally include, but
have not been limited to, a review of
information provided by the RUC, the
HCPAC, and other public commenters,
medical literature, and comparative
databases, as well as a comparison with
other codes within the PFS,
consultation with other physicians and
health care professionals within CMS
and the federal government, as well as
Medicare claims data. We also assess
the methodology and data used to
develop the recommendations
submitted to us by the RUC and other
public commenters and the rationale for
the recommendations. In the CY 2011
PFS final rule with comment period (75
FR 73328 through 73329), we discussed
a variety of methodologies and
approaches used to develop work RVUs,
including survey data, building blocks,
crosswalks to key reference or similar
codes, and magnitude estimation (see
the CY 2011 PFS final rule with
comment period (75 FR 73328 through
73329) for more information). When
referring to a survey, unless otherwise
noted, we mean the surveys conducted
by specialty societies as part of the
formal RUC process.
Components that we use in the
building block approach may include
preservice, intraservice, or postservice
time and post-procedure visits. When
referring to a bundled CPT code, the
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building block components could
include the CPT codes that make up the
bundled code and the inputs associated
with those codes. We use the building
block methodology to construct, or
deconstruct, the work RVU for a CPT
code based on component pieces of the
code. Magnitude estimation refers to a
methodology for valuing work that
determines the appropriate work RVU
for a service by gauging the total amount
of work for that service relative to the
work for a similar service across the PFS
without explicitly valuing the
components of that work. In addition to
these methodologies, we frequently
utilize an incremental methodology in
which we value a code based upon its
incremental difference between another
code and another family of codes. The
statute specifically defines the work
component as the resources in time and
intensity required in furnishing the
service. Also, the published literature
on valuing work has recognized the key
role of time in overall work. For
particular codes, we refine the work
RVUs in direct proportion to the
changes in the best information
regarding the time resources involved in
furnishing particular services, either
considering the total time or the
intraservice time.
Several years ago, to aid in the
development of preservice time
recommendations for new and revised
CPT codes, the RUC created
standardized preservice time packages.
The packages include preservice
evaluation time, preservice positioning
time, and preservice scrub, dress and
wait time. Currently, there are
preservice time packages for services
typically furnished in the facility setting
(for example, preservice time packages
reflecting the different combinations of
straightforward or difficult procedure,
and straightforward or difficult patient).
Currently, there are three preservice
time packages for services typically
furnished in the nonfacility setting.
We developed several standard
building block methodologies to value
services appropriately when they have
common billing patterns. In cases where
a service is typically furnished to a
beneficiary on the same day as an
evaluation and management (E/M)
service, we believe that there is overlap
between the two services in some of the
activities furnished during the
preservice evaluation and postservice
time. Our longstanding adjustments
have reflected a broad assumption that
at least one-third of the work time in
both the preservice evaluation and
postservice period is duplicative of
work furnished during the E/M visit.
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Accordingly, in cases where we
believe that the RUC has not adequately
accounted for the overlapping activities
in the recommended work RVU and/or
times, we adjust the work RVU and/or
times to account for the overlap. The
work RVU for a service is the product
of the time involved in furnishing the
service multiplied by the intensity of
the work. Preservice evaluation time
and postservice time both have a longestablished intensity of work per unit of
time (IWPUT) of 0.0224, which means
that 1 minute of preservice evaluation or
postservice time equates to 0.0224 of a
work RVU.
Therefore, in many cases when we
remove 2 minutes of preservice time
and 2 minutes of postservice time from
a procedure to account for the overlap
with the same day E/M service, we also
remove a work RVU of 0.09 (4 minutes
× 0.0224 IWPUT) if we do not believe
the overlap in time had already been
accounted for in the work RVU. The
RUC has recognized this valuation
policy and, in many cases, now
addresses the overlap in time and work
when a service is typically furnished on
the same day as an E/M service.
The following paragraphs contain a
general discussion of our approach to
reviewing RUC recommendations and
developing proposed values for specific
codes. When they exist we also include
a summary of stakeholder reactions to
our approach. We note that many
commenters and stakeholders have
expressed concerns over the years with
our ongoing adjustment of work RVUs
based on changes in the best
information we had regarding the time
resources involved in furnishing
individual services. We have been
particularly concerned with the RUC’s
and various specialty societies’
objections to our approach given the
significance of their recommendations
to our process for valuing services and
since much of the information we used
to make the adjustments is derived from
their survey process. We are obligated
under the statute to consider both time
and intensity in establishing work RVUs
for PFS services. As explained in the CY
2016 PFS final rule with comment
period (80 FR 70933), we recognize that
adjusting work RVUs for changes in
time is not always a straightforward
process, so we have applied various
methodologies to identify several
potential work values for individual
codes.
We have observed that for many codes
reviewed by the RUC, recommended
work RVUs have appeared to be
incongruous with recommended
assumptions regarding the resource
costs in time. This has been the case for
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a significant portion of codes for which
we recently established or proposed
work RVUs that are based on
refinements to the RUC-recommended
values. When we have adjusted work
RVUs to account for significant changes
in time, we have started by looking at
the change in the time in the context of
the RUC-recommended work RVU.
When the recommended work RVUs do
not appear to account for significant
changes in time, we have employed the
different approaches to identify
potential values that reconcile the
recommended work RVUs with the
recommended time values. Many of
these methodologies, such as survey
data, building block, crosswalks to key
reference or similar codes, and
magnitude estimation have long been
used in developing work RVUs under
the PFS. In addition to these, we
sometimes use the relationship between
the old time values and the new time
values for particular services to identify
alternative work RVUs based on changes
in time components.
In so doing, rather than ignoring the
RUC-recommended value, we have used
the recommended values as a starting
reference and then applied one of these
several methodologies to account for the
reductions in time that we believe were
not otherwise reflected in the RUCrecommended value. If we believe that
such changes in time are already
accounted for in the RUC’s
recommendation, then we do not make
such adjustments. Likewise, we do not
arbitrarily apply time ratios to current
work RVUs to calculate proposed work
RVUs. We use the ratios to identify
potential work RVUs and consider these
work RVUs as potential options relative
to the values developed through other
options.
We do not imply that the decrease in
time as reflected in survey values
should always equate to a one-to-one or
linear decrease in newly valued work
RVUs. Instead, we believe that, since the
two components of work are time and
intensity, absent an obvious or
explicitly stated rationale for why the
relative intensity of a given procedure
has increased, significant decreases in
time should be reflected in decreases to
work RVUs. If the RUC’s
recommendation has appeared to
disregard or dismiss the changes in
time, without a persuasive explanation
of why such a change should not be
accounted for in the overall work of the
service, then we have generally used
one of the aforementioned
methodologies to identify potential
work RVUs, including the
methodologies intended to account for
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the changes in the resources involved in
furnishing the procedure.
Several stakeholders, including the
RUC, have expressed general objections
to our use of these methodologies and
deemed our actions in adjusting the
recommended work RVUs as
inappropriate; other stakeholders have
also expressed general concerns with
CMS refinements to RUC-recommended
values in general. In the CY 2017 PFS
final rule (81 FR 80272 through 80277),
we responded in detail to several
comments that we received regarding
this issue. In the CY 2017 PFS proposed
rule (81 FR 46162), we requested
comments regarding potential
alternatives to making adjustments that
would recognize overall estimates of
work in the context of changes in the
resource of time for particular services;
however, we did not receive any
specific potential alternatives. As
described earlier in this section,
crosswalks to key reference or similar
codes are one of the many
methodological approaches we have
employed to identify potential values
that reconcile the RUC-recommend
work RVUs with the recommended time
values when the RUC-recommended
work RVUs did not appear to account
for significant changes in time. In
response to comments in the CY 2019
PFS final rule (83 FR 59515), we clarify
that terms ‘‘reference services’’, ‘‘key
reference services’’, and ‘‘crosswalks’’ as
described by the commenters are part of
the RUC’s process for code valuation.
These are not terms that we created, and
we do not agree that we necessarily
must employ them in the identical
fashion for the purposes of discussing
our valuation of individual services that
come up for review. However, in the
interest of minimizing confusion and
providing clear language to facilitate
stakeholder feedback, we will seek to
limit the use of the term, ‘‘crosswalk,’’
to those cases where we are making a
comparison to a CPT code with the
identical work RVU.
We look forward to continuing to
engage with stakeholders and
commenters, including the RUC, as we
prioritize our obligation to value new,
revised, and potentially misvalued
codes; and will continue to welcome
feedback from all interested parties
regarding valuation of services for
consideration through our rulemaking
process. We refer readers to the detailed
discussion in this section of the
proposed valuation considered for
specific codes. Table 20 contains a list
of codes and descriptors for which we
are proposing work RVUs; this includes
all codes for which we received RUC
recommendations by February 10, 2019.
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The proposed work RVUs, work time
and other payment information for all
CY 2020 payable codes are available on
the CMS website under downloads for
the CY 2020 PFS proposed rule at
https://www.cms.gov/Medicare/
Medicare-Fee-for-Service-Payment/
PhysicianFeeSched/).
3. Methodology for the Direct PE Inputs
To Develop PE RVUs
a. Background
On an annual basis, the RUC provides
us with recommendations regarding PE
inputs for new, revised, and potentially
misvalued codes. We review the RUCrecommended direct PE inputs on a
code by code basis. Like our review of
recommended work RVUs, our review
of recommended direct PE inputs
generally includes, but is not limited to,
a review of information provided by the
RUC, HCPAC, and other public
commenters, medical literature, and
comparative databases, as well as a
comparison with other codes within the
PFS, and consultation with physicians
and health care professionals within
CMS and the federal government, as
well as Medicare claims data. We also
assess the methodology and data used to
develop the recommendations
submitted to us by the RUC and other
public commenters and the rationale for
the recommendations. When we
determine that the RUC’s
recommendations appropriately
estimate the direct PE inputs (clinical
labor, disposable supplies, and medical
equipment) required for the typical
service, are consistent with the
principles of relativity, and reflect our
payment policies, we use those direct
PE inputs to value a service. If not, we
refine the recommended PE inputs to
better reflect our estimate of the PE
resources required for the service. We
also confirm whether CPT codes should
have facility and/or nonfacility direct
PE inputs and refine the inputs
accordingly.
Our review and refinement of the
RUC-recommended direct PE inputs
includes many refinements that are
common across codes, as well as
refinements that are specific to
particular services. Table 21 details our
proposed refinements of the RUC’s
direct PE recommendations at the codespecific level. In section II.B. of this
proposed rule, Determination of Practice
Expense Relative Value Units (PE
RVUs), we address certain proposed
refinements that would be common
across codes. Proposed refinements to
particular codes are addressed in the
portions of this section that are
dedicated to particular codes. We note
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that for each refinement, we indicate the
impact on direct costs for that service.
We note that, on average, in any case
where the impact on the direct cost for
a particular refinement is $0.35 or less,
the refinement has no impact on the PE
RVUs. This calculation considers both
the impact on the direct portion of the
PE RVU, as well as the impact on the
indirect allocator for the average service.
We also note that approximately half of
the refinements listed in Table 21 result
in changes under the $0.35 threshold
and are unlikely to result in a change to
the RVUs.
We also note that the proposed direct
PE inputs for CY 2020 are displayed in
the CY 2020 direct PE input files,
available on the CMS website under the
downloads for the CY 2020 PFS
proposed rule at https://www.cms.gov/
Medicare/Medicare-Fee-for-ServicePayment/PhysicianFeeSched/PFSFederal-Regulation-Notices.html. The
inputs displayed there have been used
in developing the proposed CY 2020 PE
RVUs as displayed in Addendum B.
b. Common Refinements
(1) Changes in Work Time
Some direct PE inputs are directly
affected by revisions in work time.
Specifically, changes in the intraservice
portions of the work time and changes
in the number or level of postoperative
visits associated with the global periods
result in corresponding changes to
direct PE inputs. The direct PE input
recommendations generally correspond
to the work time values associated with
services. We believe that inadvertent
discrepancies between work time values
and direct PE inputs should be refined
or adjusted in the establishment of
proposed direct PE inputs to resolve the
discrepancies.
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(2) Equipment Time
Prior to CY 2010, the RUC did not
generally provide CMS with
recommendations regarding equipment
time inputs. In CY 2010, in the interest
of ensuring the greatest possible degree
of accuracy in allocating equipment
minutes, we requested that the RUC
provide equipment times along with the
other direct PE recommendations, and
we provided the RUC with general
guidelines regarding appropriate
equipment time inputs. We appreciate
the RUC’s willingness to provide us
with these additional inputs as part of
its PE recommendations.
In general, the equipment time inputs
correspond to the service period portion
of the clinical labor times. We clarified
this principle over several years of
rulemaking, indicating that we consider
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equipment time as the time within the
intraservice period when a clinician is
using the piece of equipment plus any
additional time that the piece of
equipment is not available for use for
another patient due to its use during the
designated procedure. For those services
for which we allocate cleaning time to
portable equipment items, because the
portable equipment does not need to be
cleaned in the room where the service
is furnished, we do not include that
cleaning time for the remaining
equipment items, as those items and the
room are both available for use for other
patients during that time. In addition,
when a piece of equipment is typically
used during follow-up postoperative
visits included in the global period for
a service, the equipment time would
also reflect that use.
We believe that certain highly
technical pieces of equipment and
equipment rooms are less likely to be
used during all of the preservice or
postservice tasks performed by clinical
labor staff on the day of the procedure
(the clinical labor service period) and
are typically available for other patients
even when one member of the clinical
staff may be occupied with a preservice
or postservice task related to the
procedure. We also note that we believe
these same assumptions would apply to
inexpensive equipment items that are
used in conjunction with and located in
a room with non-portable highly
technical equipment items since any
items in the room in question would be
available if the room is not being
occupied by a particular patient. For
additional information, we refer readers
to our discussion of these issues in the
CY 2012 PFS final rule with comment
period (76 FR 73182) and the CY 2015
PFS final rule with comment period (79
FR 67639).
(3) Standard Tasks and Minutes for
Clinical Labor Tasks
In general, the preservice,
intraservice, and postservice clinical
labor minutes associated with clinical
labor inputs in the direct PE input
database reflect the sum of particular
tasks described in the information that
accompanies the RUC-recommended
direct PE inputs, commonly called the
‘‘PE worksheets.’’ For most of these
described tasks, there is a standardized
number of minutes, depending on the
type of procedure, its typical setting, its
global period, and the other procedures
with which it is typically reported. The
RUC sometimes recommends a number
of minutes either greater than or less
than the time typically allotted for
certain tasks. In those cases, we review
the deviations from the standards and
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any rationale provided for the
deviations. When we do not accept the
RUC-recommended exceptions, we
refine the proposed direct PE inputs to
conform to the standard times for those
tasks. In addition, in cases when a
service is typically billed with an E/M
service, we remove the preservice
clinical labor tasks to avoid duplicative
inputs and to reflect the resource costs
of furnishing the typical service.
We refer readers to section II.B. of this
proposed rule, Determination of Practice
Expense Relative Value Units (PE
RVUs), for more information regarding
the collaborative work of CMS and the
RUC in improvements in standardizing
clinical labor tasks.
(4) Recommended Items That Are Not
Direct PE Inputs
In some cases, the PE worksheets
included with the RUC’s
recommendations include items that are
not clinical labor, disposable supplies,
or medical equipment or that cannot be
allocated to individual services or
patients. We addressed these kinds of
recommendations in previous
rulemaking (78 FR 74242), and we do
not use items included in these
recommendations as direct PE inputs in
the calculation of PE RVUs.
(5) New Supply and Equipment Items
The RUC generally recommends the
use of supply and equipment items that
already exist in the direct PE input
database for new, revised, and
potentially misvalued codes. However,
some recommendations include supply
or equipment items that are not
currently in the direct PE input
database. In these cases, the RUC has
historically recommended that a new
item be created and has facilitated our
pricing of that item by working with the
specialty societies to provide us copies
of sales invoices. For CY 2020, we
received invoices for several new
supply and equipment items. Tables 22
and 23 detail the invoices received for
new and existing items in the direct PE
database. As discussed in section II.B. of
this proposed rule, Determination of
Practice Expense Relative Value Units,
we encouraged stakeholders to review
the prices associated with these new
and existing items to determine whether
these prices appear to be accurate.
Where prices appear inaccurate, we
encouraged stakeholders to submit
invoices or other information to
improve the accuracy of pricing for
these items in the direct PE database by
February 10th of the following year for
consideration in future rulemaking,
similar to our process for consideration
of RUC recommendations.
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We remind stakeholders that due to
the relativity inherent in the
development of RVUs, reductions in
existing prices for any items in the
direct PE database increase the pool of
direct PE RVUs available to all other
PFS services. Tables 22 and 23 also
include the number of invoices received
and the number of nonfacility allowed
services for procedures that use these
equipment items. We provide the
nonfacility allowed services so that
stakeholders will note the impact the
particular price might have on PE
relativity, as well as to identify items
that are used frequently, since we
believe that stakeholders are more likely
to have better pricing information for
items used more frequently. A single
invoice may not be reflective of typical
costs and we encourage stakeholders to
provide additional invoices so that we
might identify and use accurate prices
in the development of PE RVUs.
In some cases, we do not use the price
listed on the invoice that accompanies
the recommendation because we
identify publicly available alternative
prices or information that suggests a
different price is more accurate. In these
cases, we include this in the discussion
of these codes. In other cases, we cannot
adequately price a newly recommended
item due to inadequate information.
Sometimes, no supporting information
regarding the price of the item has been
included in the recommendation. In
other cases, the supporting information
does not demonstrate that the item has
been purchased at the listed price (for
example, vendor price quotes instead of
paid invoices). In cases where the
information provided on the item allows
us to identify clinically appropriate
proxy items, we might use existing
items as proxies for the newly
recommended items. In other cases, we
included the item in the direct PE input
database without any associated price.
Although including the item without an
associated price means that the item
does not contribute to the calculation of
the final PE RVU for particular services,
it facilitates our ability to incorporate a
price once we obtain information and
are able to do so.
(6) Service Period Clinical Labor Time
in the Facility Setting
Generally speaking, our direct PE
inputs do not include clinical labor
minutes assigned to the service period
because the cost of clinical labor during
the service period for a procedure in the
facility setting is not considered a
resource cost to the practitioner since
Medicare makes separate payment to the
facility for these costs. We address
proposed code-specific refinements to
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clinical labor in the individual code
sections.
(7) Procedures Subject to the Multiple
Procedure Payment Reduction (MPPR)
and the OPPS Cap
We note that the public use files for
the PFS proposed and final rules for
each year display the services subject to
the MPPR for diagnostic cardiovascular
services, diagnostic imaging services,
diagnostic ophthalmology services, and
therapy services. We also include a list
of procedures that meet the definition of
imaging under section 1848(b)(4)(B) of
the Act, and therefore, are subject to the
OPPS cap for the upcoming calendar
year. The public use files for CY 2020
are available on the CMS website under
downloads for the CY 2020 PFS
proposed rule at https://www.cms.gov/
Medicare/Medicare-Fee-for-ServicePayment/PhysicianFeeSched/PFSFederal-Regulation-Notices.html. For
more information regarding the history
of the MPPR policy, we refer readers to
the CY 2014 PFS final rule with
comment period (78 FR 74261 through
74263). For more information regarding
the history of the OPPS cap, we refer
readers to the CY 2007 PFS final rule
with comment period (71 FR 69659
through 69662).
4. Proposed Valuation of Specific Codes
for CY 2020
(1) Tissue Grafting Procedures (CPT
Codes 15X00, 15X01, 15X02, 15X03,
and 15X04)
CPT code 20926 (Tissue grafts, other
(e.g., paratenon, fat, dermis)), was
identified through a review of services
with anomalous sites of service when
compared to Medicare utilization data.
The CPT Editorial Panel subsequently
replaced CPT code 20926 with five
codes in the Integumentary section to
better describe tissue grafting
procedures.
We are proposing the RUCrecommended work RVUs of 6.68 for
CPT code 15X00 (Grafting of autologous
soft tissue, other, harvested by direct
excision (e.g., fat, dermis, fascia)), 6.73
for CPT code 15X01 (grafting of
autologous fat harvested by liposuction
technique to trunk, breasts, scalp, arms,
and/or legs; 50cc or less injectate), 2.50
for CPT code 15X02 (grafting of
autologous fat harvested by liposuction
technique to trunk, breasts, scalp, arms,
and/or legs; each additional 50cc
injectate, or part thereof (list separately
in addition to code for primary
procedure)), 6.83 for CPT code 15X03
(grafting of autologous fat harvested by
liposuction technique to face, eyelids,
mouth, neck, ears, orbits, genitalia,
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hands, and/or feet; 25cc or less
injectate), and 2.41 for CPT code 15X04
(grafting of autologous fat harvested by
liposuction technique to face, eyelids,
mouth, neck, ears, orbits, genitalia,
hands, and/or feet; each additional 25cc
injectate, or part thereof (list separately
in addition to code for primary
procedure)).
We are proposing the RUCrecommended direct PE inputs for this
code family without refinement.
(2) Drug Delivery Implant Procedures
(CPT Codes 11981, 11982, 11983,
206X0, 206X1, 206X2, 206X3, 206X4,
and 206X5)
CPT codes 11980–11983 were
identified as potentially misvalued
since the majority specialty found in
recent claims data differs from the two
specialties that originally surveyed the
codes. The current valuation of CPT
code 11980 (Subcutaneous hormone
pellet implantation (implantation of
estradiol and/or testosterone pellets
beneath the skin)) was reaffirmed by the
RUC as the physician work had not
changed since the last review. The CPT
Editorial Panel revised the other three
existing codes in the family and created
six additional add-on codes to describe
orthopaedic drug delivery. These codes
were surveyed and reviewed for the
October 2018 RUC meeting.
CPT code 11980 (Subcutaneous
hormone pellet implantation
(implantation of estradiol and/or
testosterone pellets beneath the skin))
with the current work value of 1.10
RVUs and 12 minutes of intraservice
time, and 27 minutes of total time, was
determined to be unchanged since last
reviewed and was recommended by the
RUC to be maintained. We concur. We
also are not proposing any direct PE
refinements to CPT code 11980. CPT
code 11981 (Insertion, nonbiodegradable drug delivery implant)
has a current work RVU of 1.48, with 39
minutes of total physician time. The
specialty society survey recommended a
work RVU of 1.30, with 31 minutes of
total physician time and 5 minutes of
intraservice time. The RUC
recommended a work RVU of 1.30 (25th
percentile), with 30 minutes of total
physician time and 5 minutes of
intraservice time. For comparable
reference CPT codes to CPT code 11981,
the RUC and the survey respondents
had selected CPT code 55876
(Placement of interstitial device(s) for
radiation therapy guidance (e.g.,
fiducial markers, dosimeter), prostate
(via needle, any approach), single or
multiple (work RVU = 1.73, 20 minutes
intraservice time and 59 total minutes))
and CPT code 57500 (Biopsy of cervix,
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single or multiple, or local excision of
lesion, with or without fulguration
(separate procedure) (work RVU = 1.20,
15 minutes intraservice time and 29
total minutes)). The RUC further offers
for comparison, CPT code 67515
(Injection of medication or other
substance into Tenon’s capsule (work
RVU = 1.40 (from CY 2018), 5 minutes
intraservice time and 21 minutes total
time)), CPT code 12013 (Simple repair
of superficial wounds of face, ears,
eyelids, nose, lips and/or mucous
membranes; 2.6 cm to 5.0 cm (work
RVU = 1.22 and 27 total minutes)) and
CPT code 12004 (Simple repair of
superficial wounds of scalp, neck,
axillae, external genitalia, trunk and/or
extremities (including hands and feet);
7.6 cm to 12.5 cm) (work RVU = 1.44
and 29 total minutes)). In addition, we
offer CPT code 67500 (Injection of
medication into cavity behind eye)
(work RVU = 1.18 and 5 minutes
intraservice time and 33 total minutes)
for reference. Given that the CPT code
11981 incurs a 23 percent reduction in
the new total physician time and with
reference to CPT code 67500, we are
proposing a work RVU of 1.14, and
accept the survey recommended 5
minutes for intraservice time and 30
minutes of total time. We are not
proposing any direct PE refinements to
CPT code 11981.
CPT code 11982 (Removal, nonbiodegradable drug delivery implant)
has a current work RVU of 1.78, with 44
minutes of total physician time. The
specialty society survey recommended a
work RVU of 1.70 RVU, with 10 minutes
of intraservice time and 34 minutes of
total physician time. The RUC also
recommended a work RVU of 1.70, with
10 minutes of intraservice time and 33
minutes of total physician time. The
RUC confirmed that removal (CPT code
11982), requires more intraservice time
to perform than the insertion (CPT code
11981). For comparable reference codes
to CPT code 11982, the RUC and the
survey respondents had selected CPT
code 54150 (Circumcision, using clamp
or other device with regional dorsal
penile or ring block) (work RVU = 1.90,
15 minutes intraservice time and 45
total minutes)) and CPT code 12004
(Simple repair of superficial wounds of
scalp, neck, axillae, external genitalia,
trunk and/or extremities (including
hands and feet); 7.6 cm to 12.5 cm)
(work RVU = 1.44, with 17 minutes
intraservice time and 29 minutes total
time)). We offer CPT code 64486
(Injections of local anesthetic for pain
control and abdominal wall analgesia
on one side) (work RVU = 1.27, 10
minutes intraservice time and 35 total
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minutes)) for reference. Given that the
CPT code 11982 incurs a 25 percent
reduction in the new total physician
time and with reference to CPT code
64486, we are proposing a work RVU of
1.34, and accept the RUC-recommended
10 minutes for intraservice time and 33
minutes of total time. We are not
proposing any direct PE refinements to
CPT code 11982.
CPT code 11983 (Removal with
reinsertion, non-biodegradable drug
delivery implant) has a current work
RVU of 3.30, with 69 minutes of total
physician time. The specialty society
survey recommended a work RVU of
2.50 RVU, with 15 minutes of
intraservice time and 41 minutes of total
physician time. The RUC also
recommended a work RVU of 2.10, with
15 minutes of intraservice time and 40
minutes of total physician time. The
RUC confirmed that CPT code 11983
requires more intraservice time to
perform than the insertion CPT code
11981. For comparable reference codes
to CPT code 11983, the RUC and the
survey respondents had selected CPT
code 55700 (Biopsy, prostate; needle or
punch, single or multiple, any
approach) (work RVU = 2.50, 15
minutes intraservice time and 35 total
minutes)), CPT code 54150
(Circumcision, using clamp or other
device with regional dorsal penile or
ring block) (work RVU = 1.90, 15
minutes intraservice time and 45 total
minutes)) and CPT code 52281
(Cystourethroscopy, with calibration
and/or dilation of urethral stricture or
stenosis, with or without meatotomy,
with or without injection procedure for
cystography, male or female) (work RVU
= 2.75 and 20 minutes intraservice time
and 46 minutes total time)). We offer
CPT code 62324 (Insertion of indwelling
catheter and administration of
substance into spinal canal of upper or
middle back) (work RVU = 1.89, 15
minutes intraservice time and 43 total
minutes)) for reference. Given that the
CPT code 11983 incurs a 42 percent
reduction in new total physician time
and with reference to CPT code 62324,
we are proposing a work RVU of 1.91,
and accept the RUC-recommended 15
minutes for intraservice time and 40
minutes of total time. We are not
proposing any direct PE refinements to
CPT code 11983.
The new proposed add-on CPT codes
206X0–206X5 are intended to be
typically reported with CPT codes
11981–11983, with debridement or
arthrotomy procedures done primarily
by orthopedic surgeons. The specialty
society’s survey for CPT code 206X0
(Manual preparation and insertion of
drug delivery device(s), deep (e.g.,
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subfascial)) found a 2.00 work RVU
value at the median and a 1.50 work
RVU value at the 25th percentile, with
20 minutes of intraservice time and 30
minutes of total physician time, for the
preparation of the antibiotic powder and
cement, rolled into beads and threaded
onto suture for insertion into the
infected bone. The RUC recommended a
work RVU of 1.50, with 20 minutes of
intraservice time and 27 minutes of total
physician time. The RUC’s reference
CPT codes included CPT code 11047
(Debridement, bone (includes
epidermis, dermis, subcutaneous tissue,
muscle and/or fascia, if performed);
each additional 20 sq cm, or part
thereof) (work RVU = 1.80, and 30
minutes intraservice time)), CPT codes
64484 (Injection(s), anesthetic agent
and/or steroid, transforaminal epidural,
with imaging guidance (fluoroscopy or
CT); lumbar or sacral, each additional
level) (work RVU = 1.00 and 10 minutes
intraservice time)), and CPT code 36227
(Selective catheter placement, external
carotid artery, unilateral, with
angiography of the ipsilateral external
carotid circulation and all associated
radiological supervision and
interpretation) (work RVU = 2.09 and 20
minutes intraservice time)). Our review
of similar add-on CPT codes yielded
CPT code 64634 (Destruction of upper
or middle spinal facet joint nerves with
imaging guidance) (work RVU = 1.32
and 20 minutes intraservice time)). We
are proposing for CPT code 206X0, a
work RVU of 1.32, and accept the RUCrecommended 20 minutes of
intraservice time and 20 minutes of total
time.
The specialty society’s survey for CPT
code 206X1 (Manual preparation and
insertion of drug delivery device(s),
intramedullary) found a 3.25 work RVU
value at the median and a 2.50 work
RVU value at the 25th percentile, with
25 minutes of intraservice time and 38
minutes of total physician time, for the
preparation of the ‘‘antibiotic nail’’
ready for insertion into the
intramedullary canal with fluoroscopic
guidance. The RUC recommended a
work RVU of 2.50, with 25 minutes of
intraservice time and 32 minutes of total
physician time. The RUC’s reference
CPT codes included CPT code 11047
(Debridement, bone (includes
epidermis, dermis, subcutaneous tissue,
muscle and/or fascia, if performed);
each additional 20 sq cm, or part
thereof) (work RVU = 1.80, and 30
minutes intraservice time)), CPT code
57267 (Insertion of mesh or other
prosthesis for repair of pelvic floor
defect, each site (anterior, posterior
compartment), vaginal approach (work
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RVU = 4.88 and 45 minutes intraservice
time)), and CPT code 36227 (Selective
catheter placement, external carotid
artery, unilateral, with angiography of
the ipsilateral external carotid
circulation and all associated
radiological supervision and
interpretation (work RVU = 2.09 and 15
minutes intraservice time)). We find that
the reference CPT code 11047, with 30
minutes of intraservice time, is suitable,
but we adjust our proposed work RVU
of 1.70 to account for the 25 minutes,
instead of our reference code’s 30
minutes of intraservice time (and the 32
minutes of total time), for CPT code
206X1.
The specialty society’s survey for CPT
code 206X2 (Manual preparation and
insertion of drug delivery device(s),
intra-articular) found a 4.00 work RVU
value at the median and a 2.60 work
RVU value at the 25th percentile, with
30 minutes of intraservice time and 45
minutes of total physician time, for the
preparation of the antibiotic cement
inserted into a pre-fabricated silicone
mold, when after setting up, will be
cemented to the end of the bone (with
the joint). The RUC recommended a
work RVU of 2.60, with 30 minutes of
intraservice time and 37 minutes of total
physician time. The RUC’s reference
CPT codes included CPT code 11047
(Debridement, bone (includes
epidermis, dermis, subcutaneous tissue,
muscle and/or fascia, if performed);
each additional 20 sq cm, or part
thereof (work RVU = 1.80, and 30
minutes intraservice time)), CPT code
57267 (Insertion of mesh or other
prosthesis for repair of pelvic floor
defect, each site (anterior, posterior
compartment), vaginal approach (work
RVU = 4.88 and 45 minutes intraservice
time)), and CPT code 36227 (Selective
catheter placement, external carotid
artery, unilateral, with angiography of
the ipsilateral external carotid
circulation and all associated
radiological supervision and
interpretation (work RVU = 2.09 and 20
minutes intraservice time)). We find that
the reference CPT code 11047, with 30
minutes of intraservice time, is a
suitable guide and we are proposing the
work RVU of 1.80 with the RUCrecommended 30 minutes of
intraservice time and 37 minutes of total
time, for CPT code 206X2.
The specialty society’s survey for CPT
code 206X3 (Removal of drug delivery
device(s), deep (e.g., subfascial)) found
a 1.75 work RVU value at the median
and a 1.13 work RVU value at the 25th
percentile, with 15 minutes of
intraservice time and 18 minutes of total
physician time. The work includes a
marginal dissection to expose the drug
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delivery device and to remove it. The
RUC recommended a work RVU of 1.13,
with 18 minutes of total physician time
and 15 minutes of intraservice time. The
RUC’s reference CPT codes included
CPT code 11047 (Debridement, bone
(includes epidermis, dermis,
subcutaneous tissue, muscle and/or
fascia, if performed); each additional 20
sq cm, or part thereof (work RVU = 1.80,
and 30 minutes intraservice time)), CPT
code 64484 (Injection(s), anesthetic
agent and/or steroid, transforaminal
epidural, with imaging guidance
(fluoroscopy or CT); lumbar or sacral,
each additional level (work RVU = 1.00
and 10 minutes intraservice time)), and
CPT code 64480 (Injection(s), anesthetic
agent and/or steroid, transforaminal
epidural, with imaging guidance
(fluoroscopy or CT); cervical or thoracic,
each additional level (work RVU = 1.20
and 15 minutes intraservice time)). We
are proposing the RUC-recommended
work RVU of 1.13 with 15 minutes of
intraservice time and 18 minutes of total
time for 206X3.
The specialty society’s survey for CPT
code 206X4 (Removal of drug delivery
device(s), intramedullary) found a 2.50
work RVU value at the median and a
1.80 work RVU value at the 25th
percentile, with 20 minutes of
intraservice time and 28 minutes of total
physician time. The work includes a
marginal dissection, in addition to what
was in the base procedure, to loosen and
expose the drug delivery device and to
remove it, any remaining drug delivery
device shards that may have broken off.
The RUC recommended a work RVU of
1.80, with 20 minutes of intraservice
time and 23 minutes of total physician
time. The RUC’s reference CPT codes
included CPT code 11047 (Debridement,
bone (includes epidermis, dermis,
subcutaneous tissue, muscle and/or
fascia, if performed); each additional 20
sq cm, or part thereof (work RVU = 1.80,
and 30 minutes intraservice time)), CPT
codes 37253 (Intravascular ultrasound
(noncoronary vessel) during diagnostic
evaluation and/or therapeutic
intervention, including radiological
supervision and interpretation; each
additional noncoronary vessel (work
RVU = 1.44 and 20 minutes intraservice
time)), and CPT code 36227 (Selective
catheter placement, external carotid
artery, unilateral, with angiography of
the ipsilateral external carotid
circulation and all associated
radiological supervision and
interpretation (work RVU = 2.09 and 15
minutes intraservice time)). We are
proposing the RUC-recommended work
RVU of 1.80 with 20 minutes of
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intraservice time and 23 minutes of total
time for 206X4.
The specialty society’s survey for CPT
code 206X5 (Removal of drug delivery
device(s), intra-articular) found a 3.30
work RVU value at the median and a
2.15 work RVU value at the 25th
percentile, with 25 minutes of
intraservice time and 28 minutes of total
physician time. The work includes the
removal of the intra-articular drug
delivery device that is cemented to both
sides of the joint without removing too
much bone in the process. The RUC
recommended a work RVU of 2.15, with
25 minutes of intraservice time and 28
minutes of total physician time. The
RUC’s reference CPT codes included
CPT code 11047 (Debridement, bone
(includes epidermis, dermis,
subcutaneous tissue, muscle and/or
fascia, if performed); each additional 20
sq cm, or part thereof (work RVU = 1.80,
and 30 minutes intraservice time)), CPT
code 36476 (Endovenous ablation
therapy of incompetent vein, extremity,
inclusive of all imaging guidance and
monitoring, percutaneous,
radiofrequency; subsequent vein(s)
treated in a single extremity, each
through separate access sites (work RVU
= 2.65 and 30 minutes intraservice
time)), and CPT code 36227 (Selective
catheter placement, external carotid
artery, unilateral, with angiography of
the ipsilateral external carotid
circulation and all associated
radiological supervision and
interpretation (work RVU = 2.09 and 15
minutes intraservice time)). We are
proposing the RUC-recommended work
RVU of 2.15 with 25 minutes of
intraservice time and 28 minutes of total
time for 206X5.
(3) Bone Biopsy Trocar-Needle (CPT
Codes 20220 and 20225)
In October 2017, CPT code 20225
(Biopsy, bone, trocar, or needle; deep
(e.g., vertebral body, femur)) was
identified as being performed by a
different specialty than the one that
originally surveyed this service. CPT
code 20220 (Biopsy, bone, trocar, or
needle; superficial (e.g., ilium, sternum,
spinous process, ribs)) was added as
part of the family, and both codes were
surveyed and reviewed for the January
2019 RUC meeting.
We disagree with the RUCrecommended work RVU of 1.93 for
CPT code 20220 and we are proposing
a work RVU of 1.65 based on a
crosswalk to CPT code 47000 (Biopsy of
liver, needle; percutaneous). CPT code
47000 shares the same intraservice time
of 20 minutes with CPT code 20220 and
has slightly higher total time at 55
minutes as compared to 50 minutes. It
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is also one of the top reference codes
selected by the survey respondents. In
our review of CPT code 20220, we noted
that the recommended intraservice time
is decreasing from 22 minutes to 20
minutes (9 percent reduction), and that
the recommended total time is
increasing from 49 minutes to 50
minutes (2 percent increase). However,
the RUC-recommended work RVU is
increasing from 1.27 to 1.93, which is an
increase of 52 percent. Although we do
not imply that the decrease in time as
reflected in survey values must equate
to a one-to-one or linear decrease in the
valuation of work RVUs, we believe that
since the two components of work are
time and intensity, changes in surveyed
work time should be appropriately
reflected in the proposed work RVUs.
In the case of CPT code 20220, we
believe that it would be more accurate
to propose a work RVU of 1.65, based
on a crosswalk to CPT code 47000, to
account for the decrease in the surveyed
intraservice work time. We believe that
the work carried out by the practitioner
in CPT code 47000 is potentially more
intense than the work performed in CPT
code 20220, as the reviewed code is a
superficial bone biopsy as opposed to
the non-superficial biopsy taking place
on an internal organ (the liver)
described by CPT code 47000. We also
note that the survey respondents
considered CPT code 47000 to have
similar intensity to CPT code 20220: 50
percent or more of the survey
respondents rated the two codes as
‘‘identical’’ under the categories of
Mental Effort and Judgment, Physical
Effort Required, and Psychological
Stress, along with a plurality of survey
respondents rating the two codes as
identical in the category of Technical
Skill Required. We believe that this
provides further support for our belief
that CPT code 20220 should be
crosswalked to CPT code 47000 at the
same work RVU of 1.65.
We disagree with the RUCrecommended work RVU of 3.00 for
CPT code 20225 and we are proposing
a work RVU of 2.45 based on a
crosswalk to CPT code 30906 (Control
nasal hemorrhage, posterior, with
posterior nasal packs and/or cautery,
any method; subsequent). CPT code
30906 shares the same intraservice time
of 30 minutes and has 1 fewer minute
of total time as compared to CPT code
20225. When reviewing this code, we
observed a pattern similar to what we
had seen with CPT code 20220. We note
that the recommended intraservice time
for CPT code 20225 is decreasing from
60 minutes to 30 minutes (50 percent
reduction), and the recommended total
time is decreasing from 135 minutes to
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64 minutes (53 percent reduction);
however, the RUC-recommended work
RVU is increasing from 1.87 to 3.00,
which is an increase of about 60
percent. As we noted earlier, we do not
believe that the decrease in time as
reflected in survey values must equate
to a one-to-one or linear decrease in the
valuation of work RVUs, and we are not
proposing a linear decrease in the work
valuation based on these time ratios.
Indeed, we agree with the RUC
recommendation that the work RVU of
CPT code 20225 should increase over
the current valuation. However, we
believe that since the two components
of work are time and intensity,
significant decreases in time should be
appropriately reflected in changes to the
work RVUs, and we do not believe that
it would be accurate to propose the
recommended work RVU of 3.00 given
the significant decreases in surveyed
work time.
Instead, we believe that it would be
more accurate to propose a work RVU
of 2.45 for CPT code 20225 based on a
crosswalk to CPT code 30906. We note
that this proposed work RVU is a very
close match to the intraservice time
ratio between the two codes in the
family; we are proposing a work RVU of
1.65 for CPT code 20220 with 20
minutes of intraservice work time, and
a work RVU of 2.45 for CPT code 20225
with 30 minutes of intraservice work
time. (The exact intraservice time ratio
calculates to a work RVU of 2.47.) We
believe that the proposed work RVUs
maintain the relative intensity of the
two codes in the family, and better
preserve relativity with the rest of the
codes on the PFS.
For the direct PE inputs, we are
proposing to replace the bone biopsy
device (SF055) supply with the bone
biopsy needle (SC077) in CPT code
20225. We note that this code currently
makes use of the bone biopsy needle,
and there was no rationale provided in
the recommended materials to explain
why it would now be typical for the
bone biopsy needle to be replaced by
the bone biopsy device. We are
proposing to maintain the use of the
current supply item. We are also
proposing to adopt a 90 percent
utilization rate for the use of the CT
room (EL007) equipment in CPT code
20225. We previously finalized a policy
in the CY 2010 PFS final rule (74 FR
61754 through 61755) to increase the
equipment utilization rate to 90 percent
for expensive diagnostic equipment
priced at more than $1 million, and
specifically cited the use of CT and MRI
equipment which would be subject to
this utilization rate.
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(4) Trigger Point Dry Needling (CPT
Codes 205X1 and 205X2)
For CY 2020, the CPT Editorial Panel
approved two new codes to report dry
needling of musculature trigger points.
These codes were surveyed and
reviewed by the HCPAC for the January
2019 RUC meeting.
We disagree with the HCPACrecommended work RVU of 0.45 for
CPT code 205X1 (Needle insertion(s)
without injection(s), 1 or 2 muscle(s))
and we are proposing a work RVU of
0.32 based on a crosswalk to CPT code
36600 (Arterial puncture, withdrawal of
blood for diagnosis). CPT code 36600
shares the identical intraservice time,
total time, and intensity with CPT code
205X1, which makes it an appropriate
choice for a crosswalk. In our review of
CPT code 205X1, we compared the
procedure to the top reference code
chosen by the survey participants, CPT
code 97140 (Manual therapy techniques
(e.g., mobilization/manipulation,
manual lymphatic drainage, manual
traction), 1 or more regions, each 15
minutes). This therapy procedure has 50
percent more intraservice time than CPT
code 205X1, as well as higher total time;
however, the recommended work RVU
of 0.45 was higher than the work RVU
of 0.43 for the top reference code from
the survey. We did not agree that CPT
code 205X1 should be valued at a higher
rate, and therefore, we are proposing a
work RVU of 0.32 based on the
aforementioned crosswalk to CPT code
36600.
We disagree with the HCPACrecommended work RVU of 0.60 for
CPT code 205X2 (Needle insertion(s)
without injection(s), 3 or more
muscle(s)) and we are proposing a work
RVU of 0.48 based on a crosswalk to
CPT codes 97113 (Therapeutic
procedure, 1 or more areas, each 15
minutes; aquatic therapy with
therapeutic exercises) and 97542
(Wheelchair management (e.g.,
assessment, fitting, training), each 15
minutes). Both of these codes share the
same work RVU of 0.48 and the same
intraservice time of 15 minutes as CPT
code 205X2, with CPT code 97113
having two fewer minutes of total time
and CPT code 97542 having two
additional minutes of total time. We
note that this proposed work RVU is an
exact match of the intraservice time
ratio between the two codes in the
family; we are proposing a work RVU of
0.32 for CPT code 205X1 with 10
minutes of intraservice work time, and
a work RVU of 0.48 for CPT code 205X2
with 15 minutes of intraservice work
time. We also considered crosswalking
the work RVU of CPT code 205X2 to the
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top reference code from the survey, CPT
code 97140, at a work RVU of 0.43.
However, we chose to employ the
crosswalk to CPT codes 97113 and
97542 at a work RVU of 0.48 instead,
due to the fact that the survey
respondents indicated that CPT code
205X2 was more intense than CPT code
97140.
We are also proposing to designate
CPT codes 205X1 and 205X2 as ‘‘always
therapy’’ procedures, and we are
soliciting comments on this designation.
We are proposing the RUCrecommended direct PE inputs for all
codes in the family.
(5) Closed Treatment Vertebral Fracture
(CPT Code 22310)
This service was identified through a
screen of services with a negative
IWPUT and Medicare utilization over
10,000 for all services or over 1,000 for
Harvard valued and CMS/Other source
codes.
For CPT code 22310 (Closed
treatment of vertebral body fracture(s),
without manipulation, requiring and
including casting or bracing), we
disagree with the recommended work
RVU of 3.75 because we do not believe
that this reduction in work RVU from
the current value of 3.89 is
commensurate with the RUCrecommended a 33-minute reduction in
intraservice time and a 105-minute
reduction in total time. While we
understand that the RUC considers the
current Harvard study time values for
this service to be invalid estimations,
we believe that a further reduction in
work RVUs is warranted given the
significance of the RUC-recommended
reduction in physician time. We believe
that it would be more accurate to
propose a work RVU of 3.45 with a
crosswalk to CPT code 21073
(Manipulation of temporomandibular
joint(s) (TMJ), therapeutic, requiring an
anesthesia service (i.e., general or
monitored anesthesia care)), which has
an identical intraservice time and
similar total time as those proposed by
the RUC for CPT code 22310, as we
believe that this better accounts for the
decrease in the surveyed work time.
For the direct PE inputs, we are
proposing to refine the equipment time
for the power table (EF031) to conform
to our established standard for nonhighly technical equipment.
(6) Tendon Sheath Procedures (CPT
Codes 26020, 26055, and 26160)
The RUC identified these services
through a screen of services with a
negative IWPUT and Medicare
utilization over 10,000 for all services or
over 1,000 for Harvard valued and CMS/
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Other source codes. For CPT code 26020
(Drainage of tendon sheath, digit and/or
palm, each), we do not agree with the
RUC-recommended work RVU of 7.79
based on the survey median. While we
agree that the survey data validate an
increase in work RVU, we see no
compelling reason that this service
would be significantly more intense to
furnish than services of similar time
values. Therefore, we are proposing a
work RVU of 6.84 which is the survey
25th percentile. As further support for
this value, we note that it falls between
the work RVUs of CPT code 28122
(Partial excision (craterization,
saucerization, sequestrectomy, or
diaphysectomy) bone (e.g., osteomyelitis
or bossing); tarsal or metatarsal bone,
except talus or calcaneus), with a work
RVU of 6.76, and CPT code 28289
(Hallux rigidus correction with
cheilectomy, debridement and capsular
release of the first metatarsophalangeal
joint; without implant), with a work
RVU of 6.90; both codes have
intraservice time values that are
identical to, and total time values that
are similar to, the RUC-recommended
time values for CPT code 26020.
For CPT code 26055 (Tendon sheath
incision (e.g., for trigger finger)), we do
not agree with the RUC
recommendation to increase the work
RVU to 3.75 despite a reduction in
physician time. Instead, we are
proposing to maintain the current work
RVU of 3.11; we are supporting this
based on a total time increment
methodology between the CPT code
26020 and CPT code 26055. The total
time ratio between the recommended
time of 119 minutes and the
recommended 262 minutes for code
26020 equals 45 percent, and 45 percent
of our proposed RVU of 6.84 for CPT
code 26020 equals a work RVU of 3.10,
which we believe validates the current
work RVU of 3.11. We are proposing the
RUC-recommended work RVU of 3.57
for CPT code 26160 (Excision of lesion
of tendon sheath or joint capsule (e.g.,
cyst, mucous cyst, or ganglion), hand or
finger). We note that our proposed work
RVUs validate the RUC’s contention that
CPT code 26160 is slightly more intense
to perform than CPT code 26055.
For the direct PE inputs, we are
proposing to refine the quantity of the
impervious staff gown (SB027) supply
from 2 to 1 for CPT codes 26055 and
26160. We believe that the second
impervious staff gown supply is
duplicative due to the inclusion of this
same supply in the surgical cleaning
pack (SA043). The recommended
materials state that a gown is worn by
the practitioner and one assistant,
which are provided by one standalone
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gown and a second gown in the surgical
cleaning pack.
(7) Closed Treatment Fracture—Hip
(CPT Code 27220)
This service was identified through a
screen of services with a negative
IWPUT and Medicare utilization over
10,000 for all services or over 1,000 for
Harvard valued and CMS/Other source
codes. For CPT code 27220 (Closed
treatment of acetabulum (hip socket)
fracture(s); without manipulation), we
disagree with the RUC-recommended
work RVU of 6.00 based on the survey
median value, because we do not
believe that this reduction in work RVU
from the current value of 6.83 is
commensurate with the RUCrecommended a 19-minute reduction in
intraservice time and an 80-minute
reduction in total time. While we
understand that the RUC considers the
current Harvard study time values for
this service to be invalid estimations,
we believe that a further reduction in
work RVUs is warranted given the
significance of the RUC-recommended
reduction in physician time. We believe
that it would be more accurate to
propose the survey 25th percentile work
RVU of 5.50, and we are supporting this
value with a crosswalk to CPT code
27267 (Closed treatment of femoral
fracture, proximal end, head; without
manipulation) to account for the
decrease in the surveyed work time.
For the direct PE inputs, we are
proposing to refine the equipment time
for the power table (EF031) to conform
to our established standard for nonhighly technical equipment.
(8) Arthrodesis—Sacroliliac Joint (CPT
Code 27279)
In the CY 2018 PFS final rule (82 FR
53017), CPT code 27279 (Arthrodesis,
sacroiliac joint, percutaneous or
minimally invasive (indirect
visualization), with image guidance,
includes obtaining bone graft when
performed, and placement of transfixing
device) was nominated for review by
stakeholders as a potentially misvalued
service. We stated that CPT code 27279
is potentially misvalued, and that a
comprehensive review of the code
values was warranted. This code was
subsequently reviewed by the RUC.
According to the specialty societies, the
previous 2014 survey of CPT code
27279, was based on flawed
methodology that resulted in an
underestimation of intraoperative
intensity. When CPT code 27279 was
surveyed in 2014, there was a low rate
of response. Due to the dearth of survey
data and the RUC’s agreement with the
specialty society at the time that the
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survey respondents had somewhat
overvalued the work involved in
performing this service, the RUC used a
crosswalk to CPT code 62287
(Decompression procedure,
percutaneous, of nucleus pulposus of
intervertebral disc, any method utilizing
needle based technique to remove disc
material under fluoroscopic imaging or
other form of indirect visualization, with
discography and/or epidural injection(s)
at the treated level(s), when performed,
single or multiple levels, lumbar) to
recommend a work RVU of 9.03. The
specialty societies indicated that with
increased and broader utilization of this
technique, the 2018 survey is a more
robust assessment of physician work
and intensity and provides more data
with which to make a crosswalk
recommendation. According to the RUC,
there is no compelling evidence that the
physician work, intensity or complexity
has changed for this service.
We are proposing to maintain the
current work RVU of 9.03 as
recommended by the RUC. A
stakeholder stated that maintaining this
RVU would constitute the continued
undervaluation of this service, and that
this would incentivize use of a more
intensive and invasive procedure, CPT
code 27280 (Arthrodesis, open,
sacroiliac joint, including obtaining
bone graft, including instrumentation,
when performed), as well as incentivize
this service to be inappropriately
furnished on an inpatient basis. This
stakeholder has requested that, in the
interest of protecting patient access, we
implement payment parity between the
two services by proposing to crosswalk
the work RVU of CPT code 27279 to that
of CPT code 27280, which has a work
RVU of 20.00. While we are proposing
the RUC-recommended work RVU, we
are soliciting public comment on
whether an alternative valuation of
20.00 would be more appropriate. This
alternative valuation would recognize
relative parity between these two
services in terms of the work inherent
in furnishing them.
We are proposing the RUCrecommended direct PE inputs for CPT
code 27279.
(9) Pericardiocentesis and Pericardial
Drainage (CPT Code 3X000, 3X001,
3X002, and 3X003)
CPT code 33015 (Tube
pericardiostomy) was identified as
potentially misvalued on a Relativity
Assessment Workgroup (RAW) screen of
codes with a negative IWPUT and
Medicare utilization over 10,000 for all
services or over 1,000 for Harvard
valued and CMS or other source codes.
In September 2018, the CPT Editorial
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Panel deleted four existing codes and
created four new codes to describe
periodcardiocentesis drainage
procedures to differentiate by age and to
include imaging guidance.
We are proposing to refine the work
RVU for all four codes in the family. We
disagree with the RUC-recommended
work RVU of 5.00 for CPT code 3X000
(Pericardiocentesis, including imaging
guidance, when performed) and are
proposing a work RVU of 4.40 based on
a crosswalk to CPT code 43244
(Esophagogastroduodenoscopy, flexible,
transoral; with band ligation of
esophageal/gastric varices). CPT code
43244 shares the same intraservice time
of 30 minutes with CPT code 3X000 and
has a slightly longer total time of 81
minutes as compared to 75 minutes for
the reviewed code. In our review of CPT
code 3X000, we noted that the
recommended intraservice time as
compared to the current initial
pericardiocentesis procedure (CPT code
33010) is increasing from 24 minutes to
30 minutes (25 percent), and the
recommended total time is remaining
the same at 75 minutes; however, the
RUC-recommended work RVU is
increasing from 1.99 to 5.00, which is an
increase of 151 percent. Although we
did not imply that the decrease in time
as reflected in survey values must
equate to a one-to-one or linear increase
in the valuation of work RVUs, we
believe that since the two components
of work are time and intensity, modest
increases in time should be
appropriately reflected with a
commensurate increase the work RVUs.
We also conducted a search in the RUC
database among 0-day global codes with
30 minutes of intraservice time and
comparable total time of 65–85 minutes.
Our search identified 49 codes and all
49 of these codes had a work RVU lower
than 5.00. We do not believe that it
would serve the interests of relativity to
establish a new maximum work RVU for
this range of time values.
As a result, we believe that it is more
accurate to propose a work RVU of 4.40
for CPT code 3X000 based on a
crosswalk to CPT code 43244 to account
for these modest increases in the
surveyed work time as compared to the
predecessor pericardiocentesis codes.
We are aware that CPT code 3X000 is
bundling imaging guidance into the new
procedure, which was not included in
the previous pericardiocentesis codes.
However, we do not believe that the
recoding of the services in this family
has resulted in an increase in their
intensity, only a change in the way in
which they will be reported, and
therefore, we do not believe that it
would serve the interests of relativity to
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propose the RUC-recommended work
values for all of the codes in this family.
We also note that, through the bundling
of some of these frequently reported
services, it is reasonable to expect that
the new coding system will achieve
savings via elimination of duplicative
assumptions of the resources involved
in furnishing particular servicers. For
example, a practitioner would not be
carrying out the full preservice work
twice for CPT codes 33010 and 76930,
but preservice times were assigned to
both codes under the old coding. We
believe the new coding assigns more
accurate work times, and thus, reflects
efficiencies in resource costs that
existed but were not reflected in the
services as they were previously
reported. If the addition of imaging
guidance had made the new CPT codes
significantly more intense to perform,
we believe that this would have been
reflected in the surveyed work times,
which were largely unchanged from the
predecessor codes.
We disagree with the RUCrecommended work RVU of 5.50 for
CPT code 3X001 (Pericardial drainage
with insertion of indwelling catheter,
percutaneous, including fluoroscopy
and/or ultrasound guidance, when
performed; 6 years and older without
congenital cardiac anomaly) and are
proposing a work RVU of 4.62 based on
a crosswalk to CPT code 52234
(Cystourethroscopy, with fulguration
(including cryosurgery or laser surgery)
and/or resection of; SMALL bladder
tumor(s) (0.5 up to 2.0 cm)). CPT code
52234 shares the same intraservice time
of 30 minutes with CPT code 3X001 and
has 2 additional minutes of total time at
79 minutes as compared to 77 minutes
for the reviewed code. In our review of
CPT code 3X001, we noted many of the
same issues that we had raised with
CPT code 3X000, in particular with the
increase in the work RVU greatly
exceeding the increase in the surveyed
work times as compared to the
predecessor pericardiocentesis codes.
We searched the RUC database again for
0-day global codes with 30 minutes of
intraservice time and comparable total
time of 67–87 minutes. Our search
identified 43 codes and again all 43 of
these codes had a work RVU lower than
5.50. As we stated with regard to CPT
code 3X000, we do not believe that it
would serve the interests of relativity to
establish a new maximum work RVU for
this range of time values. We believe
that it is more accurate to propose a
work RVU of 4.62 for CPT code 3X001
based on a crosswalk to CPT code 52234
based on the same rationale that we
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detailed with regards to CPT code
3X000.
We disagree with the RUCrecommended work RVU of 6.00 for
CPT code 3X002 (Pericardial drainage
with insertion of indwelling catheter,
percutaneous, including fluoroscopy
and/or ultrasound guidance, when
performed; birth through 5 years of age,
or any age with congenital cardiac
anomaly) and are proposing a work
RVU of 5.00 based on the survey 25th
percentile value. In our review of CPT
code 3X002, we noted many of the same
issues that we had raised with CPT
codes 3X000 and 3X001, in particular
with the increase in the work RVU
greatly exceeding the increase in the
surveyed work times as compared to the
predecessor pericardiocentesis codes.
The recommended work RVU of 6.00
was based on a crosswalk to CPT code
31603 (Tracheostomy, emergency
procedure; transtracheal), which shares
the same intraservice time of 30 minutes
with CPT code 3X002 and very similar
total time. While we agree that CPT
code 31603 is a close match to the
surveyed work times for CPT code
3X002, we do not believe that it is the
most accurate choice for a crosswalk
due to the fact that CPT code 31603 is
a clear outlier in work valuation. We
searched for 0-day global codes in the
RUC database with 30 minutes of
intraservice time and a comparable 90–
120 minutes of total time. There were 21
codes that met this criteria, and the
recommended crosswalk to CPT code
31603 had the highest work RVU of any
of these codes at the recommended 6.00.
Furthermore, there was only one other
code with a work RVU above 5.00,
another tracheostomy procedure
described by CPT code 31600
(Tracheostomy, planned (separate
procedure)) at a work RVU of 5.56. None
of the other codes had a work RVU
higher than 4.69, and the median work
RVU of the group comes out to only
4.00. The two tracheostomy procedures
have work RVUs more than a full
standard deviation above any of the
other codes in this group of 0-day global
procedures.
We do not mean to suggest that the
work RVU for a given service must
always fall in the middle of a range of
codes with similar time values. We
recognize that it would not be
appropriate to develop work RVUs
solely based on time given that intensity
is also an element of work. Were we to
disregard intensity altogether, the work
RVUs for all services would be
developed based solely on time values
and that is definitively not the case, as
indicated by the many services that
share the same time values but have
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different work RVUs. However, we also
do not believe that it would serve the
interests of relativity by crosswalking
the work RVU of CPT code 3X002 to
tracheostomy procedures that are higher
than anything else in this group of
codes, procedures that we believe to be
outliers due to the serious risk of patient
mortality associated with their
performance. We believe that it is this
patient risk which is responsible for the
otherwise anomalously high intensity in
CPT codes 31600 and 31603. Therefore,
we are proposing a work RVU of 5.00 for
CPT code 3X002 based on the survey
25th percentile, which we believe more
accurately captures both the time and
intensity associated with the procedure.
We disagree with the RUCrecommended work RVU of 5.00 for
CPT code 3X003 (Pericardial drainage
with insertion of indwelling catheter,
percutaneous, including CT guidance)
and are proposing a work RVU of 4.29
based on the survey 25th percentile
value. In our review of CPT code 3X003,
we noted many of the same issues that
we had raised with CPT codes 3X000–
3X002, in particular with the increase in
the work RVU greatly exceeding the
increase in the surveyed work times as
compared to the predecessor
pericardiocentesis codes. We searched
for 0-day global codes in the RUC
database with 30 minutes of intraservice
time (slightly higher than the 28
minutes of intraservice time in CPT
code 3X003) and a comparable 70–100
minutes of total time. Our search
identified 45 codes and again all 45 of
these codes had a work RVU lower than
5.00, which led us to believe that the
recommended work RVU for CPT code
3X003 was overvalued. We also
compared CPT code 3X003 to the most
similar code in the family, CPT code
3X001, and noted that the survey
respondents indicated that CPT code
3X003 should have a lower work RVU
at both the survey 25th percentile and
survey median values. Therefore, we are
proposing a work RVU of 4.29 for CPT
code 3X003 based on the survey 25th
percentile value. We are supporting this
proposal with a reference to CPT code
31254 (Nasal/sinus endoscopy, surgical
with ethmoidectomy; partial (anterior)),
a recently-reviewed code with an
intraservice work time of 30 minutes, a
total time of 84 minutes, and a work
RVU of 4.27.
The RUC did not recommend and we
are not proposing any direct PE inputs
for the codes in this family.
(10) Pericardiotomy (CPT Codes 33020
and 33025)
CPT code 33020 (Pericardiotomy for
removal of clot or foreign body (primary
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procedure)) was identified as potentially
misvalued on a Relativity Assessment
Workgroup (RAW) screen of codes with
a negative IWPUT and Medicare
utilization over 10,000 for all services or
over 1,000 for Harvard valued and CMS
or other source codes. The RAW
determined that CPT code 33020 should
be surveyed for April 2018; CPT code
33025 (Creation of pericardial window
or partial resection for drainage) was
included for review as part of this code
family.
We disagree with the RUCrecommended work RVU of 14.31 (25th
percentile survey value) for CPT code
33020 and are proposing a work RVU of
12.95. Our proposed work RVU is based
on a crosswalk to CPT code 58700
(Salpingectomy, complete or partial,
unilateral or bilateral (separate
procedure)), which has an identical
work RVU of 12.95, identical 60
minutes intraservice time, and near
identical total time values as CPT code
33020.
In our review of CPT code 33020, we
note that the RUC-recommended
intraservice time is decreasing from 85
minutes to 60 minutes (29 percent
reduction), and that the RUCrecommended total time is decreasing
from 565 minutes to 321 minutes (43
percent reduction). However, the RUCrecommended work RVU is only
decreasing from 14.95 to 14.31, which is
a reduction of less than 5 percent.
Although we do not imply that the
decrease in time as reflected in survey
values must equate to a one-to-one or
linear decrease in the valuation of work
RVUs, we believe that since the two
components of work are time and
intensity, significant decreases in time
should be appropriately reflected in
decreases to work RVUs. In the case of
CPT code 33020, we believe that it
would be more accurate to propose a
work RVU of 12.95, based on a
crosswalk to CPT code 58700 to account
for these decreases in surveyed work
times.
For CPT code 33025, the RUC
recommended a work RVU of 13.20
(survey 25th percentile value). Although
we disagree with the RUCrecommended work RVU of 13.20,
based on RUC survey results and the
time resources involved in furnishing
these two procedures we agree that the
relative difference in work RVUs
between CPT codes 33020 and 33025 is
equivalent to the RUC-recommended
incremental difference of 1.11 less work
RVUs. Therefore, we are proposing a
work RVU of 11.84 based on a reference
to CPT code 34712 (Transcatheter
delivery of enhanced fixation devices(s)
to the endograft (e.g., anchor, screw,
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tack) and all associated radiological
supervision and interpretation), which
has a work RVU of 12.00, identical
intraservice time of 60 minutes, and
similar total time as CPT code 33025.
In reviewing CPT code 33025, we note
that the RUC-recommended intraservice
time is decreasing from 66 minutes to 60
minutes (9 percent reduction), and that
the RUC-recommended total time is
decreasing from 410 minutes to 301
minutes (27 percent reduction).
However, the RUC-recommended work
RVU is only decreasing from 13.70 to
13.20, which is a reduction of less than
5 percent. Although we do not imply
that the decrease in time as reflected in
survey values must equate to a one-toone or linear decrease in the valuation
of work RVUs, we believe that since the
two components of work are time and
intensity, significant decreases in time
should be appropriately reflected in
decreases to work RVUs. In the case of
CPT code 33025, we believe that it
would be more accurate to propose a
work RVU of 11.84, based on less the
incremental difference of 1.11 work
RVUs between CPT codes 33020 and
33025 and a crosswalk to CPT code
34712 to account for these decreases in
surveyed work times.
We are proposing the RUCrecommended direct PE inputs for all
the codes in this family.
(11) Transcatheter Aortic Valve
Replacement (TAVR) (CPT Codes 33361,
33362, 33363, 33364, 33365, and 33366)
In October 2016, the RUC’s RAW
reviewed codes that had been flagged in
the period from October 2011 to April
2012, using 3 years of available
Medicare claims data (2013, 2014 and
preliminary 2015 data). The RUC
workgroup determined that the
technology for these transcatheter aortic
valve replacement (TAVR) services was
evolving, as the typical site of service
had shifted from being provided in
academic centers to private centers, and
the RUC recommended that CPT codes
33361–33366 be resurveyed for
physician work and practice expense.
These six codes were surveyed and
reviewed at the April 2018 RUC meeting
using a survey methodology that
reflected the unique nature of these
codes. CPT codes 33361–33366 are
currently the only codes on the PFS
where the -62 co-surgeon modifier is
required 100 percent of the time.
We are proposing the RUCrecommended work RVU for all six of
the codes in this family. We are
proposing a work RVU of 22.47 for CPT
code 33361 (Transcatheter aortic valve
replacement (TAVR/TAVI) with
prosthetic valve; percutaneous femoral
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artery approach), a work RVU of 24.54
for CPT code 33362 (Transcatheter
aortic valve replacement (TAVR/TAVI)
with prosthetic valve; open femoral
artery approach), a work RVU of 25.47
for CPT code 33363 (Transcatheter
aortic valve replacement (TAVR/TAVI)
with prosthetic valve; open axillary
artery approach), a work RVU of 25.97
for CPT code 33364 (Transcatheter
aortic valve replacement (TAVR/TAVI)
with prosthetic valve; open iliac artery
approach), a work RVU of 26.59 for CPT
code 33365 (Transcatheter aortic valve
replacement (TAVR/TAVI) with
prosthetic valve; transaortic approach
(e.g., median sternotomy,
mediastinotomy)), and a work RVU of
29.35 for CPT code 33366
(Transcatheter aortic valve replacement
(TAVR/TAVI) with prosthetic valve;
transapical exposure (e.g., left
thoracotomy)).
Although we have some concerns that
the RUC-recommended work RVUs for
these six codes do not match the
decreases in surveyed work time, we
recognize that the technology described
by the TAVR procedures is in the
process of being adopted by a much
wider audience, and that there will be
greater intensity on the part of the
practitioner when this particular new
technology is first being adopted.
However, we intend to continue
examining whether these services are
appropriately valued, in light of the
proposed national coverage
determination proposing to use TAVR
for the treatment of symptomatic aortic
valve stenosis that we posted on March
26, 2019. We will also consider any
further improvements to the valuation
of these services, as their use becomes
more commonplace, through future
notice and comment rulemaking. The
text of the proposed national coverage
determination is available on the CMS
website at https://www.cms.gov/
medicare-coverage-database/details/
nca-proposed-decisionmemo.aspx?NCAId=293.
We are proposing the RUCrecommended direct PE inputs for all
codes in the family.
(12) Aortic Graft Procedures (CPT Codes
338XX, 338X1, 33863, 33864, 338X2,
and 33866)
In 2017, CPT created a new add-on
code, CPT code 33866 (Aortic hemiarch
graft including isolation and control of
the arch vessels, beveled open distal
aortic anastomosis extending under one
or more of the arch vessels, and total
circulatory arrest or isolated cerebral
perfusion (List separately in addition to
code for primary procedure)). For CY
2019, we finalized the RUC’s
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40575
recommended work RVU for this code
on an interim basis (83 FR 59528). CPT
revised the code set to develop distinct
codes for ascending aortic repair for
dissection and ascending aortic repair
for other ascending aortic disease such
as aneurysms and congenital anomalies,
creating two new codes, as well as
revaluating the two other codes in the
family.
For CPT code 338XX (Ascending
aorta graft, with cardiopulmonary
bypass, includes valve suspension,
when performed; for aortic dissection),
we disagree with the RUCrecommended work RVU of 65.00,
because the RUC is recommending an
increase in work RVU that is not
commensurate with a reduction in
physician time, and because we do not
believe that the RUC’s recommendation
that this service be increased to a value
that would place it among the highest
valued of all services of similar
physician time is appropriate; we think
a comparison to other services of similar
time indicates that the RUC’s
recommended increase overstates the
work. Instead, we are proposing to
increase the work RVU to 63.40 based
on a crosswalk to CPT code 61697
(Surgery of complex intracranial
aneurysm, intracranial approach;
carotid circulation). For CPT code
338X1 (Ascending aorta graft, with
cardiopulmonary bypass, includes valve
suspension, when performed; for aortic
disease other than dissection (e.g.,
aneurysm)), we disagree with the RUCrecommended work RVU of 50.00,
because we do not believe it adequately
reflects the recommended decrease in
physician time, and because we do not
believe this service should be assigned
a value that is among the highest of all
90-day global services with similar
physician time values. Instead, we are
proposing a work RVU of 45.13 based
on a crosswalk to CPT code 33468
(Tricuspid valve repositioning and
plication for Ebstein anomaly), which is
a code with an identical intraservice
time and similar total time value.
For CPT code 33863 (Ascending aorta
graft, with cardiopulmonary bypass,
with aortic root replacement using
valved conduit and coronary
reconstruction (e.g., Bentall)), according
to the RUC, the survey respondents
underestimated the intraservice time of
the procedure and the RUC
recommended a work RVU of 59.00
based on the 75th percentile of survey
responses for intraservice time. We
believe the use of the survey 75th
percentile value to be problematic, as
the intraservice time values should
generally reflect the survey median. We
are requesting that this code be
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resurveyed to determine more accurate
physician time values, and we are
proposing to maintain the current RVU
of 58.79 for CY 2020. For CPT code
33864 (Ascending aorta graft, with
cardiopulmonary bypass with valve
suspension, with coronary
reconstruction and valve-sparing aortic
root remodeling (e.g., David Procedure,
Yacoub procedure)), we do not agree
with the RUC-recommended work RVU
of 63.00, because we believe this
increase is not justified given that the
intraservice time is not changing from
its current value, and the physician total
time value is decreasing. Therefore, we
are proposing to maintain the current
work RVU of 60.08 for this service.
For CPT code 338X2 (Transverse
aortic arch graft, with cardiopulmonary
bypass, with profound hypothermia,
total circulatory arrest and isolated
cerebral perfusion with reimplantation
of arch vessel(s) (e.g., island pedicle or
individual arch vessel reimplantation)),
we disagree with the RUC’s
recommended work RVU of 65.75.
While we agree that an increase in work
RVU is justified, as discussed above, we
believe that the use of the 75th
percentile of physician intraservice
work time is problematic, and believe
such a significant increase in work RVU
is not validated. Therefore, we are
proposing a less significant increase to
60.88 using the RUC-recommended
difference in work value between CPT
code 338X1 and the code in question,
CPT code 338X2 (a difference of 15.75).
As further support for this value, we
note that it falls between CPT codes
33782 (Aortic root translocation with
ventricular septal defect and pulmonary
stenosis repair (i.e., Nikaidoh
procedure); without coronary ostium
reimplantation), which has a work RVU
of 60.08, and CPT code 43112 (Total or
near total esophagectomy, with
thoracotomy; with pharyngogastrostomy
or cervical esophagogastrostomy, with
or without pyloroplasty (i.e., McKeown
esophagectomy or tri-incisional
esophagectomy)), which has a work
RVU of 62.00. Both of these bracketing
reference codes have similar
intraservice and total time values. For
CPT code 33X01 (Aortic hemiarch graft
including isolation and control of the
arch vessels, beveled open distal aortic
anastomosis extending under one or
more of the arch vessels, and total
circulatory arrest or isolated cerebral
perfusion (List separately in addition to
code for primary procedure)), we are
proposing the RUC-recommended work
RVU of 17.75.
For the direct PE inputs, we are
proposing to refine the clinical labor to
align with the number of post-operative
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visits. Thus, we are proposing to add 12
minutes of clinical labor time for
‘‘Discharge day management’’ for CPT
codes 338X1, 33863, 33864, and 338X2,
as each of these codes include a 99238
discharge visit within their global
periods that should be reflected in the
clinical labor inputs.
(13) Iliac Branched Endograft Placement
(CPT Codes 34X00 and 34X01)
For CY 2018, the CPT Editorial Panel
created a family of 20 new and revised
codes that redefined coding for
endovascular repair of the aorta and
iliac arteries. The iliac branched
endograft technology has become more
mainstream over time, and two new
CPT codes were created to capture the
work of iliac artery endovascular repair
with an iliac branched endograft. These
two new codes were surveyed and
reviewed for the January 2019 RUC
meeting.
We are proposing the RUCrecommended work RVU of 9.00 for
CPT code 34X00 (Endovascular repair
of iliac artery at the time of aorto-iliac
artery endograft placement by
deployment of an iliac branched
endograft including pre-procedure
sizing and device selection, all
ipsilateral selective iliac artery
catheterization(s), all associated
radiological supervision and
interpretation, and all endograft
extension(s) proximally to the aortic
bifurcation and distally in the internal
iliac, external iliac, and common
femoral artery(ies), and treatment zone
angioplasty/stenting, when performed,
for rupture or other than rupture (e.g.,
for aneurysm, pseudoaneurysm,
dissection, arteriovenous malformation,
penetrating ulcer, traumatic disruption),
unilateral) and the RUC-recommended
work RVU of 24.00 for CPT code 34X01
(Endovascular repair of iliac artery, not
associated with placement of an aortoiliac artery endograft at the same
session, by deployment of an iliac
branched endograft, including preprocedure sizing and device selection,
all ipsilateral selective iliac artery
catheterization(s), all associated
radiological supervision and
interpretation, and all endograft
extension(s) proximally to the aortic
bifurcation and distally in the internal
iliac, external iliac, and common
femoral artery(ies), and treatment zone
angioplasty/stenting, when performed,
for other than rupture (e.g., for
aneurysm, pseudoaneurysm, dissection,
arteriovenous malformation, penetrating
ulcer), unilateral).
We are proposing the RUCrecommended direct PE inputs for all
codes in the family.
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(14) Exploration of Artery (CPT Codes
35701, 35X01, and 35X01)
CPT code 35701 (Exploration not
followed by surgical repair, artery; neck
(e.g., carotid, subclavian)) was
identified via a screen for services with
a ne.g.ative IWPUT and Medicare
utilization over 10,000 for all services or
over 1,000 for Harvard valued and CMS/
Other source codes. In September 2018,
the CPT Editorial Panel revised one
code, added two new codes, and deleted
three existing codes in the family to
report major artery exploration
procedures and to condense the code set
due to low frequency.
We are proposing the RUCrecommended work RVU for all three
codes in the family. We are proposing
a work RVU of 7.50 for CPT code 35701,
a work RVU of 7.12 for CPT code 35X00
(Exploration not followed by surgical
repair, artery; upper extremity (e.g.,
axillary, brachial, radial, ulnar)), and a
work RVU of 7.50 for CPT code 35X01
(Exploration not followed by surgical
repair, artery; lower extremity (e.g.,
common femoral, deep femoral,
superficial femoral, popliteal, tibial,
peroneal)).
For the direct PE inputs, we are
proposing to refine the clinical labor,
supplies, and equipment to match the
number of office visits contained in the
global periods of the codes under
review. We are proposing to refine the
clinical labor time for the ‘‘Postoperative visits (total time)’’ (CA039)
activity from 36 minutes to 27 minutes
for CPT codes 35701 and 35X00, and
from 63 minutes to 27 minutes for CPT
code 35X01. Each of these CPT codes
contains a single postoperative level 2
office visit (CPT code 99212) in its
global period, and 27 minutes of clinical
labor is the time associated with this
office visit. We are proposing to refine
the equipment time for the exam table
(EF023) to the same time of 27 minutes
for each code to match the clinical labor
time. Finally, we are also proposing to
refine the quantity of the minimum
multi-specialty visit pack (SA048) from
2 to 1 for CPT code 35X01 to match the
single postoperative visit in the code’s
global period. We believe that the
additional direct PE inputs in the
recommended materials were an
accidental oversight due to revisions
that took place at the RUC meeting
following the approval of the PE inputs
for these codes.
(15) Intravascular Ultrasound (CPT
Codes 37252 and 37253)
In CY 2014, the CPT Editorial Panel
deleted CPT codes 37250 (Ultrasound
evaluation of blood vessel during
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diagnosis or treatment )and 37251
(Ultrasound evaluation of blood vessel
during diagnosis or treatment) and
created new bundled codes 37252
(Intravascular ultrasound (noncoronary
vessel) during diagnostic evaluation
and/or therapeutic intervention,
including radiological supervision and
interpretation; initial noncoronary
vessel) and 37253 (Intravascular
ultrasound (noncoronary vessel) during
diagnostic evaluation and/or
therapeutic intervention, including
radiological supervision and
interpretation; each additional
noncoronary vessel) to describe
intravascular ultrasound (IVUS). CPT
codes 37252 and 37253 were reviewed
at the January 2015 RUC meeting. The
RUC’s recommendation for these codes
were to result in an overall work savings
that should have been redistributed
back to the Medicare conversion factor.
The codes have had a 44 percent
increase in work RVUs over the old
codes, CPT codes 37250 and 37251,
from 2015 to 2016 and the utilization
has doubled from that of the previous
coding structure, not considering the
radiological activities. In April 2018, the
RUC reviewed this code family and
determined the utilization of the
bundling of these services was
underestimated. Consequently, the RUC
recommended that these services be
surveyed for October 2018. The RUC
indicated that the specialty societies
should research why there was such an
increase in the utilization. Accordingly,
the specialty society surveyed these
ZZZ-day global codes, and the survey
results indicated the intraservice and
total work times, along with the work
RVU should remain the same despite
the underestimation in utilization.
We disagreed with the RUCrecommended work RVU of 1.80 for
CPT code 37252 and are proposing a
work RVU of 1.55 based on a crosswalk
to CPT code 19084. CPT code 19084 is
a recently reviewed code with 20
minutes of intraservice time and 25
minutes of total time. In reviewing CPT
code 37252, we note, as mentioned
above, that in CY 2015 the specialty
society stated that bundling this service
would achieve savings. However, since
2015 observed utilization for CPT code
37252 has greatly exceeded proposed
estimates, thus we are proposing to
restore work neutrality to the
intravascular ultrasound code family to
achieve the initial estimated savings.
For CPT code 37253, we disagreed
with the RUC-recommended work RVU
of 1.44 and we are proposing a work
RVU of 1.19. Although we disagreed
with the RUC-recommended work RVU,
we note the relative difference in work
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between CPT codes 37252 and 37253 is
an interval of 0.36 RVUs. Therefore, we
are proposing a work RVU of 1.19 for
CPT code 37253, based on the
recommended interval of 0.36 fewer
RVUs than our proposed work RVU of
1.55 for CPT code 37252.
We are proposing the RUCrecommended direct PE inputs for all
codes in the family.
(16) Stab Phlebectomy of Varicose Veins
(CPT Codes 37765 and 37766)
These services were identified in
February 2008 via the High Volume
Growth screen, for services with a total
Medicare utilization of 1,000 or more
that have increased by at least 100
percent from 2004 through 2006. The
RUC subsequently recommended
monitoring and reviewing changes in
utilization over multiple years. In
October 2017, the RUC recommended
that this service be surveyed for April
2018. We are proposing the RUCrecommended work RVUs of 4.80 for
CPT code 37765 (Stab phlebectomy of
varicose veins, 1 extremity; 10–20 stab
incisions) and 6.00 for CPT code 37766
(Stab phlebectomy of varicose veins, 1
extremity; more than 20 incisions). We
are proposing the RUC-recommended
direct PE inputs for all codes in the
family.
(17) Biopsy of Mouth Lesion (CPT Code
40808)
CPT code 40808 (Biopsy, vestibule of
mouth) was identified via a screen for
services with a negative IWPUT and
Medicare utilization over 10,000 for all
services or over 1,000 for Harvard
valued and CMS/Other source codes.
We disagree with the RUC’s
recommended work RVU of 1.05 with a
crosswalk to CPT code 11440 (Excision,
other benign lesion including margins,
except skin tag (unless listed elsewhere),
face, ears, eyelids, nose, lips, mucous
membrane; excised diameter 0.5 cm or
less), as we believe this increase in work
RVU is not commensurate with the
RUC-recommended 5-minute reduction
in intraservice time and a 10-minute
reduction in total time. While we
understand that the RUC considers the
current time values for this service to be
invalid estimations, we do not see
compelling evidence that would
indicate that an increase in work RVU
that would be concurrent with a
reduction in physician time is
appropriate. Therefore, we are
proposing to maintain the current work
RVU of 1.01, and note that
implementing the current work RVU
with the RUC-recommended revised
physician time values would correct the
negative IWPUT anomaly.
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For the direct PE inputs, we are
proposing to refine the clinical labor
time for the ‘‘Prepare room, equipment
and supplies’’ (CA013) activity to 3
minutes and to refine the clinical labor
time for the ‘‘Confirm order, protocol
exam’’ (CA014) activity to 0 minutes. As
we detailed when discussing this issue
in the CY 2019 PFS final rule (83 FR
59463 through 59464), CPT code 40808
does not include the old clinical labor
task ‘‘Patient clinical information and
questionnaire reviewed by technologist,
order from physician confirmed and
exam protocoled by radiologist’’ on a
prior version of the PE worksheet, nor
does the code contain any clinical labor
for the CA007 activity (‘‘Review patient
clinical extant information and
questionnaire’’). CPT code 40808 does
not appear to be an instance where an
old clinical labor task was split into two
new clinical labor activities, and we
continue to believe that in these cases
the 3 total minutes of clinical staff time
would be more accurately described by
the CA013 ‘‘Prepare room, equipment
and supplies’’ activity code. We also
note that there is no effect on the total
clinical labor direct costs in these
situations, since the same 3 minutes of
clinical labor time is still being
furnished.
We are also proposing to refine the
equipment time for the electrocauteryhyfrecator (EQ110) to conform to our
established standard for non-highly
technical equipment.
(18) Transanal Hemorrhoidal
Dearterialization (CPT Codes 46945,
46946, and 46X48)
We are proposing the RUCrecommended work RVU for all three
codes in the family. We are proposing
a work RVU of 3.69 for CPT code 46945
(Hemorrhoidectomy, internal, by
ligation other than rubber band; single
hemorrhoid column/group, without
imaging guidance), a work RVU of 4.50
for CPT code 46946 (2 or more
hemorrhoid columns/groups, without
imaging guidance), and a work RVU of
5.57 for CPT code 46X48
(Hemorrhoidectomy, internal, by
transanal hemorrhoidal
dearterialization, 2 or more hemorrhoid
columns/groups, including ultrasound
guidance, with mucopexy when
performed).
We are proposing the RUCrecommended direct PE inputs for all
codes in the family.
(19) Preperitoneal Pelvic Packing (CPT
Codes 490X1 and 490X2)
In May 2018, the CPT Editorial Panel
approved the addition of two codes for
preperitoneal pelvic packing, removal
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and/or repacking for hemorrhage
associated with pelvic trauma. These
new codes were surveyed and reviewed
for the October 2018 RUC meeting.
We disagree with the RUCrecommended work RVU of 8.35 for
CPT code 490X1 (Preperitoneal pelvic
packing for hemorrhage associated with
pelvic trauma, including local
exploration) and are proposing a work
RVU of 7.55 based on a crosswalk to
CPT code 52345 (Cystourethroscopy
with ureteroscopy; with treatment of
ureteropelvic junction stricture (e.g.,
balloon dilation, laser, electrocautery,
and incision)). We are also proposing to
reduce the immediate postservice work
time from 60 minutes to 45 minutes,
which results in a total work time of 140
minutes for this procedure. We believe
that the survey respondents overstated
the immediate postservice work time
that would typically be required to
perform CPT code 490X1, which we
investigated by comparing this new
service against the existing 0-day global
codes on the PFS. We found that among
the roughly 1,100 codes with 0-day
global periods, only 21 codes had an
immediate postservice work time of 60
minutes or longer. The 21 codes that fell
into this category had significantly
higher intraservice work times than CPT
code 490X1, with an average
intraservice work time of 111 minutes as
compared to the 45 minutes of
intraservice work time in CPT code
490X1. Generally speaking, it is
extremely rare for a service to have more
immediate postservice work time than
intraservice work time, and in fact only
28 out of the roughly 1,100 codes with
0-day global periods had more
immediate postservice work time than
intraservice work time. While we agree
that each service on the PFS is its own
unique entity, these comparisons to
other 0-day global codes suggest that the
survey respondents overestimated the
amount of immediate postservice work
time that would typically be associated
with CPT code 490X1.
As a result, we believe that it would
be more accurate to reduce the
immediate postservice work time to 45
minutes and to propose a work RVU of
7.55 based on a crosswalk to CPT code
52345. This crosswalk code shares an
intraservice work time of 45 minutes
and a similar total time of 135 minutes
after taking into account the reduced
immediate postservice work time that
we are proposing for CPT code 490X1.
We searched the RUC database for 0-day
global procedures with 45 minutes of
intraservice work time, and at the
recommended work RVU of 8.35, CPT
code 490X1 would establish a new
maximum value, higher than all of the
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79 other codes that fall into this
category. We recognize that CPT code
490X1 describes a preperitoneal pelvic
packing service associated with pelvic
trauma, and that this is a difficult and
intensive procedure that rightly has a
higher work RVU than many of these
other 0-day global codes. However, we
believe that it better maintains relativity
to propose a crosswalk to CPT code
52345 at a work RVU of 7.55, which
would still assign this code the secondhighest work RVU among all 0 day
global codes with 45 minutes of
intraservice work time, as opposed to
proposing the survey median work RVU
of 8.35 at a rate higher than anything in
the current RUC database.
We disagree with the RUCrecommended work RVU of 6.73 for
CPT code 490X2 (Re-exploration of
pelvic wound with removal of
preperitoneal pelvic packing including
repacking, when performed) and are
proposing a work RVU of 5.70 based on
the 25th percentile survey value. We
believe that the survey 25th percentile
work RVU more accurately describes the
work of re-exploring this type of pelvic
wound, and by proposing the survey
25th percentile we are maintaining the
general increment in RVUs between the
two codes in the family (a difference of
1.62 RVUs as recommended by the RUC
as compared to 1.85 RVUs as proposed
here). We are supporting this valuation
with a reference to CPT code 39401
(Mediastinoscopy; includes biopsy(ies)
of mediastinal mass (e.g., lymphoma),
when performed), a recently reviewed
code from CY 2015 which shares the
same intraservice time of 45 minutes, a
slightly higher total time of 142 minutes
and a lower work RVU of 5.44.
We are proposing the RUCrecommended direct PE inputs for all
codes in the family.
(20) Cystourethroscopy Insertion
Transprostatic Implant (CPT Codes
52441 and 52442)
In 2005, the AMA RUC began the
process of flagging services that
represent new technology or new
services as they were presented to the
AMA/Specialty Society RVS Update
Committee. This service was reviewed
at the October 2018 RAW meeting, and
the RAW indicated that the utilization
is increasing and questioned the time
required to perform these services.
These two codes were surveyed and
reviewed for the January 2019 RUC
meeting.
We disagree with the RUCrecommended work RVU of 4.50
(current value) for CPT code 52441
(Cystourethroscopy, with insertion of
permanent adjustable transprostatic
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implant; single implant) and are
proposing a work RVU of 4.00. This
proposed work RVU is based on a
crosswalk from recently reviewed CPT
code 58562 (Hysterscopy, surgical; with
removal of impacted foreign body),
which has a work RVU of 4.00, and an
identical 25 minutes of intraservice time
as CPT code 52441.
We disagree with the RUCrecommended work RVU of 1.20
(current value) for CPT code 52442
(Cystourethroscopy, with insertion of
permanent adjustable transprostatic
implant; each additional permanent
adjustable transprostatic implant (List
separately in addition to code for
primary procedure)) and are proposing
a work RVU of 1.01. This proposed
work RVU is based on a crosswalk from
CPT code 36218 (Selective catheter
placement, arterial system; additional
second order, third order, and beyond,
thoracic or brachiocephalic branch,
within a vascular family (List in
addition to code for initial second or
third order vessel as appropriate)),
which has a work RVU of 1.01, and an
identical 15 minutes of intraservice time
as CPT code 52442. The RUC survey
showed a reduction in time, and the
work should reflect these changes.
We are proposing the RUCrecommended direct PE inputs for all
codes in the family without refinement.
(21) Orchiopexy (CPT Code 54640)
The CPT Editorial Panel revised
existing CPT code 54640 to describe an
additional approach for orchiopexy
(scrotal) and to clearly indicate that
hernia repair is separately reportable.
This code was surveyed and reviewed
for the January 2019 RUC meeting.
We are proposing to maintain the
current work RVU of 7.73 as
recommended by the RUC. We are
proposing the RUC-recommended direct
PE inputs for CPT code 54640 without
refinement.
(22) Radiofrequency Neurootomy
Sacroiliac Joint (CPT Codes 6XX00,
6XX01)
In September 2018, the CPT Editorial
Panel created two new codes to describe
injection and radiofrequency ablation of
the sacroiliac joint with image guidance
for somatic nerve procedures. We are
proposing the RUC-recommended work
RVU of 1.52 for CPT code 6XX00
(Injection(s), anesthetic agent(s) and/or
steroid; nerves innervating the sacroiliac
joint, with image guidance (i.e.,
fluoroscopy or computed tomography))
and the RUC-recommended work RVU
of 3.39 for CPT code 6XX01
(Radiofrequency ablation, nerves
innervating the sacroiliac joint, with
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image guidance (i.e., fluoroscopy or
computed tomography)).
For the direct PE inputs, we are
proposing to refine the quantity of the
‘‘needle, 18–26g 1.5–3.5in, spinal’’
(SC028) supply from 3 to 1 for CPT code
6XX00. There are no spinal needles in
use in the reference code associated
with CPT code 6XX00, and there was no
explanation in the recommended
materials explaining why three such
needles would be typical for this
procedure. We agree that the service
being performed in CPT code 6XX00
would require a spinal needle, but we
do not believe that the use of three such
needles would be typical.
We are proposing to refine the
quantity of the ‘‘cannula
(radiofrequency denervation) (SMK–
C10)’’ (SD011) supply from 4 to 2 for
CPT code 6XX01. We do not believe that
the use of 4 of these cannula would be
typical for the procedure, as the
reference code currently used for
destruction by neurolytic agent contains
only a single cannula. We believe that
the nerves would typically be ablated
one at a time using this cannula, as
opposed to ablating four of them
simultaneously as suggested in the
recommended direct PE inputs. We also
searched in the RUC database for other
CPT codes that made use of the SD011
supply, and out of the seven codes that
currently use this item, none of them
include more than 2 cannula. As a
result, we are proposing to refine the
supply quantity to 2 cannula to match
the highest amount contained in an
existing code on the PFS. We are also
refining the equipment time for the
‘‘radiofrequency kit for destruction by
neurolytic agent’’ (EQ354) equipment
from 164 minutes to 82 minutes. The
RUC’s equipment time recommendation
was predicated on the use of 4 of the
SD011 supplies for 41 minutes apiece,
and we are refining the equipment time
to reflect our supply refinement to 2
cannula. It was unclear in the
recommended materials as to whether
the radiofrequency kit equipment was in
use simultaneously or sequentially
along with the cannula supplies, and
therefore, we are soliciting comments on
the typical use of this equipment.
Finally, we are proposing to refine the
equipment time for the technologist
PACS workstation (ED050) equipment
to match our standard equipment time
formulas, which results in an increase of
5 minutes of equipment time for both
codes.
(23) Lumbar Puncture (CPT Codes
62270, 622X0, 62272, and 622X1)
In October 2017, these services were
identified as being performed by a
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different specialty than the specialty
that originally surveyed this service. In
January 2018, the RUC recommended
that these services be referred to CPT to
bundle image guidance. At the
September 2018 CPT Editorial Panel
meeting, the Panel created two new
codes to bundle diagnostic and
therapeutic lumbar puncture with
fluoroscopic or CT image guidance and
revised the existing diagnostic and
therapeutic lumbar puncture codes so
they would only be reported without
fluoroscopic or CT guidance.
For CPT code 62270 (Spinal puncture,
lumbar, diagnostic), we disagree with
the RUC-recommended work RVU of
1.44 and we are proposing a work RVU
of 1.22 based on a crosswalk to CPT
code 40490 (Biopsy of lip). CPT code
40490 has the same intraservice time of
15 minutes and 2 additional minutes of
total time. In reviewing CPT code
62270, we noted that the recommended
intraservice time is decreasing from 20
minutes to 15 minutes (25 percent
reduction), and the recommended total
time is decreasing from 40 minutes to 32
minutes (20 percent reduction);
however, the RUC-recommended work
RVU is increasing from 1.37 to 1.44,
which is an increase of just over 5
percent. Although we do not imply that
the decrease in time as reflected in
survey values must equate to a one-toone or linear decrease in the valuation
of work RVUs, we believe that since the
two components of work are time and
intensity, significant decreases in time
should be appropriately reflected in
decreases to work RVUs. In the case of
CPT code 62270, we believed that it was
more accurate to propose a work RVU
of 1.22 based on a crosswalk to CPT
code 40490 to account for these
decreases in the surveyed work time.
For CPT code 622X0 (Spinal
puncture, lumbar, diagnostic; with
fluoroscopic or CT guidance), we
disagree with the RUC-recommended
work RVU of 1.95 and we are proposing
a work RVU of 1.73. Although we
disagree with the RUC-recommended
work RVU, we note that the relative
difference in work between CPT codes
62270 and 622X0 is equivalent to an
interval of 0.51 RVUs. Therefore, we are
proposing a work RVU of 1.73 for CPT
code 622X0, based on the recommended
interval of 0.51 additional RVUs above
our proposed work RVU of 1.22 for CPT
code 62270.
For CPT code 62272 (Spinal puncture,
therapeutic, for drainage of
cerebrospinal fluid (by needle or
catheter), we disagree with the RUCrecommended work RVU of 1.80 and we
are proposing a work RVU of 1.58.
Although we disagree with the RUC-
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recommended work RVU, we note that
the relative difference in work between
CPT codes 62270 and 622X0 is
equivalent to the RUC-recommended
interval of 0.36 RVUs. Therefore, we are
proposing a work RVU of 1.58 for CPT
code 62272, based on the recommended
interval of 0.36 additional RVUs above
our proposed work RVU of 1.22 for CPT
code 62270.
For CPT code 622X1 (Spinal
puncture, therapeutic, for drainage of
cerebrospinal fluid (by needle or
catheter); with fluoroscopic or CT
guidance), we disagree with the RUCrecommended work RVU of 2.25 and we
are proposing a work RVU of 2.03.
Although we disagree with the RUCrecommended work RVU, we note that
the relative difference in work between
CPT codes 62270 and 622X1 is
equivalent to the recommended interval
of 0.81 RVUs. Therefore, we are
proposing a work RVU of 2.03 for CPT
code 622X1, based on the recommended
interval of 0.81 additional RVUs above
our proposed work RVU of 1.22 for CPT
code 62270.
(24) Electronic Analysis of Implanted
Pump (CPT Codes 62367, 62368, 62369,
and 62370)
CPT code 62368 (Electronic analysis
of programmable, implanted pump for
intrathecal or epidural drug infusion
(includes evaluation of reservoir status,
alarm status, drug prescription status);
with reprogramming) was identified by
the RUC on a list of services which were
originally surveyed by one specialty but
are now typically performed by a
different specialty. It was reviewed
along with three other codes in the
family for PE only at the April 2018
RUC meeting. The RUC did not
recommend work RVUs for these codes
and we are not proposing to change the
current work RVUs.
For the direct PE inputs, we are
proposing to remove the minimum
multi-specialty visit pack (SA048) from
CPT code 62370 as a duplicative supply
due to the fact that this code is typically
billed with an E/M or other evaluation
service.
(25) Somatic Nerve Injection (CPT
Codes 64400, 64408, 64415, 64416,
64417, 64420, 64421, 64425, 64430,
64435, 64445, 64446, 64447, 64448,
64449, and 64450)
In May 2018, the CPT Editorial Panel
approved the revision of descriptors and
guidelines for the codes in this family
and the deletion of three CPT codes to
clarify reporting (i.e., separate reporting
of imaging guidance, number of units
and a change from a 0-day global to
ZZZ for one of the CPT codes in this
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family). This family of services describe
the injection of an anesthetic agent(s)
and/or steroid into a nerve plexus,
nerve, or branch; reported once per
nerve plexus, nerve, or branch as
described in the descriptor regardless of
the number of injections performed
along the nerve plexus, nerve, or branch
described by the code.
CPT codes 64400 (Injection(s),
anesthetic agent(s); trigeminal nerve,
each branch (ie ophthalmic, maxillary,
mandibular)), 64408 (Injection(s),
anesthetic agent(s), and/or steroid;
vagus nerve), 64415 (Injection(s),
anesthetic agent(s) and/or steroid;
brachial plexus), 64416 (Injection(s),
anesthetic agent(s) and/or steroid;
brachial plexus, continuous infusion by
catheter (including catheter
placement)), 64417 (Injection(s),
anesthetic agent(s) and/or steroid;
axillary nerve), 64420 (Injection(s),
anesthetic agent(s) and/or steroid;
intercostal nerve, single level), 64421
(Injection(s), anesthetic agent(s) and/or
steroid; intercostal nerves, each
additional level (List separately in
addition to code for primary
procedure)), 64425 (Injection(s),
anesthetic agent(s) and/or steroid;
ilioinguinal, iliohypogastric nerves),
64430 (Injection(s), anesthetic agent(s)
and/or steroid; pudendal nerve), 64435
(Injection(s), anesthetic agent(s) and/or
steroid; paracervical (uterine) nerve),
64445 (Injection(s), anesthetic agent(s)
and/or steroid; sciatic nerve), 64446
(Injection(s), anesthetic agent(s) and/or
steroid; sciatic nerve, continuous
infusion by catheter (including catheter
placement)), 64447 (Injection(s),
anesthetic agent(s); femoral nerve),
64448 (Injection(s), anesthetic agent(s)
and/or steroid; femoral nerve,
continuous infusion by catheter
(including catheter placement)), 64449
(Injection(s), anesthetic agent(s) and/or
steroid; lumbar plexus, posterior
approach, continuous infusion by
catheter (including catheter
placement)), and 64450 (Injection(s),
anesthetic agent(s); other peripheral
nerve or branch) were reviewed for
work and PE at the October 2018 RUC
meeting. The PE for CPT code 64450
was re-reviewed during the RUC
January 2019 meeting.
During the October 2018 RUC
presentation for this family of services,
the specialty societies stated that CPT
codes 64415, 64416, 64417, 64446,
66447, and 64448 were reported with
CPT code 76942 (Ultrasonic guidance
for needle placement (e.g., biopsy,
aspiration, injection, localization
device), imaging supervision and
interpretation) more than 50 percent of
the time. Specifically, 76 percent with
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CPT code 64415, 85 percent with CPT
code 64416, 68 percent with CPT code
64417, 77 percent with CPT code 64446,
77 percent with CPT code 66447, and 79
percent with CPT code 64448. It was
also noted in the RUC recommendations
that this overlap was accounted for in
the RUC recommendations submitted
for these services. Furthermore, the RUC
recommendations sated that the RUC
referred CPT codes 64415, 64416,
64417, 64446, 64447 and 64448 to be
bundled with ultrasound guidance, CPT
code 76942 to the CPT Editorial Panel
for CPT 2021.
In reviewing this family of services,
our proposed work and PE values for
CPT codes 64415, 64416, 64417, 64446,
64447 and 64448 do not consider the
overlap of imaging as noted in the RUC
recommendations. We note that the
RUC recommendations did not include
values to support the valuation for the
bundling of imaging in their work or PE
recommendations and that the CPT code
descriptors do not state that imaging is
included.
For CY 2020, we are proposing the
RUC-recommended work RVUs for CPT
codes 64417 (work RVU of 1.27), 64435
(work RVU of 0.75), 64447 (work RVU
of 1.10), and 64450 (work RVU of 0.75),
the RUC reaffirmed work RVU of 0.94
for CPT code 64405 (Injection,
anesthetic agent; greater occipital
nerve), which is the current work RVU
finalized in the CY 2019 final rule (83
FR 59542), and the RUC reaffirmed
work RVU of 1.10 for CPT code 64418
(Injection, anesthetic agent;
suprascapular nerve), which is the
current work RVU value finalized in the
CY 2018 final rule (82 FR 53054).
Although we are proposing the RUC
reaffirmed work RVUs for these two
codes, as submitted in the RUC
recommendations, we note that
comparable codes in this family of
services have lower work RVUs. Thus,
these two codes may have become
misvalued since their last valuation, as
they were not resurveyed under this
code family during the October 2018
RUC meeting.
In continuing our review of this code
family, we disagree with the RUCrecommended work RVU of 1.00 for
CPT code 64400 and are proposing a
work RVU of 0.75, to maintain rank
order in this code family. Our proposed
work RVU is based on a crosswalk to
another code in this family, CPT code
64450, which has an identical work
RVU of 0.75 and near identical
intraservice and total time values to CPT
code 64400.
We note that the RUC-recommended
intraservice time decreased from 37 to 6
minutes (84 percent reduction) and the
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RUC-recommended total time decreased
from 69 to 20 minutes (71 percent
reduction) for CPT code 64400.
However, the RUC-recommended work
RVU only decreased by 0.11, a 10
percent reduction. We do not believe
the RUC-recommended work RVU
appropriately accounts for the
substantial reductions in the surveyed
work times for the procedure. Although
we do not imply that the decrease in
time as reflected in survey values must
always equate to a one-to-one or linear
decrease in the valuation of work RVUs,
we believe that since the two
components of work and time are
intensity, absent an obvious or
explicitly stated rationale for why the
relative intensity of a given procedure
has increased, significant decreases in
time should be reflected in decreases to
work RVUs. In the case of CPT code
64400, we believe that it would be more
accurate to propose a work RVU of .075
based on a crosswalk to CPT code
64450, which has an identical work
RVU of 0.75 and near identical
intraservice and total times to CPT code
64400. We further note that our
proposed work RVU maintains rank
order in this code family among
comparable codes.
For CPT code 64408, we disagree with
the RUC-recommended work RVU of
0.90 and are proposing a work RVU of
0.75, to maintain rank order in this code
family. Our proposed work RVU is
based on a crosswalk to another code in
this family, CPT code 64450, which has
an identical work RVU of 0.75, and near
identical intraservice and total time
values to CPT code 64408.
We note that the RUC-recommended
intraservice time decreased from 16 to 5
minutes (69 percent reduction) and
RUC-recommended total time decreased
from 36 to 20 minutes (44 percent
reduction) for CPT code 64408.
Although the RUC-recommended work
RVU decreased by 0.51, a 36 percent
reduction, we do not believe the RUCrecommended work RVU appropriately
accounts for the substantial reductions
in the surveyed work times for the
procedure. Although we do not imply
that the decrease in time as reflected in
survey values must always equate to a
one-to-one or linear decrease in the
valuation of work RVUs, we believe that
since the two components of work and
time are intensity, absent an obvious or
explicitly stated rationale for why the
relative intensity of a given procedure
has increased, significant decreases in
time should be reflected in decreases to
work RVUs. In the case of CPT code
64408, we believe that it would be more
accurate to propose a work RVU of .075,
based on a crosswalk CPT code 64450,
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to account for these decrease in the
surveyed work times. We further note
that our proposed work RVU maintains
rank order in this code family among
comparable codes.
For CPT code 64415, we disagree with
the RUC-recommended work RVU of
1.42 and are proposing a work RVU of
1.35, based on our time ratio
methodology and further supported by a
reference to CPT code 49450
(Replacement of gastrostomy or
cecostomy (or other colonic) tube,
percutaneous, under fluoroscopic
guidance including contrast
injections(s), image documentation and
report), which has a work RVU of 1.36
and similar intraservice and total time
values to CPT code 64415.
We note that the RUC-recommended
intraservice time decreased from 15 to
12 minutes (20 percent reduction) and
RUC-recommended total time decreased
from 44 to 40 minutes (9 percent
reduction). However, the RUCrecommended work RVU only
decreased by 0.06, which is a 4 percent
reduction. We do not believe the RUCrecommended work RVU appropriately
accounts for the substantial reductions
in the surveyed work times for the
procedure. Although we do not imply
that the decrease in time as reflected in
survey values must always equate to a
one-to-one or linear decrease in the
valuation of work RVUs, we believe that
since the two components of work and
time are intensity, absent an obvious or
explicitly stated rationale for why the
relative intensity of a given procedure
has increased, significant decreases in
time should be reflected in decreases to
work RVUs. In the case of CPT code
64415, we believe that it would be more
accurate to propose a work RVU of 1.35,
based on our time ratio methodology
and a reference to CPT code 49450, to
account for these decrease in the
surveyed work times.
For CPT code 64416, we disagree with
the RUC-recommended work RVU of
1.81 and are proposing a work RVU of
1.48, based on our time ratio
methodology and further supported by a
bracket of CPT code 62270 (Spinal
puncture, lumbar, diagnostic), which
has a work RVU of 1.37, identical
intraservice, and similar total time to
CPT code 64416 and CPT code 91035
(Esophagus, gastroesophageal reflux
test; with mucosal attached telemetry
pH electrode placement, recording,
analysis and interpretation), which has
a work RVU of 1.59, identical
intraservice, and near identical total
time values to CPT code 64416.
We note that while the RUCrecommended intraservice time
remained unchanged, the RUC-
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recommended total time decreased from
60 to 49 minutes (18 percent reduction).
However, the RUC recommended
maintaining the current work RVU of
1.81. We do not believe the RUCrecommended work RVU appropriately
accounts for the substantial reductions
in the surveyed total time for the
procedure. Although we do not imply
that the decrease in time as reflected in
survey values must always equate to a
one-to-one or linear decrease in the
valuation of work RVUs, we believe that
since the two components of work and
time are intensity, absent an obvious or
explicitly stated rationale for why the
relative intensity of a given procedure
has increased, significant decreases in
time should be reflected in decreases to
work RVUs. In the case of CPT code
64416, we believe that it would be more
accurate to propose a work RVU of 1.48,
based on our time ratios methodology
and a bracket of CPT code 62270 and
CPT code 91035, to account for these
decreases in the surveyed work times.
For CPT code 64420, we disagree with
the RUC-recommended work RVU of
1.18 and are proposing a work RVU of
1.08, based on our time ratio
methodology and further supported by a
reference to CPT code 12011 (Simple
repair of superficial wounds of face,
ears, eyelids, nose, lips and/or mucous
membranes; 2.5 cm or less), which has
a work RVU of 1.07 and similar
intraservice and total time values to CPT
code 64420.
We note that the RUC-recommended
intraservice time decreased from 17 to
10 minutes (41 percent reduction) and
the RUC-recommended total time
decreased from 37 to 34 minutes (8
percent reduction). However, the RUC
recommended to maintaining the
current work RVU of 1.18. We do not
believe the RUC-recommended work
RVU appropriately accounts for the
substantial reductions in the surveyed
work times for the procedure. Although
we do not imply that the decrease in
time as reflected in survey values must
always equate to a one-to-one or linear
decrease in the valuation of work RVUs,
we believe that since the two
components of work and time are
intensity, absent an obvious or
explicitly stated rationale for why the
relative intensity of a given procedure
has increased, significant decreases in
time should be reflected in decreases to
work RVUs. In the case of CPT code
64420, we believe that it would be more
accurate to propose a work RVU of 1.08
based on our times ratio methodology
and a crosswalk to CPT code 12011, to
account for these decreases in the
surveyed work times.
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For CPT code 64421, we disagree with
the RUC-recommended work RVU of
0.60 and are proposing a work RVU of
0.50, based on our time ratio
methodology and to maintain rank order
among comparable codes in the family.
Our proposed work RVU is further
supported by a crosswalk to CPT code
15276 (Application of skin substitute
graft to face, scalp, eyelids, mouth,
neck, ears, orbits, genitalia, hands, feet,
and/or multiple digits, total wound
surface area up to 100 sq cm; each
additional 25 sq cm wound surface
area, or part thereof (List separately in
addition to code for primary
procedure)), which has a work RVU of
0.50 and identical intraservice and total
times to CPT code 64421.
We note that our time ratio
methodology suggests the code is better
valued at 0.50. Furthermore, the RUCrecommended work RVU of 0.60 creates
a rank order anomaly in the code family.
In the case of CPT code 64421, we
believe that it would be more accurate
to propose a work RVU of 0.50, based
on our time ratio methodology and a
crosswalk to CPT code 15276, to
maintain rank order among comparable
codes in the family.
For CPT code 64425, we disagree with
the RUC-recommended work RVU of
1.19 and are proposing a work RVU of
1.00, to maintain rank order among
comparable codes in the family, based
on a bracket of CPT code 12001 (Simple
repair of superficial wounds of scalp,
neck, axillae, external genitalia, trunk
and/or extremities (including hands and
feet); 2.5 cm or less) which has a work
RVU of 0.84 and near identical
intraservice and total time values to CPT
code 64425 and CPT code 30901
(Control nasal hemorrhage, anterior,
simple (limited cautery and/or packing)
any method), which has a work RVU of
1.10 and near identical intraservice and
total times to CPT code 64425.
We note that the RUC-recommended
work RVU of 1.19 creates a rank order
anomaly in the code family. In the case
of CPT code 64425, we believe that it
would be more accurate to propose a
work RVU of 1.00, based on a bracket
of CPT codes 12001 and 30901 to
maintain rank order among comparable
codes in the family.
For CPT code 64430, we disagree with
the RUC-recommended work RVU of
1.15 and are proposing a work RVU of
1.00, to maintain rank order among
comparable codes in the family, based
on a bracket of CPT code 45330
(Sigmoidoscopy, flexible; diagnostic,
including collection of specimen(s) by
brushing or washing, when performed
(separate procedure)), which has a work
RVU of 0.84 and near identical
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intraservice and total time values to CPT
code 64430 and CPT code 31576
(Laryngoscopy, flexible; with
biopsy(ies)), which has a work RVU of
1.89 and near identical intraservice and
total time values to CPT code 64430.
We note that the RUC-recommended
intraservice time decreased from 17 to
10 minutes (41 percent reduction) and
the RUC-recommended total time
increased from 39 to 43 minutes (10
percent increase). While the RUCrecommended work RVU is decreasing
by 0.31, a 21 percent reduction, we do
not believe the RUC-recommended work
RVU appropriately accounts for the
substantial reductions in the surveyed
intraservice work time for the
procedure. Although we do not imply
that the decrease in time as reflected in
survey values must always equate to a
one-to-one or linear decrease in the
valuation of work RVUs, we believe that
since the two components of work and
time are intensity, absent an obvious or
explicitly stated rationale for why the
relative intensity of a given procedure
has increased, significant decreases in
time should be reflected in decreases to
work RVUs. In the case of CPT code
64430, we believe that it would be more
accurate to propose a work RVU of 1.00,
based on a bracket of CPT codes 45300
and 31576 to account for these
decreases in surveyed work times and to
maintain rank order among comparable
codes in this family.
For CPT code 64445, we disagree with
the RUC-recommended work RVU of
1.18 and are proposing a work RVU of
1.00, based on our time ratio
methodology and to maintain rank order
among comparable codes in the family.
Our proposed work RVU is based on a
bracket of CPT code 12001 (Simple
repair of superficial wounds of scalp,
neck, axillae, external genitalia, trunk
and/or extremities (including hands and
feet); 2.5 cm or less), which has a work
RVU of 0.84 and near identical
intraservice and total times to CPT code
64445 and CPT code 30901 (Control
nasal hemorrhage, anterior, simple
(limited cautery and/or packing) any
method), which has a work RVU of 1.10
and near identical intraservice and total
time values to CPT code 64445.
We note that the RUC-recommended
intraservice time decreased from 15 to
10 minutes (33 percent reduction) and
the RUC-recommended total time
decreased from 48 to 24 minutes (50
percent reduction). While the RUCrecommended work RVU is decreasing
by 0.30, a 21 percent reduction, we do
not believe the RUC-recommended work
RVU appropriately accounts for the
substantial reductions in the surveyed
intraservice work time for the
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procedure. Although we do not imply
that the decrease in time as reflected in
survey values must always equate to a
one-to-one or linear decrease in the
valuation of work RVUs, we believe that
since the two components of work and
time are intensity, absent an obvious or
explicitly stated rationale for why the
relative intensity of a given procedure
has increased, significant decreases in
time should be reflected in decreases to
work RVUs. In the case of CPT code
64445, we believe that it would be more
accurate to propose a work RVU of 1.00,
based on a bracket of CPT codes 12001
and 30901 to account for these
decreases in surveyed work times and to
maintain rank order among comparable
codes in the family.
For CPT code 64446, we disagree with
the RUC-recommended work RVU of
1.54 and are proposing a work RVU of
1.36 based on our time ratios
methodology and further supported by a
reference to CPT code 51710 (Change of
cystostomy tube; complicated), which
has a near identical work RVU of 1.35
and near identical intraservice and total
time values to CPT code 64446.
We note that RUC-recommended
intraservice time decreased from 20 to
15 minutes (25 percent reduction) and
the RUC-recommended total time
decreased from 64 to 40 minutes (38
percent reduction). While the RUCrecommended work RVU is decreasing
by 0.27, a 15 percent reduction, we do
not believe the RUC-recommended work
RVU appropriately accounts for the
substantial reductions in the surveyed
intraservice work time for the
procedure. Although we do not imply
that the decrease in time as reflected in
survey values must always equate to a
one-to-one or linear decrease in the
valuation of work RVUs, we believe that
since the two components of work and
time are intensity, absent an obvious or
explicitly stated rationale for why the
relative intensity of a given procedure
has increased, significant decreases in
time should be reflected in decreases to
work RVUs. In the case of CPT code
64446, we believe that it would be more
accurate to propose a work RVU of 1.36,
based on our time ratios methodology
and a reference to CPT code 51710 to
account for these decreases in surveyed
times and to maintain rank order among
comparable codes in the family.
For CPT code 64448, we disagree with
the RUC-recommended work RVU of
1.55 and are proposing a work RVU of
1.41, based our time ratio methodology
and a reference to CPT code 27096
(Injection procedure for sacroiliac joint,
anesthetic/steroid, with image guidance
(fluoroscopy or CT) including
arthrography when performed), which
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has a work RVU of 1.48 and near
identical intraservice time and identical
total time values to CPT code 64448.
We note that RUC-recommended
intraservice time decreased from 15 to
13 minutes (13 percent reduction) and
the RUC-recommended total time
decreased from 55 to 38 minutes (62
percent reduction). While the RUCrecommended work RVU is only
decreasing by 0.08, which is only a 5
percent reduction. We do not believe
the RUC-recommended work RVU
appropriately accounts for the
substantial reductions in the surveyed
intraservice work time for the
procedure. Although we do not imply
that the decrease in time as reflected in
survey values must always equate to a
one-to-one or linear decrease in the
valuation of work RVUs, we believe that
since the two components of work and
time are intensity, absent an obvious or
explicitly stated rationale for why the
relative intensity of a given procedure
has increased, significant decreases in
time should be reflected in decreases to
work RVUs. In the case of CPT code
64448, we believe that it would be more
accurate to propose a work RVU of 1.41,
based on our time ratios methodology
and a crosswalk to CPT code 27096 to
account for these decreases in surveyed
times and to maintain rank order among
comparable codes in the family.
For CPT code 64449, we disagree with
the RUC-recommended work RVU of
1.55 and are proposing a work RVU of
1.27, based our time ratio methodology
and a reference to CPT code 11755
(Biopsy of nail unit (eg, plate, bed,
matrix, hyponychium, proximal and
lateral nail folds) (separate procedure)),
which has a work RVU of 1.25 and near
identical intraservice and total times to
CPT code 64449.
We note that RUC-recommended
intraservice time decreased from 20 to
14 minutes (30 percent reduction) and
the RUC-recommended total time
decreased from 60 to 38 minutes (37
percent reduction). While the RUCrecommended work RVU is decreasing
by 0.26, a 14 percent reduction, we do
not believe the RUC-recommended work
RVU appropriately accounts for the
substantial reductions in the surveyed
intraservice work time for the
procedure. Although we do not imply
that the decrease in time as reflected in
survey values must always equate to a
one-to-one or linear decrease in the
valuation of work RVUs, we believe that
since the two components of work and
time are intensity, absent an obvious or
explicitly stated rationale for why the
relative intensity of a given procedure
has increased, significant decreases in
time should be reflected in decreases to
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work RVUs. In the case of CPT code
64449, we believe that it would be more
accurate to propose a work RVU of 1.27,
based on our time ratios methodology
and a reference to CPT code 11755 to
account for these decreases in surveyed
times and to maintain rank order among
comparable codes in the family.
For the direct PE inputs, we are
proposing to remove the clinical labor
time for the ‘‘Confirm availability of
prior images/studies’’ (CA006) activity
for CPT code 64450. This code does not
currently include this clinical labor
time, and unlike the new code, CPT
code 64XX1, in the Genicular Injection
and RFA code family, in which the PE
for CPT code 64450 was resurveyed at
the January 2019 RUC for PE, CPT code
64450 does not include imaging
guidance in its code descriptor. When
CPT code 64450 is performed with
imaging guidance, it would be billed
together with a separate imaging code
that already includes clinical labor time
for confirming the availability of prior
images. As a result, it would be
duplicative to include this clinical labor
time in CPT code 64450. We are also
proposing to refine the clinical labor
time for the ‘‘Assist physician or other
qualified healthcare professional—
directly related to physician work time
(100 percent)’’ (CA018) activity from 10
to 5 minutes for CPT code 64450, to
match the intraservice work time and
proposing to refine the equipment times
in accordance with our standard
equipment time formulas for CPT code
64450.
Additionally, we are proposing to
refine the clinical labor time for the
‘‘provide education/obtain consent’’
(CA011) from 3 minutes to 2 minutes,
for CPT codes 64400, 64408, 64415,
64417, 64420, 64425, 64430, 64435,
64445, 64447 and 64450, to conform to
the standard for this clinical labor task.
We are also proposing to refine the
equipment time in accordance with our
standard equipment time formula for
these codes. We note that there were no
RUC-recommended direct PE inputs
provided for CPT codes 64416, 64446,
and 64448.
(26) Genicular Injection and RFA (CPT
Codes 64640, 64XX0, and 64XX1)
In May 2018, the CPT Editorial Panel
approved the addition of two codes to
report injection of anesthetic and
destruction of genicular nerves by
neurolytic agent. In October 2018, the
RUC discussed the issues surrounding
the survey of this family of services and
supported the specialty societies’
request for CPT codes 64640
(Destruction by neurolytic agent; other
peripheral nerve or branch), 64XX0
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(Injection(s), anesthetic agent(s) and/or
steroid; genicular nerve branches
including imaging guidance, when
performed), and 64XX1 (Destruction by
neurolytic agent genicular nerve
branches including imaging guidance,
when performed) to be resurveyed and
presented at the January 2019 RUC
meeting, based on their concern that
many survey respondents appeared to
be confused about the number of nerve
branch injections involved with these
three codes. The RUC resurveyed these
services at the January 2019 RUC
meeting.
For CY 2020, we are proposing the
RUC-recommended work RVUs for two
of the three codes in this family. We are
proposing the RUC-recommended work
RVU of 1.98 (25th percentile survey
value) for CPT code 64640 and the RUCrecommended work RVU of 1.52 (25th
percentile survey value) for CPT code of
64XX0.
For CPT code 64XX1, we disagree
with the RUC-recommended work RVU
of 2.62, which is higher than the 25th
percentile survey value, a work RVU
2.50, and are proposing a work RVU of
2.50 (25th percentile survey value)
based on a reference to CPT code 11622
(Excision, malignant lesion including
margins, trunk, arms, or legs; excised
diameter 1.1 to 2.0 cm), which has a
work RVU of 2.41 and near identical
intraservice and total times to CPT code
64XX1.
In our review of CPT code 64XX1, we
examined the intraservice time ratio for
the new code, CPT code 64XX1, in
relation to an existing code in this
family of services, CPT code 64640. CPT
code 64XX1 has a RUC-recommended
work RVU of 2.62, 25 minutes of
intraservice time, and 74 minutes of
total time. CPT code 64640 has a RUCrecommended work RVU of 1.98, 20
minutes of intraservice time, and 64
minutes of total time. To derive our
proposed work RVU of 2.50, we
calculated the intraservice time ratio
between these two codes, which is a
calculated value of 1.25, and applied
this ratio times the RUC-recommended
work RVU of 1.98 for CPT code 64650,
which resulted in a calculated value of
2.48. This value is nearly identical to
the January 2018 RUC 25th percentile
survey value for CPT code 64XX1, a
work RVU of 2.50. Our proposed work
RVU of 2.50 is further supported by a
reference to CPT code 11622.
For the direct PE inputs, we are
proposing to remove the clinical labor
time for the ‘‘Confirm availability of
prior images/studies’’ (CA006) activity
for CPT code 64640. This code does not
currently include this clinical labor
time, and unlike the new code in the
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family (CPT code 64XX1), CPT code
64640 does not include imaging
guidance in its code descriptor. When
CPT code 64640 is performed with
imaging guidance, it would be billed
together with a separate imaging code
that already includes clinical labor time
for confirming the availability of prior
images. As a result, it would be
duplicative to include this clinical labor
time in CPT code 64640. We are
proposing to refine the clinical labor
time for the ‘‘Assist physician or other
qualified healthcare professional—
directly related to physician work time
(100 percent)’’ (CA018) activity from 25
to 20 minutes for CPT code 64640, to
match the intraservice work time. We
are also proposing to refine the
equipment times in accordance with our
standard equipment time formulas for
CPT code 64640.
We are proposing the RUCrecommended direct PE inputs for CPT
code 64XX0 without refinement.
For CPT code 64XX1, we are
proposing to refine the quantity of the
‘‘cannula (radiofrequency denervation)
(SMK–C10)’’ (SD011) supply from 3 to
1. We do not believe that the use of 3
of this supply item would be typical for
the procedure. We note that the RUC
recommendations for another code in
this family, CPT code 64640 only
contains 1 of this supply item. We
believe that the nerves would typically
be ablated one at a time using this
cannula, as opposed to ablating three of
them simultaneously as suggested in the
recommended direct PE inputs. We also
searched in the RUC database for other
CPT codes that made use of the SD011
supply, and out of the seven codes that
currently use this item, none of them
include more than 2 cannula. As a
result, we are proposing to refine the
supply quantity to 2 cannula to match
the highest amount contained in an
existing code on the PFS. We are also
refining the equipment time for the
‘‘radiofrequency kit for destruction by
neurolytic agent’’ (EQ354) equipment
from 141 minutes to 47 minutes. The
equipment time recommendation was
predicated on the use of 3 of the SD011
supplies for 47 minutes apiece, and we
are refining the equipment time to
reflect our supply refinement to 1
cannula. It was unclear in the RUC
recommendation materials as to
whether the radiofrequency kit
equipment was in use simultaneously or
sequentially along with the cannula
supplies, and therefore, we are soliciting
comments on the typical use of this
equipment.
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(27) Cyclophotocoagulation (CPT Codes
66711, 66982, 66983, 66984, 66X01, and
66X02)
In October 2017, CPT codes 66711
(Ciliary body destruction;
cyclophotocoagulation, endoscopic) and
66984 (Extracapsular cataract removal
with insertion of intraocular lens
prosthesis (1 stage procedure), manual
or mechanical technique (e.g., irrigation
and aspiration or phacoemulsification)
were identified as codes reported
together 75 percent of the time or more.
The RUC reviewed action plans to
determine whether a code bundle
solution should be developed for these
services. In January 2018, the RUC
recommended to refer to CPT to bundle
66711 with 66984 for CPT 2020. In May
2018, the CPT Editorial Panel revised
three codes and created two new codes,
CPT codes 66X01 (Extracapsular
cataract removal with insertion of
intraocular lens prosthesis (1-stage
procedure), manual or mechanical
technique (e.g., irrigation and aspiration
or phacoemulsification), complex,
requiring devices or techniques not
generally used in routine cataract
surgery (e.g., iris expansion device,
suture support for intraocular lens, or
primary posterior capsulorrhexis) or
performed on patients in the
amblyogenic developmental stage; with
endoscopic cyclophotocoagulation) and
66X02 (Extracapsular cataract removal
with insertion of intraocular lens
prosthesis (1 stage procedure), manual
or mechanical technique (e.g., irrigation
and aspiration or phacoemulsification);
with endoscopic cyclophotocoagulation)
to differentiate cataract procedures
performed with and without endoscopic
cyclophotocoagulation.
The codes discussed above and CPT
codes 66982 (Extracapsular cataract
removal with insertion of intraocular
lens prosthesis (1-stage procedure),
manual or mechanical technique (e.g.,
irrigation and aspiration or
phacoemulsification), complex,
requiring devices or techniques not
generally used in routine cataract
surgery (e.g., iris expansion device,
suture support for intraocular lens, or
primary posterior capsulorrhexis) or
performed on patients in the
amblyogenic developmental stage) and
66983 (Intracapsular cataract extraction
with insertion of intraocular lens
prosthesis (1 stage procedure)) were
reviewed at the January 2019 RUC
meeting.
For CY 2020, we are proposing the
RUC-recommended work RVU of 10.25
for CPT code 66982, the RUC
recommendation to contractor-price
CPT code 66983, and the RUC-
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recommended work RVU of 7.35 for
CPT code 66984. We disagree with the
RUC recommendations for CPT codes
66711, 66X01, and 66X02.
For CPT code 66711, we disagree with
the RUC-recommended work RVU of
6.36 and are proposing a work RVU of
5.62, based on crosswalk to CPT code
28285 (Correction, hammertoe (e.g.,
interphalangeal fusion, partial or total
phalangectomy), which has an identical
work RVU of 5.62, and similar
intraservice and total times.
In our review of CPT code 66711, we
note that the recommended intraservice
time is decreasing from 20 minutes to 10
minutes (33 percent reduction), and that
the recommended total time is
decreasing from 192 minutes to 191
minutes (0.5 percent reduction). While
the RUC-recommended work RVU is
decreasing from 7.93 to 6.36, which is
a 20 percent reduction, we do not
believe it appropriately accounts for the
decreases in survey time. Time ratio
methodology suggest that CPT code
66711 is better valued at a work RVU of
5.29, thus it is overvalued with
consideration to the decreases in survey
times. Although we do not imply that
the decrease in time as reflected in
survey values must equate to a one-toone or linear decrease in the valuation
of work RVUs, we believe that since the
two components of work are time and
intensity, significant decreases in time
should be appropriately reflected in
decreases to work RVUs. In the case of
CPT code 66711, we believe that it
would be more accurate to propose a
work RVU of 5.62, based on our time
ratio methodology and a crosswalk to
CPT code 28285 to account for these
decreases in surveyed work times.
For CPT code 66X01, the RUC
recommended a work RVU of 13.15, we
disagree with the RUC-recommended
work RVU and are proposing contractorpricing for this code. In reviewing this
code, we note that the RUC
recommendation survey values do not
support the RUC-recommended work
RVU of 13.15 and furthermore, the RUC
recommendations do not include a
crosswalk to support the RUCrecommended work RVU. The RUC
recommendations noted a lack of
potential crosswalk codes due to the
complete lack of similarly intense major
surgical procedures comparable in the
amount of skin-to-skin time, operating
room time and amount of post-operative
care. We note that the RUCrecommended work RVU of 13.15 is
higher than similarly timed codes on the
PFS. Given that lack of both survey data
and a crosswalk to support the RUCrecommended work RVU for this new
code, and that the RUC-recommended
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work RVU of 13.15 is higher than
similarly timed codes on the PFS, we
believe it is more appropriate to propose
contractor-pricing for CPT code 66X01.
We also note that the RUC
recommended contractor-pricing for
another code in this family, CPT code
66983, which we are proposing for CY
2020.
For CPT code 66X02, the RUC
recommended a work RVU of 10.25, we
disagree with the RUC-recommended
work RVU and are proposing contractorpricing for this code. In reviewing this
code, we note that the RUC
recommendation survey values do not
support the RUC-recommended work
RVU of 10.25. Furthermore, we are
concerned with the RUC recommended
crosswalk, CPT code 67110 (Repair of
retinal detachment; by injection of air or
other gas (e.g., pneumatic retinopexy),
which is the same crosswalk used to
support the RUC-recommended work
RVU of 10.25 for another code in this
family, CPT code 66982. CPT code
67110 has 30 minutes of intraservice
time and 196 minutes of total time.
Although CPT code 67110 has the
identical intraservice time to CPT codes
66982 and 66X02, we note that CPT
code 67110 has 196 minutes of total
time, which is 21 minutes less than the
175 minutes of total time of CPT code
66982, and 6 minutes less than the 202
minutes of total time of CPT Code
66X02. However, the RUC is
recommending the same work RVU of
10.25 for CPT codes 66982 and 66X02,
supported by the same crosswalk to CPT
code 67110.
Given that lack of survey data and our
concern for the RUC-recommended
crosswalk to support the RUCrecommended work RVU of 10.25 for
CPT code 66X02, we believe it is
appropriate to propose contractorpricing for CPT code 66X02. We also
note that the RUC recommended
contractor-pricing for another code in
this family, CPT code 66983, which we
are prosing for CY 2020.
We are proposing to remove all the
direct PE inputs for CPT codes 66X01
and 66X02, given our proposal for
contractor-pricing for these codes. We
are proposing the RUC-recommended
direct PE inputs for the other codes in
this family.
(28) X-Ray Exam—Sinuses (CPT Codes
70210 and 70220)
CPT code 70210 (Radiologic
examination, sinuses, paranasal, less
than 3 views) and CPT code 70220
(Radiologic examination, sinuses,
paranasal, complete, minimum of 3
views) were identified as potentially
misvalued through a screen for
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Medicare services with utilization of
30,000 or more annually. These two
codes were first reviewed by the RUC in
April 2018, but were subsequently
surveyed by the specialty societies and
reviewed again by the RUC in January
2019.
The RUC recommended a work RVU
for CPT code 70210 of 0.20, which is a
slight increase over the current work
RVU for this code (0.17). The RUC’s
recommendation is consistent with 25th
percentile of survey results and is based
on a comparison of the survey code with
the two key reference services. The first
key reference service, CPT code 71046
(Radiologic examination, chest; 2
views), has a work RVU of 0.22, 4
minutes of intraservice time, and 6
minutes of total time. The RUC noted
that the survey code has one minute less
intraservice and total time compared
with the first key reference service (CPT
code 71046), which accounts for the
slightly lower work RVU for the survey
code. The RUC also compared CPT code
70210 to CPT code 70355
(Orthopantogram (e.g., panoramic Xray)), with a work RVU of 0.20, 5
minutes of intraservice time, and 6
minutes of total time. Although the
intraservice and total times are lower for
CPT code 70210 than for CPT code
70355, the work is slightly more intense
for the survey code, according to the
RUC, justifying an identical work RVU
of 0.20 for CPT code 70210. We disagree
with the RUC’s recommendation to
increase the work RVU for CPT code
70210 from the current value (0.17) to
0.20 for two main reasons. First, the
total time (5 minutes) for this code has
not changed from the current total time
and without a corresponding
explanation for an increase in valuation
despite maintaining the same total time,
we do are not convinced that the work
RVU for this code should increase. In
addition, we note that based on a
general comparison of CPT codes with
identical intraservice time and total
time (approximately 23 comparison
codes, excluding those currently under
review), a work RVU of 0.20 would
establish a new upper threshold among
this cohort. We are proposing to
maintain the work RVU for CPT code
70210 of 0.17 work RVUs, bracketed by
two services. On the upper side, we
identified CPT code 73501 (Radiologic
examination, hip, unilateral, with pelvis
when performed; 1 view) with a work
RVU of 0.18, and on the lower side, we
identified CPT code 73560 (Radiologic
examination, knee; 1 or 2 views) with a
work RVU of 0.16. For CPT code 70220,
we are proposing the RUCrecommended work RVU of 0.22.
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We are proposing the RUCrecommended direct PE inputs for all
codes in the family.
(29) X-Ray Exam—Skull (CPT Codes
70250 and 70260)
CPT code 70250 (Radiologic
examination, skull, less than 4 views)
was identified as potentially misvalued
through a screen of Medicare services
with utilization of 30,000 or more
annually. CPT code 70260 (Radiologic
examination, skull; complete, minimum
of 4 views) was included as part of the
same family. These two codes were first
reviewed by the RUC in April 2018, but
were subsequently surveyed by the
specialty societies and reviewed by the
RUC again in January 2019.
The RUC-recommended work RVU for
CPT code 70250 is 0.20, which is a
slight decrease from the current work
RVU for this code (0.24). The decrease,
according to the RUC, reflects a slightly
lower total time required to furnish the
service (from 7 minutes to 5 minutes)
and is consistent with the 25th
percentile work RVU from the survey
results. The RUC-recommended work
RVU is bracketed by two CPT codes:
Top key reference service, CPT code
71046 (Radiologic examination, chest; 2
views) with 4 minutes of intraservice
time, 6 minutes total time, and a work
RVU of 0.22; and key reference service,
CPT code 73562 (Radiologic
examination, knee; 3 views), with
intraservice time of 4 minutes, total time
of 6 minutes, and a work RVU of 0.18.
The RUC noted that while the survey
code has less time than CPT code 71046,
the work is slightly more intense due to
anatomical and contextual complexity.
The survey code is also more intense
compared with the second key reference
service, CPT code 73562, according to
the RUC, because of the higher level of
technical skill involved in an X-ray of
the skull (axial skeleton) compared with
an X-ray of the knee (appendicular
skeleton). The RUC further indicated
that a comparison between the survey
code and CPT codes with a work RVU
of 0.18 would not be appropriate given
the higher level of complexity
associated with an X-ray of the skull
than with other CPT codes that have
similar times. We disagree with the
recommended work RVU of 0.20 for
CPT code 70250. The total time for
furnishing the service has decreased by
2 minutes while the description of the
work involved in furnishing the service
has not changed. This suggests that a
value closer to the total time ratio (TTR)
calculation (0.17 work RVU) might be
more appropriate. In addition, a search
of CPT codes with 3 minutes of
intraservice time and 5 minutes of total
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time indicates that the maximum work
RVU for codes with these times is 0.18,
meaning that a work RVU of 0.20 would
establish a new relative high work RVU
for codes with these times. We believe
that a crosswalk to CPT code 73501
(Radiologic examination, hip,
unilateral, with pelvis when performed;
1 view) with a work RVU of 0.18, 3
minutes of intraservice time, and 5
minutes of total time, accurately reflects
both the time and intensity of furnishing
the service described by CPT code
70250. Therefore, we are proposing a
work RVU of 0.18 for CPT code 70250.
The RUC recommended a work RVU
of 0.29 for CPT code 70260, which is
lower than the current work RVU of
0.34. The survey times for furnishing
the service are 4 minutes of intraservice
time and 7 minutes total time, compared
with the current intraservice time and
total time of 7 minutes. However, in
developing their recommendation, the
RUC reduced the total time for this code
from 7 minutes to 6 minutes. Although
the RUC’s recommended work RVU
reflects the 25th percentile of survey
results, the survey 25th percentile is
based on an additional minute of total
time compared with the RUC’s total
time for this CPT code. Moreover, since
we are proposing a lower work RVU for
the base code for this family (work RVU
of 0.18 for CPT code 70250), we believe
a lower work RVU for CPT code 70260
is warranted. To identify an alternative
value, we calculated the increment
between the current work RVU for CPT
code 72050 (work RVU of 0.24) and the
current work RVU for CPT code 72060
(work RVU of 0.34) and applied it to the
CMS proposed work RVU for CPT code
70250 (0.18 + 0.10) to calculate a work
RVU of 0.28. We believe that applying
this increment is a better reflection of
the work time and intensity involved in
furnishing CPT code 70260. We are
proposing a work RVU for CPT code
70260 of 0.28.
We are proposing the RUCrecommended direct PE inputs for all
codes in the family.
(30) X-Ray Exam—Neck (CPT Code
70360)
CPT code 70360 (Radiologic
examination; neck, soft tissue) was
identified as potentially misvalued
through a screen of CPT codes with
annual Medicare utilization of 30,000 or
more. CPT code 70360 was first
reviewed by the RUC in April 2018 but
was subsequently surveyed by the
specialty societies and reviewed by the
RUC again in January 2019.
The RUC recommended a work RVU
of 0.20 for CPT code 70360, which is an
increase over the current work RVU
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(0.17). To support their
recommendation, the RUC cited the
survey key reference service, CPT code
71046 (Radiologic examination, chest; 2
views), with a work RVU of 0.22, 4
minutes of intraservice time, and 6
minutes of total time. They noted that
the key reference code has one minute
higher intraservice and total time,
accounting for the slightly higher work
RVU compared with the survey code,
CPT code 70360. The RUC also cited the
second highest key reference service,
CPT code 73562 (Radiologic
examination, knee; 3 views) with a work
RVU of 0.18, intraservice time of 4
minutes, and total time of 6 minutes.
They noted that, while the survey code
has lower intraservice time (3 minutes)
and total time (5 minutes) compared
with CPT code 73562, the survey code
is more complex than the key reference
service, thereby supporting a higher
work RVU for the survey code (CPT
code 70360) of 0.20. We do not agree
with the RUC that the work RVU for
CPT code 70360 should increase from
0.17 to 0.20. The total time for the CPT
code, as recommended by the RUC (5
minutes), is unchanged from the
existing total time. Without a
corresponding discussion of why the
current work RVU is insufficient, we do
not agree that there should be an
increase in the work RVU. Furthermore,
although the RUC’s recommendation is
consistent with the 25th percentile of
survey results for the work RVU, the
total time from the survey results was 6
minutes, not the RUC-recommended
time of 5 minutes. When we looked at
CPT codes with identical times to the
survey code for a crosswalk, we
identified CPT code 73552 (Radiologic
examination, femur; minimum 2 views),
with a work RVU of 0.18. We believe
this is a more appropriate valuation for
CPT code 70360 and we are proposing
a work RVU for this CPT code of 0.18.
We are proposing the RUCrecommended direct PE inputs for CPT
code 70360.
(31) X-Ray Exam—Spine (CPT Codes
72020, 72040, 72050, 72052, 72070,
72072, 72074, 72080, 72100, 72110,
72114, and 72120)
CPT codes 72020 (Radiologic
examination spine, single view, specify
level) and 72072 (Radiologic
examination, spine; thoracic, 3 views)
were identified through a screen of
CMS/Other Source codes with Medicare
utilization greater than 100,000 services
annually. The code family was
expanded to include 10 additional CPT
codes to be reviewed together as a
group: CPT code 72040 (Radiologic
examination, spine, cervical; 2 or 3
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views), CPT code 72050 (Radiologic
examination, spine, cervical; 4 or 5
views), CPT code 72052 (Radiologic
examination, spine cervical; 6 or more
views), CPT code 72070 (Radiologic
examination spine; thoracic, 2 views),
CPT code 72074 (Radiologic
examination, spine; thoracic, minimum
of 4 views), CPT code 72080 (Radiologic
examination, spine; thoracolumbar
junction, minimum of 2 views), CPT
code 72100 (Radiologic examination,
spine, lumbosacral; 2 or 3 views), CPT
code 72110 (Radiologic examination,
spine, lumbosacral; minimum of 4
views), CPT code 72114 (Radiologic
examination, spine, lumbosacral;
complete, including bending views,
minimum of 6 views), and CPT code
72120 (Radiologic examination, spine,
lumbosacral; bending views only, 2 or 3
views). This family of CPT codes was
originally valued by the specialty
societies using a crosswalk methodology
approved by the RUC Research
Subcommittee. However, after we
expressed concern about the use of this
approach for valuing work and PE, the
specialty society agreed to survey these
codes and the RUC reviewed them again
in January 2019.
For the majority of CPT codes in this
family, the RUC recommended a work
RVU that is slightly different (higher or
lower) than the current work RVU.
Three CPT codes in this family are
maintaining the current work RVU. We
are proposing the RUC-recommended
work RVU for all 12 CPT codes in this
family as follows: CPT code 72020
(work RVU = 0.16); CPT code 72040
(work RVU = 0.22); CPT code 72050
(work RVU = 0.27); CPT code 72052
(work RVU = 0.30); CPT code 72070
(work RVU = 0.20); CPT code 72072
(work RVU = 0.23); CPT code 72074
(work RVU = 0.25); 72080 (work RVU =
0.21); CPT code 72100 (work RVU =
0.22); CPT code 72110 (work RVU
=0.26); CPT code 72114 (work RVU =
0.30); and CPT code 72120 (work RVU
= 0.22).
We are proposing the RUCrecommended direct PE inputs for all
codes in the family.
(32) CT-Orbit-Ear-Fossa (CPT Codes
70480, 70481, and 70482)
In October 2017, the RAW requested
that AMA staff develop a list of CMS/
Other codes with Medicare utilization of
30,000 or more. CPT code 70480
(Computed tomography (CT), orbit,
sella, or posterior fossa or outer, middle,
or inner ear; without contrast material)
was identified. In addition, the code
family was expanded to include two
related CT codes, CPT code 70481
(Computed tomography, orbit, sella, or
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posterior fossa or outer, middle, or inner
ear; with contrast material) and CPT
code 70482 (Computed tomography,
orbit, sella, or posterior fossa or outer,
middle, or inner ear; without contrast
material followed by contrast material(s)
and further sections). In 2018, the RUC
recommended this code family be
surveyed.
For CPT code 70840, we disagree with
the RUC-recommended work RVU of
1.28 and propose instead a work RVU of
1.13. We are proposing a lower work
RVU because 1.13 represents the
commensurate 12 percent decrease in
work time reflected in survey values.
We reference the work RVUs of CPT
codes 72128 (Computed tomography,
chest, spine; without dye) and 71250
(Computed tomography, thorax without
dye) both of which have the same
intraservice time (that is, 15 minutes) as
CPT code 70840 but longer total times
(that is, 25 minutes versus 22 minutes).
We believe that CPT code 72128 with a
work RVU of 1.0 and CPT code 71250
with a work RVU of 1.16 more
accurately reflect the relative work
values of CPT code 70840.
We also disagree with the RUCrecommended work RVU of 1.13 for
CPT code 70481. Instead, we are
proposing a work RVU of 1.06 for CPT
code 70481. As with CPT code 70840,
we are proposing a lower work RVU for
CPT code 70481 because a work RVU of
1.06 is commensurate with the 23
percent decrease in surveyed total time
from 26 to 20 minutes. We believe CPT
code 76641 (Ultrasound, breast,
unilateral) with a work RVU of 0.73 and
CPT code 70460 (Computed
Tomography, head or brain, without
contrast) with a work RVU of 1.13 serve
as appropriate references for our
proposed work RVU for CPT code
70841. Although CPT codes 76641 and
70460 have longer total times at 22
minutes and lower intraservice times at
12 minutes, we believe they better
reflect the relative work value of CPT
code 70481 with a proposed work RVU
of 1.06, total time of 20 minutes, and
intraservice time of 13 minutes.
For the third code in the family, CPT
code 70482, we are proposing the RUCrecommended work RVU of 1.27.
We are proposing the RUCrecommended direct PE inputs for all
codes in the family.
(33) CT Spine (CPT Codes 72125, 72126,
72127, 72128, 72129, 72130, 72131,
72132, and 72133)
CPT code 72132 (Computed
tomography, lumbar spine; with
contrast material) was identified as
potentially misvalued on a screen of
CMS/Other codes with Medicare
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utilization of 30,000 or more. Eight
other spine CT codes were identified as
part of the family, and they were
surveyed and reviewed together at the
April 2018 RUC meeting.
We are proposing the RUCrecommended work RVU for eight of the
nine codes in the family. We are
proposing a work RVU of 1.22 for CPT
code 72126 (Computed tomography,
cervical spine; with contrast material), a
work RVU of 1.27 for CPT code 72127
(Computed tomography, cervical spine;
without contrast material, followed by
contrast material(s) and further
sections), a work RVU of 1.00 for CPT
code 72128 (Computed tomography,
thoracic spine; without contrast
material), a work RVU of 1.22 for CPT
code 72129 (Computed tomography,
thoracic spine; with contrast material),
a work RVU of 1.27 for CPT code 72130
(Computed tomography, thoracic spine;
without contrast material, followed by
contrast material(s) and further
sections), a work RVU of 1.00 for CPT
code 72131 (Computed tomography,
lumbar spine; without contrast
material), a work RVU of 1.22 for CPT
code 72132 (Computed tomography,
lumbar spine; with contrast material),
and a work RVU of 1.27 for CPT code
72133 (Computed tomography, lumbar
spine; without contrast material,
followed by contrast material(s) and
further sections).
We disagree with the RUCrecommended work RVU of 1.07 for
CPT code 72125 (Computed
tomography, cervical spine; without
contrast material) and we are proposing
a work RVU of 1.00 to match the other
without contrast codes in the family.
The cervical spine CT procedure
described by CPT code 72125 shares the
identical surveyed work time as the
thoracic spine CT procedure described
by CPT code 72128 and the lumbar
spine CT procedure described by CPT
code 72131, and we believe that this
indicates that these three CPT codes
should share the same work RVU of
1.00. Our proposed work RVU would
also match the pattern established by
the rest of the codes in this family, in
which the contrast procedures (CPT
codes 72126, 72129, and 72132) share a
proposed work RVU of 1.22 and the
without/with contrast procedures (CPT
codes 72127, 72130, and 72133) share a
proposed work RVU of 1.27.
We recognize that the RUC has stated
that they believe CPT code 72125 to be
a more complex study than CPT codes
72128 and 72131 because the cervical
spine is subject to an increased number
of injuries and there are a larger number
of articulations to evaluate. This was the
basis for their recommendation that this
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code should be valued slightly higher
than the other without contrast codes.
However, if CPT code 72125 has a more
difficult patient population and requires
a larger number of articulations to
evaluate as compared to CPT codes
72128 and 72131, we do not understand
why this was not reflected in the
surveyed work times, which were
identical for the three procedures. We
believe that if the intensity of the
procedure were higher due to these
additional difficulties, it would be
reflected in a longer surveyed work
time. In addition, the survey
respondents selected a higher work RVU
for CPT code 72131 than CPT code
72125 at both the survey 25th percentile
(1.20 to 1.18) and survey median values
(1.39 to 1.28), which does not suggest
that CPT code 72125 should be valued
at a higher rate.
We also note that the surveyed
intraservice work time for CPT code
72125 is decreasing from 15 minutes to
12 minutes, and we believe that this
provides additional support for a slight
reduction in the work RVU to match the
other without contrast codes in the
family. We recognize that adjusting
work RVUs for changes in time is not
always a straightforward process and
that the intensity associated with
changes in time is not necessarily
always linear, which is why we apply
various methodologies to identify
several potential work values for
individual codes. However, we want to
reiterate that we believe it would be
irresponsible to ignore changes in time
based on the best data available and that
we are statutorily obligated to consider
both time and intensity in establishing
work RVUs for PFS services. For
additional information regarding the use
of prior work time values in our
methodology, we refer readers to our
discussion of the subject in the CY 2017
PFS final rule (81 FR 80273 through
80274).
We are proposing the RUCrecommended direct PE inputs for all
codes in the family.
(34) X-Ray Exam—Pelvis (CPT Codes
72170 and 72190)
CPT code 72190 (Radiologic
examination, pelvis; complete,
minimum of 3 views) was identified as
potentially misvalued through a screen
of CMS/Other codes with Medicare
utilization of 30,000 or more annually.
CPT code 72170 (Radiologic
examination, pelvis; 1 or 2 views) was
added as part of the family. The RUC
originally reviewed these two codes
after specialty societies employed a
crosswalk methodology to value work
and PE. However, after we expressed
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concern about the use of this approach,
the specialty society agreed to survey
the codes and the RUC reviewed them
again at the meeting in January 2019.
The RUC recommended a work RVU
of 0.17 for CPT code 72170, which
maintains the current value. For CPT
code 72190, the RUC recommended a
work RVU of 0.25, which is slightly
higher than the current value (0.21). We
are proposing the RUC-recommended
values for these two CPT codes.
We are proposing the RUCrecommended direct PE inputs for all
codes in the family.
(35) X-Ray Exam—Sacrum (CPT Codes
72200, 72202, and 72220)
CPT code 72220 (Radiologic
examination, sacrum and coccyx,
minimum of 2 views) was identified on
a screen of CMS/Other source codes
with Medicare utilization greater than
100,000 annually. CPT codes 72200
(Radiologic examination, sacroiliac
joints; less than 3 views) and 72202
(Radiologic examination, sacroiliac
joints; 3 or more views) were also
included for review as part of the same
family of codes. These three codes were
originally valued by the specialty
societies using a crosswalk methodology
approved by the RUC Research
Subcommittee. However, after we
expressed concern about the use of this
approach for valuing work and PE, the
specialty society agreed to survey these
codes and the RUC reviewed them again
in January 2019.
For CPT code 72200, the RUC is
recommending a work RVU of 0.20,
which is higher than the current work
RVU (0.17). To support their
recommendation, the RUC compared
the survey code to the key reference
service, CPT code 73522 (Radiologic
examination, hips, bilateral, with pelvis
when performed; 3–4 views), with a
work RVU of 0.29, 5 minutes of
intraservice time and 7 minutes of total
time. The intraservice and total times
for the key reference service are one
minute higher than the survey code (4
minutes intraservice time, 6 minutes
total time for CPT code 72200) and the
survey code is less intense, according to
the RUC, thereby supporting a slightly
lower work RVU of 0.20 for CPT code
72200. The second key reference service
is CPT code 73562 (Radiologic
examination, knee; 3 views), with 4
minutes of intraservice time, 6 minutes
of total time, and a work RVU of 0.18.
The RUC noted that this second key
reference service is less intense to
furnish than the survey code, which
justifies a slightly lower work RVU
despite identical intraservice time (4
minutes) and total time (6 minutes). The
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RUC supported their recommendation
of a work RVU for CPT code 72200 of
0.20 with two bracketing codes: CPT
code 93042 (Rhythm ECG, 1–3 leads;
interpretation and report only) with
work RVU of 0.15, and CPT code 70355
(Orthopantogram (e.g. panoramic xray)) with a work RVU of 0.20 (which
is identical to the RUC-recommended
work RVU for CPT code 72200 but has
one additional minute of intraservice
time). A work RVU of 0.20 is consistent
with the work RVU estimated by the
TTR and reflects the 25th percentile of
survey results. Nevertheless, we do not
agree that there is sufficient justification
for an increase in work RVU for CPT
code 72200. We are concerned that the
large variation in specialty societies’
survey times is indicative of differences
in patient population, practice
workflow, or even possibly some
ambiguity associated with the survey
vignette. We also note that the 25th
percentile of survey results are based on
the overall survey total time, which is
8 minutes, rather than the RUC’s
recommended 6 minutes. The time
parameters for furnishing the service
affect all other points of comparison for
purpose of valuing the code, including
TTR, identification of potential
crosswalks, and increment calculations.
We found no corresponding explanation
for the variability in survey times,
leading us to question why there should
be an increase in work RVU from the
current value. Therefore, we are
proposing to maintain the current work
RVU for CPT code 72200 at 0.17.
For CPT code 72202, the RUC
recommended a work RVU of 0.26,
which is considerably higher than the
current work RUV for this code of 0.19.
The RUC supported their
recommendation with two key reference
services. The first is CPT code 73522
(Radiologic examination, hips, bilateral,
with pelvis when performed; 3–4 views)
with 5 minutes intraservice time, 7
minutes total time, and a work RVU of
0.29. They note that this code has an
additional minute for intraservice and
total time compared with the survey
code, reflecting the additional views
associated with evaluating bilateral hip
joints. The second key reference service
is CPT code 73562 (Radiologic
examination, knee; 3 views) with 4
minutes intraservice time, 6 minutes
total time, and a work RVU of 0.18. The
RUC notes that the survey code has the
same times but requires more intensity
and includes an additional view
compared with the reference service,
which justifies a higher work RVU for
the survey code. We disagree with the
RUC’s recommended work RVU for CPT
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code 72202. Given that there is no
change in the total time required to
furnish the service and there is no
corresponding description of an
increase in the intensity of the work
relative to the existing value, we do not
believe an increase of 0.07 work RVUs
is warranted. The TTR calculation
yields a work RVU of .019, suggesting
that a value closer to the current work
RVU would be more appropriate. In
addition, since we consider the RUCrecommended work RVU for this code
as an incremental change from the prior
code in this family, we believe that an
increase of 0.06 over the proposed work
RVU of 0.18 for CPT code 72200, which
yields a work RVU of 0.23, is a better
reflection of the time and intensity
required to furnish CPT code 72202.
Our proposed value work RVU of 0.23
is bracketed by CPT code 73521
(Radiologic examination, hips, bilateral,
with pelvis when performed; 2 views) on
the lower end (work RVU = .22), and
CPT code 74021 (Radiologic
examination, abdomen; 3 or more
views), on the higher end (work RVU =
0.27). CPT code 73521 has the same
times as the survey code but describes
a bilateral service with 2 views, which
is slightly less intense. CPT code 74021
also has identical times but involves Xray of the abdomen with 3 views, a
slightly higher intensity than the survey
code.
The RUC-recommended work RVU for
CPT code 72220 is 0.20, which reflects
an increase over the current work RVU
for this code (0.17). The key reference
service from the survey results is CPT
code 73522 (Radiologic examination,
hips, bilateral, with pelvis when
performed, 2–4 views), with a work RVU
of 0.29, 5 minutes intraservice time, and
7 minutes total time. The RUC noted
that the recommended work RVU for
CPT code 72220 has a lower value than
the top key reference code (CPT code
73522) because of the shorter time and
lower intensity involved in furnishing
the survey code. The second highest key
reference service, CPT code 73562
(Radiologic examination, knee; 3 views)
has a work RVU of 0.18 with 4 minutes
of intraservice time and 6 minutes of
total time. The RUC notes that this
second key reference service has a lower
work RVU than the survey code despite
having a slightly higher intraservice
time and total time because it involves
an X-ray of just one knee. We disagree
with the RUC’s recommended increase
in the work RVU for CPT code 72220
from 0.17 to 0.20. We note that there is
no change in the total time required to
furnish the service. We also note that a
work RVU of 0.20 for CPT code 72220
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would place it near the maximum work
RVU for CPT codes with identical
intraservice time (3 minutes) and total
time (5 minutes). Instead, we are
proposing to maintain the work RVU for
this service at 0.17, which is consistent
with our proposal to maintain the
current work RVU for CPT code 72200
at 0.17 as well.
We are proposing the RUCrecommended direct PE inputs for all
codes in the family.
(36) X-Ray Exam—Clavicle-Shoulder
(CPT Codes 73000, 73010, 73020, 73030,
and 73050)
CPT code 73030 (Radiologic
examination, shoulder; complete,
minimum of 2 views) was identified as
potentially misvalued through a screen
of services with more than 100,000
utilization annually. CPT codes 73000
(Radiologic examination; clavicle,
complete), 73010 (Radiologic
examination; scapula, complete), 73020
(Radiologic examination, shoulder; 1
view), and 73050 (Radiologic
examination, acromioclavicular joints,
bilateral, with or without weighted
distraction) were included for review as
part of the same family. We are
proposing the RUC-recommended work
RVUs for all five codes in this family as
follows: CPT code 73000 (work RVU =
0.16); CPT code 73010 (work RVU =
0.17); CPT code 73020 (work RVU =
0.15); CPT code 73030 (work RVU =
0.18); and CPT code 73050 (work RVU
= 0.18).
We are proposing the RUCrecommended direct PE inputs for all
codes in the family.
(37) CT Lower Extremity (CPT Codes
73700, 73701, and 73702)
CPT code 73701 (Computed
tomography, lower extremity; with
contrast material(s)) was identified as
potentially misvalued on a screen of
CMS/Other codes with Medicare
utilization of 30,000 or more. Two other
lower extremity CT codes were
identified as part of the family, and they
were surveyed and reviewed together at
the April 2018 RUC meeting.
We are proposing the RUCrecommended work RVU for all three
codes in this family. We are proposing
a work RVU of 1.00 for CPT code 73700
(Computed tomography, lower
extremity; without contrast material), a
work RVU of 1.16 for CPT code 73701
(Computed tomography, lower
extremity; with contrast material(s)),
and a work RVU of 1.22 for CPT code
73702 (Computed tomography, lower
extremity; without contrast material,
followed by contrast material(s) and
further sections).
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We are proposing the RUCrecommended direct PE inputs for all
codes in the family.
(38) X-Ray Elbow-Forearm (CPT Codes
73070, 73080, and 73090)
CPT codes 73070 (Radiologic
examination, elbow; 2 views) and 73090
(Radiologic examination; forearm, 2
views) were identified on a screen of
CMS/Other source codes with Medicare
utilization greater than 100,000 services
annually. CPT code 73080 (Radiologic
examination, elbow; complete,
minimum of 3 views) was included for
review as part of the same code family.
All three CPT codes in this family were
originally valued by the specialty
societies using a crosswalk methodology
approved by the RUC research
committee. However, after we expressed
concern about the use of this approach
for valuing work and PE, the specialty
society agreed to survey the codes and
the RUC reviewed them again at the
meeting in January 2019. We are
proposing the RUC-recommended work
RVU for all three codes in this family as
follows: CPT code 73070 (work RVU =
0. 16); CPT code 73080 (work RVU =
0.17); and CPT code 73090 (work RVU
= 0.16).
We are proposing the RUCrecommended direct PE inputs for all
codes in the family.
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(39) X-Ray Heel (CPT Code 73650)
CPT code 73650 (Radiologic
examination; calcaneous, minimum of 2
views) was identified on a screen of
CMS/Other source codes with Medicare
utilization greater than 100,000 services
annually. CPT code 73650 was
originally valued by the specialty
societies using a crosswalk methodology
approved by the RUC Research
Subcommittee. However, after we
expressed concern about the use of this
approach for valuing work and PE, the
specialty society agreed to survey the
code and the RUC reviewed it again in
January 2019. For CPT code 73650, we
are proposing the RUC-recommended
work RVU of 0.16. We are also
proposing the RUC-recommended direct
PE inputs for CPT code 73650.
(40) X-Ray Toe (CPT Code 73660)
CPT code 73660 (Radiologic
examination; toe(s), minimum of 2
views) was identified on a screen of
CMS/Other source codes with Medicare
utilization greater than 100,000 services
annually. CPT code 73660 was
originally valued by the specialty
societies using a crosswalk methodology
approved by the RUC Research
Subcommittee. However, after we
expressed concern about the use of this
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approach for valuing work and PE, the
specialty society agreed to survey the
code and the RUC reviewed it again in
January 2019. We are proposing the
RUC-recommended work RVU for this
code of 0.13 for CPT code 73660. We are
also proposing the RUC-recommended
direct PE inputs for CPT code 73660.
(41) Upper Gastrointestinal Tract
Imaging (CPT Codes 74210, 74220,
74230, 74X00, 74240, 74246, and
74X01)
These services were identified
through a list of list of CMS/Other codes
with Medicare utilization of 30,000 or
more. The CPT Editorial Panel
subsequently revised this code set in
order to conform to other families of
radiologic examinations.
We are proposing the RUCrecommended work RVUs of 0.59 for
CPT code 74210 (Radiologic
examination, pharynx and/or cervical
esophagus, including scout neck
radiograph(s) and delayed image(s),
when performed, contrast (e.g., barium)
study), 0.60 for CPT code 74220
(Radiologic examination, esophagus,
including scout chest radiograph(s) and
delayed image(s), when performed;
single-contrast (e.g., barium) study),
0.70 for CPT code 74X00 (Radiologic
examination, esophagus, including
scout chest radiograph(s) and delayed
image(s), when performed; doublecontrast (e.g., high-density barium and
effervescent agent) study), 0.53 for CPT
code 74230 (Radiologic examination,
swallowing function, with
cineradiography/videoradiography,
including scout neck radiograph(s) and
delayed image(s), when performed,
contrast (e.g., barium) study), 0.80 for
CPT code 74240 (Radiologic
examination, upper gastrointestinal
tract, including scout abdominal
radiograph(s) and delayed image(s),
when performed; single-contrast (e.g.,
barium) study) 0.90 for CPT code 74246
(Radiologic examination, upper
gastrointestinal tract, including scout
abdominal radiograph(s) and delayed
image(s), when performed; doublecontrast (e.g., high-density barium and
effervescent agent) study, including
glucagon, when administered), and 0.70
for CPT code 74X01 (Radiologic
examination, upper gastrointestinal
tract, including scout abdominal
radiograph(s) and delayed image(s),
when performed; with small intestine
follow-through study, including
multiple serial images (List separately in
addition to code for primary
procedure)). We are also proposing the
reaffirmed work RVU of 0.59 for CPT
code 74210 (Radiologic examination,
pharynx and/or cervical esophagus,
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40589
including scout neck radiograph(s) and
delayed image(s), when performed,
contrast (e.g., barium) study) and the
reaffirmed work RVU of 0.53 for CPT
code 74230 (Radiologic examination,
swallowing function, with
cineradiography/videoradiography,
including scout neck radiograph(s) and
delayed image(s), when performed,
contrast (e.g., barium) study).
For the direct PE clinical labor input
CA021 ‘‘Perform procedure/service—
NOT directly related to physician work
time,’’ we note that no rationale was
given for the RUC-recommended times
for these codes, and we are requesting
comment on the appropriateness of the
RUC-recommended clinical labor times
for this activity of 13 minutes, 13
minutes, 15 minutes, 15 minutes, 19
minutes, 22 minutes, and 15 minutes for
CPT codes 74210, 74220, 74X00, 74230,
74240, and 74246, respectively. In
addition, for CPT code 74230, we are
proposing to refine the clinical labor
times for the ‘‘Prepare room, equipment
and supplies’’ (CA013) and ‘‘Prepare,
set-up and start IV, initial positioning
and monitoring of patient’’ (CA016)
activity codes to the standard values of
2 minutes each, as well as to refine the
equipment times to reflect these changes
in clinical labor.
(42) Lower Gastrointestinal Tract
Imaging (CPT Codes 74250, 74251,
74270, and 74280)
These services were identified
through a list CMS/Other codes with
Medicare utilization of 30,000 or more.
We are proposing the RUCrecommended work RVUs of 0.81 for
CPT code 74250 (Radiologic
examination, small intestine, including
multiple serial images and scout
abdominal radiograph(s), when
performed; single-contrast (e.g., barium)
study), 1.17 for CPT code 74251
(Radiologic examination, small
intestine, including multiple serial
images and scout abdominal
radiograph(s), when performed; doublecontrast (e.g., high-density barium and
air via enteroclysis tube) study,
including glucagon, when
administered), 1.04 for 74270
(Radiologic examination, colon,
including scout abdominal
radiograph(s) and delayed image(s),
when performed; single-contrast (e.g.,
barium) study), and 1.26 for CPT code
74280 (Radiologic examination, colon,
including scout abdominal
radiograph(s) and delayed image(s),
when performed; double-contrast (e.g.,
high density barium and air) study,
including glucagon, when
administered).
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For the direct PE clinical labor input
CA021 ‘‘Perform procedure/service—
NOT directly related to physician work
time,’’ we note that no rationale was
given for the recommended times for
these codes, and we are requesting
comment on the appropriateness of the
RUC-recommended clinical labor times
for this activity of 19 minutes, 30
minutes, 25 minutes, and 36 minutes for
CPT codes 74250, 74251, 74270, and
74280, respectively. In addition, we are
proposing to refine the equipment time
for the room, radiographic-fluoroscopic
(EL014) for CPT code 74250 to conform
to our established standard for highly
technical equipment and to match the
rest of the codes in the family.
(43) Urography (CPT Code 74425)
The physician time and work
described by CPT code 74425
(Urography, antegrade (pyelostogram,
nephrostogram, loopogram), radiological
supervision and interpretation) was
combined with services describing
genitourinary catheter procedures in CY
2016, resulting in CPT codes 50431
(Injection procedure for antegrade
nephrostogram and/or ureterogram,
complete diagnostic procedure
including imaging guidance (e.g.,
ultrasound and fluoroscopy) and all
associated radiological supervision and
interpretation; existing access) and
50432 (Placement of nephrostomy
catheter, percutaneous, including
diagnostic nephrostogram and/or
ureterogram when performed, imaging
guidance (e.g., ultrasound and/or
fluoroscopy) and all associated
radiological supervision and
interpretation). CPT code 74425 was not
deleted at the time, but the RUC agreed
with the specialty societies that 2 years
of Medicare claims data should be
available for analysis before the code
was resurveyed for valuation to allow
for any changes in the characteristics
and process involved in furnishing the
service separately from the
genitourinary catheter procedures. The
specialty society surveyed CPT code
74425 and reviewed the results with the
RUC in October 2018.
The results of the specialty society
surveys indicated a large increase in the
amount of time required to furnish the
service and, correspondingly, to the
work RVU. The total time for CPT code
74425 based on the survey results was
34 minutes, an increase of 25 minutes
over the current total time of 9 minutes.
In reviewing the survey results, the RUC
revised the total time for this CPT code
to 24 minutes, with a recommended
work RVU of 0.51. The reason for the
large increase in time according to the
RUC, is a change in the typical patient
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profile in which the typical patient is
one with an ileal conduit through which
nephrostomy tubes have been placed for
post-operative obstruction. Based on the
described change in patient population
and increased time required to furnish
the service, we are proposing the RUCrecommended work RVU of 0.51 for
CPT code 74425.
We are proposing the RUCrecommended direct PE inputs for CPT
code 74425.
(44) Abdominal Aortography (CPT
Codes 75625 and 75630)
In October 2017, the RAW requested
that AMA staff compile a list of CMS/
Other codes with Medicare utilization of
30,000 or more. In January 2018, the
RUC recommended to survey these
services for the October 2018 RUC
meeting. Subsequently, the specialty
society surveyed these codes.
We disagree with the RUCrecommended work RVU of 1.75 for
CPT code 75625 (Aortography,
abdominal, by serialography,
radiological supervision and
interpretation). In reviewing CPT code
75625, we note that the key reference
service, CPT Code 75710 (Angiography,
extremity, unilateral, radiological
supervision and interpretation), has 10
additional minutes of intraservice time,
10 additional minutes of total time and
the same work RVU, which would
indicate the RUC-recommended work
RVU of 1.75 appears to be overvalued.
When we compared the intraservice
time ratio between the RUCrecommended time of 30 minutes and
the reference code intraservice time of
40 minutes we found a ratio of 25
percent. 25 percent of the reference code
work RVU of 1.75 equals a work RVU
of 1.31. When we compared the total
service time ratio between the RUCrecommended time of 60 minutes and
the reference code total service time of
70 minutes we found a ratio of 14
percent. 14 percent of the reference code
work RVU of 1.75 equals a work RVU
of 1.51. Therefore, we believe an
accurate value would lie between 1.31
and 1.52 RVUs. In looking for a
comparative code, we have identified
CPT code 38222. CPT Code 38222 is a
recently reviewed CPT code with the
identical intraservice and total times. As
a result, we believe that it is more
accurate to propose a work RVU of 1.44
based on a crosswalk to CPT code
38222.
In case of CPT code 75630
(Aortography, abdominal plus bilateral
iliofemoral lower extremity, catheter, by
serialography, radiological supervision
and interpretation), we are proposing
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the RUC-recommended value of 2.00
RVUs.
We are proposing the RUCrecommended direct PE inputs for all
codes in the family.
(45) Angiography (CPT Codes 75726 and
75774)
We are proposing the RUCrecommend work RVU for both codes in
this family. We are proposing a work
RVU of 2.05 for CPT code 75726
(Angiography, visceral, selective or
supraselective (with or without flush
aortogram), radiological supervision
and interpretation), a work RVU of 1.01
for CPT code 75774 (Angiography,
selective, each additional vessel studied
after basic examination, radiological
supervision and interpretation (List
separately in addition to code for
primary procedure).
We are proposing the RUCrecommended direct PE inputs for all
codes in the family.
(46) X-Ray Exam Specimen (CPT Code
76098)
CPT code 70098 was reviewed by the
RUC based on a request from the
American College of Radiology (ACR) to
determine whether CPT code 76098 was
undervalued because of the assumption
that the service is typically furnished
concurrently with a placement of
localization device service (CPT codes
19281 through 19288 each representing
a different imaging modality). In a letter
to the RUC, ACR expressed concern
about the appropriateness of a codes
valuation process in which physician
time and intensity for a code are
reduced to account for overlap with
codes that are furnished to a patient on
the same day. During the April 2018
RUC meeting, the specialty societies
requested a work RVU of 0.40 for CPT
code 76098, with intraservice time of 5
minutes and total time of 15 minutes.
Currently, this service has a work RVU
of 0.16, with 5 minutes of total time and
no available intraservice time. In April
2018, the RUC and the specialty society
agreed that additional analysis of the
data was warranted in consideration of
the relatively large change in survey
time and work RVU for this service. The
RUC agreed to review the CPT code
(CPT code 76098) again in October
2018.
The RUC recommended a work RVU,
based on the October 2018 meeting, of
0.31 for CPT code 76098, which
represents an increase over the current
value (0.16) but a decrease relative to
the specialty society’s original request of
0.40. The intraservice time for this CPT
code is 5 minutes, and the total time is
11 minutes. Based on the parameters we
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typically use to review and evaluate
RUC recommendations, which rely
heavily on survey data, we agree that a
work RVU of 0.31 for a CPT code with
5 minutes intraservice and 11 minutes
total time is consistent with other CPT
codes with similar times and levels of
intensity. We are proposing the RUCrecommended work RVU for CPT code
76098 of 0.31.
We share the ACR’s interest in
establishing or clarifying parameters
that indicate when CPT codes that are
furnished concurrently by the same
provider should be valued to account
for the overlap in physician work time
and intensity, and even PE. We are
broadly interested in stakeholder
feedback and suggestions about what
those parameters might be and whether
or how they should affect code
valuation.
We are proposing the RUCrecommended direct PE inputs for CPT
code 76098.
(47) 3D Rendering (CPT Code 76376)
CPT code 76376 (3D rendering with
interpretation and reporting of
computed tomography, magnetic
resonance imaging, ultrasound, or other
tomographic modality with image
postprocessing under concurrent
supervision; not requiring image
postprocessing on an independent
workstation) was identified as
potentially misvalued on a screen of
codes with a negative intraservice work
per unit of time (IWPUT), with 2016
estimated Medicare utilization over
10,000 for RUC reviewed codes and over
1,000 for Harvard valued and CMS/
Other source codes. It was surveyed and
reviewed at the April 2018 RUC
meeting.
We are proposing the RUCrecommended work RVU of 0.20 for
CPT code 76376. We are also proposing
the RUC-recommended direct PE inputs
for CPT code 76376.
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(48) Ultrasound Exam—Chest (CPT
Code 76604)
CPT code 76604 (Ultrasound, chest
(includes mediastinum), real time with
image documentation) was identified as
potentially misvalued on a screen of
CMS/Other codes with Medicare
utilization of 30,000 or more. It was
surveyed and reviewed for the April
2018 RUC meeting.
We are proposing the RUCrecommended work RVU of 0.59 for
CPT code 76604. We are also proposing
the RUC-recommended direct PE inputs
for CPT code 76604.
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(49) X-Ray Exam—Bone (CPT Codes
77073, 77074, 77075, 77076, and 77077)
CPT codes 77073 (Bone length studies
(orthoroentgenogram, scanogram)),
77075 (Radiologic examination, osseous
survey; complete (axial and
appendicular skeleton)), and 77077
(Joint survey, single view, 2 or more
joints) were identified as potentially
misvalued on a screen of CMS/Other
codes with Medicare utilization of
30,000 or more. CPT codes 77074
(Radiologic examination, osseous
survey; limited (e.g., for metastases))
and 77076 (Radiologic examination,
osseous survey, infant) were reviewed as
part of the same family.
We are proposing the RUCrecommended work RVUs for all five
CPT codes in this family as follows: CPT
code 77073 (work RVU = 0.26); CPT
code 77074 (work RVU = 0.44); CPT
code 77075 (work RVU = 0.55); CPT
code 77076 (work RVU = 0.70); and CPT
code 77077 (work RVU = 0.33).
We are proposing the RUCrecommended direct PE inputs for all
codes in the family.
(50) SPECT–CT Procedures (CPT Codes
78800, 78801, 78802, 78803, 78804,
788X0, 788X1, 788X2, and 788X3)
The CPT Editorial Panel revised five
codes, created four new codes and
deleted nine codes to better differentiate
between planar radiopharmaceutical
localization procedures and SPECT,
SPECT–CT and multiple area or
multiple day radiopharmaceutical
localization/distribution procedures.
For CPT code 78800
(Radiopharmaceutical localization of
tumor, inflammatory process or
distribution of radiopharmaceutical
agent(s), (includes vascular flow and
blood pool imaging when performed);
planar limited single area (e.g., head,
neck, chest pelvis), single day of
imaging), we disagree with the RUC
recommendation to assign a work RVU
of 0.70 based on the survey 25th
percentile to this code, because we
believe that it is inconsistent with the
RUC-recommended reduction in
physician time. We are proposing a
work RVU of 0.64 based on the
following total time ratio: The RUCrecommended 27 minutes divided by
the current 28 minutes multiplied by
the current work RVU of 0.66, which
results in a work RVU of 0.64. We note
that this value is bracketed by the work
RVUs of CPT code 93287 (Periprocedural device evaluation (in person)
and programming of device system
parameters before or after a surgery,
procedure, or test with analysis, review
and report by a physician or other
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40591
qualified health care professional;
single, dual, or multiple lead
implantable defibrillator system), with a
work RVU of 0.45, and CPT code 94617
(Exercise test for bronchospasm,
including pre- and post-spirometry,
electrocardiographic recording(s), and
pulse oximetry), with a work RVU of
0.70. Both of these supporting
crosswalks have intraservice time values
of 10 minutes, and they have similar
total time values.
For CPT code 78801
(Radiopharmaceutical localization of
tumor, inflammatory process or
distribution of radiopharmaceutical
agent(s), (includes vascular flow and
blood pool imaging when performed);
planar, 2 or more areas (e.g., abdomen
and pelvis, head and chest), 1 or more
days of imaging or single area imaging
over 2 or more days), we disagree with
the RUC recommendation to maintain
the current work RVU of 0.79 despite a
22-minute reduction in intraservice
time. We believe a reduction from the
current value is warranted given the
recommended reduction in physician
time, and also to be consistent with
other services of similar time values. We
are proposing a work RVU of 0.73 based
on the RUC-recommended incremental
relationship between this code and CPT
code 78800 (a difference of 0.09 RVU),
which we apply to our proposed value
for the latter code. As support for our
proposed work RVU of 0.73, we note
that it falls between the work RVUs of
CPT code 94617 (Exercise test for
bronchospasm, including pre- and postspirometry, electrocardiographic
recording(s), and pulse oximetry) with a
work RVU of 0.70, and CPT code 93280
(Programming device evaluation (in
person) with iterative adjustment of the
implantable device to test the function
of the device and select optimal
permanent programmed values with
analysis, review and report by a
physician or other qualified health care
professional; dual lead pacemaker
system) with a work RVU of 0.77.
For CPT code 78802
(Radiopharmaceutical localization of
tumor, inflammatory process or
distribution of radiopharmaceutical
agent(s), (includes vascular flow and
blood pool imaging when performed);
planar, whole body, single day of
imaging), we disagree with the RUC
recommendation to maintain the current
work RVU of 0.86, as we believe that it
is inconsistent with a reduction in time
values, and because we do not agree that
a work RVU that is among the highest
of other services of similar intraservice
time values is appropriate. We are
proposing a work RVU of 0.80 based on
the RUC-recommended incremental
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relationship between this code and CPT
code 78800 (a difference of 0.16 RVU),
which we apply to our proposed value
for the latter code. As support for our
proposed work RVU of 0.80, we note
that it falls between the work RVUs of
CPT code 92520 (Laryngeal function
studies (i.e., aerodynamic testing and
acoustic testing)) with a work RVU of
0.75, and CPT code 93282
(Programming device evaluation (in
person) with iterative adjustment of the
implantable device to test the function
of the device and select optimal
permanent programmed values with
analysis, review and report by a
physician or other qualified health care
professional; single lead transvenous
implantable defibrillator system) with a
work RVU of 0.85.
For CPT code 78804
(Radiopharmaceutical localization of
tumor, inflammatory process or
distribution of radiopharmaceutical
agent(s), (includes vascular flow and
blood pool imaging when performed);
planar, whole body, requiring 2 or more
days of imaging), we disagree with the
RUC recommendation to maintain the
current work RVU of 1.07, as we believe
that it is inconsistent with a reduction
in time values, and because this work
RVU appears to be valued highly
relative to other services of similar time
values. We are proposing a work RVU
of 1.01 based on the RUC-recommended
incremental relationship between this
code and CPT code 78800 (a difference
of 0.37 RVU), which we apply to our
proposed value for the latter code. As
support for our proposed work RVU of
1.01, we reference CPT code 91111
(Gastrointestinal tract imaging,
intraluminal (e.g., capsule endoscopy),
esophagus with interpretation and
report), which has a work RVU of 1.00
and similar physician time values.
For CPT code 78803
(Radiopharmaceutical localization of
tumor, inflammatory process or
distribution of radiopharmaceutical
agent(s), (includes vascular flow and
blood pool imaging when performed);
tomographic (SPECT), single area (e.g.,
head, neck, chest pelvis), single day of
imaging), we disagree with the RUC
recommendation to increase the work
RVU to 1.20 based on the survey 25th
percentile to this code, because we
believe that it is inconsistent with the
RUC-recommended reduction in
physician time. We are proposing to
maintain the current work RVU of 1.09.
We support this value with a reference
to CPT code 78266 (Gastric emptying
imaging study (e.g., solid, liquid, or
both); with small bowel and colon
transit, multiple days), which has a
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work RVU of 1.08, and similar time
values.
For CPT code 788X0
(Radiopharmaceutical localization of
tumor, inflammatory process or
distribution of radiopharmaceutical
agent(s), (includes vascular flow and
blood pool imaging when performed);
tomographic (SPECT) with concurrently
acquired computed tomography (CT)
transmission scan for anatomical
review, localization and determination/
detection of pathology, single area (e.g.,
head, neck, chest or pelvis), single day
of imaging), we disagree with the RUC
recommendation to assign a work RVU
of 1.60 based on the survey 25th
percentile to this code, as this would
value this code more highly than
services of similar time values. To
maintain relativity among services in
this family, we are proposing a work
RVU of 1.49 for CPT code 788X0 based
on the RUC-recommended incremental
relationship between CPT code 788X0
and CPT code 78803 (a difference of
1.09 RVU), which we apply to our
proposed value for the latter code. As
support for our proposed work RVU of
1.49, we note that it is bracketed by the
work RVUs of CPT codes 72195
(Magnetic resonance (e.g., proton)
imaging, pelvis; without contrast
material(s)) with a work RVU of 1.46,
and 95861 (Needle electromyography; 2
extremities with or without related
paraspinal areas) with a work RVU of
1.54. The physician time values of these
services bracket those recommended for
CPT code 778X0.
For CPT code 788X1
(Radiopharmaceutical localization of
tumor, inflammatory process or
distribution of radiopharmaceutical
agent(s), (includes vascular flow and
blood pool imaging when performed);
tomographic (SPECT), minimum 2 areas
(e.g., pelvis and knees, abdomen and
pelvis), single day of imaging, or single
area of imaging over 2 or more days), we
disagree with the RUC recommendation
to assign a work RVU of 1.93 based on
the survey 50th percentile to this code,
as this would value this code more
highly than services of similar time
values. To maintain relativity among
services in this family, we are proposing
a work RVU of 1.82 based on the RUCrecommended incremental relationship
between this code and CPT code 78803
(a difference of 0.73 RVU), which we
apply to our proposed value for the
latter code. As support for our proposed
work RVU of 1.82, we note that it is
bracketed by the work RVUs of the CPT
codes which are members of the same
code families referenced for the
previous CPT code, 788X0: CPT codes
72191 (Computed tomographic
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angiography, pelvis, with contrast
material(s), including noncontrast
images, if performed, and image
postprocessing) with a work RVU of
1.81, and 95863 (Needle
electromyography; 3 extremities with or
without related paraspinal areas) with a
work RVU of 1.87. The physician time
values of these services bracket those
recommended for CPT code 778X1.
For CPT code 788X2
(Radiopharmaceutical localization of
tumor, inflammatory process or
distribution of radiopharmaceutical
agent(s), (includes vascular flow and
blood pool imaging when performed);
tomographic (SPECT) with concurrently
acquired computed tomography (CT)
transmission scan for anatomical
review, localization and determination/
detection of pathology, minimum 2
areas (e.g., pelvis and knees, abdomen
and pelvis), single day of imaging, or
single area of imaging over 2 or more
days imaging), we disagree with the
RUC recommendation to assign a work
RVU of 2.23 based on the survey 50th
percentile to this code, as this would
value this code more highly than
services of similar time values. To
maintain relativity among services in
this family, we are proposing a work
RVU of 2.12 based on the RUCrecommended incremental relationship
between this code and CPT code 78803
(a difference of 1.03 RVU), which we
apply to our proposed value for the
latter code. As support for our proposed
work RVU of 2.12, we reference CPT
code 70554 (Magnetic resonance
imaging, brain, functional MRI;
including test selection and
administration of repetitive body part
movement and/or visual stimulation,
not requiring physician or psychologist
administration), which has a work RVU
of 2.11 and physician intraservice and
total time values that are identical to
those recommended for this service.
For CPT code 788X3
(Radiopharmaceutical quantification
measurement(s) single area), we
disagree with the RUC recommendation
to assign a work RVU of 0.51 based on
the survey 25th percentile to this code,
because we wish to maintain relativity
and proportionality among codes of this
family. We based our values for the
other codes in this family on their
relative relationship to either CPT code
78800 or 788X2, depending on the type
of service described by the code. For
CPT code 788X0, which describes a
single day of imaging and is thus
analagous to CPT code 788X3 in terms
of units of service, our analysis
indicates a reduction from the RUC
value of approximately 7 percent is
appropriate. Therefore, we apply a
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similar reduction of 7 percent to the
RUC-recommended work RVU of 0.51 to
arrive at an RVU of 0.47. We support
this value by noting that it is bracketed
by add-on CPT codes 77001
(Fluoroscopic guidance for central
venous access device placement,
replacement (catheter only or complete),
or removal (includes fluoroscopic
guidance for vascular access and
catheter manipulation, any necessary
contrast injections through access site or
catheter with related venography
radiologic supervision and
interpretation, and radiographic
documentation of final catheter
position) (List separately in addition to
code for primary procedure)) with a
work RVU of 0.38, and 77002
(Fluoroscopic guidance for needle
placement (e.g., biopsy, aspiration,
injection, localization device) (List
separately in addition to code for
primary procedure)), with a work RVU
of 0.54. Both of these reference CPT
codes have intraservice time values that
are similar to, and total time values that
are identical to, those recommended for
CPT code 788X3.
For the direct PE inputs, we are
refining the number of minutes of
clinical labor allocated to the activity
‘‘Prepare, set-up and start IV, initial
positioning and monitoring of patient’’
to the 2-minute standard for CPT codes
78800, 78801, 78802, 78804, 78803,
788X0, 788X1, and 788X2, as no
rationale was provided for these codes
to have times above the standard for this
activity. We are also refining the
equipment time formulas to reflect this
clinical labor refinement for these
codes. For CPT codes 78800, 78801,
78802, 78804, 78803, 788X0, 788X1,
and 788X2, we are proposing to refine
the equipment times to match our
standard equipment time formula for
the professional PACS workstation. For
the supply item SM022 ‘‘sanitizing
cloth-wipe (surface, instruments,
equipment),’’ we are refining these
supplies to quantities of 5 each for CPT
codes 78801, 78804, and 788X2 to
conform with other codes in the family.
(51) Myocardial PET (CPT Codes 78459,
78X29, 78491, 78X31, 78492, 78X32,
78X33, 78X34, and 78X35)
CPT code 78492 was identified via the
High Volume Growth screen with total
Medicare utilization over 10,000 that
increased by at least 100 percent from
2009 through 2014. The CPT Editorial
Panel revised this code set to reflect
newer technology aspects such as wall
motion, ejection fraction, flow reserve,
and technology updates for hardware
and software. The CPT Editorial Panel
deleted a Category III code, added six
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Category I codes, and revised the three
existing codes to separately identify
component services included for
myocardial imaging using positron
emission tomography.
For CPT code 78491 (Myocardial
imaging, positron emission tomography,
perfusion study (including ventricular
wall motion(s), and/or ejection
fractions(s), when performed); single
study, at rest or stress (exercise or
pharmacologic)), we disagree with the
RUC-recommended work RVU of 1.56,
which is the survey 25th percentile
value, as we believe that the 30-minute
reduction in intraservice time and 15minute reduction in physician total time
does not validate an increase in work
RVU, and we believe that the
significance of the reductions in
recommended physician time values
warrants a reduction in work RVU. We
are proposing a work RVU of 1.00 based
on the following total time ratio: The
recommended 30 minutes divided by
the current 45 minutes multiplied by
the current work RVU of 1.50, which
results in a work RVU of 1.00. As
further support for this value, we note
that it falls between CPT code 78278
(Acute gastrointestinal blood loss
imaging), with a work RVU of 0.99, and
CPT code 10021 (Fine needle aspiration
biopsy, without imaging guidance; first
lesion), with a work RVU of 1.03.
For CPT code 78X31 (Myocardial
imaging, positron emission tomography,
perfusion study (including ventricular
wall motion(s), and/or ejection
fractions(s), when performed); single
study, at rest or stress (exercise or
pharmacologic), with concurrently
acquired computed tomography
transmission scan), we disagree with the
RUC recommendation of 1.67 based on
the survey 25th percentile, as we do not
agree this service would be
appropriately valued with an RVU that
is among the highest of all services of
similar times with this global period.
We are proposing a work RVU of 1.11
by applying the RUC-recommended
increment between CPT code 78491 and
this code, an increment of 0.11, to our
proposed value of 1.00 for CPT code
78491, thus maintaining the RUC’s
recommended incremental relationship
between these codes. As further support
for this value, we note that it falls
between CPT codes 95977 (Electronic
analysis of implanted neurostimulator
pulse generator/transmitter (e.g.,
contact group[s], interleaving,
amplitude, pulse width, frequency [Hz],
on/off cycling, burst, magnet mode, dose
lockout, patient selectable parameters,
responsive neurostimulation, detection
algorithms, closed loop parameters, and
passive parameters) by physician or
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other qualified health care professional;
with complex cranial nerve
neurostimulator pulse generator/
transmitter programming by physician
or other qualified health care
professional)), with a work RVU of 0.97,
and CPT code 93284 (Programming
device evaluation (in person) with
iterative adjustment of the implantable
device to test the function of the device
and select optimal permanent
programmed values with analysis,
review and report by a physician or
other qualified health care professional;
multiple lead transvenous implantable
defibrillator system), with a work RVU
of 1.25; both of these codes have similar
physician time values.
For CPT code 78459 (Myocardial
imaging, positron emission tomography
(PET), metabolic evaluation study
(including ventricular wall motion(s),
and/or ejection fraction(s), when
performed) single study), we disagree
with the RUC recommendation to
increase the work RVU to 1.61 based on
the survey 25th percentile. We believe
that the magnitude of the recommended
reductions in physician time (a 50minute reduction in intraservice time
and a 32-minute reduction in total time)
suggests that this value is overestimated;
furthermore, we note that the RUC’s
recommendation is among the highest
for all XXX-global period codes with
similar time values. We are proposing a
work RVU of 1.05 by applying the RUCrecommended increment between this
code and CPT code 78491, a difference
of 0.05, which we apply to our proposed
value for the latter code. We support our
RVU of 1.05 by referencing two CPT
codes: 10021 (Fine needle aspiration
biopsy, without imaging guidance; first
lesion), and 36440 (Push transfusion,
blood, 2 years or younger), both of
which have work RVUs of 1.03, as well
as identical intraservice and similar
total time values.
We disagree with the RUC’s
recommended valuation of 1.76 for CPT
code 78X29 (Myocardial imaging,
positron emission tomography (PET),
metabolic evaluation study (including
ventricular wall motion(s), and/or
ejection fraction(s), when performed)
single study; with concurrently acquired
computed tomography transmission
scan), which is based on the survey 25th
percentile, because we believe a work
RVU that is greater than those of all
other services of similar intraservice
time values is not appropriate. We are
proposing a work RVU of 1.20 for CPT
code 78X29. We are proposing to value
CPT code 78X29 with an incremental
methodology, which preserves the RUCrecommended relationship among the
codes in this family; the RUC
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recommends an increment of 0.20
between CPT code 78X29 and CPT code
78491. We are proposing to apply this
increment to our proposed value of 1.00
for CPT code 78491 to arrive at our
value of 1.20.
We disagree with the RUC’s
recommendation of 1.80 for CPT code
78492 (Myocardial imaging, positron
emission tomography, perfusion study
(including ventricular wall motion(s),
and/or ejection fractions(s), when
performed); multiple studies at rest and
stress (exercise or pharmacologic)) given
the magnitude of the recommended
reduction in physician time values (a
35-minute reduction in intraservice time
and a 17-minute reduction in total
time), and also given the fact that the
RUC’s recommended value would be
the highest of all codes of this
intraservice time and global period. We
are proposing a work RVU of 1.24 based
on the RUC-recommended incremental
difference between 78491 and 78492 of
0.24, which we add to our proposed
value for 78491 for a work RVU of 1.24.
As further support for this value, we
reference CPT code 95908 (Nerve
conduction studies; 3–4 studies), with a
work RVU of 1.25, similar physician
time values.
We disagree with the RUC’s
recommendation of 1.90 for CPT code
78X32 (Myocardial imaging, positron
emission tomography, perfusion study
(including ventricular wall motion(s),
and/or ejection fractions(s), when
performed); multiple studies at rest and
stress (exercise or pharmacologic), with
concurrently acquired computed
tomography transmission scan) which is
based on a crosswalk to CPT code 64617
(Chemodenervation of muscle(s); larynx,
unilateral, percutaneous (e.g., for
spasmodic dysphonia), includes
guidance by needle electromyography,
when performed), because the fact that
this work RVU that is greater than those
of all other services of similar
intraservice time values suggests that it
is an overestimate. Instead we are
proposing a work RVU of 1.34 for CPT
code 78X32, based on an incremental
methodology. We apply the RUCrecommended increment between 78491
and CPT code 78X32, a difference of
0.34, to our proposed value of 1.00 for
CPT code 78491, for a value of 1.34. We
support this value by referencing CPT
code 77261 (Therapeutic radiology
treatment planning; simple), with a
work RVU of 1.30, and CPT code 94003
(Ventilation assist and management,
initiation of pressure or volume preset
ventilators for assisted or controlled
breathing; hospital inpatient/
observation, each subsequent day), with
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a work RVU of 1.37. These codes have
similar physician time values.
We disagree with the RUC’s
recommendation of 2.07 for CPT code
78X33 (Myocardial imaging, positron
emission tomography, combined
perfusion with metabolic evaluation
study (including ventricular wall
motion(s), and/or ejection fraction(s),
when performed), dual radiotracer (e.g.,
myocardial viability)), because we
believe the fact that this work RVU is
greater than those of all other services
of similar intraservice time values
suggests that it is an overestimate. We
are proposing a work RVU of 1.51 for
CPT code 78X33, based on an
incremental methodology. We apply the
RUC-recommended increment between
78491 and CPT code 78X33, a difference
of 0.51, to our proposed value of 1.00 for
CPT code 78491, for a value of 1.51. We
support this value by referencing CPT
code 10005 (Fine needle aspiration
biopsy, including ultrasound guidance;
first lesion), with a work RVU of 1.46,
and similar physician time values.
Similarly for CPT code 78X34
(Myocardial imaging, positron emission
tomography, combined perfusion with
metabolic evaluation study (including
ventricular wall motion(s), and/or
ejection fraction(s), when performed),
dual radiotracer (e.g., myocardial
viability); with concurrently acquired
computed tomography transmission
scan), we disagree with the RUC’s
recommendation of 2.26 based on a
crosswalk to CPT code 71552 (Magnetic
resonance (e.g., proton) imaging, chest
(e.g., for evaluation of hilar and
mediastinal lymphadenopathy); without
contrast material(s), followed by
contrast material(s) and further
sequences), because we believe the fact
that this work RVU is among the highest
among services of similar intraservice
time values suggests that it is an
overestimate. We are proposing a work
RVU of 1.70 by applying the RUCrecommended increment between CPT
code 78X34 and CPT code 78491, which
is a difference of 0.70, to our proposed
value for CPT code 78491 for a value of
1.70. We support this value by
referencing CPT codes 95924 (Testing of
autonomic nervous system function;
combined parasympathetic and
sympathetic adrenergic function testing
with at least 5 minutes of passive tilt)
and 74182 (Magnetic resonance (e.g.,
proton) imaging, abdomen; with
contrast material(s)), both of which have
work RVUs of 1.73.
For CPT code 78X35 (Absolute
quantitation of myocardial blood flow
(AQMBF), positron emission
tomography, rest and pharmacologic
stress (List separately in addition to
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code for primary procedure)), we
disagree with the RUC recommendation
to assign a work RVU of 0.63 to this
code based on the survey 25th
percentile, because we believe a
comparison to other codes with a global
period of ZZZ suggests that this is
somewhat overvalued, and because we
wish to maintain relativity and
proportionality to other codes in this
series. We based our values for the other
codes in this family on their relative
relationships to CPT code 78491; for
that code our analysis indicates that a
reduction from the RUC value of
roughly 1⁄3 is appropriate, based on a
ratio of the decrease in total time to the
current work RVU. Therefore, we apply
a similar reduction of 1⁄3 to the RUCrecommended work RVU of 0.63 to
arrive at an RVU of approximately 0.42.
Applying a reduction that is similar to
the reduction we think is warranted
from the RUC value for CPT code 78491
to CPT code 78X35 will maintain
consistency in value among these
services. We believe this work RVU is
validated by noting that it is bracketed
by CPT codes 15272 (Application of
skin substitute graft to trunk, arms, legs,
total wound surface area up to 100 sq
cm; each additional 25 sq cm wound
surface area, or part thereof (List
separately in addition to code for
primary procedure)), with a work RVU
of 0.33, and 11105 (Punch biopsy of skin
(including simple closure, when
performed); each separate/additional
lesion (List separately in addition to
code for primary procedure)), with a
work RVU of 0.45. A work RVU of 0.42
is thus consistent with ZZZ global
period codes of similar physician times.
For the direct PE inputs, for several of
the equipment items, we are proposing
to refine the equipment times to
conform to our established policies for
non-highly, as well as for highly
technical equipment. In addition, we are
proposing to refine the equipment times
to conform to our established policies
for PACS Workstation. For the new
equipment items ER110: ‘‘PET
Refurbished Imaging Cardiac
Configuration’’ and ER111: ‘‘PET/CT
Imaging Camera Cardiac Configuration,’’
we are proposing to assume that a 90
percent equipment utilization rate is
typical, as this would be consistent with
our equipment utilization assumptions
for expensive diagnostic imaging
equipment. For the supply item SM022
‘‘sanitizing cloth-wipe (surface,
instruments, equipment),’’ we are
refining these supplies to quantities of
5 each for CPT codes 78X33 and 78X34
to conform with other codes in the
family. We are proposing that we will
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not price the ‘‘Software and hardware
package for Absolute Quantitation’’ as a
new equipment item, due to the fact that
the submitted invoices included a
service contract and a combined
software/hardware bundle with no
breakdown on individual pricing. Based
on our lack of specific pricing data, we
believe that this software is more
accurately characterized as an indirect
PE input that is not individually
allocable to a particular patient for a
particular service.
(52) Cytopathology, Cervical-Vaginal
(CPT Code 88141, HCPCS Codes G0124,
G0141, and P3001)
CPT code 88141 (Cytopathology,
cervical or vaginal (any reporting
system), requiring interpretation by
physician), HCPCS code G0124
(Screening cytopathology, cervical or
vaginal (any reporting system), collected
in preservative fluid, automated thin
layer preparation, requiring
interpretation by physician), HCPCS
code G0141 (Screening cytopathology
smears, cervical or vaginal, performed
by automated system, with manual
rescreening, requiring interpretation by
physician), and HCPCS code P3001
(Screening Papanicolaou smear,
cervical or vaginal, up to three smears,
requiring interpretation by physician)
were identified as potentially misvalued
on a list of CMS or other source codes
with Medicare utilization of 30,000 or
more.
In the CY 2000 PFS final rule (64 FR
59408), we finalized a policy that it was
more appropriate to evaluate the work,
PE, and MP RVUs for HCPCS codes
P3001, G0124, and G0141 identical or
comparable to the values of CPT code
88141.
For CY 2020, the RUC recommended
a work RVU of 0.42 for CPT code 88141
and HCPCS codes G0124, G0141, and
P3001, based on the current value. We
disagree with the RUC-recommended
work RVU and are proposing a work
RVU of 0.26 for all four codes in this
family, based on our time ratio
methodology and a crosswalk to CPT
code 93313 (Echocardiography,
transesophageal, real-time with image
documentation (2D) (with or without Mmode recording); placement of
transesophageal probe only), which has
an identical work RVU of 0.26, identical
intraservice and total work times values
to CPT code 88141 and HCPCS codes
G0124, and G0141, and similar
intraservice and total time values to
HCPCS code P3001.
In reviewing this family of codes, we
note that the intraservice and total work
times for CPT code 88141 and HCPCS
codes G0124, and G0141 are decreasing
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from 16 minutes to 10 minutes (38
percent reduction) and the intraservice
and total work times for HCPCS code
P3001 are decreasing from 16 minutes to
12 minutes (25 percent reduction).
However, the RUC recommended a
work RVU of 0.42 for all four codes in
this family, based on the maintaining
the current work RVU. Although we do
not imply that the decrease in time as
reflected in survey values must equate
to a one-to-one or linear decrease in the
valuation of work RVUs, we believe that
since the two components of work are
time and intensity, significant decreases
in time should be appropriately
reflected in decreases to work RVUs. In
the case of CPT code 88141 and HCPCS
codes G0124, G0141, and P3001, we
believe that it would be more accurate
to propose a work RVU of 0.26, based
on our time ratio methodology and a
crosswalk to CPT code 93313 to account
for these decreases in the surveyed work
times.
For the direct PE inputs, we are
proposing to refine the clinical labor
time for the ‘‘Perform regulatory
mandated quality assurance activity’’
(CA033) activity from 7 minutes to 5
minutes for all four codes in the family.
We believe that these quality assurance
activities would not typically take 7
minutes to perform, given that similar
federally mandated MQSA activities
were recommended and finalized at a
time of 4 minutes for CPT codes 77065–
77067 in CY 2017 (81 FR 80314–80316),
and other related regulatory compliance
activities were recommended and
finalized at a time of 5 minutes for CPT
codes 78012–78014 in CY 2013 (77 FR
69037). To preserve relativity between
services, we are proposing a clinical
labor time of 5 minutes for the codes in
this family based on this prior allocation
of clinical labor time.
We are also proposing to remove the
1-minute of clinical labor time for the
‘‘File specimen, supplies, and other
materials’’ (PA008) activity from all four
codes under the rationale that this task
is a form of indirect PE. As we stated in
the CY 2017 PFS final rule (81 FR
80324), we agree that filing specimens is
an important task, and we agree that
these would take more than zero
minutes to perform. However, we
continue to believe that these activities
are correctly categorized under indirect
PE as administrative functions, and
therefore, we do not recognize the filing
of specimens as a direct PE input, and
we do not consider this task as typically
performed by clinical labor on a perservice basis.
We are proposing to refine the
equipment time for the compound
microscope (EP024) equipment to 10
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minutes for all four codes in the family
to match the work time of the
procedures. The recommended
materials for this code family state that
the compound microscope is utilized by
the pathologist, and therefore, we
believe that the 10-minute work time of
the procedures would be the most
accurate equipment time to propose.
(53) Biofeedback Training (CPT Codes
908XX and 909XX)
CPT code 90911 (Biofeedback
training, perineal muscles, anorectal or
urethral sphincter, including EMG and/
or manometry) was identified as
potentially misvalued on a RAW screen
of codes with a negative IWPUT and
Medicare utilization over 10,000 for all
services or over 1,000 for Harvard
valued and CMS or other source codes.
In September 2018, the CPT Editorial
Panel replaced this code with two new
codes to describe biofeedback training
initial 15 minutes of one-on-one patient
contact and each additional 15 minutes
of biofeedback training.
We are proposing the RUCrecommended work RVU of 0.90 for
CPT code 908XX (Biofeedback training,
perineal muscles, anorectal or urethral
sphincter, including EMG and/or
manometry when performed; initial 15
minutes of one-on-one patient contact),
as well as the RUC-recommended work
RVU of 0.50 for CPT code 909XX
(Biofeedback training, perineal muscles,
anorectal or urethral sphincter,
including EMG and/or manometry when
performed; each additional 15 minutes
of one-on-one patient contact). For the
direct PE inputs, we are proposing to
refine the equipment time for the power
table (EF031) equipment in CPT code
908XX to conform to our established
standard for non-highly technical
equipment.
We are also proposing to designate
CPT codes 908XX and 909XX as
‘‘sometimes therapy’’ procedures which
means that an appropriate therapy
modifier is always required when this
service is furnished by therapists. For
more information we direct readers to
the Therapy Code List section of the
CMS website at https://www.cms.gov/
Medicare/Billing/TherapyServices/
AnnualTherapyUpdate.html.
(54) Corneal Hysteresis Determination
(CPT Code 92145)
In 2005, the AMA RUC began the
process of flagging services that
represent new technology or new
services as they were presented to the
AMA/Specialty Society RVS Update
Committee. The AMA RUC reviewed
this service at the October 2018 RAW
meeting, and indicated that the
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utilization is continuing to increase for
this service. This code was surveyed
and reviewed for the January 2019 RUC
meeting.
We are proposing the work RVU of
0.10 as recommended by the RUC. We
are also proposing the RUCrecommended direct PE inputs for CPT
code 92145 without refinement.
(55) Computerized Dynamic
Posturography (CPT Codes 92548 and
92XX0)
CPT code 92548 (Computerized
dynamic posturography) was identified
via the negative IWPUT screen. CPT
revised one code and added another
code to more accurately describe the
current clinical work and equipment
necessary to provide this service.
We do not agree with the RUC’s
recommended work RVUs of 0.76 for
CPT code 92548 (Computerized
dynamic posturography sensory
organization test (CDP–SOT), 6
conditions (i.e., eyes open, eyes closed,
visual sway, platform sway, eyes closed
platform sway, platform and visual
sway), including interpretation and
report), or 0.96 for CPT code 92XX0
(Computerized dynamic posturography
sensory organization test (CDP–SOT), 6
conditions (i.e., eyes open, eyes closed,
visual sway, platform sway, eyes closed
platform sway, platform and visual
sway), including interpretation and
report; with motor control test (MCT)
and adaptation test (ADT)). For CPT
code 92548, we agree that an increase in
work RVU is warranted; however, we
believe the surveyed time values suggest
an increase of a less significant
magnitude than that recommended. We
are proposing a work RVU of 0.67 based
on the intraservice time ratio: we divide
the RUC-recommended intraservice
time value of 20 by the current value of
15 and multiply the product by the
current work RVU of 0.50 for a ratio of
0.67. As a supporting crosswalk, we
note that our value is greater than the
work RVU of 0.60 for CPT code 93316
(Transesophageal echocardiography for
congenital cardiac anomalies;
placement of transesophageal probe
only), which has identical intraservice
and total times.
We are proposing to maintain
relativity between these two codes by
valuing CPT code 92XX0 by applying
the RUC-recommended incremental
difference between the two codes, a
difference of 0.20, to our proposed value
of 0.66 for CPT code 93316; therefore,
we are proposing a work RVU of 0.87 for
CPT code 92XX0. As further support for
this value, we note that it falls between
the work RVUs of CPT codes 95972
(Electronic analysis of implanted
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neurostimulator pulse generator/
transmitter (e.g., contact group[s],
interleaving, amplitude, pulse width,
frequency [Hz], on/off cycling, burst,
magnet mode, dose lockout, patient
selectable parameters, responsive
neurostimulation, detection algorithms,
closed loop parameters, and passive
parameters) by physician or other
qualified health care professional; with
complex spinal cord or peripheral nerve
(e.g., sacral nerve) neurostimulator
pulse generator/transmitter
programming by physician or other
qualified health care professional), with
a work RVU of 0.80, and CPT code
38207 (Transplant preparation of
hematopoietic progenitor cells;
cryopreservation and storage), with a
work RVU of 0.89.
We are proposing the RUCrecommended direct PE inputs for these
codes without refinement.
(56) Auditory Function Evaluation (CPT
Codes 92626 and 92627)
CPT code 92626 (Evaluation of
auditory function for surgically
implanted device(s), candidacy or postoperative status of a surgically
implanted device(s); first hour)
appeared on the RAW 2016 high volume
growth screen. In 2017, it was identified
through a CMS request. CPT code 92627
(Evaluation of auditory function for
surgically implanted device(s),
candidacy or post-operative status of a
surgically implanted device(s); each
additional 15 minutes) the add-on code
for CPT code for 92626, also was
included in the CMS request to review
audiology services.
For CY 2020, we are proposing the
HCPAC-recommended work RVU of
1.40 for CPT code 92626, which is
identical to its current RVU. We are also
proposing the HCPAC-recommended
work RVU of 0.33 for the add-on code,
CPT code 92627. We are proposing the
RUC-recommended direct PE inputs for
all codes in the family.
(57) Septostomy (CPT Codes 92992 and
92993)
CPT codes 92992 (Atrial septectomy
or septostomy; transvenous method,
balloon (e.g., Rashkind type) (includes
cardiac catheterization)) and 92993
(Atrial septectomy or septostomy; blade
method (Park septostomy) (includes
cardiac catheterization)) were
nominated as potentially misvalued
services. These services are typically
performed on children, a non-Medicare
population, and are currently
contractor-priced. These codes were
surveyed and reviewed for the January
2019 RUC meeting.
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We are proposing to maintain
contractor pricing for CPT codes 92992
and 92993, as recommended by the
RUC. These codes will be referred to the
CPT Editorial Panel for revision and
potential deletion. We are also
proposing a change from 90-day to 0day global period status for these two
procedures, also as recommended by the
RUC.
(58) Opthalmoscopy (CPT Codes 92X18
and 92X19)
CPT code 92225 was identified as
potentially misvalued on a screen of
codes with a negative IWPUT, with
2016 estimated Medicare utilization
over 10,000 for RUC reviewed codes and
over 1,000 for Harvard valued and CMS/
Other source codes. In February 2018,
the CPT Editorial Panel deleted CPT
codes 92225 and 92226 and created two
new codes to specify what portion of the
eye is examined for a service beyond the
normal comprehensive eye exam.
We are proposing the RUCrecommended work RVUs of 0.40 for
CPT code 92X18 (Ophthalmoscopy,
extended, with retinal drawing and
scleral depression of peripheral retinal
disease (e.g., for retinal tear, retinal
detachment, retinal tumor) with
interpretation and report, unilateral or
bilateral) and 0.26 for CPT code 92X19
(Ophthalmoscopy, extended, with
drawing of optic nerve or macula (e.g.,
for glaucoma, macular pathology,
tumor) with interpretation and report,
unilateral or bilateral).
We are proposing the RUCrecommended direct PE inputs for this
code family without refinement.
(59) Remote Interrogation Device
Evaluation (CPT Codes 93297, 93298,
93299, and HCPCS Code GTTT1)
When the RUC previously reviewed
the CPT code 93299 at the January 2017
RUC meeting, the specialty society
submitted PE inputs for CPT code 93299
(Interrogation device evaluation(s),
(remote) up to 30 days; implantable
cardiovascular physiologic monitor
system or subcutaneous cardiac rhythm
monitor system, remote data
acquisitions(s), receipt of transmissions
and technician review, technical
support and distribution of results); the
PE Subcommittee and RUC accepted the
society recommendations. In the CY
2018 PFS final rule (82 FR 53064), we
did not finalize our proposal to establish
national pricing for CPT code 93299 and
the code remained contractor-priced.
At the October 2018 RUC meeting, the
RUC re-examined CPT code 93299. CPT
codes 93297 (Interrogation device
evaluation(s), (remote) up to 30 days;
implantable cardiovascular physiologic
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monitor system, including analysis of 1
or more recorded physiologic
cardiovascular data elements from all
internal and external sensors, analysis,
review(s) and report(s) by a physician or
other qualified health care professional)
and 93298 (Interrogation device
evaluation(s), remote up to 30 days;
subcutaneous cardiac rhythm monitor
system, including analysis or recorded
heart rhythm data, analysis, review(s)
and report(s) by a physician or other
qualified health care professional) were
added to this family of services. These
three codes were reviewed for practice
expense only.
CPT codes 93297 and 93298 are workonly codes and CPT code 93299 is
meant to serve as the catch-all for both
30-day remote monitoring services. The
RUC is unclear why the code family was
designed this way, noting it may have
been a way to allow for the possibility
that the technical work would be
provided by vendors, but they noted
that this is not how the service is
currently provided. Stating that in the
decade since these codes were created,
it has become clear that implantable
cardiovascular monitor (ICM) and
implantable loop recorder (ILR) services
are very different and the PE cannot be
appropriately captured for both services
in a single technical code. They noted
that CPT codes 93297–93299 will be
placed on the new technology/new
services list and be re-reviewed by the
RUC in 3 years to ensure correct
calculation and utilization assumptions.
It was noted in the RUC
recommendations that the specialty
society intended to submit a coding
proposal to the CPT Editorial Panel to
delete CPT code 93299, as it will no
longer be necessary to have a separate
code for PE if CPT codes 93297 and
93298 are allocated direct PE in CY
2020.
In our review of these services, we
note that the RUC recommendations did
not provide a detailed description of the
clinical labor tasks being performed or
detailed information on the typical use
of the supply and equipment used when
furnishing these services. These details
are important in order for us to review
if the RUC-recommended PE inputs are
appropriate to furnish these services.
The RUC submitted PE inputs (which
were not previously included) for the
work-only CPT codes 93297 and 93298,
but did not include details to
substantiate these recommended PE
inputs for any of the three codes in this
family.
Additionally, we are concerned with
the appropriateness of the RUC’s
reference code, CPT code 93296
(Interrogation device evaluation(s)
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(remote), up to 90 days; single, dual, or
multiple lead pacemaker system,
leadless pacemaker system, or
implantable defibrillator system, remote
data acquisition(s), receipt of
transmissions and technician review,
technical support and distribution of
results). CPT code 93296 is for remote
monitoring over a 90-day period, but
was used as a reference to derive the
RUC-recommended direct PE inputs for
CPT codes 93297–93299, which are for
remote monitoring over a 30-day period.
For the CY 2020 direct PE inputs, we
are proposing to remove the clinical
labor time for ‘‘Perform procedure/
service—not directly related to
physician work time’’ (CA021); to
remove the requested quantity for the
supply ‘‘Paper, laser printing (each
sheet)’’ (SK057); and to refine the
equipment times in accordance with our
standard equipment time formulas for
CPT codes 93297 and 93298.
Although we are not proposing to
allocate direct PE inputs for CPT codes
93297 and 93298, we are seeking
additional comment on the
appropriateness of CPT code 93296 as
the reference code, details on the
clinical labor tasks, and more
information on the typical use of the
supply and equipment used to furnish
these services. For example, it was
unclear in the RUC recommendations
how many patients are monitored
concurrently. As an additional example,
it was unclear in the RUC
recommendations as to what tasks are
involved when clinical staff engage with
the patient throughout the month to
perform education about the device and
re-education protocols after the initial
enrollment.
The CPT Editorial Panel is deleting
CPT code 93299 for CY 2020. We note
this differs from the RUC
recommendations for this code from the
October 2018 meeting, which stated that
the specialty society intended to submit
a coding proposal to the CPT Editorial
Panel to delete CPT code 93299, as it
would no longer be necessary to have a
separate code for PE, if CPT codes 93297
and 93298 are allocated direct PE for CY
2020. Given that we are proposing to not
allocate direct PE inputs for CPT code
93297 and 93298 for CY 2020 and CPT
code 93299 is being deleted for CY
2020, we are proposing to create a Gcode to describe the services previously
furnished under CPT code 93299. We
are proposing to create HCPCS code
GTTT1 (Interrogation device
evaluation(s), (remote) up to 30 days;
implantable cardiovascular physiologic
monitor system, implantable loop
recorder system, or subcutaneous
cardiac rhythm monitor system, remote
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data acquisition(s), receipt of
transmissions and technician review,
technical support and distribution of
results), to describe the services
previously furnished under CPT code
93299, effective for CY 2020.
(60) Duplex Scan Arterial InflowVenous Outflow (CPT Codes 93X00 and
93X01)
In September 2018, the CPT Editorial
Panel recommended replacing one
HCPCS code (G0365) with two new
codes to describe the duplex scan of
arterial inflow and venous outflow for
preoperative vessel assessment prior to
creation of hemodialysis access for
complete bilateral and unilateral study.
We are proposing the RUCrecommended work RVU of 0.80 for
CPT code 93X00 (Duplex scan of
arterial inflow and venous outflow for
preoperative vessel assessment prior to
creation of hemodialysis access;
complete bilateral study), as well as the
RUC-recommended work RVU of 0.50
for CPT code 93X01 (Duplex scan of
arterial inflow and venous outflow for
preoperative vessel assessment prior to
creation of hemodialysis access;
complete unilateral study).
For the direct PE inputs, we are
proposing to refine the clinical labor
time for the ‘‘Prepare room, equipment
and supplies’’ (CA013) activity from 4
minutes to 2 minutes for both codes in
the family. Two minutes is the standard
time for this clinical labor activity, and
2 minutes is also the time assigned for
this activity in the reference code, CPT
code 93990 (Duplex scan of
hemodialysis access (including arterial
inflow, body of access and venous
outflow)). There was no rationale
provided in the recommended materials
indicating why this additional clinical
labor time would be typical for the
procedures, and therefore, we are
proposing to refine to the standard time
of 2 minutes. We are also proposing to
adjust the equipment times to conform
to this change in the clinical labor time.
(61) Myocardial Strain Imaging (CPT
Code 933X0)
The CPT Editorial Panel deleted one
Category III code and created one new
Category I add-on code CPT code 933X0
to describe the work of myocardial
strain imaging performed in supplement
to transthoracic echocardiography
services. We are proposing the RUCrecommended work RVU of 0.24.
We are proposing the RUCrecommended direct PE inputs for CPT
code 933X0. However, we note that no
rationale was given for the RUCrecommended 12 minutes of clinical
labor time for the activity CA021
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(63) Long-Term EEG Monitoring (CPT
Codes 95X01, 95X02, 95X03, 95X04,
95X05, 95X06, 95X07, 95X08, 95X09,
95X10, 95X11, 95X12, 95X13, 95X14,
95X15, 95X16, 95X17, 95X18, 95X19,
95X20, 95X21, 95X22, and 95X23)
‘‘Perform procedure/service,’’ and we
are requesting comment on the
appropriateness of this allocated time
value.
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(62) Lung Function Test (CPT Code
94200)
The RUC recommended this service
for survey because it appeared on a list
of CMS/Other codes with Medicare
utilization of 30,000 or more. According
to the RUC, this service is typically
reported with an E/M service and
another pulmonary function test, and
the RUC-recommended times would
appropriately account for any overlap
with other services. The RUC stated that
the intraservice time involves reading
and interpreting the test to determine if
a significant interval change has
occurred and then generating a report,
which supports the 5 minutes of
physician work indicated in the survey.
The RUC did not agree with the
specialty society that communication of
the report required an additional 2
minutes of physician time over the
postservice time included in the other
services reported on the same day. The
RUC reduced the postservice time from
2 minutes to 1 minute because the
service requires minimal time to enter
the results into the medical record and
communicate the results to the patient
and the referring physician. Based in
part on these reductions in physician
time, the RUC recommended a
reduction in work RVU from the current
value with a crosswalk to CPT code
95905 (Motor and/or sensory nerve
conduction, using preconfigured
electrode array(s), amplitude and
latency/velocity study, each limb,
includes F-wave study when performed,
with interpretation and report).
For CPT code 94200 (Maximum
breathing capacity, maximal voluntary
ventilation), we are proposing the RUCrecommended work RVU of 0.05. A
stakeholder stated that the RUC’s
recommended work RVU understates
the costs inherent in performing this
service, and that the survey 25th
percentile value of 0.10 is more accurate
for this service. While we are proposing
the RUC-recommended 0.05, we are
soliciting public comment on this
stakeholder-recommended potential
alternative value.
We are proposing the RUCrecommended direct PE inputs for CPT
code 94200 without refinement.
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In January 2017, the RUC identified
CPT code 95951 via the high volume
growth screen, which considers if the
service has total Medicare utilization of
10,000 or more and if utilization has
increased by at least 100 percent from
2009 through 2014. The RUC
recommended that this service be
referred to the CPT Editorial Panel for
needed changes, including code
deletions, revision of code descriptors,
and the addition of new codes to this
family. In May 2018, the CPT Editorial
Panel approved the revision of one
code, deletion of five codes, and
addition of 23 new codes for reporting
long-term EEG professional and
technical services.
We are proposing the RUCrecommended work RVU for six of the
professional component codes in this
family. We are proposing a work RVU
of 3.86 for CPT code 95X18
(Electroencephalogram, continuous
recording, physician or other qualified
health care professional review of
recorded events, complete study; greater
than 36 hours, up to 60 hours of EEG
recording, without video), a work RVU
of 4.70 for CPT code 95X19
(Electroencephalogram, continuous
recording, physician or other qualified
health care professional review of
recorded events, complete study; greater
than 36 hours, up to 60 hours of EEG
recording, with video), a work RVU of
4.75 for CPT code 95X20
(Electroencephalogram, continuous
recording, physician or other qualified
health care professional review of
recorded events, complete study; greater
than 60 hours, up to 84 hours of EEG
recording, without video), a work RVU
of 6.00 for CPT code 95X21
(Electroencephalogram, continuous
recording, physician or other qualified
health care professional review of
recorded events, complete study; greater
than 60 hours, up to 84 hours of EEG
recording, with video), a work RVU of
5.40 for CPT code 95X22
(Electroencephalogram, continuous
recording, physician or other qualified
health care professional review of
recorded events, complete study; greater
than 84 hours of EEG recording, without
video) and a work RVU of 7.58 for CPT
code 95X23 (Electroencephalogram,
continuous recording, physician or
other qualified health care professional
review of recorded events, complete
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study; greater than 84 hours of EEG
recording, with video).
We are also proposing the RUCrecommended work RVU of 0.00 for the
13 technical component codes in the
family: CPT code 95X01
(Electroencephalogram (EEG)
continuous recording, with video when
performed, set-up, patient education,
and take down when performed,
administered in-person by EEG
technologist, minimum of 8 channels),
CPT code 95X02 (Electroencephalogram
(EEG) without video, review of data,
technical description by EEG
technologist, 2–12 hours; unmonitored),
CPT code 95X03 (Electroencephalogram
(EEG) without video, review of data,
technical description by EEG
technologist, 2–12 hours; with
intermittent monitoring and
maintenance), CPT code 95X04
(Electroencephalogram (EEG) without
video, review of data, technical
description by EEG technologist, 2–12
hours; with continuous, real-time
monitoring and maintenance), CPT code
95X05 (Electroencephalogram (EEG)
without video, review of data, technical
description by EEG technologist, each
increment of 12–26 hours;
unmonitored), CPT code 95X06
(Electroencephalogram (EEG) without
video, review of data, technical
description by EEG technologist, each
increment of 12–26 hours; with
intermittent monitoring and
maintenance), CPT code 95X07
(Electroencephalogram (EEG) without
video, review of data, technical
description by EEG technologist, each
increment of 12–26 hours; with
continuous, real-time monitoring and
maintenance), CPT code 95X08
(Electroencephalogram with video
(VEEG), review of data, technical
description by EEG technologist, 2–12
hours; unmonitored), CPT code 95X09
(Electroencephalogram with video
(VEEG), review of data, technical
description by EEG technologist, 2–12
hours; with intermittent monitoring and
maintenance), CPT code 95X10
(Electroencephalogram with video
(VEEG), review of data, technical
description by EEG technologist, 2–12
hours; with continuous, real-time
monitoring and maintenance), CPT code
95X11 (Electroencephalogram with
video (VEEG), review of data, technical
description by EEG technologist, each
increment of 12–26 hours;
unmonitored), CPT code 95X12
(Electroencephalogram with video
(VEEG), review of data, technical
description by EEG technologist, each
increment of 12–26 hours; with
intermittent monitoring and
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maintenance), and CPT code 95X13
(Electroencephalogram with video
(VEEG), review of data, technical
description by EEG technologist, each
increment of 12–26 hours; with
continuous, real-time monitoring and
maintenance).
We disagree with the RUCrecommended work RVU of 2.00 for
CPT code 95X14
(Electroencephalogram, continuous
recording, physician or other qualified
health care professional review of
recorded events, 2–12 hours of EEG
recording; without video) and we are
proposing a work RVU of 1.85 based on
a crosswalk to CPT code 93314
(Echocardiography, transesophageal,
real-time with image documentation
(2D) (with or without M-mode
recording); image acquisition,
interpretation and report only). CPT
code 93314 is a recently-reviewed code
with 2 additional minutes of
intraservice time and 4 additional
minutes of total time as compared to
CPT code 95X14. When considering the
work RVU for CPT code 95X14, we
looked to the second reference code
chosen by the survey participants, CPT
code 95957 (Digital analysis of
electroencephalogram (EEG) (e.g., for
epileptic spike analysis)). This code has
2 additional minutes of intraservice
time and 9 additional minutes of total
time as compared to CPT code 95X14,
yet has a work RVU of 1.98, lower than
the recommended work RVU of 2.00.
These time values suggested that CPT
code 95X14 would be more accurately
valued at a work RVU slightly below the
1.98 of CPT code 95957. We also looked
at the intraservice time ratio between
CPT code 95X14 and some of its
predecessor codes. The intraservice time
ratio with CPT code 95953 (Monitoring
for localization of cerebral seizure focus
by computerized portable 16 or more
channel EEG, electroencephalographic
(EEG) recording and interpretation, each
24 hours, unattended) suggests a similar
potential work RVU of 1.91 (28 minutes
divided by 45 minutes times a work
RVU of 3.08). Based on this information,
we are proposing a work RVU of 1.85 for
CPT code 95X14 based on the
aforementioned crosswalk to CPT code
93314.
We disagree with the RUCrecommended work RVU of 2.50 for
CPT code 95X15
(Electroencephalogram, continuous
recording, physician or other qualified
health care professional review of
recorded events, analysis of spike and
seizure detection, interpretation, and
report, 2–12 hours of EEG recording;
with video (VEEG)) and we are
proposing a work RVU of 2.35.
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Although we disagree with the RUCrecommended work RVU, we concur
that the relative difference in work
between CPT codes 95X14 and 95X15 is
equivalent to the recommended interval
of 0.50 RVUs. Therefore, we are
proposing a work RVU of 2.35 for CPT
code 95X15, based on the recommended
interval of 0.50 additional RVUs above
our proposed work RVU of 1.85 for CPT
code 95X14. We are supporting this
work RVU with a reference to CPT code
99310 (Subsequent nursing facility care,
per day, for the evaluation and
management of a patient, which
requires at least 2 of the 3 key
components), which shares the same
intraservice time of 35 minutes and the
identical work RVU of 2.35. CPT code
99310 is a lower intensity procedure but
has increased total work time as
compared to CPT code 95X15.
We disagree with the RUCrecommended work RVU of 3.00 for
CPT code 95X16
(Electroencephalogram, continuous
recording, physician or other qualified
health care professional review of
recorded events, analysis of spike and
seizure detection, each increment of
greater than 12 hours, up to 26 hours of
EEG recording, interpretation and report
after each 24-hour period; without
video) and we are proposing a work
RVU of 2.60 based on a crosswalk to
CPT code 99219 (Initial observation
care, per day, for the evaluation and
management of a patient, which
requires 3 key components). CPT code
99219 shares the same intraservice time
of 40 minutes and has a slightly higher
total time as compared to CPT code
95X16. We also note that the
observation care described by CPT code
99219 shares some clinical similarities
to the long term EEG monitoring
described by CPT code 95X16, although
we note as always that the nature of the
PFS relative value system is such that
all services are appropriately subject to
comparisons to one another, and that
codes do not need to share the same site
of service, patient population, or
utilization level to serve as an
appropriate crosswalk.
In addition, we believe that the
proposed crosswalk to CPT code 99219
at a work RVU of 2.60 more accurately
captures the intensity of CPT code
95X16. At the recommended work RVU
of 3.00, the intensity of CPT code 95X16
is anomalously high in comparison to
the rest of the family, higher than any
of the other professional component
codes. We have no reason to believe that
the 24-hour EEG monitoring done
without video as described in CPT code
95X16 would be notably more intense
than the other codes in the same family.
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Furthermore, the recommendations for
this code family specifically state that
the codes that describe video EEG
monitoring are more intense than the
codes that describe non-video EEG
monitoring. However, at the
recommended work RVU for CPT code
95X16, this non-video form of EEG
monitoring had the highest intensity in
the family. At our proposed work RVU
of 2.60, the intensity of CPT code 95X16
is no longer anomalously high in
comparison to the rest of the family, and
also remains lower than the intensity of
the 24 hour EEG monitoring with video
procedure described by CPT code
95X17.
We disagree with the RUCrecommended work RVU of 3.86 for
CPT code 95X17
(Electroencephalogram, continuous
recording, physician or other qualified
health care professional review of
recorded events, analysis of spike and
seizure detection, each increment of
greater than 12 hours, up to 26 hours of
EEG recording, interpretation and report
after each 24-hour period; with video
(VEEG)) and we are proposing a work
RVU of 3.50 based on the survey 25th
percentile value. The RUCrecommended work RVU of 3.86 was
based on a crosswalk to CPT code 99223
(Initial hospital care, per day, for the
evaluation and management of a
patient, which requires 3 key
components), a code that shares the
same intraservice time of 55 minutes but
has 15 additional minutes of total time
as compared to CPT code 95X17, at 90
minutes as compared to 75 minutes. We
disagree with the use of this crosswalk,
as the 15 minutes of additional total
time in CPT code 99223 result in a
higher work valuation that overstates
the work RVU of CPT code 95X17.
These 15 additional minutes of
preservice and postservice work time in
the recommended crosswalk code have
a calculated work RVU of 0.34 under the
building block methodology; subtracting
out this work RVU of 0.34 from the
crosswalk code’s work RVU of 3.86
results in an estimated work RVU of
3.52, which is nearly identical to the
survey 25th percentile work RVU of
3.50. Similarly, if we were to calculate
a total time ratio between CPT code
95X17 and the recommended crosswalk
code 99223, it would produce a
noticeably lower work RVU of 3.22 (75
minutes divided by 90 minutes times a
work RVU of 3.86). Based on this
rationale, we do not believe that it
would serve the interests of relativity to
propose a work RVU of 3.86 based on
the recommended crosswalk.
Instead, we are proposing a work RVU
of 3.50 for CPT code 95X17 based on the
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survey 25th percentile value. We note
that among the predecessor codes for
this family, CPT code 95956 (Monitoring
for localization of cerebral seizure focus
by cable or radio, 16 or more channel
telemetry, electroencephalographic
(EEG) recording and interpretation, each
24 hours, attended by a technologist or
nurse) has a higher intraservice time of
60 minutes and a higher total time of
105 minutes at a work RVU of 3.61. This
prior valuation of CPT code 95956 does
not support the RUC-recommended
work RVU of 3.86 for CPT code 95X17,
but does support the proposed work
RVU of 3.50 at the slightly lower newly
surveyed work times. We also note that
at the recommended work RVU of 3.86,
the intensity of CPT code 95X17 was
anomalously high in comparison to the
rest of the family, the second-highest
intensity as compared to the other
professional component codes. We have
no reason to believe that the 24 hour
EEG monitoring done with video as
described in CPT code 95X17 would be
notably more intense than the other
codes in the same family. At our
proposed work RVU of 3.50, the
intensity of CPT code 95X17 is no
longer anomalously high in comparison
to the rest of the family, while still
remaining slightly higher than the
intensity of the 24 hour EEG monitoring
performed without video procedure
described by CPT code 95X16.
For the direct PE inputs, we are
proposing to make a series of
refinements to the clinical labor times of
CPT code 95X01. Many of the clinical
labor times for this CPT code were
derived using a survey process and were
recommended to CMS at the survey
median values. This was in contrast to
the typical process for recommended
direct PE inputs, where the inputs are
usually based on either standard times
or carried over from reference codes. We
believe that when surveys are used to
recommended direct PE inputs, we must
apply a similar process of scrutiny to
that used in assessing the work RVUs
that are recommended based on a
survey methodology. We have long
expressed our concerns over the validity
of the survey results used to produce
work RVU recommendations, such as in
the CY 2011 PFS final rule (75 FR
73328), and we have noted that over the
past decade the AMA RUC has
increasingly chosen to recommend the
survey 25th percentile work RVU over
the survey median value, potentially
responding to the same concerns that
we have identified.
As a result, we believe that when
assessing the survey of direct PE inputs
used to produce many of the
recommendations for CPT code 95X01,
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it would be more accurate to propose
the survey 25th percentile direct PE
inputs as opposed to the recommended
survey median direct PE inputs.
Therefore, we are proposing to refine
the clinical labor time for the ‘‘Provide
education/obtain consent’’ (CA011)
activity from 13 minutes to 7 minutes
and to refine the clinical labor time for
the ‘‘Review home care instructions,
coordinate visits/prescriptions’’ (CA035)
activity from 10 minutes to 7 minutes.
In both of these cases, the recommended
clinical labor times based on the survey
median values are more than double the
standard time for these activities.
Although we agree that additional
clinical labor time would be required to
carry out these activities for CPT code
95X01, we do not believe that the
survey median times would be typical.
We are proposing the survey 25th
percentile times of 7 minutes for each
activity as we believe that this time
would be more typical for obtaining
consent and reviewing home care
instructions.
We are also proposing to refine the
clinical labor time for the ‘‘Complete
pre-procedure phone calls and
prescription’’ (CA005) activity from 10
minutes to 3 minutes for CPT code
95X01. This is another situation where
we are proposing the survey 25th
percentile clinical labor time of 3
minutes instead of the survey median
clinical labor time of 10 minutes.
However, we also note that many of the
tasks that fell under the CA005 activity
code as described in the PE
recommendations appear to constitute
forms of indirect PE, such as collecting
supplies for setup and loading
equipment and supplies into vehicles.
Collecting supplies and loading
equipment are administrative tasks that
are not individually allocable to a
particular patient for a particular
service, and therefore, constitute
indirect PE under our methodology. Due
to the fact that many of the tasks
described under the CA005 activity
code are forms of indirect PE, we
believe that the RUC-recommended
survey median clinical labor time of 10
minutes overstates the amount of direct
clinical labor taking place. We believe
that it is more accurate to propose the
survey 25th percentile clinical labor
time of 3 minutes for this activity code
to reflect the non-administrative tasks
performed by the clinical staff.
We are also proposing to refine the
quantity of the non-sterile gloves
(SB022) supply from 3 to 2 for CPT code
95X01. We note that the current
reference code, CPT code 95953, uses 2
of these pairs of gloves and the survey
also stated that 2 pairs of gloves were
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typical for the procedure. Although the
recommended materials state that a pair
of gloves is needed to set up the
equipment, to take down the equipment,
and a third is required for electrode
changes, we do not agree that the use of
a third pair of gloves would be typical
given their usage in the reference code
and in the responses from the survey.
We note that we are not proposing to
refine many of the other clinical labor
times for CPT code 95X01, which
remain at the survey median clinical
labor times. Due to the nature of the
continuous recording EEG service taking
place, we agree that the survey median
clinical labor times of 12 minutes for the
‘‘Prepare room, equipment and
supplies’’ (CA013) activity, 45 minutes
for the ‘‘Prepare, set-up and start IV,
initial positioning and monitoring of
patient’’ (CA016) activity, and 22
minutes for the ‘‘Clean room/equipment
by clinical staff’’ (CA024) activity would
be typical for this procedure. We
reiterate that we assess the direct PE
inputs for each procedure individually
based on our methodology of what
would be reasonable and medically
necessary for the typical patient.
For CPT codes 95X02–95X13, we are
proposing to refine the clinical labor
time for the ‘‘Coordinate post-procedure
services’’ (CA038) activity from either
11 minutes to 5 minutes or from 22
minutes to 10 minutes as appropriate for
the CPT code in question. The
recommended materials for these
procedures state that the tasks taking
place constitute ‘‘Merge EEG and Video
files (partially automated program),
confirm transfer of data, delete from
laptop/computer if necessary’’. We
believe that many of the tasks detailed
here are administrative in nature,
consisting of forms of data entry, and
therefore, would be considered types of
indirect PE. We note that when CPT
code 95812 (Electroencephalogram
(EEG) extended monitoring; 41–60
minutes) was recently reviewed for CY
2017, we finalized the recommended
clinical labor time of 2 minutes for
‘‘Transfer data to reading station &
archive data’’, a task which we believe
to be highly similar. Due to the longer
duration of the procedures in CPT codes
95X02–95X13, we are proposing clinical
labor times of 5 minutes and 10 minutes
for the CA038 activity for these CPT
codes. We are also refining the
equipment time for the Technologist
PACS workstation (ED050) to match the
clinical labor time proposed for the
CA038 activity.
For the four continuous monitoring
procedures, CPT codes 95X04, 95X07,
95X10, and 95X13, we are proposing to
refine the equipment time for the
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ambulatory EEG review station (EQ016)
equipment. The recommended
equipment time for the ambulatory EEG
review station was equal to four times
the ‘‘Perform procedure/service’’
(CA021) clinical labor time plus a small
amount of extra prep time. We do not
agree that it would be typical to assign
this much equipment time, as it is our
understanding that one ambulatory EEG
review station can be hooked up to as
many as four monitors at a time for
continuous monitoring. Therefore, we
do not believe that each monitor would
require its own review station, and that
the equipment time should not be equal
to four times the clinical labor of the
‘‘Perform procedure/service’’ (CA021)
activity. As a result, we are proposing to
refine the ambulatory EEG review
station equipment time from 510
minutes to 150 minutes for CPT code
95X04, from 1,480 minutes to 400
minutes for CPT code 95X07, from 514
minutes to 154 minutes for CPT code
95X10, and from 1,495 minutes to 415
minutes for CPT code 95X13.
For the 10 professional component
procedures, CPT codes 95X14–95X23,
we are again proposing to refine the
equipment time for the ambulatory EEG
review station (EQ016) equipment. We
believe that the use of the ambulatory
EEG review station is analogous in these
procedures to the use of the professional
PACS workstation (ED053) in other
procedures, and we are proposing to
refine the equipment times for these 10
procedures to match our standard
equipment time formula for the
professional PACS workstation.
Therefore, we are proposing an
equipment time for the ambulatory EEG
review station equal to half the
preservice work time (rounded up) plus
the intraservice work time for CPT
codes 95X14 through 95X23. We believe
that this equipment time is more
accurate than the recommended
equipment time, which was equal to the
total work time of the procedures, as the
work descriptors for CPT codes 95X14–
95X23 make no mention of the
ambulatory EEG review station in the
postservice work period.
Finally, we are proposing to price the
new ‘‘EEG, digital, prolonged testing
system with remote video, for patient
home use’’ (EQ394) equipment at
$26,410.95 based on an invoice
submission. We did not use a second
invoice submitted for the new
equipment for pricing, as it contained a
disaggregated list of equipment
components and it was not clear if they
represented the same equipment item as
the first invoice.
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(64) Health and Behavioral Assessment
and Intervention (CPT Codes 961X0,
961X1, 961X2, 961X3, 961X4, 961X5,
961X6, 961X7, and 961X8)
The 2001 Health and Behavior
Assessment and Intervention (HBAI)
RUC valuations were based on the old
CPT code 90801 (Psychiatric diagnostic
interview evaluation), a 60-minute
service. The RUC originally
recommended the Health and Behavior
Assessment and Intervention
procedures to be 15-minute services,
approximately equal to one-quarter of
the value of CPT code 90801, which we
finalized without refinements. While
the RUC may have assumed that these
services would typically be reported in
four, 15-minute services per single
patient encounter, in actual claims data,
there is wide variation in the number of
services provided and submitted. The
RUC reconsidered their rationale for the
original RUC-recommended valuation of
this family of codes in September 2018.
The CPT Editorial Panel deleted the six
existing Health and Behavior
Assessment and Intervention procedure
CPT codes and replaced them with nine
new CPT codes.
The six deleted CPT codes include
CPT code 96150 (Health and behavior
assessment (e.g., health-focused clinical
interview, behavioral observations,
psychophysiological monitoring, healthoriented questionnaires), each 15
minutes face-to-face with the patient;
initial assessment), CPT code 96151
(Health and behavior assessment (e.g.,
health-focused clinical interview,
behavioral observations,
psychophysiological monitoring, healthoriented questionnaires), each 15
minutes face-to-face with the patient; reassessment), CPT code 96152 (Health
and behavior intervention, each 15
minutes, face-to-face; individual), CPT
code 96153 (Health and behavior
intervention, each 15 minutes, face-toface; group (2 or more patients)), CPT
code 96154 (Health and behavior
intervention, each 15 minutes, face-toface; family (with the patient present)),
and CPT code 96155 (Health and
behavior intervention, each 15 minutes,
face-to-face; family (without the patient
present)).
The nine replacement HBAI CPT
codes include CPT code 961X0 (Health
behavior assessment, including reassessment (i.e., health-focused clinical
interview, behavioral observations,
clinical decision making)), CPT code
961X1 (Health behavior intervention,
individual, face-to-face; initial 30
minutes), CPT code 961X2 (Health
behavior intervention, individual, faceto-face; each additional 15 minutes (list
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40601
separately in addition to code for
primary service)), CPT code 961X3
(Health behavior intervention, group (2
or more patients), face-to-face; initial 30
minutes), CPT code 961X4 (Health
behavior intervention, group (2 or more
patients), face-to-face; each additional
15 minutes (list separately in addition to
code for primary service)), CPT code
961X5 (Health behavior intervention,
family (with the patient present), faceto-face; initial 30 minutes), CPT code
961X6 (Health behavior intervention,
family (with the patient present), faceto-face each additional 15 minutes (list
separately in addition to code for
primary service)), CPT code 961X7
(Health behavior intervention, family
(without the patient present), face-toface; initial 30 minutes), CPT code
961X8 (Health behavior intervention,
family (without the patient present),
face-to-face; each additional 15 minutes
(list separately in addition to code for
primary service)).
We are proposing the RUCrecommended work RVUs for each of
the codes in this family as follows.
• For CPT code 961X0, we are
proposing a work RVU of 2.10.
• For CPT code 961X1, we are
proposing a work RVU of 1.45.
• For CPT code 961X2, we are
proposing a work RVU of 0.50.
• For CPT code 961X3, we are
proposing a work RVU of 0.21.
• For CPT code 961X4, we are
proposing a work RVU of 0.10.
• For CPT code 961X5, we are
proposing a work RVU of 1.55.
• For CPT code 961X6, we are
proposing a work RVU of 0.55.
• For CPT code 961X7, we are
proposing a work RVU of 1.50 (but this
code will be non-covered by Medicare).
• For CPT code 961X8, we are
proposing a work RVU of 0.54 (but this
code will be non-covered by Medicare).
We are proposing the RUCrecommended direct PE inputs for all of
the CPT codes in this family without
refinement.
(66) Cognitive Function Intervention
(CPT Codes 971XX and 9XXX0)
In 2017, we received HCPAC
recommendations for new CPT code
97127 (Development of cognitive skills
to improve attention, memory, problem
solving, direct patient contact, 1) that
described the services under CPT code
97532 (Development of cognitive skills
to improve attention, memory, problem
solving, direct patient contact, each 15
minutes). CPT code 97532 was
scheduled to be deleted and replaced by
the new untimed code CPT code 97127.
In the CY 2018 PFS final rule (82 FR
53074 through 53076); however, we
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suggested that CPT code 97127 as an
untimed/per day code did not
appropriately account for the variable
amounts of time spent with a patient
depending upon the discipline and/or
setting and assigned the code a
procedure status of ‘‘I’’ (Invalid). In
place of CPT code 97127, we established
a new HCPCS G-code, G0515
(Development of cognitive skills to
improve attention, memory, problem
solving, direct patient contact, each 15
minutes), with a work RVU of 0.44.
HCPCS code G0515 maintained the
descriptor and values from the former
CPT code 97532.
In September 2018, the CPT Editorial
Panel revised CPT code 971XX
(Therapeutic interventions that focus on
cognitive function (e.g., attention,
memory, reasoning, executive function,
problem solving and/or pragmatic
functioning) and compensatory
strategies to manage the performance of
an activity (e.g., managing time or
schedules, initiating, organizing and
sequencing tasks), direct (one-to-one)
patient contact; initial 15 minutes) and
created an add-on code, CPT code
9XXX0 (Therapeutic interventions that
focus on cognitive function (e.g.,
attention, memory, reasoning, executive
function, problem solving and/or
pragmatic functioning) and
compensatory strategies to manage the
performance of an activity (e.g.,
managing time or schedules, initiating,
organizing and sequencing tasks), direct
(one-to-one) patient contact; each
additional 15 minutes (list separately in
addition to code for primary
procedure)).
We are proposing the RUCrecommended work RVUs of 0.50 for
CPT code 971XX and 0.48 for CPT code
9XXX0. We are proposing the RUCrecommended direct PE inputs for all
codes in the family. We are also
proposing to designate CPT codes
971XX and 9XXX0 as sometime therapy
codes because the services might be
appropriately furnished by therapists
under the outpatient therapy services
benefit (includes physical therapy,
occupational therapy, or speechlanguage pathology) or outside the
therapy benefit by physicians, NPPs,
and psychologists.
(67) Open Wound Debridement (CPT
Codes 97597 and 97598)
CPT code 97598 (Debridement (e.g.,
high pressure waterjet with/without
suction, sharp selective debridement
with scissors, scalpel and forceps), open
wound, (e.g., fibrin, devitalized
epidermis and/or dermis, exudate,
debris, biofilm), including topical
application(s), wound assessment, use
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of a whirlpool, when performed and
instruction(s) for ongoing care, per
session, total wound(s) surface area;
each additional 20 sq cm, or part
thereof) was identified by the RUC on a
list of services that were originally
surveyed by one specialty but are now
typically performed by a different
specialty. It was reviewed along CPT
code 97597 (Debridement (e.g., high
pressure waterjet with/without suction,
sharp selective debridement with
scissors, scalpel and forceps), open
wound, (e.g., fibrin, devitalized
epidermis and/or dermis, exudate,
debris, biofilm), including topical
application(s), wound assessment, use
of a whirlpool, when performed and
instruction(s) for ongoing care, per
session, total wound(s) surface area;
first 20 sq cm or less) at the October
2018 RUC meeting.
We disagree with the RUCrecommended work RVU of 0.88 for
CPT code 97597 and we are proposing
a work RVU of 0.77 based on a
crosswalk to CPT code 27369 (Injection
procedure for contrast knee
arthrography or contrast enhanced CT/
MRI knee arthrography). CPT code
27369 is a recently-reviewed code with
the same intraservice time of 15 minutes
and a total time of 28 minutes, one
minute fewer than CPT code 97597. In
reviewing this code, we noted that the
recommended intraservice time is
increasing from 14 minutes to 15
minutes (7 percent), and the
recommended total time is increasing
from 24 minutes to 29 minutes (21
percent); however, the RUCrecommended work RVU is increasing
from 0.51 to 0.88, which is an increase
of 73 percent. Although we did not
imply that the decrease in time as
reflected in survey values must equate
to a one-to-one or linear increase in the
valuation of work RVUs, we believe that
since the two components of work are
time and intensity, modest increases in
time should be appropriately reflected
with a commensurate increase the work
RVUs. In the case of CPT code 97597,
we believed that it is more accurate to
propose a work RVU of 0.77 based on
a crosswalk to CPT code 27369 to
account for these modest increases in
the surveyed work time. We also note
that even at the proposed work RVU of
0.77 the intensity of this procedure as
measured by IWPUT is increasing by
more than 50 percent over the current
value.
We are proposing the RUCrecommended work RVU of 0.50 for
CPT code 97598. We are also proposing
the RUC-recommended direct PE inputs
for all codes in the family.
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(68) Negative Pressure Wound Therapy
(CPT Codes 97607 and 97608)
In the CY 2013 final rule with
comment period, we created two HCPCS
codes to provide a payment mechanism
for negative pressure wound therapy
services furnished to beneficiaries using
equipment that is not paid for as
durable medical equipment: G0456
(Negative pressure wound therapy, (for
example, vacuum assisted drainage
collection) using a mechanically
powered device, not durable medical
equipment, including provision of
cartridge and dressing(s), topical
application(s), wound assessment, and
instructions for ongoing care, per
session; total wound(s) surface area less
than or equal to 50 square centimeters)
and G0457 (Negative pressure wound
therapy, (for example, vacuum assisted
drainage collection) using a
mechanically-powered device, not
durable medical equipment, including
provision of cartridge and dressing(s),
topical application(s), wound
assessment, and instructions for
ongoing care, per session; total
wound(s) surface area greater than 50
sq. cm). For CY 2015, the CPT Editorial
Panel created CPT codes 97607
(Negative pressure wound therapy, (e.g.,
vacuum assisted drainage collection),
utilizing disposable, non-durable
medical equipment including provision
of exudate) and 97608 (Negative
pressure wound therapy, (e.g., vacuum
assisted drainage collection), utilizing
disposable, non-durable medical
equipment including provision of
exudate) to describe negative pressure
wound therapy with the use of a
disposable system. In addition, CPT
codes 97605 (Negative pressure wound
therapy (e.g., vacuum assisted drainage
collection), utilizing durable medical
equipment (DME), including topical
application(s), wound assessment, and
instruction(s) for ongoing care, per
session; total wound(s) surface area less
than or equal to 50 square centimeters)
and 97606 (Negative pressure wound
therapy (e.g., vacuum assisted drainage
collection), utilizing durable medical
equipment (DME), including topical
application(s), wound assessment, and
instruction(s) for ongoing care, per
session; total wound(s) surface area
greater than 50 square centimeters)
were revised to specify the use of
durable medical equipment. Based upon
the revised coding scheme for negative
pressure wound therapy, we deleted the
G-codes. Due to concerns that we had
with these services, we contractor
priced CPT codes 97607 and 97608
beginning in CY 2015 (79 FR 67670). In
the CY 2016 Final Rule (80 FR 71005),
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in response to comment expressing
disappointment with CMS’ decision to
contractor price these codes, we noted
that there were obstacles to developing
accurate payment rates for these
services within the PE RVU
methodology, including the indirect PE
allocation for the typical practitioners
who furnish these services and the
diversity of the products used in
furnishing these services.
We have received repeated requests
from stakeholders, including in
comment received in response to the CY
2019 PFS final rule, to assign an active
status to these codes, meaning we
would assign rates to the codes rather
than allowing them to be contractor
priced. In that rule, (83 FR 59473), we
noted that we received a request that
CMS should assign direct cost inputs
and PE RVUs to CPT codes 97607 and
97608, and we indicated that we would
take this feedback from commenters
under consideration for future
rulemaking.
In response to stakeholder feedback,
we evaluated the codes and determined
there was adequate volume to assign an
active status. We are proposing to assign
an active status to CPT codes 97607 and
97608 and we are proposing the work
RVUs as recommended by the RUC that
we received for CY 2015 when the CPT
Editorial Panel created these codes.
Thus, we are proposing a work RVU of
0.41 for CPT code 97607 and a work
RVU of 0.46 for CPT code 97608.
Similarly, we are proposing the RUCrecommended direct PE inputs
originally for CY 2015 with the
following refinement: For the clinical
labor activity ‘‘check dressings &
wound/home care instructions/
coordinate office visits/prescriptions,’’
we are refining the clinical labor time to
the standard 2 minutes for this task. In
addition, the direct inputs for these
codes include the new supply item,
‘‘kit, negative pressure wound therapy,
disposable.’’ A search of publicly
available commercial pricing data
indicates that a unit price of
approximately $100 is appropriate, and
therefore, we are proposing this price
for this supply item. If more accurate
invoices are available, we are soliciting
such invoices to more accurately price
it.
(69) Ultrasonic Wound Assessment
(CPT Code 97610)
In 2005, the AMA RUC began the
process of flagging services that
represent new technology or new
services as they were presented to the
Committee. CPT code 97610 (Low
frequency, non-contact, non-thermal
ultrasound, including topical
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18:25 Aug 13, 2019
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application(s), when performed, wound
assessment, and instruction(s) for
ongoing care, per day) was flagged for
CPT 2015 and reviewed at the October
2018 RAW meeting. The Workgroup
indicated that the utilization is
continuing to increase for this service,
and recommended that it be resurveyed
for physician work and practice expense
for the January 2019 RUC meeting.
We are proposing the RUCrecommend work 0.40 for CPT code
97610. We are also proposing the RUCrecommended direct PE inputs for CPT
code 97610.
(70) Online Digital Evaluation Service
(e-Visit) (CPT Codes 98X00, 98X01, and
98X02)
In September 2018, the CPT Editorial
Panel deleted two codes and replaced
them with six new non-face-to-face
codes to describe patient-initiated
digital communications that require a
clinical decision that otherwise
typically would have been provided in
the office. The HCPAC reviewed and
made recommendations for CPT code
98X00 (Qualified nonphysician
healthcare professional online digital
evaluation and management service, for
an established patient, for up to seven
days, cumulative time during the 7
days; 5–10 minutes), CPT code 98X01
(Qualified nonphysician healthcare
professional online digital evaluation
and management service, for an
established patient, for up to seven
days, cumulative time during the 7
days; 11–20 minutes), and CPT code
98X02 (Qualified nonphysician
qualified healthcare professional online
digital evaluation and management
service, for an established patient, for
up to seven days, cumulative time
during the 7 days; 21 or more minutes).
CPT codes 9X0X1–9X0X3 are for
practitioners who can independently
bill E/M services while CPT codes
98X00–98X02 are for practitioners who
cannot independently bill E/M services.
The statutory requirements that
govern the Medicare benefit are specific
regarding which practitioners may bill
for E/M services. As such, when codes
are established that describe E/M
services that fall outside the Medicare
benefit category of the practitioners who
may bill for that service, we have
typically created parallel HCPCS Gcodes with descriptors that refer to the
performance of an ‘‘assessment’’ rather
than an ‘‘evaluation’’. We acknowledge
that there are qualified non-physician
health care professionals who will likely
perform these services. Therefore, for
CY 2020, we are proposing separate
payment for online digital assessments
via three HCPCS G-codes that mirror the
PO 00000
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Fmt 4701
Sfmt 4702
40603
RUC recommendations for CPT codes
98X00–98X02. The proposed HCPCS G
codes and descriptors are as follows:
• HCPCS code GNPP1 (Qualified
nonphysician healthcare professional
online assessment, for an established
patient, for up to seven days,
cumulative time during the 7 days; 5–10
minutes);
• HCPCS code GNPP2 (Qualified
nonphysician healthcare professional
online assessment service, for an
established patient, for up to seven
days, cumulative time during the 7
days; 11–20 minutes); and
• HCPCS code GNPP3 (Qualified
nonphysician qualified healthcare
professional assessment service, for an
established patient, for up to seven
days, cumulative time during the 7
days; 21 or more minutes).
For CY 2020, we are proposing a work
RVU of 0.25 for CPT code GNPP1,
which reflects the RUC-recommended
work RVU for CPT code 98X00. For
HCPCS codes GNPP2 and GNPP3, we
believe that the 25th percentile work
RVU associated with CPT codes 98X01
and 98X02 respectively, better reflects
the intensity of performing these
services, as well as the methodology
used to value the other codes in the
family, all of which use the 25th
percentile work RVU. Therefore, we are
proposing a work RVU of 0.44 for
HCPCS code GNPP1 and a work RVU of
0.69 for HCPCS code GNPP2.
We are proposing the direct PE inputs
associated with CPT codes 98X00,
98X01, and 98X02 for GNPP1, GNPP2,
and GNPP3 respectively.
(71) Emergency Department Visits (CPT
Codes 99281, 99282, 99283, 99284, and
99285)
In the CY 2018 PFS final rule, we
finalized a proposal to nominate CPT
codes 99281–99285 as potentially
misvalued based on information
suggesting that the work RVUs for
emergency department visits may not
appropriately reflect the full resources
involved in furnishing these services
(FR 82 53018.) These five codes were
surveyed and reviewed for the April
2018 RUC meeting. For CY 2020 we are
proposing the RUC-recommended work
RVUs of 0.48 for CPT code 99281, a
work RVU of 0.93 for CPT code 99282,
a work RVU of 1.42 for 99283, a work
RVU of 2.60 for 99284, and a work RVU
of 3.80 for CPT code 99285.
The RUC did not recommend and we
are not proposing any direct PE inputs
for the codes in this family.
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(72) Self-Measured Blood Pressure
Monitoring (CPT Codes 99X01, 99X02,
93784, 93786, 93788, and 93790)
In September 2018, the CPT Editorial
Panel created two new codes and
revised four other codes to describe selfmeasured blood pressure monitoring
services and to differentiate selfmeasured blood pressuring monitoring
services from ambulatory blood pressure
monitoring services. The first of the two
new codes that describe self-measured
blood pressure monitoring is CPT code
99X01 (Self-measured blood pressure
using a device validated for clinical
accuracy; patient education/training
and device calibration) and is a PE only
code. The second code is 99X02 (Selfmeasured blood pressure using a device
validated for clinical accuracy; separate
self-measurements of two readings, one
minute apart, twice daily over a 30-day
period (minimum of 12 readings),
collection of data reported by the
patient and/or caregiver to the
physician or other qualified health care
professional, with report of average
systolic and diastolic pressures and
subsequent communication of a
treatment plan to the patient).
The remaining four codes, which
monitor ambulatory blood pressure,
include CPT code 93784 (Ambulatory
blood pressure monitoring, utilizing
report-generating software, automated,
worn continuously for 24 hours or
longer; including recording, scanning
analysis, interpretation and report), CPT
code 93786 (Ambulatory blood pressure
monitoring, recording only), CPT code
93788 (Ambulatory blood pressure
monitoring, scanning analysis with
report), and CPT code 93790
(Ambulatory blood pressure monitoring,
review with interpretation and report).
CPT code 93784 is a composite code
that is the sum of CPT codes 93786,
93788, and 93790. CPT codes 93786 and
93788 are PE only codes.
We are proposing the RUCrecommended work RVU of 0.18 for
CPT code 99X02, the RUC-
VerDate Sep<11>2014
18:25 Aug 13, 2019
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recommended work RVU of 0.38 for
CPT code 93784, and the RUCrecommended work RVU of 0.38 for
CPT code 93790. We are proposing the
RUC-recommended work RVU of 0.00
for CPT codes 93786, 93788, and 99X01.
We are also proposing the RUCrecommended direct PE inputs for all
codes in the family.
(73) Online Digital Evaluation Service
(e-Visit) (CPT Codes 9X0X1, 9X0X2, and
9X0X3)
In September 2018, the CPT Editorial
Panel deleted two codes and replaced
them with six new non-face-to face
codes to describe patient-initiated
digital communications that require a
clinical decision that otherwise
typically would have been provided in
the office. The RUC reviewed and made
recommendations for CPT code 9X0X1
(Online digital evaluation and
management service, for an established
patient, for up to 7 days, cumulative
time during the 7 days; 5–10 minutes),
CPT code 9X0X2 (Online digital
evaluation and management service, for
an established patient, for up to 7 days,
cumulative time during the 7 days; 11–
20 minutes), and CPT code 9X0X3
(Online digital evaluation and
management service, for an established
patient, for up to 7 days, cumulative
time during the 7 days; 21 or more
minutes).
For CY 2020, we are proposing the
RUC-recommended work RVUs of 0.25
for CPT code 9X0X1, 0.50 for CPT code
9X0X2, and 0.80 for CPT code 9X0X3.
We are proposing the RUCrecommended direct PE inputs for all
codes in the family.
(74) Radiation Therapy Codes (HCPCS
Codes G6001, G6002, G6003, G6004,
G6005, G6006, G6007, G6008, G6009,
G6010, G6011, G6012, G6013, G6014,
G6015, G6016 and G6017)
For CY 2015, CPT revised the
radiation therapy code set for following
identification of some of the codes as
PO 00000
Frm 00124
Fmt 4701
Sfmt 4702
potentially misvalued and the affected
specialty society’s contention that the
provision of radiation therapy could not
be accurately reported under the
existing code set. In the CY 2015 PFS
final rule, we finalized that we were
delaying implementation of this revised
code set, citing concerns with our
potentially having finalized a
substantial coding revision on an
interim final basis. In addition, we
stated that substantial work needed to
be done to assure the new valuations for
these codes accurately reflect the coding
changes. We finalized that we would
maintain inputs at CY 2014 levels by
creating G-codes as necessary to allow
practitioners to continue to report
services to CMS in CY 2015 as they did
in CY 2014 and for payments to be made
in the same way. Following the
publication of the CY 2015 PFS final
rule, the Patient Access and Medicare
Protection Act (Pub. L. 114–115,
December 28, 2015) was enacted, which
included the provision that the code
definitions, the work relative value
units and the direct inputs for the PE
RVUs for radiation treatment delivery
and related imaging services (identified
in 2016 by HCPCS G-codes G6001
through G6015) for the fee schedule
established under this subsection for
services furnished in 2017 and 2018
shall be the same as such definitions,
units, and inputs for such services for
the fee schedule established for services
furnished in 2016. In CY 2018, Congress
extended this ‘‘freeze’’ in coding
descriptions and inputs through CY
2019 as a provision of the Bipartisan
Budget Act of 2018. For CY 2020, in the
interest of payment stability, we are
proposing to continue using these Gcodes, as well as their current work
RVUs and direct PE inputs. We are also
proposing that, for CY 2020, our PE
methodology will continue to include a
utilization rate assumption of 60 percent
for the equipment item: ER089, ‘‘IMRT
Accelerator.’’
BILLING CODE 4120–01–P
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TABLE 20: Proposed CY 2020 Work RVUs for New, Revised, and Potentially Misvalued
Codes
··.··
. ' .
.··.
.
. ·.
·..···
•
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...
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11981
11982
11983
15XOO
15X01
15X02
15X03
15X04
20220
20225
205Xl
205X2
206XO
206Xl
206X2
206X3
206X4
206X5
22310
26020
26055
26160
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27220
27279
2XXXO
2XXX1
VerDate Sep<11>2014
.
Descriptor
....
· ..
.
•.·.• ·.·.
Curr:~ut
..
..
·.·.
.
;
·.
·.
Insertion, non-biodegradable drug delivery implant
Removal, non-biodegradable drug delivery implant
Removal with reinsertion, non-biodegradable drug delivery implant
Grafting of autologous soft tissue, other, harvested by direct excision (eg,
fat, dermis, fascia)
Grafting of autologous fat harvested by liposuction technique to trunk,
breasts, scalp, arms, and/or legs; 50 cc or less injectate
Grafting of autologous fat harvested by liposuction technique to trunk,
breasts, scalp, arms, and/or legs; each additional 50 cc injectate, or part
thereof (List separately in addition to code for primary procedure)
Grafting of autologous fat harvested by liposuction technique to face,
eyelids, mouth, neck, ears, orbits, genitalia, hands, and/or feet; 25 cc or
less injectate
Grafting of autologous fat harvested by liposuction technique to face,
eyelids, mouth, neck, ears, orbits, genitalia, hands, and/or feet; each
additional 25 cc injectate, or part thereof (List separately in addition to
code for primary procedure)
Biopsy, bone, trocar, or needle; superficial (eg, ilium, sternum, spinous
process, ribs)
Biopsy, bone, trocar, or needle; deep (eg, vertebral body, femur)
Needle insertion(s) without injection(s); 1 or 2 muscle(s)
Needle insertion(s) without injection(s); 3 or more muscles
Manual preparation and insertion of drug-delivery device(s), deep (eg,
subfascial) (List separately in addition to code for primary procedure)
Manual preparation and insertion of drug-delivery device(s),
intramedullary (List separately in addition to code for primary procedure)
Manual preparation and insertion of drug-delivery device(s), intraarticular (List separately in addition to code for primary procedure)
Removal of drug-delivery device(s), deep (eg, subfascial) (List separately
in addition to code for primary procedure)
Removal of drug-delivery device(s), intramedullary (List separately in
addition to code for primary procedure)
Removal of drug-delivery device(s), intra-articular (List separately in
addition to code for primary procedure)
Closed treatment of vertebral body fracture(s), without manipulation,
requiring and including casting or bracing
Drainage of tendon sheath, digit and/or palm, each
Tendon sheath incision (eg, for trigger finger)
Excision of lesion of tendon sheath or joint capsule (eg, cyst, mucous cyst,
or ganglion), hand or finger
Closed treatment of acetabulum (hip socket) fracture(s); without
manipulation
Arthrodesis, sacroiliac joint, percutaneous or minimally invasive (indirect
visualization), with image guidance, includes obtaining bone graft when
performed, and placement of transfixing device
Excision of chest wall tumor including rib(s)
Excision of chest wall tumor involving rib(s), with plastic reconstruction;
without mediastinal lymphadenectomy
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Frm 00125
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work
avu
1.48
1.78
3.30
RUC
w(irk
work
1
RVtr·· ~VU··
· .··.•
..
1.30
1.70
2.10
time.·
refine,-.'
m~nt
1.14
1.34
1.91
No
No
No
NEW
6.68
6.68
No
NEW
6.73
6.73
No
NEW
2.50
2.50
No
NEW
6.83
6.83
No
NEW
2.41
2.41
No
1.27
1.93
1.65
No
1.87
NEW
NEW
3.00
0.45
0.60
2.45
0.32
0.48
No
No
No
NEW
1.50
1.32
No
NEW
2.50
1.70
No
NEW
2.60
1.80
No
NEW
1.13
1.13
No
NEW
1.80
1.80
No
NEW
2.15
2.15
No
3.89
3.75
3.45
No
5.08
3.11
7.79
3.75
6.84
3.11
No
No
3.57
3.57
3.57
No
6.83
6.00
5.50
No
9.03
9.03
9.03
No
NEW
17.78
No
NEW
22.19
No
E:\FR\FM\14AUP2.SGM
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I
40605
40606
'
liCPCS
I
2XXX2
33020
33025
33361
33362
33363
33364
33365
33366
33863
33864
33866
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Excision of chest wall tumor involving rib(s), with plastic reconstruction;
with mediastinal lymphadenectomy
Pericardiotomy for removal of clot or foreign body (primary procedure)
Creation of pericardial window or partial resection for drainage
Transcatheter aortic valve replacement (TA VR/TAVI) with prosthetic
valve; percutaneous femoral artery approach
Transcatheter aortic valve replacement (TA VR/TAVI) with prosthetic
valve; open femoral artery approach
Transcatheter aortic valve replacement (TA VR/TAVI) with prosthetic
valve; open axillary artery approach
Transcatheter aortic valve replacement (TA VR/TAVI) with prosthetic
valve; open iliac artery approach
Transcatheter aortic valve replacement (TA VR/TAVI) with prosthetic
valve; transaortic approach (eg, median sternotomy, mediastinotomy)
Transcatheter aortic valve replacement (TA VR/TAVI) with prosthetic
valve; transapical exposure (eg, left thoracotomy)
Ascending aorta graft, with cardiopulmonary bypass, with aortic root
replacement using valved conduit and coronary reconstruction (eg,
Bentall)
Ascending aorta graft, with cardiopulmonary bypass with valve
suspension, with coronary reconstruction and valve-sparing aortic root
remodeling (eg, David Procedure, Yacoub Procedure)
Aortic hemiarch graft including isolation and control of the arch vessels,
beveled open distal aortic anastomosis extending under one or more of the
arch vessels, and total circulatory arrest or isolated cerebral perfusion (List
separately in addition to code for primary procedure)
Ascending aorta graft, with cardiopulmonary bypass, includes valve
suspension, when performed; for aortic disease other than dissection (eg,
aneurysm)
Transverse aortic arch graft, with cardiopulmonary bypass, with profound
hypothermia, total circulatory arrest and isolated cerebral perfusion with
reimplantation of arch vessel(s) (eg, island pedicle or individual arch
vessel reimplantation)
Ascending aorta graft, with cardiopulmonary bypass, includes valve
suspension, when performed; for aortic dissection
Endovascular repair of iliac artery at the time of aorto-iliac artery
endograft placement by deployment of an iliac branched endograft
including pre-procedure sizing and device selection, all ipsilateral
selective iliac artery catheterization(s), all associated radiological
supervision and interpretation, and all endograft extension(s) proximally
to the aortic bifurcation and distally in the internal iliac, external iliac, and
common femoral artery(ies), and treatment zone angioplasty/stenting,
when performed, for rupture or other than rupture (eg, for aneurysm,
pseudoaneurysm, dissection, arteriovenous malformation, penetrating
ulcer, traumatic disruption), unilateral (List separately in addition to code
for primary procedure)
Endovascular repair of iliac artery, not associated with placement of an
aorto-iliac artery endograft at the same session, by deployment of an iliac
branched endograft, including pre-procedure sizing and device selection,
all ipsilateral selective iliac artery catheterization(s), all associated
radiological supervision and interpretation, and all endograft extension(s)
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Frm 00126
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25.17
No
14.95
13.70
14.31
13.20
12.95
11.84
No
No
25.13
22.47
22.47
No
27.52
24.54
24.54
No
28.50
25.47
25.47
No
30.00
25.97
25.97
No
33.12
26.59
26.59
No
35.88
29.35
29.35
No
58.79
59.00
58.79
No
60.08
63.00
60.08
No
19.74
17.75
17.75
No
NEW
50.00
45.13
No
NEW
65.75
60.88
No
NEW
65.00
63.40
No
NEW
9.00
9.00
No
NEW
24.00
24.00
No
E:\FR\FM\14AUP2.SGM
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,'
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
40607
•.
...
;
35X01
37252
37253
37765
37766
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3X001
3X002
3X003
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VerDate Sep<11>2014
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proximally to the aortic bifurcation and distally in the internal iliac,
external iliac, and common femoral artery(ies), and treatment zone
angioplasty/stenting, when performed, for other than rupture (eg, for
aneurysm, pseudoaneurysm, dissection, arteriovenous malformation,
penetrating ulcer), unilateral
EA.1Jloration not followed by surgical repair, artery; neck (eg, carotid,
subclavian)
Exploration not followed by surgical repair, artery; upper extremity (eg,
axillary, brachial, radial, ulnar)
EA.1Jloration not followed by surgical repair, artery; lower extremity (eg,
common femoral, deep femoral, superficial femoral, popliteal, tibial,
peroneal)
Intravascular ultrasound (noncoronary vessel) during diagnostic
evaluation and/or therapeutic intervention, including radiological
supervision and interpretation; initial noncoronary vessel (List separately
in addition to code for primary procedure)
Intravascular ultrasound (noncoronary vessel) during diagnostic
evaluation and/or therapeutic intervention, including radiological
supervision and interpretation; each additional noncoronary vessel (List
separately in addition to code for primary procedure)
Stab phlebectomy of varicose veins, 1 extremitv; 10-20 stab incisions
Stab phlebectomy of varicose veins, 1 extremitv; more than 20 incisions
Pericardiocentesis, including imaging guidance, when performed
Pericardia} drainage with insertion of indwelling catheter, percutaneous,
including fluoroscopy and/or ultrasound guidance, when performed; 6
years and older without congenital cardiac anomaly
Pericardia} drainage with insertion of indwelling catheter, percutaneous,
including fluoroscopy and/or ultrasound guidance, when performed; birth
through 5 years of age or any age with congenital cardiac anomaly
Pericardial drainage with insertion of indwelling catheter, percutaneous,
including CT guidance
Biopsy, vestibule of mouth
Hemorrhoidectomy, internal, by ligation other than rubber band; single
hemorrhoid column/group, without imaging guidance
Hemorrhoidectomy, internal, by ligation other than rubber band; 2 or more
hemorrhoid colunms/groups, without imaging guidance
Hemorrhoidectomy, internal, by transanal hemorrhoidal dearterialization,
2 or more hemorrhoid columns/groups, including ultrasound guidance,
with mucopexy, when perfonned
Preperitoneal pelvic packing for hemorrhage associated with pelvic
trauma, including local exploration
Re-exploration of pelvic wound with removal of preperitoneal pelvic
packing, including repacking, when performed
Cystourethroscopy, with insertion of permanent adjustable transprostatic
implant; single implant
Cystourethroscopy, with insertion of permanent adjustable transprostatic
implant; each additional permanent adjustable transprostatic implant (List
separately in addition to code for primary procedure)
Orchiopexy, inguinal or scrotal approach
Spinal puncture, lumbar, diagnostic;
Spinal puncture, therapeutic, for drainage of cerebrospinal fluid (by needle
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Frm 00127
·.
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ment
9.19
7.50
7.50
No
NEW
7.12
7.12
No
NEW
7.50
7.50
No
1.80
1.80
1.55
No
1.44
1.44
1.19
No
7.71
9.66
NEW
4.80
6.00
5.00
4.80
6.00
4.40
No
No
No
NEW
5.50
4.62
No
NEW
6.00
5.00
No
NEW
5.00
4.29
No
1.01
1.05
1.01
No
2.21
3.69
3.69
No
2.63
4.50
4.50
No
NEW
5.57
5.57
No
NEW
8.35
7.55
Yes
NEW
6.73
5.70
No
4.50
4.50
4.00
No
1.20
1.20
1.01
No
7.73
1.37
1.35
7.73
1.44
1.80
7.73
1.22
1.58
No
No
No
E:\FR\FM\14AUP2.SGM
14AUP2
EP14AU19.012
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
40608
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or catheter);
Spinal puncture, lumbar, diagnostic; with fluoroscopic or CT guidance
Spinal puncture, therapeutic, for drainage of cerebrospinal fluid (by needle
or catheter); with fluoroscopic or CT guidance
Electronic analysis of programmable, implanted pump for intrathecal or
epidural drug infusion (includes evaluation of reservoir status, alarm
status, drug prescription status); without reprogramming or refill
Electronic analysis of programmable, implanted pump for intrathecal or
epidural drug infusion (includes evaluation of reservoir status, alarm
status, drug prescription status); with reprogramming
Electronic analysis of programmable, implanted pump for intrathecal or
epidural drug infusion (includes evaluation of reservoir status, alarm
status, drug prescription status); with reprogramming and refill
Electronic analysis of programmable, implanted pump for intrathecal or
epidural drug infusion (includes evaluation of reservoir status, alarm
status, drug prescription status); with reprogramming and refill (requiring
skill of a physician or other qualified health care professional)
lnjection(s), anesthetic agent(s) and/or steroid; trigeminal nerve, each
branch (ie, ophthalmic, maxillary, mandibular)
lnjection(s), anesthetic agent(s) and/or steroid; vagus nerve
lnjection(s), anesthetic agent(s) and/or steroid; brachial plexus
Injection(s), anesthetic agent(s) and/or steroid; brachial plexus, continuous
infusion by catheter (including catheter placement)
lnjection(s), anesthetic agent(s) and/or steroid; axillary nerve
Injection(s), anesthetic agent(s) and/or steroid; intercostal nerve, single
level
Injection(s), anesthetic agent(s) and/or steroid; intercostal nerve, each
additional level (List separately in addition to code for primary procedure)
Injection(s), anesthetic agent(s) and/or steroid; ilioinguinal,
iliohypogastric nerves
lnjection(s), anesthetic agent(s) and/or steroid; pudendal nerve
Injection(s), anesthetic agent(s) and/or steroid; paracervical (uterine) nerve
lnjection(s), anesthetic agent(s) and/or steroid; sciatic nerve
Injection(s), anesthetic agent(s) and/or steroid; sciatic nerve, continuous
infusion by catheter (including catheter placement)
lnjection(s), anesthetic agent(s) and/or steroid; femoral nerve
Injection(s), anesthetic agent(s) and/or steroid; femoral nerve, continuous
infusion by catheter (including catheter placement)
lnjection(s), anesthetic agent(s) and/or steroid; lumbar plexus, posterior
approach, continuous infusion by catheter (including catheter placement)
Injection(s), anesthetic agent(s) and/or steroid; other peripheral nerve or
branch
#N/A
Injection(s), anesthetic agent(s) and/or steroid; genicular nerve branches,
including imaging guidance, when performed
Destruction by neurolytic agent, genicular nerve branches, including
imaging guidance, when performed
Ciliary body destruction; cyclophotocoagulation, endoscopic, without
concomitant removal of crystalline lens
Extracapsular cataract removal with insertion of intraocular lens prosthesis
( 1-stage procedure), manual or mechanical technique (eg, irrigation and
18:25 Aug 13, 2019
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0.48
0.48
0.48
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0.67
0.67
0.67
No
0.67
0.67
0.67
No
0.90
0.90
0.90
No
1.11
1.00
0.75
No
1.41
1.48
0.90
1.42
0.75
1.35
No
No
1.81
1.81
1.48
No
1.44
1.27
1.27
No
1.18
1.18
1.08
No
1.68
0.60
0.50
No
1.75
1.19
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1.46
1.45
1.48
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1.18
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0.75
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1.81
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No
1.50
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No
1.63
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No
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No
0.75
0.75
0.75
No
1.23
1.98
1.98
No
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1.52
1.52
No
NEW
2.62
2.50
No
7.93
6.36
5.62
No
11.08
10.25
10.25
No
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Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
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Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
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aspiration or phacoemulsification), complex, requiring devices or
techniques not generally used in routine cataract surgery (eg, iris
expansion device, suture support for intraocular lens, or primary posterior
capsulorrhexis) or performed on patients in the amblyogenic
developmental stage; without endoscopic cyclophotocoagulation
Intracapsular cataract extraction with insertion of intraocular lens
prosthesis (1 stage procedure)
Extracapsular cataract removal with insertion of intraocular lens prosthesis
( 1 stage procedure), manual or mechanical technique (eg, irrigation and
aspiration or phacoemulsification); without endoscopic
cyclophotocoagulation
Extracapsular cataract removal with insertion of intraocular lens prosthesis
(1-stage procedure), manual or mechanical technique (eg, irrigation and
aspiration or phacoemulsification), complex, requiring devices or
techniques not generally used in routine cataract surgery (eg, iris
expansion device, suture support for intraocular lens, or primary posterior
capsulorrhexis) or performed on patients in the amblyogenic
developmental stage; with endoscopic cyclophotocoagulation
Extracapsular cataract removal with insertion of intraocular lens prosthesis
( 1 stage procedure), manual or mechanical technique (eg, irrigation and
aspiration or phacoemulsification); with endoscopic
cyclophotocoagulation
Injection(s), anesthetic agent(s) and/or steroid; neiVes inneiVating the
sacroiliac joint, with image guidance (ie, fluoroscopy or computed
tomography)
Radiofrequency ablation, neiVes inneiVating the sacroiliac joint, with
image guidance (ie, fluoroscopy or computed tomography)
Radiologic examination, sinuses, paranasal, less than 3 views
Radiologic examination, sinuses, paranasal, complete, minimum of 3
views
Radiologic examination, skull; less than 4 views
Radiologic examination, skull; complete, minimum of 4 views
Radiologic examination; neck, soft tissue
Computed tomography, orbit, sella, or posterior fossa or outer, middle, or
inner ear; without contrast material
Computed tomography, orbit, sella, or posterior fossa or outer, middle, or
inner ear; with contrast material(s)
Computed tomography, orbit, sella, or posterior fossa or outer, middle, or
inner ear; without contrast material, followed by contrast material(s) and
further sections
Radiologic examination, spine, single view, specify level
Radiologic examination, spine, ceiVical; 2 or 3 views
Radiologic examination, spine, ceiVical; 4 or 5 views
Radiologic examination, spine, ceiVical; 6 or more views
Radiologic examination, spine; thoracic, 2 views
Radiologic examination, spine; thoracic, 3 views
Radiologic examination, spine; thoracic, minimum of 4 views
Radiologic examination, spine; thoracolumbar junction, minimum of 2
views
Radiologic examination, spine, lumbosacral; 2 or 3 views
Radiologic examination, spine, lumbosacral; minimum of 4 views
18:25 Aug 13, 2019
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1.52
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3.39
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0.17
0.20
0.17
No
0.25
0.22
0.22
No
0.24
0.34
0.17
0.20
0.29
0.20
0.18
0.28
0.18
No
No
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1.28
1.28
1.13
No
1.38
1.13
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1.45
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No
0.15
0.22
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No
No
No
No
0.22
0.21
0.21
No
0.22
0.31
0.22
0.26
0.22
0.26
No
No
E:\FR\FM\14AUP2.SGM
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EP14AU19.014
'
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Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
...
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Radiologic examination, spine, lumbosacral; complete, including bending
views, minimum of 6 views
Radiologic examination, spine, lumbosacral; bending views only, 2 or 3
views
Computed tomography, cervical spine; without contrast material
Computed tomography, cervical spine; with contrast material
Computed tomography, cervical spine; without contrast material, followed
by contrast material(s) and further sections
Computed tomography, thoracic spine; without contrast material
Computed tomography, thoracic spine; with contrast material
Computed tomography, thoracic spine; without contrast material, followed
by contrast material(s) and further sections
Computed tomography, lumbar spine; without contrast material
Computed tomography, lumbar spine; with contrast material
Computed tomography, lumbar spine; without contrast material, followed
by contrast material(s) and further sections
Radiologic examination, pelvis; 1 or 2 views
Radiologic examination, pelvis; complete, minimum of 3 views
Radiologic examination, sacroiliac joints; less than 3 views
Radiologic examination, sacroiliac joints; 3 or more views
Radiologic examination, sacrum and coccyx, minimum of 2 views
Radiologic examination; clavicle, complete
Radiologic examination; scapula, complete
Radiologic examination, shoulder; 1 view
Radiologic examination, shoulder; complete, minimum of 2 views
Radiologic examination; acromioclavicular joints, bilateral, with or
without weighted distraction
Radiologic examination, elbow; 2 views
Radiologic examination, elbow; complete, minimum of 3 views
Radiologic examination; forearm, 2 views
Radiologic examination; calcaneus, minimum of 2 views
Radiologic examination; toe(s), minimum of 2 views
Computed tomography, lower extremity; without contrast material
Computed tomography, lower extremity; with contrast material(s)
Computed tomography, lower extremity; without contrast material,
followed by contrast material(s) and further sections
Radiologic examination, pharynx and/or cervical esophagus, including
scout neck radiograph(s) and delayed image(s), when performed, contrast
(eg, barium) study
Radiologic examination, esophagus, including scout chest radiograph(s)
and delayed image(s), when performed; single-contrast (eg, barium) study
Radiologic examination, swallowing function, with
cineradiography/videoradiography, including scout neck radiograph(s) and
delayed image(s), when performed, contrast (eg, barium) study
Radiologic examination, upper gastrointestinal tract, including scout
abdominal radiograph(s) and delayed image(s), when performed; singlecontrast (eg, barium) study
Radiologic examination, upper gastrointestinal tract, including scout
abdominal radiograph(s) and delayed image(s), when performed; doublecontrast (eg, high-density barium and effervescent agent) study, including
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0.22
0.22
0.22
No
1.07
1.22
1.07
1.22
1.00
1.22
No
No
1.27
1.27
1.27
No
1.00
1.22
1.00
1.22
1.00
1.22
No
No
1.27
1.27
1.27
No
1.00
1.22
1.00
1.22
1.00
1.22
No
No
1.27
1.27
1.27
No
0.17
0.21
0.17
0.19
0.17
0.16
0.17
0.15
0.18
0.17
0.25
0.20
0.26
0.20
0.16
0.17
0.15
0.18
0.17
0.25
0.17
0.23
0.17
0.16
0.17
0.15
0.18
No
No
No
No
No
No
No
No
No
0.20
0.18
0.18
No
0.15
0.17
0.16
0.16
0.13
1.00
1.16
0.16
0.17
0.16
0.16
0.13
1.00
1.16
0.16
0.17
0.16
0.16
0.13
1.00
1.16
No
No
No
No
No
No
No
1.22
1.22
1.22
No
0.59
0.59
0.59
No
0.67
0.60
0.60
No
0.53
0.53
0.53
No
0.69
0.80
0.80
No
0.69
0.90
0.90
No
E:\FR\FM\14AUP2.SGM
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EP14AU19.015
'
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Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
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glucagon, when administered
Radiologic examination, small intestine, including multiple serial images
and scout abdominal radiograph(s), when performed; single-contrast (eg,
barium) study
Radiologic examination, small intestine, including multiple serial images
and scout abdominal radiograph(s), when performed; double-contrast (eg,
high-density barium and air via enteroclysis tube) study, including
glucagon, when administered
Radiologic examination, colon, including scout abdominal radiograph(s)
and delayed image(s), when performed; single-contrast (eg, barium) study
Radiologic examination, colon, including scout abdominal radiograph(s)
and delayed image(s), when performed; double-contrast (eg, high density
barium and air) study, including glucagon, when administered
Urography, antegrade (pyelostogram, nephrostogram, loopogram),
radiological supervision and interpretation
Radiologic examination, esophagus, including scout chest radiograph(s)
and delayed image(s), when performed; double-contrast (eg, high-density
barium and effervescent agent) study
Radiologic small intestine follow-through study, including multiple serial
images (List separately in addition to code for primary procedure for
upper GI radiologic exam)
Aortography, abdominal, by serialography, radiological supervision and
interpretation
Aortography, abdominal plus bilateral iliofemoral lower extremity,
catheter, by serialography, radiological supervision and interpretation
Angiography, visceral, selective or supraselective (with or without flush
aortogram), radiological supervision and interpretation
Angiography, selective, each additional vessel studied after basic
examination, radiological supervision and interpretation (List separately in
addition to code for primary procedure)
Radiological examination, surgical specimen
3D rendering with interpretation and reporting of computed tomography,
magnetic resonance imaging, ultrasound, or other tomographic modality
with image postprocessing under concurrent supervision; not requiring
image postprocessing on an independent workstation
Ultrasound, chest (includes mediastinum), real time with image
documentation
Bone length studies (orthoroentgenogram, scanogram)
Radiologic examination, osseous survey; limited (eg, for metastases)
Radiologic examination, osseous survey; complete (axial and appendicular
skeleton)
Radiologic examination, osseous survey, infant
Joint survey, single view, 2 or more joints (specify)
Myocardial imaging, positron emission tomography (PET), metabolic
evaluation study (including ventricular wall motion[s] and/or ejection
fraction[s], when performed), single study;
Myocardial imaging, positron emission tomography (PET), perfusion
study (including ventricular wall motion[ s] and/or ejection fraction[ s],
when performed); single study, at rest or stress (exercise or
pharmacologic)
Myocardial imaging, positron emission tomography (PET), perfusion
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0.81
0.81
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0.69
1.17
1.17
No
0.69
1.04
1.04
No
0.99
1.26
1.26
No
0.36
0.51
0.51
No
NEW
0.70
0.70
No
NEW
0.70
0.70
No
1.14
1.75
1.44
No
1.79
2.00
2.00
No
1.14
2.05
2.05
No
0.36
1.01
1.01
No
0.16
0.31
0.31
No
0.20
0.20
0.20
No
0.55
0.59
0.59
No
0.27
0.45
0.26
0.44
0.26
0.44
No
No
0.54
0.55
0.55
No
0.70
0.31
0.70
0.33
0.70
0.33
No
No
1.50
1.61
1.25
No
1.50
1.56
1.00
No
1.87
1.80
1.74
No
E:\FR\FM\14AUP2.SGM
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0.79
0.79
0.73
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0.86
0.86
0.80
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1.09
1.20
1.09
No
1.07
1.07
1.01
No
NEW
1.60
1.49
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NEW
1.93
1.82
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2.23
2.12
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0.47
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study (including ventricular wall motion[ s] and/or ejection fraction[ s],
when performed); multiple studies at rest and stress (exercise or
pharmacologic)
Radiopharmaceutical localization of tumor, inflammatory process or
distribution of radiopharmaceutical agent(s) (includes vascular flow and
blood pool imaging, when performed); planar, single area (eg, head, neck,
chest, pelvis), single day of imaging
Radiopharmaceutical localization of tumor, inflammatory process or
distribution of radiopharmaceutical agent(s) (includes vascular flow and
blood pool imaging, when performed); planar, 2 or more areas (eg,
abdomen and pelvis, head and chest), 1 or more days of imaging or single
area imaging over 2 or more days
Radiopharmaceutical localization of tumor, inflammatory process or
distribution of radiopharmaceutical agent(s) (includes vascular flow and
blood pool imaging, when performed); planar, whole body, single day
imaging
Radiopharmaceutical localization of tumor, inflammatory process or
distribution of radiopharmaceutical agent(s) (includes vascular flow and
blood pool imaging, when performed); tomographic (SPECT), single area
(eg, head, neck, chest, pelvis), single day of imaging
Radiopharmaceutical localization of tumor, inflammatory process or
distribution of radiopharmaceutical agent(s) (includes vascular flow and
blood pool imaging, when performed); planar, whole body, requiring 2 or
more days imaging
Radiopharmaceutical localization of tumor, inflammatory process or
distribution of radiopharmaceutical agent(s) (includes vascular flow and
blood pool imaging, when performed); tomographic (SPECT) with
concurrently acquired computed tomography (CT) transmission scan for
anatomical review, localization and determination/detection of pathology,
single area (eg, head, neck, chest, pelvis), single day of imaging
Radiopharmaceutical localization of tumor, inflammatory process or
distribution of radiopharmaceutical agent(s) (includes vascular flow and
blood pool imaging, when performed); tomographic (SPECT), minimum 2
areas (eg, pelvis and knees, abdomen and pelvis), single day ofimaging,
or single area of imaging over 2 or more days
Radiopharmaceutical localization of tumor, inflammatory process or
distribution of radiopharmaceutical agent(s) (includes vascular flow and
blood pool imaging, when performed); tomographic (SPECT) with
concurrently acquired computed tomography (CT) transmission scan for
anatomical review, localization and determination/detection of pathology,
minimum 2 areas (eg, pelvis and knees, abdomen and pelvis), single day
of imaging, or single area of imaging over 2 or more days imaging
Radiopharmaceutical quantification measurement(s) single area
Myocardial imaging, positron emission tomography (PET), metabolic
evaluation study (including ventricular wall motion[s] and/or ejection
fraction[ s], when performed), single study; with concurrently acquired
computed tomography transmission scan
Myocardial imaging, positron emission tomography (PET), perfusion
study (including ventricular wall motion[ s] and/or ejection fraction[ s],
when performed); single study, at rest or stress (exercise or
pharmacologic), with concurrently acquired computed tomography
18:25 Aug 13, 2019
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Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
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transmission scan
Myocardial imaging, positron emission tomography (PET), perfusion
study (including ventricular wall motion[ s1 and/or ejection fraction[ s],
when performed); multiple studies at rest and stress (exercise or
pharmacologic), with concurrently acquired computed tomography
transmission scan
Myocardial imaging, positron emission tomography (PET), combined
perfusion with metabolic evaluation study (including ventricular wall
motion[ s1 and/or ejection fraction[ s], when performed), dual radiotracer
(eg, myocardial viability);
Myocardial imaging, positron emission tomography (PET), combined
perfusion with metabolic evaluation study (including ventricular wall
motion[ s1 and/or ejection fraction[ s], when performed), dual radiotracer
(eg, myocardial viability); with concurrently acquired computed
tomography transmission scan
Absolute quantitation of myocardial blood flow (AQMBF), positron
emission tomography (PET), rest and pharmacologic stress (List
separately in addition to code for primary procedure)
Cytopathology, cervical or vaginal (any reporting system), requiring
interpretation by physician
Biofeedback training, perineal muscles, anorectal or urethral sphincter,
including EMG and/or manometry, when performed; initial15 minutes of
one-on-one physician or other qualified health care professional contact
with the patient
Biofeedback training, perineal muscles, anorectal or urethral sphincter,
including EMG and/or manometry, when performed; each additional15
minutes of one-on-one physician or other qualified health care
professional contact with the patient (List separately in addition to code
for primary procedure)
Corneal hysteresis determination, by air impulse stimulation, unilateral or
bilateral, with interpretation and report
Computerized dynamic posturography sensory organization test (CDPSOT), 6 conditions (ie, eyes open, eyes closed, visual sway, platform
sway, eyes closed platform sway, platform and visual sway), including
interpretation and report;
Evaluation of auditory function for surgically implanted device(s)
candidacy or post-operative status of a surgically implanted device(s); first
hour
Evaluation of auditory function for surgically implanted device(s)
candidacy or post-operative status of a surgically implanted device(s);
each additional15 minutes (List separately in addition to code for primary
procedure)
Atrial septectomy or septostomy; transvenous method, balloon (eg,
Rashkind type) (includes cardiac catheterization)
Atrial septectomy or septostomy; blade method (Park septostomy)
(includes cardiac catheterization)
Ophthalmoscopy, extended; with retinal drawing and scleral depression,
of peripheral retinal disease (eg, for retinal tear, retinal detachment, retinal
tumor) with interpretation and report, unilateral or bilateral
Ophthalmoscopy, extended; with drawing of optic nerve or macula (eg,
for glaucoma, macular pathology, tumor) with interpretation and report,
18:25 Aug 13, 2019
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0.42
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0.10
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1.40
1.40
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0.33
0.33
0.33
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E:\FR\FM\14AUP2.SGM
14AUP2
EP14AU19.018
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
40614
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unilateral or bilateral
Computerized dynamic posturography sensory organization test (CDPSOT), 6 conditions (ie, eyes open, eyes closed, visual sway, platform
sway, eyes closed platform sway, platform and visual sway), including
interpretation and report; with motor control test (MCT) and adaptation
test (ADT)
Interrogation device evaluation(s), (remote) up to 30 days; implantable
cardiovascular physiologic monitor system, including analysis of 1 or
more recorded physiologic cardiovascular data elements from all internal
and external sensors, analysis, review(s) and report(s) by a physician or
other qualified health care professional
Interrogation device evaluation(s), (remote) up to 30 days; subcutaneous
cardiac rhythm monitor system, including analysis of recorded heart
rhythm data, analysis, review(s) and report(s) by a physician or other
qualified health care professional
Myocardial strain imaging using speckle-tracking derived assessment of
myocardial mechanics (List separately in addition to codes for
echocardiography imaging)
Ambulatory blood-pressure monitoring, utilizing report-generating
software, automated, worn continuously for 24 hours or longer; including
recording, scanning analysis, interpretation and report
Ambulatory blood-pressure monitoring, utilizing report-generating
software, automated, worn continuously for 24 hours or longer; recording
only
Ambulatory blood-pressure monitoring, utilizing report-generating
software, automated, worn continuously for 24 hours or longer; scanning
analysis with report
Ambulatory blood-pressure monitoring, utilizing report-generating
software, automated, worn continuously for 24 hours or longer; review
with interpretation and report
Duplex scan of arterial inflow and venous outflow for preoperative vessel
assessment prior to creation of hemodialysis access; complete bilateral
study
Duplex scan of arterial inflow and venous outflow for preoperative vessel
assessment prior to creation of hemodialysis access; complete unilateral
study
Maximum breathing capacity, maximal voluntary ventilation
Electroencephalogram (EEG) continuous recording, with video when
performed, setup, patient education, and takedown when performed,
administered in person by EEG technologist, minimum of 8 channels
Electroencephalogram (EEG), without video, review of data, technical
description by EEG technologist, 2-12 hours; unmonitored
Electroencephalogram (EEG), without video, review of data, technical
description by EEG technologist, 2-12 hours; with intennittent monitoring
and maintenance
Electroencephalogram (EEG), without video, review of data, technical
description by EEG technologist, 2-12 hours; with continuous, real-time
monitoring and maintenance
Electroencephalogram (EEG), without video, review of data, teclmical
description by EEG technologist, each increment of 12-26 hours;
unmonitored
18:25 Aug 13, 2019
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0.38
0.38
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0.00
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0.00
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0.38
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0.05
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0.00
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40615
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
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Electroencephalogram (EEG), without video, review of data, teclmical
description by EEG teclmologist, each increment of 12-26 hours; with
intermittent monitoring and maintenance
Electroencephalogram (EEG), without video, review of data, teclmical
description by EEG teclmologist, each increment of 12-26 hours; with
continuous, real-time monitoring and maintenance
Electroencephalogram with video (VEEG), review of data, teclmical
description by EEG teclmologist, 2-12 hours; unmonitored
Electroencephalogram with video (VEEG), review of data, teclmical
description by EEG teclmologist, 2-12 hours; with intermittent monitoring
and maintenance
Electroencephalogram with video (VEEG), review of data, teclmical
description by EEG teclmologist, 2-12 hours; with continuous, real-time
monitoring and maintenance
Electroencephalogram with video (VEEG), review of data, teclmical
description by EEG technologist, each increment of 12-26 hours;
unmonitored
Electroencephalogram with video (VEEG), review of data, teclmical
description by EEG teclmologist, each increment of 12-26 hours; with
intermittent monitoring and maintenance
Electroencephalogram with video (VEEG), review of data, teclmical
description by EEG teclmologist, each increment of 12-26 hours; with
continuous, real-time monitoring and maintenance
Electroencephalogram, continuous recording, physician or other qualified
health care professional review of recorded events, analysis of spike and
seizure detection, interpretation and report, 2-12 hours ofEEG recording;
without video
Electroencephalogram, continuous recording, physician or other qualified
health care professional review of recorded events, analysis of spike and
seizure detection, interpretation and report, 2-12 hours ofEEG recording;
with video (VEEG)
Electroencephalogram, continuous recording, physician or other qualified
health care professional review of recorded events, analysis of spike and
seizure detection, each increment of greater than 12 hours, up to 26 hours
ofEEG recording, interpretation and report after each 24-hour period;
without video
Electroencephalogram, continuous recording, physician or other qualified
health care professional review of recorded events, analysis of spike and
seizure detection, each increment of greater than 12 hours, up to 26 hours
ofEEG recording, interpretation and report after each 24-hour period;
with video (VEEG)
Electroencephalogram, continuous recording, physician or other qualified
health care professional review of recorded events, analysis of spike and
seizure detection, interpretation, and summary report, complete study;
greater than 36 hours, up to 60 hours ofEEG recording, without video
Electroencephalogram, continuous recording, physician or other qualified
health care professional review of recorded events, analysis of spike and
seizure detection, interpretation, and summary report, complete study;
greater than 36 hours, up to 60 hours ofEEG recording, with video
(VEEG)
Electroencephalogram, continuous recording, physician or other qualified
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No
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No
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0.00
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No
NEW
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2.35
No
NEW
3.00
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E:\FR\FM\14AUP2.SGM
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health care professional review of recorded events, analysis of spike and
seizure detection, interpretation, and sunnnary report, complete study;
greater than 60 hours, up to 84 hours of EEG recording, without video
Electroencephalogram, continuous recording, physician or other qualified
health care professional review of recorded events, analysis of spike and
seizure detection, interpretation, and sunnnary report, complete study;
greater than 60 hours, up to 84 hours of EEG recording, with video
(VEEG)
Electroencephalogram, continuous recording, physician or other qualified
health care professional review of recorded events, analysis of spike and
seizure detection, interpretation, and sunnnary report, complete study;
greater than 84 hours of EEG recording, without video
Electroencephalogram, continuous recording, physician or other qualified
health care professional review of recorded events, analysis of spike and
seizure detection, interpretation, and sunnnary report, complete study;
greater than 84 hours of EEG recording, with video (VEEG)
Health behavior assessment, or re-assessment (ie, health-focused clinical
interview, behavioral observations, clinical decision making)
Health behavior intervention, individual, face-to-face; initial 30 minutes
Health behavior intervention, individual, face-to-face; each additional15
minutes (List separately in addition to code for primary service)
Health behavior intervention, group (2 or more patients), face-to-face;
initial 30 minutes
Health behavior intervention, group (2 or more patients), face-to-face;
each additional15 minutes (List separately in addition to code for primary
service)
Health behavior intervention, family (with the patient present), face-toface; initial 30 minutes
Health behavior intervention, family (with the patient present), face-toface; each additional15 minutes (List separately in addition to code for
primary service)
Health behavior intervention, family (without the patient present), face-toface; initial 30 minutes
Health behavior intervention, family (without the patient present), face-toface; each additional15 minutes (List separately in addition to code for
primary service)
Therapeutic interventions that focus on cognitive function (eg, attention,
memory, reasoning, executive function, problem solving, and/or
pragmatic functioning) and compensatory strategies to manage the
performance of an activity (eg, managing time or schedules, initiating,
organizing and sequencing tasks), direct (one-on-one) patient contact;
initial 15 minutes
Debridement (eg, high pressure wateljet with/without suction, sharp
selective debridement with scissors, scalpel and forceps), open wound,
(eg, fibrin, devitalized epidermis and/or dermis, exudate, debris, biofilm),
including topical application(s), wound assessment, use of a whirlpool,
when performed and instruction(s) for ongoing care, per session, total
wound(s) surface area; first 20 sq em or less
Debridement (eg, high pressure wateljet with/without suction, sharp
selective debridement with scissors, scalpel and forceps), open wound,
(eg, fibrin, devitalized epidermis and/or dermis, exudate, debris, biofilm),
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1.55
1.55
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0.55
0.55
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0.54
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0.50
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0.51
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0.77
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0.24
0.50
0.50
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E:\FR\FM\14AUP2.SGM
14AUP2
EP14AU19.021
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including topical application(s), wound assessment, use of a whirlpool,
when performed and instruction(s) for ongoing care, per session, total
wound(s) surface area; each additional20 sq em, or part thereof (List
separately in addition to code for primary procedure)
Negative pressure wound therapy, (eg, vacuum assisted drainage
collection), utilizing disposable, non-durable medical equipment including
provision of exudate management collection system, topical
application(s), wound assessment, and instructions for ongoing care, per
session; total wound(s) surface area less than or equal to 50 square
centimeters
Negative pressure wound therapy, (eg, vacuum assisted drainage
collection), utilizing disposable, non-durable medical equipment including
provision of exudate management collection system, topical
application(s), wound assessment, and instructions for ongoing care, per
session; total wound(s) surface area greater than 50 square centimeters
Low frequency, non-contact, non-thermal ultrasound, including topical
application(s), when performed, wound assessment, and instmction(s) for
ongoing care, per day
Qualified nonphysician health care professional online digital evaluation
and management service, for an established patient, for up to seven days,
cumulative time during the 7 days; 5-10 minutes
Qualified nonphysician health care professional online digital evaluation
and management service, for an established patient, for up to seven days,
cumulative time during the 7 days; 11-20 minutes
Qualified nonphysician health care professional online digital evaluation
and management service, for an established patient, for up to seven days,
cumulative time during the 7 days; 21 or more minutes
Emergency department visit for the evaluation and management of a
patient, which requires these 3 key components: A problem focused
history; A problem focused examination; and Straightforward medical
decision making. Counseling and/or coordination of care with other
physicians, other qualified health care professionals, or agencies are
provided consistent with the nature of the problem(s) and the patient's
and/or family's needs. Usually, the presenting problem(s) are self limited
or minor.
Emergency department visit for the evaluation and management of a
patient, which requires these 3 key components: An expanded problem
focused history; An expanded problem focused examination; and Medical
decision making of low complexity. Counseling and/or coordination of
care with other physicians, other qualified health care professionals, or
agencies are provided consistent with the nature of the problem(s) and the
patient's and/or family's needs. Usually, the presenting problem(s) are of
low to moderate severity.
Emergency department visit for the evaluation and management of a
patient, which requires these 3 key components: An expanded problem
focused history; An expanded problem focused examination; and Medical
decision making of moderate complexity. Counseling and/or coordination
of care with other physicians, other qualified health care professionals, or
agencies are provided consistent with the nature of the problem(s) and the
patient's and/or family's needs. Usually, the presenting problem(s) are of
moderate severity.
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Emergency department visit for the evaluation and management of a
patient, which requires these 3 key components: A detailed history; A
detailed examination; and Medical decision making of moderate
complexity. Counseling and/or coordination of care with other physicians,
other qualified health care professionals, or agencies are provided
consistent with the nature of the problem(s) and the patient's and/or
family's needs. Usually, the presenting problem(s) are of high severity,
and require urgent evaluation by the physician, or other qualified health
care professionals but do not pose an immediate significant threat to life or
physiologic function.
Emergency department visit for the evaluation and management of a
patient, which requires these 3 key components within the constraints
imposed by the urgency of the patient's clinical condition and/or mental
status: A comprehensive history; A comprehensive examination; and
Medical decision making of high complexity. Counseling and/or
coordination of care with other physicians, other qualified health care
professionals, or agencies are provided consistent with the nature of the
problem(s) and the patient's and/or family's needs. Usually, the presenting
problem(s) are of high severity and pose an immediate significant threat to
life or physiologic function.
Transitional Care Management Services with the following required
elements: Communication (direct contact, telephone, electronic) with the
patient and/or caregiver within 2 business days of discharge Medical
decision making of at least moderate complexity during the service period
Face-to-face visit, within 14 calendar days of discharge
Transitional Care Management Services with the following required
elements: Communication (direct contact, telephone, electronic) with the
patient and/or caregiver within 2 business days of discharge Medical
decision making of high complexity during the service period Face-to-face
visit, within 7 calendar days of discharge
Remote physiologic monitoring treatment management services, clinical
staff/physician/other qualified health care professional time in a calendar
month requiring interactive communication with the patient/caregiver
during the month; each additional 20 minutes (List separately in addition
to code for primary procedure)
Self-measured blood pressure using a device validated for clinical
accuracy; patient education/training and device calibration
Self-measured blood pressure using a device validated for clinical
accuracy; separate self-measurements of two readings one minute apart,
twice daily over a 30-day period (minimum of 12 readings), collection of
data reported by the patient and/or caregiver to the physician or other
qualified health care professional, with report of average systolic and
diastolic pressures and subsequent communication of a treatment plan to
the patient
Online digital evaluation and management service, for an established
patient, for up to 7 days, cumulative time during the 7 days; 5-10 minutes
Online digital evaluation and management service, for an established
patient, for up to 7 days, cumulative time during the 7 days; 11-20 minutes
Online digital evaluation and management service, for an established
patient, for up to 7 days, cumulative time during the 7 days; 21 or more
minutes
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2.11
2.36
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3.05
3.10
3.10
No
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0.61
0.50
No
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0.00
0.00
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0.18
0.18
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Therapeutic interventions that focus on cognitive function (eg, attention,
memory, reasoning, executive function, problem solving, and/or
pragmatic functioning) and compensatory strategies to manage the
performance of an activity (eg, managing time or schedules, initiating,
organizing and sequencing tasks), direct (one-on-one) patient contact;
each additionall5 minutes (List separately in addition to code for primary
procedure)
Screening cytopathology, cervical or vaginal (any reporting system),
collected in preservative fluid, automated thin layer preparation, requiring
interpretation by physician
Screening cytopathology smears, cervical or vaginal, performed by
automated system, with manual rescreening, requiring interpretation by
physician
Chronic care management services, first 20 minutes of clinical staff time
directed by a physician or other qualified health care professional, per
calendar month, with the following required elements:
• multiple (two or more) chronic conditions expected to last at least 12
months, or until the death of the patient;
• chronic conditions place the patient at significant risk of death, acute
exacerbation/decompensation, or functional decline;
• comprehensive care plan established, implemented, revised, or
monitored.
(Chronic care management services of less than 20 minutes duration, in a
calendar month, are not reported separately)
Chronic care management services, each additional 20 minutes of clinical
staff time directed by a physician or other qualified health care
professional, per calendar month (List separately in addition to code for
primary procedure). (Use GCCC2 in conjunction with GCCCl). (Do not
report GCCC2 for care management services of less than 20 minutes
additional to the first 20 minutes of chronic care management services
during a calendar month).
Complex chronic care management services, with the following required
elements:
• multiple (two or more) chronic conditions expected to last at least 12
months, or until the death of the patient,
• chronic conditions place the patient at significant risk of death, acute
exacerbation/decompensation, or functional decline,
• comprehensive care plan established, implemented, revised, or
monitored,
• moderate or high complexity medical decision making;
• 60 minutes of clinical staff time directed by physician or other qualified
health care professional, per calendar month.
(Complex chronic care management services of less than 60 minutes
duration, in a calendar month, are not reported separately).
Complex chronic care management services, each additional 30 minutes
of clinical staff time directed by a physician or other qualified health care
professional, per calendar month (List separately in addition to code for
primary procedure). (Report GCCC4 in conjunction with GCCC3). (Do
not report GCCC4 for care management services of less than 30 minutes
additional to the first 60 minutes of complex chronic care management
services during a calendar month).
18:25 Aug 13, 2019
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0.48
0.48
No
0.42
0.42
0.26
No
0.42
0.42
0.26
No
NEW
0.61
No
NEW
0.54
No
NEW
1.00
No
NEW
0.50
No
E:\FR\FM\14AUP2.SGM
14AUP2
EP14AU19.024
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
40620
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•·
HCPCS ..
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GNPP2
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VerDate Sep<11>2014
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Qualified nonphysician healthcare professional online assessment, for an
established patient, for up to seven days, cumulative time during the 7
days; 5-10 minutes
Qualified nonphysician healthcare professional online assessment service,
for an established patient, for up to seven days, cumulative time during the
7 days; 11-20 minutes
Qualified nonphysician qualified healthcare professional assessment
service, for an established patient, for up to seven days, cumulative time
during the 7 days; 21 or more minutes
Comprehensive care management services for a single high-risk disease,
e.g., Principal Care Management, at least 30 minutes of physician or other
qualified health care professional time per calendar month with the
following elements: One complex chronic condition lasting at least 3
months, which is the focus of the care plan, the condition is of sufficient
severity to place patient at risk of hospitalization or have been the cause of
a recent hospitalization, the condition requires development or revision of
disease-specific care plan, the condition requires frequent adjustments in
the medication regimen, and/or the management of the condition is
unusually complex due to comorbidities
Comprehensive care management for a single high-risk disease services,
e.g. Principal Care Management, at least 30 minutes of clinical staff time
directed by a physician or other qualified health care professional, per
calendar month with the following elements: one complex chronic
condition lasting at least 3 months, which is the focus of the care plan, the
condition is of sufficient severity to place patient at risk of hospitalization
or have been cause of a recent hospitalization, the condition requires
development or revision of disease-specific care plan, the condition
requires frequent adjustments in the medication regimen, and/or the
management of the condition is unusually complex due to co morbidities
Interrogation device evaluation(s), (remote) up to 30 days; implantable
cardiovascular physiologic monitor system, implantable loop recorder
system, or subcutaneous cardiac rhythm monitor system, remote data
acquisition(s), receipt of transmissions and technician review, technical
support and distribution of results
Medication assisted treatment, methadone; weekly bundle including
dispensing and/or administration, substance use counseling, individual and
group therapy, and toxicology testing, if performed (provision of the
services by a Medicare-emolled Opioid Treatment Program)
Medication assisted treatment, buprenorphine (oral); weekly bundle
including dispensing and/or administration, substance use counseling,
individual and group therapy, and toxicology testing if performed
(provision of the services by a Medicare-emolled Opioid Treatment
Program)
Medication assisted treatment, buprenorphine (injectable); weekly bundle
including dispensing and/or administration, substance use counseling,
individual and group therapy, and toxicology testing if performed
(provision of the services by a Medicare-emolled Opioid Treatment
Program)
Medication assisted treatment, buprenorphine (implant insertion); weekly
bundle including dispensing and/or administration, substance use
counseling, individual and group therapy, and toxicology testing if
18:25 Aug 13, 2019
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0.69
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NEW
0.61
No
NEW
0.00
No
NEW
0.00
No
NEW
0.00
No
NEW
0.00
No
NEW
0.00
No
E:\FR\FM\14AUP2.SGM
14AUP2
EP14AU19.025
•.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
40621
'
...
,
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performed (provision of the services by a Medicare-emolled Opioid
Treatment Program)
Medication assisted treatment, buprenorphine (implant removal); weekly
bundle including dispensing and/or administration, substance use
counseling, individual and group therapy, and toxicology testing if
performed (provision of the services by a Medicare-emolled Opioid
Treatment Program)
Medication assisted treatment, buprenorphine (implant insertion and
removal); weekly bundle including dispensing and/or administration,
substance use counseling, individual and group therapy, and toxicology
testing if performed (provision of the services by a Medicare-emolled
Opioid Treatment Program)
Medication assisted treatment, naltrexone; weekly bundle including
dispensing and/or administration, substance use counseling, individual and
group therapy, and toxicology testing if performed (provision of the
services by a Medicare-emolled Opioid Treatment Program)
Medication assisted treatment, weekly bundle not including the drug,
including substance use counseling, individual and group therapy, and
toxicology testing if performed (provision of the services by a Medicareemolled Opioid Treatment Program)
Medication assisted treatment, medication not otherwise specified; weekly
bundle including dispensing and/or administration, substance use
counseling, individual and group therapy, and toxicology testing, if
performed (provision of the services by a Medicare-emolled Opioid
Treatment Program)
Medication assisted treatment, methadone; weekly bundle including
dispensing and/or administration, substance use counseling, individual and
group therapy, and toxicology testing if performed (provision of the
services by a Medicare-emolled Opioid Treatment Program); partial
episode.
Medication assisted treatment, buprenorphine (oral); weekly bundle
including dispensing and/or administration, substance use counseling,
individual and group therapy, and toxicology testing if performed
(provision of the services by a Medicare-emolled Opioid Treatment
Program); partial episode.
Medication assisted treatment, buprenorphine (injectable); weekly bundle
including dispensing and/or administration, substance use counseling,
individual and group therapy, and toxicology testing if performed
(provision of the services by a Medicare-emolled Opioid Treatment
Program); partial episode.
Medication assisted treatment, buprenorphine (implant insertion); weekly
bundle including dispensing and/or administration, substance use
counseling, individual and group therapy, and toxicology testing if
performed (provision of the services by a Medicare-emolled Opioid
Treatment Program); partial episode (only to be billed once every 6
months).
Medication assisted treatment, buprenorphine (implant removal); weekly
bundle including dispensing and/or administration, substance use
counseling, individual and group therapy, and toxicology testing if
performed (provision of the services by a Medicare-emolled Opioid
Treatment Program); partial episode.
18:25 Aug 13, 2019
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RVU
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CMS.
"'Ol'k
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0.00
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NEW
0.00
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NEW
0.00
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NEW
0.00
No
NEW
c
No
NEW
0.00
No
NEW
0.00
No
NEW
0.00
No
NEW
0.00
No
NEW
0.00
No
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EP14AU19.026
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
40622
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..
GXX15
GXX16
GXX17
GXX18
GXX19
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VerDate Sep<11>2014
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Medication assisted treatment, buprenorphine (implant insertion and
removal); weekly bundle including dispensing and/or administration,
substance use counseling, individual and group therapy, and toxicology
testing if performed (provision of the services by a Medicare-enrolled
Opioid Treatment Program); partial episode.
Medication assisted treatment, naltrexone; weekly bundle including
dispensing and/or administration, substance use counseling, individual and
group therapy, and toxicology testing if performed (provision of the
services by a Medicare-enrolled Opioid Treatment Program); partial
episode.
Medication assisted treatment, weekly bundle not including the drug,
including substance use counseling, individual and group therapy, and
toxicology testing if performed (provision of the services by a Medicareenrolled Opioid Treatment Program); partial episode.
Medication assisted treatment, medication not otherwise specified; weekly
bundle including dispensing and/or administration, substance use
counseling, individual and group therapy, and toxicology testing, if
performed (provision of the services by a Medicare-enrolled Opioid
Treatment Program); partial episode.
Each additional 30 minutes of counseling in a week of medication assisted
treatment, (provision of the services by a Medicare-enrolled Opioid
Treatment Program); List separately in addition to code for primary
procedure.
Office-based treatment for opioid use disorder, including development of
the treatment plan, care coordination, individual therapy and group
therapy and counseling; at least 70 minutes in the first calendar month.
Office-based treatment for opioid use disorder, including care
coordination, individual therapy and group therapy and counseling; at
least 60 minutes in a subsequent calendar month.
Office-based treatment for opioid use disorder, including care
coordination, individual therapy and group therapy and counseling; each
additional 30 minutes beyond the first 120 minutes
Screening papanicolaou smear, cervical or vaginal, up to three smears,
requiring interpretation by physician
18:25 Aug 13, 2019
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NEW
0.00
No
NEW
0.00
No
NEW
0.00
No
NEW
c
No
NEW
0.00
No
NEW
7.06
No
NEW
6.89
No
NEW
0.82
No
0.26
Yes
0.42
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VerDate Sep<11>2014
TABLE 21: Proposed CY 2020 Direct PE Refinements
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20225
1
22310
1
Bone biopsy
trocar/needle
Bone biopsy
trocar/needle
Frm 00143
Closed tx vert fx
w/o manj
Fmt 4701
Incise finger
tendon sheath
I Remove tendon
26160
sheath lesion
26055
1
Sfmt 4725
E:\FR\FM\14AUP2.SGM
27220
1
Treat hip socket
fracture
33863
1
Ascending
aortic graft
33864
14AUP2
338X1
I Ascending
1
SC077
SF055
EF031
SB027
SB027
EF031
needle, bone
biopsy
Bone biopsy
device
table, power
gown, staff,
impervious
gown, staff,
impervious
table, power
I L051A I RN
aortic graft
I L051A I RN
As-aort grff/ds
oth/thn dsj
I L051A I RN
I
I
I
NF
0
1
NF
1
0
NF
106
108
NF
2
1
NF
2
1
NF
101
103
~yanageme
0
12
~yanageme
0
12
~yanageme
0
12
0
12
36
27
F
t
F
t
F
t
338X2
1
Transvrs a-arch
grfhypthrm
L051A
RN
F
35701
1
Expl n/flwd surg
neck art
EF023
table, exam
F
day
manage me
nt
S8: Supply item replaces another
item; sec preamble SF055
S7: Supply item replaced by
another item; see preamble SC077
E 1: Refined equipment time to
conform to established policies for
non-highly technical equipment
S 1: Duplicative; supply is included
in SA043
S 1: Duplicative; supply is included
in SA043
E1: Refined equipment time to
conform to established policies for
non-highly technical egui2ment
L10: Aligned discharge day
management clinical labor time
with the discharge day
mana ement work time
LlO: Aligned discharge day
management clinical labor time
with the discharge day
mana ement work time
LlO: Aligned discharge day
management clinical labor time
with the discharge day
management work time
LlO: Aligned discharge day
management clinical labor time
with the discharge day
management work time
E15: Refined equipment time to
conform to changes in clinical
68.50
-158.43
0.03
-1.19
-1.19
0.03
6.12
6.12
6.12
6.12
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
18:25 Aug 13, 2019
20225
-0.06
40623
EP14AU19.028
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VerDate Sep<11>2014
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PO 00000
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35XOO
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E:\FR\FM\14AUP2.SGM
14AUP2
EP14AU19.029
1
Expl n/flwd surg
uxtrart
I L03 7D I RNILPN/MT
A
I EF023 I table, exam
I L03 7D I RNILPN/MT
A
n/flwd surg
35X01 I Expl
lxtr art
I EF023 I table, exam
.
35X01 I Expl n/flwd surg
lxtr art
I L03 7D I RNILPN/MT
I
I
I
I
F
F
F
F
F
A
pack,
minimum
multispecialty visit
electrocautery
-hyfrecator,
up to 45 wat
~perative
is its (total
I
I
I
~perative
is its (total
I
I
I
operative
visits (total
time)
36
36
36
63
I
I
I
I
27
27
27
27
63
27
F
2
1
NF
17
29
1
1
1
L9: Refined clinical labor to align
with number of post-operative
visits
-3.33
E15: Refined equipment time to
conform to changes in clinical
labor time
-0.06
L9: Refined clinical labor to align
with number of post-operative
visits
-3.33
E15: Refined equipment time to
I confmm to changes in clinical
labor time
L9: Refined clinical labor to align
with number of post-operative
visits
S13: Refined supply quantity to
align with number of postoperative visits
-0.24
-13.32
35X01
1
Expl n/flwd surg
lxtr art
40808
1
Biopsy of mouth
lesion
EQllO
40808
I Biopsy of mouth
lesion
L037D
RNILPN/MT
A
I
NF
~quipment
I
2
I
3
I G 1: See preamble text
0.37
40808
1
Biopsy of mouth
lesion
L037D
RNILPN/MT
A
I
NF
larder,
I
1
I
0
I G 1: See preamble text
-0.37
SA048
El
conform to established oolicies for
-3.08
0.03
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
18:25 Aug 13, 2019
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I SA048 I multimini~um
Njx aa&/strd
trigeminal nrv
I EF015 I mayo stand
1
Njx aa&/strd
trigeminal nrv
I EF023 I table, exam
1
Njx aa&/strd
trigeminal IHV
1
64400
1
64400
64400
Sfmt 4725
64408
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64408
I Njx aa&/strd
vagus nrv
I Njx aa&/strd
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1
64415
1
Njx aa&/strd
brach plexus
14AUP2
64408
Njx aa&/strd
vagus nrv
64415
64415
I Njx aa&/strd
brach plexus
1
Njx aa&/strd
brach olexus
L037D
RNILPN/MT
A
I
I
I
I
NF
NF
NF
NF
I
I
I
rovide
~d~cation/o
tam
I
I
1
25
I
I
0
G8: Input removed; code is
I typically billed with an ElM or
other evaluation service
24
1
E15: Refined equipment time to
conform to changes in clinical
labor time
E15: Refined equipment time to
conform to changes in clinical
labor time
-3.08
0.00
25
24
3
2
L 1: Refined time to standard for
tllis cli1licallabor task
-0.37
chair with
-0.01
I EFOOS I headrest,
NF
20
19
E15: Refined equipment time to
conform to changes in clinical
labor time
-0.01
I EF015 I mayo stand
NF
20
19
E15: Refined equipment time to
conform to changes in clinical
labor time
0.00
3
2
L 1: Refined time to standard for
this clinical labor task
-0.37
exam,
reclining
Provide
education/o
btain
onsent
L037D
RNILPN/MT
A
NF
EF015
mayo stand
NF
24
23
EF023
table, exam
NF
24
23
EQOll
ECG, 3channel (with
NF
84
83
E15: Refined equipment time to
conform to changes in clinical
labor time
E15: Refined equipment time to
conform to changes in clinical
labor time
E15: Refined equipment time to
conform to changes in clinical
0.00
-0.01
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
18:25 Aug 13, 2019
Ani sp inf pmp
w /mdreprg&fil
62370
-0.01
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VerDate Sep<11>2014
L037D
RN!LPN/MT
A
NF
PO 00000
64417
1
EF015
mayo stand
Frm 00146
Njx aa&/strd
axillary mv
64417
I Njx aa&/strd
axillary mv
I EF023 I table, exam
64417
I Njx aa&/strd
axillary mv
64417
Fmt 4701
Jkt 247001
I Njx aa&/strd
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L 1: Refined time to standard for
this clinical labor task
3
2
NF
22
21
NF
22
21
EQOll
ECG, 3charmel (with
Sp02, NIBP,
temp, resp)
NF
82
81
El5: Refined equipment time to
conform to changes in clinical
labor time
-0.01
1
Njx aa&/strd
axillary mv
L037D
RN!LPN/MT
A
NF
3
2
L 1: Refined time to standard for
this clinical labor task
-0.37
64420
1
Njx aa&/strd
ntrcost mv 1
EF015
mayo stand
NF
29
28
64420
1
Njx aa&/strd
ntrcost IllV 1
I EF023 I table, exam
NF
29
28
64420
1
Njx aa&/strd
ntrcost mv 1
EQOll
ECG, 3channel (with
Sp02, NlBP,
temp, resp)
NF
89
88
El5: Refined equipment time to
conform to changes in clinical
labor time
-0.01
64420
I Njx aa&/strd
ntrcost mv 1
L037D
RN!LPN/MT
A
NF
3
2
L 1: Refined time to standard for
this clinical labor task
-0.37
Sfmt 4725
E:\FR\FM\14AUP2.SGM
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EP14AU19.031
cducation/o
btain
onsent
Provide
coducation/o
btain
consent
Provide
cducation/o
btain
El5: Refined equipment time to
conform to changes in clinical
labor time
El5: Refined equipment time to
conform to changes in clinical
labor time
El5: Refined equipment time to
conform to changes in clinical
labor time
E15: Refined equipment time to
conform to changes in clinical
labor time
-0.37
0.00
-0.01
0.00
-0.01
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
18:25 Aug 13, 2019
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I EF023 I table, exam
NF
30
29
Njx aa&/strd ii
64425 1
ih nerves
ECG, 3I EQOll I channel (with
Sp02, NIBP,
temp, resp)
NF
90
89
E15: Refined equipment time to
conform to changes in clinical
labor time
-0.01
64425
I Njx aa&/strd ii
ih nerves
L037D
RNILPN/MT
A
NF
3
2
L 1: Refined time to standard for
this clinical labor task
-0.37
64430
I Njx aa&/strd
pudendal nerve
EF023
table, exam
NF
28
27
E:\FR\FM\14AUP2.SGM
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64430
1
1
64425
1
PO 00000
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Fmt 4701
table,
I
NF
I
Provide
education/a
btain
onsent
I
30
I
29
14AUP2
Njx aa&/strd
pudendal nerve
I EF027 I instrument,
NF
28
27
Njx aa&/strd
pudendal nerve
I EQ168 I light, exam
NF
28
27
3
2
Njx aa&/strd
64430 1
pudendal nerve
mobile
Provide
education/a
btain
onsent
L037D
RNILPN/MT
A
NF
table, exam
NF
23
22
NF
23
22
NF
23
22
64435
I Njx aa&/strd
paracrv nrv
EF023
64435
1
Njx aa&/strd
paracrv nrv
EF027
64435
I Nix aa&/strd
EQ168
table,
instrument,
mobile
light, exam
1
E15: Refined equipment time to
conform to changes in clinical
labor time
E15: Refined equipment time to
conform to changes in clinical
labor time
E15: Refined equipment time to
conform to changes in clinical
labor time
L 1: Refined time to standard for
this clinical labor task
E15: Refined equipment time to
conform to changes in clinical
labor time
E15: Refined equipment time to
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El5: Refined equipment time to
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Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
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Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
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Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
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E:\FR\FM\14AUP2.SGM
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57
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conform to changes in clinical
labor time
-0.05
64
61
analysis-
El8: Refined equipment time to
conform to established oolicies for
-0.07
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
24
Jkt 247001
21
Fmt 4701
18:25 Aug 13, 2019
NF
EP14AU19.043
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78492 I Myocrd Img pet
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khammond on DSKBBV9HB2PROD with PROPOSALS2
VerDate Sep<11>2014
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1
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conform to changes in clinical
labor time
recliner
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57
56
El5: Refined equipment time to
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labor time
-0.05
Rp loclzj tum 1
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57
56
E15: Refined equipment time to
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0.00
1
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57
56
E15: Refined equipment time to
conform to changes in clinical
labor time
-0.03
78800
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51
50
El5: Refined equipment time to
conform to changes in clinical
labor time
-2.14
78800
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57
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57
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57
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78800
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78800
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E:\FR\FM\14AUP2.SGM
14AUP2
78800
1
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Rp loclzj tum 1
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automatic
radiation LI block tabletop
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I ER0 54 I radiation
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Nuclear
I L049A I Medicine
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NF
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"nitial
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E15: Refined equipment time to
conform to changes in clinical
labor time
E15: Refined equipment time to
conform to changes in clinical
labor time
El5: Refined equipment time to
conform to changes in clinical
labor time
L 1: Refined time to standard for
this clinical labor task
-0.08
0.00
0.00
-0.62
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
18:25 Aug 13, 2019
area 1 d img
d
40639
EP14AU19.044
khammond on DSKBBV9HB2PROD with PROPOSALS2
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VerDate Sep<11>2014
Jkt 247001
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E:\FR\FM\14AUP2.SGM
78801
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78801
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58
57
El5: Refined equipment time to
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labor time
-0.21
NF
67
66
El5: Refined equipment time to
conform to changes in clinical
labor time
-0.05
NF
75
72
NF
67
66
NF
67
66
El5: Refined equipment time to
conform to changes in clinical
labor time
0.00
NF
67
66
El5: Refined equipment time to
conform to changes in clinical
labor time
-0.03
NF
58
57
El5: Refined equipment time to
conform to changes in clinical
labor time
-2.14
El8: Refined equipment time to
conform to established policies for
PACS Workstations
El5: Refined equipment time to
conform to changes in clinical
labor time
-0.07
0.00
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
18:25 Aug 13, 2019
78801
computer
workstation,
khammond on DSKBBV9HB2PROD with PROPOSALS2
VerDate Sep<11>2014
Jkt 247001
PO 00000
1
78801
1
78801
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ER053 I block tabletop
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67
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67
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-0.62
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E15: Refined equipment time to
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68
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labor time
-0.21
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77
76
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I
I
I
I
I E15: Refined equipment time to
conform to changes in clinical
labor time
-0.05
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
18:25 Aug 13, 2019
78801
40641
EP14AU19.046
khammond on DSKBBV9HB2PROD with PROPOSALS2
40642
VerDate Sep<11>2014
Jkt 247001
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E:\FR\FM\14AUP2.SGM
14AUP2
I ED050 I PAC'~t'~o'~'
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77
76
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-0.05
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77
76
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confmm to changes in clinical
labor time
0.00
NF
77
76
El5: Refined equipment time to
conform to changes in clinical
labor time
-0.03
NF
68
67
El5: Refined equipment time to
conform to changes in clinical
labor time
-2.14
NF
77
76
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2
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I system,
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gamma
I counter,.
automatic
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I L049A I Medicine
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NF
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set-up and
start IV.
El5: Refined equipment time to
conform to changes in clinical
labor time
El5: Refined equipment time to
conform to changes in clinical
labor time
L 1: Refined time to standard for
this clinical labor task
-0.07
0.00
-0.08
0.00
-0.62
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
18:25 Aug 13, 2019
I Rp loclzj tum
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VerDate Sep<11>2014
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89
86
El5: Refined equipment time to
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labor time
-0.63
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95
92
El5: Refined equipment time to
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labor time
-0.16
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103
98
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27
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95
92
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95
92
El5: Refined equipment time to
conform to changes in clinical
labor time
-0.01
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95
92
El5: Refined equipment time to
conform to changes in clinical
labor time
-0.09
El8: Refined equipment time to
conform to established policies for
PACS Workstations
El8: Refined equipment time to
conform to established policies for
PACS Workstations
El5: Refined equipment time to
conform to changes in clinical
labor time
-0.11
-0.18
-0.01
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
18:25 Aug 13, 2019
78803
computer
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40643
EP14AU19.048
khammond on DSKBBV9HB2PROD with PROPOSALS2
40644
VerDate Sep<11>2014
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labor time
L 1: Refined time to standard for
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I E15: Refined equipment time to
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-6.42
-0.23
-0.01
-1.85
-0.21
E15: Refined equipment time to
conform to changes in clinical
labor time
-0.05
E18: Refined equipment time to
conform to established oolicies for
-0.07
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
18:25 Aug 13, 2019
78803
gamma
camera
I ER032 I system,
single-dual
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gamma
I ER033 I counter,.
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khammond on DSKBBV9HB2PROD with PROPOSALS2
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El5: Refined equipment time to
conform to changes in clinical
labor time
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23
20
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172
171
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172
171
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conform to changes in clinical
labor time
-0.05
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172
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labor time
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172
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labor time
-0.03
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163
162
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labor time
-2.14
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172
171
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172
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labor time
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conform to changes in clinical
labor time
L 1: Refined time to standard for
this clinical labor task
-0.18
0.00
-0.08
0.00
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
18:25 Aug 13, 2019
78804
-0.62
40645
EP14AU19.050
khammond on DSKBBV9HB2PROD with PROPOSALS2
40646
VerDate Sep<11>2014
Jkt 247001
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E:\FR\FM\14AUP2.SGM
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99
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El5: Refined equipment time to
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labor time
-0.63
NF
105
102
E15: Refined equipment time to
conform to changes in clinical
labor time
-0.16
NF
114
109
NF
33
30
NF
105
102
NF
105
102
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equipment)
computer
workstation,
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conform to established policies for
PACS Workstations
El5: Refined equipment time to
conform to changes in clinical
labor time
E15: Refined equipment time to
conform to changes in clinical
labor time
-0.11
-0.18
-0.01
-0.01
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
18:25 Aug 13, 2019
Rp loclzj tum
whbdy 2+d img
78804
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cloth-wipe
khammond on DSKBBV9HB2PROD with PROPOSALS2
VerDate Sep<11>2014
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788XO
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labor time
I E15: Refined equipment time to
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labor time
I L 1: Refined time to standard for
this clinical labor task
-0.09
-0.23
-0.01
-5.28
-1.85
NF
175
170
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conform to changes in clinical
labor time
-1.04
NF
181
176
E15: Refined equipment time to
conform to changes in clinical
labor time
-0.27
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
18:25 Aug 13, 2019
788XO
(Csl37, Co57,
and Bal37)
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I ER027 I calibrator
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40648
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labor time
NF
194
187
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38
35
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181
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181
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labor time
-0.02
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El5: Refined equipment time to
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labor time
-0.14
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175
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El5: Refined equipment time to
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labor time
L 1: Refined time to standard for
this clinical labor task
-0.15
-0.18
-0.02
-0.39
-0.01
-3.08
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
18:25 Aug 13, 2019
788Xl
khammond on DSKBBV9HB2PROD with PROPOSALS2
VerDate Sep<11>2014
Jkt 247001
PO 00000
Frm 00169
I Rp loclzj tum
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14AUP2
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I EF00 9 I cha~r, medical
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I
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200
I
195
I El5: Refined equipment time to
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El5: Refined equipment time to
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212
207
NF
227
220
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43
40
NF
212
207
NF
212
207
El5: Refined equipment time to
conform to changes in clinical
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-0.02
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I El5: Refined eauinment time to
-0.14
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I
I
212
I
El8: Refined equipment time to
conform to established policies for
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El8: Refined equipment time to
conform to established policies for
PACS Workstations
El5: Refined equipment time to
conform to changes in clinical
labor time
-0.27
-0.15
-0.18
-0.02
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
18:25 Aug 13, 2019
788X2
computer
workstation,
40649
EP14AU19.054
khammond on DSKBBV9HB2PROD with PROPOSALS2
40650
VerDate Sep<11>2014
1
Rp loclzj tum
spect w/ct 2
PO 00000
788X2
1
Rp loclzj tum
spect w/ct 2
788X2
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Rp loclzj tum
spect w/ct 2
Frm 00170
Jkt 247001
788X2
Fmt 4701
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
EP14AU19.055
Rp loclzj tum
spect w/ct 2
788X2
788X2
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I calibrator
I
I
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automatic
radiation LI ER053 I block tabletop
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ganuna
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I ER097 I system,
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I
I
NF
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207
NF
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195
I
I
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I
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mstruments,
equipment)
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.
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conform to changes in clinical
labor time
I E15: Refined equipment time to
conform to changes in clinical
labor time
-0.39
-0.01
-8.80
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7
2
L 1: Refined time to standard for
this clinical labor task
-3.08
NF
10
5
S5: Refined supply quantity to
conform with other codes in the
family
-0.29
NF
81
96
El: Refined equipment time to
conform to established policies for
non-highly technical equipment
sanitizing
cloth-wipe
I SM022 I ~surface,
I conform to changes in clinical
I
0.80
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
18:25 Aug 13, 2019
spect w/ct 2
khammond on DSKBBV9HB2PROD with PROPOSALS2
VerDate Sep<11>2014
Technologist
I ED050 I p ACS
Jkt 247001
PO 00000
work stati on
.
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1 std w/ct
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El8: Refined equipment time to
conform to established policies for
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E18: Refined equipment time to
conform to established policies for
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El: Refined equipment time to
conform to established policies for
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-0.12
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El: Refined equipment time to
conform to established policies for
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0.07
96
El: Refined equipment time to
conform to established policies for
non-highly technical
0.43
NF
83
103
NF
25
23
NF
81
96
NF
81
NF
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-- -
0.44
0.06
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gamma
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automatic
I
NF
I
I
81
I
96
I conform to established oolicies for I
1.17
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radiation
survey meter
I
NF
I
I
81
I
96
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81
89
El: Refined equipment time to
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.
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(hardware and
software)
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NF
E18: Refined equipment time to
conform to established oolicies for
0.29
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
18:25 Aug 13, 2019
.
78X29 I Myocrd Img pet
1 std w/ct
40651
EP14AU19.056
khammond on DSKBBV9HB2PROD with PROPOSALS2
40652
VerDate Sep<11>2014
Jkt 247001
PO 00000
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I
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E:\FR\FM\14AUP2.SGM
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I
conform to established policies for
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81
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89
El: Refined equipment time to
conform to established policies for
non-highly technical equipment
0.04
NF
I
I
81
I
89
I conform to established oolicies for I
0.23
NF
I
I
81
I
89
I conform to established oolicies for I
0.62
NF
I
I
81
I
89
I conform to established oolicies for I
0.02
El: Refined equipment time to
conform to established policies for
non-highly technical equipment
0.42
-
computer
workstation,
.
nuclear
78X32 I Myocrd Img pet I ED020 I harmac
rst&strs ct
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Y t
manage men
(hardware and
software)
.
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78X32 I Myocrd Img pet I ED050 I p ACS
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.
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.
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t t gp
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I PACS
I
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1 (Csl37, Co57,
and
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121
129
NF
123
137
NF
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25
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129
El8: Refined equipment time to
conform to established policies for
PACS Workstations
El8: Refined equipment time to
conform to established policies for
PACS Workstations
El: Refined equipment time to
conform to established policies for
non-highly technical equipment
0.31
0.06
0.04
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
18:25 Aug 13, 2019
rst/strs w/ct
khammond on DSKBBV9HB2PROD with PROPOSALS2
VerDate Sep<11>2014
Jkt 247001
PO 00000
Myocrd img pet
rst&strs ct
ER033
78X32 1
Myocrd img pet
rst&strs ct
ER054
Frm 00173
78X32 1
Fmt 4701
78X33
I Myocrd img pet
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counter,
automatic
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survey meter
computer
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14AUP2
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.
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78X33 1
ED053 PACS
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EF009
chair, medical
recliner
I
NF
I
I
121
I
129
I conform to established oolicies for I
0.23
I
NF
I
I
121
I
129
I conform to established oolicies for I
0.62
I
NF
I
I
121
I
129
I conform to established oolicies for I
0.02
NF
175
150
E2: Refined equipment time to
conform to established policies for
highly technical equipment
-5.22
NF
146
164
El: Refined equipment time to
conform to established policies for
non-highly technical equipment
0.96
NF
25
27
NF
146
164
NF
175
150
E2: Refined equipment time to
conform to established policies for
highly technical equipment
-0.46
NF
146
164
El: Refined equipment .....~
conform to established oolicies for
0.08
ECGR-wave
78X33 1 Myocrd img pet
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device
dose
calibration
El8: Refined equipment time to
conform to established policies for
PACS Workstations
El: Refined equipm
conform to established oolicies for
w
0.12
0.07
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
18:25 Aug 13, 2019
78X32 1 M~ctrd i~g pet I ER027 I calibrator
rs srsc
40653
EP14AU19.058
khammond on DSKBBV9HB2PROD with PROPOSALS2
40654
VerDate Sep<11>2014
Myocrd img pet
2rtracer
ER027
PO 00000
78X33
1
Myocrd img pet
2rtracer
ER033
Frm 00174
Jkt 247001
1
78X33
Fmt 4701
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
EP14AU19.059
I Myocrd img pet
2rtracer
ER054
radiation
survey meter
I non-highly technical equipment
I
I
I
NF
I
I
146
I
164
I conform to established oolicies for I
0.52
NF
I
I
146
I
164
I conform to established oolicies for I
1.40
I
NF
I
I
146
I
164
I conform to established oolicies for I
0.06
I
NF
I
I
175
I
150
I conform to established oolicies for I
-3.02
E2: Refined equipment time to
conform to established policies for
highly technical equipment
-22.37
--
78X33 I Myocrd img pet
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k t f
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I
NF
175
150
NF
10
5
NF
195
NF
I
I
166
I
S5: Refined supply quantity to
conform with other codes in the
family
-0.29
170
E2: Refined equipment time to
conform to established policies for
highly technical equipment
-5.22
184
I conform to established oolicies for I
0.96
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
18:25 Aug 13, 2019
78X33
source vial set I
(Csl37, Co57,
and
dose
calibrator
I
(Atoml:
gamma
counter,
I
automatic
khammond on DSKBBV9HB2PROD with PROPOSALS2
VerDate Sep<11>2014
Jkt 247001
PO 00000
Frm 00175
78X34
I Myocrd img pet
2rtracer ct
1
Myocrd img pet
2rtracer ct
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I Myocrd img pet
78X34
2rtracer ct
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NF
25
29
EF009
chair, medical
recliner
NF
166
184
NF
195
170
E2: Refined equipment time to
conform to established policies for
highly technical equipment
-0.46
NF
166
184
El: Refined equipment time to
conform to established policies for
non-highly technical equipment
0.08
NF
166
184
El: Refined equipment time to
conform to established policies for
non-highly technical
-·
0.52
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E18: Refined equipment time to
conform to established policies for
PACS Workstations
El: Refined equipm
conform to established oolicies for
0.24
0.07
E:\FR\FM\14AUP2.SGM
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1
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2rtracer ct
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I
NF
I
I
166
I
184
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1.40
14AUP2
gamma
counter,
automatic
78X34
1
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2rtracer ct
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survey meter
I
NF
I
I
166
I
184
I conform to established oolicies for I
0.06
I
NF
I
I
195
I
170
I conform to established oolicies for I
-3.02
I
NF
I
I
195
I
170
I conform to established oolicies for I
-64.85
--
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I ER109 I ~~~erator
InfUSIOn
. Ca rt
.
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78X34 I Myocrd Img pet I ERlll I Ima in
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C g g
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Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
18:25 Aug 13, 2019
78X34
40655
EP14AU19.060
khammond on DSKBBV9HB2PROD with PROPOSALS2
40656
VerDate Sep<11>2014
Jkt 247001
PO 00000
Frm 00176
78X35
Fmt 4701
Sfmt 4725
78X35
E:\FR\FM\14AUP2.SGM
78X35
14AUP2
78X35
78X35
88141
EP14AU19.061
1
~ytopath
mtemret
c/v
I
NF
10
5
S5: Refined supply quantity to
conform with other codes in the
family
-0.29
NF
23
20
E2: Refined equipment time to
conform to established policies for
highly technical equipment
-0.63
NF
20
21
El: Refined equipment time to
conform to established policies for
non-highly technical equipment
0.05
NF
23
20
E2: Refined equipment time to
conform to established policies for
highly technical equipment
-0.05
20
I conform to established oolicies for
-0.36
20
E2: Refined equipment time to
conform to established policies for
highly technical equipment
-7.78
NF
I
I
I
23
NF
NF
23
I
I
14
I
10
I G 1: See preamble text
-0.13
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
18:25 Aug 13, 2019
78X34
Configuration
sanitizing
.
cloth-wipe
I Myocrd Img pet I SM022 I (surface
2rtracer ct
. trumens,
' t
ms
equipment)
computer
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Aqmbf pet rest I EDO 19 I nucl~a_r
1
& rx stress
medic me
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1
I
ED020 I pharmacy
& rx stress
management
(hardware and
software)
ECG R-wave
I Aqmbf pet rest I EQ007 I trig~er
& rx stress
(gatmg)
device
PET
I Aqmbf pet rest
I
I
ER109 I Generator
& rx stress
Infusion Cart
PET/CT
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Aqmbf pet rest
1
I
ER111
I
Camera
& rx stress
Cardiac
khammond on DSKBBV9HB2PROD with PROPOSALS2
VerDate Sep<11>2014
Jkt 247001
Cytopath c/v
interpret
NF
1
L045A
Cytotechnolog
ist
NF
7
0
G6: Indirect Practice Expense
input and/or not individually
allocable to a particular patient for
a particular service
-0.33
5
G 1: See preamble text
-0.90
PO 00000
88141
L033A
Lab
Technician
Frm 00177
Fmt 4701
Sfmt 4725
908
XX
1
Bfb ~aining 1st
15mm
E:\FR\FM\14AUP2.SGM
Icmdevice
93297 I interrogat
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14AUP2
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93297 I interrogat
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Icmdevice
93297 I interrogat
remote
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I EF031 I table, power
-0.03
I
NF
I
I
31
I
29
I conform to established oolicies for I
I
NF
I
I
40
I
0
I G 1: See preamble text
-18.51
pacemaker
follow-up
I
EQl 98
L037A
SK057
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1
system (incl
software and
hardware)
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sheet)
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I
NF
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elated to
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ork time
I
40
I
0
I G 1: See preamble text
-14.80
I
NF
I
I
10
I
0
I G 1: See preamble text
-0.13
I
NF
I
I
76
I
0
I G 1: See oreamble text
-35.17
I
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
18:25 Aug 13, 2019
88141
Cytopath c/v
interpret
40657
EP14AU19.062
khammond on DSKBBV9HB2PROD with PROPOSALS2
40658
VerDate Sep<11>2014
Jkt 247001
system (incl
software and
hardware)
(Paceart)
PO 00000
~erform
Frm 00178
Ilr device
93298 I interrogat
remote
Fmt 4701
Sfmt 4725
Ilr device
93298 I interrogat
remote
E:\FR\FM\14AUP2.SGM
93299
1
Icm/ilr remote
tech serv
14AUP2
93299
1
Icm/ilr remote
tech serv
93299
1
Icm/ilr remote
tech serv
93XOO I Duo-scan hemo
EP14AU19.063
I follow-up
I
L037A
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stic
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paper, laser
printing (each
sheet)
pacemaker
follow-up
I EQl 98 I system (incl
software and
hardware)
(Paceart)
SK057
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L037A 1 stic
1
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SK057
ED050
paper, laser
printing (each
sheet)
Technologist
:~;"e"~~~e/s
I
NF
~-~~
I
76
I
0
I G 1: See preamble text
-28.12
I
NF
I
I
10
I
0
I G 1: See preamble text
-0.13
I
NF
I
I
76
I
0
I G 1: See preamble text
-35.17
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elated to
hysician
ork time
I
~erform
:~;"e"~~~e/s
I
I
NF
~'~~
I
76
I
0
I G 1: See preamble text
-28.12
I
NF
I
I
10
I
0
I G 1: See preamble text
-0.13
NF
irectly
elated to
hysician
ork time
E15: Refined eauioment time to
-0.04
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
18:25 Aug 13, 2019
interrogat
remote
khammond on DSKBBV9HB2PROD with PROPOSALS2
VerDate Sep<11>2014
Jkt 247001
93XOO
1
Dup-scan hemo
compl bi std
I PACS
I
EL016
PO 00000
Frm 00179
Fmt 4701
Sfmt 4725
93XOO
1
Dup-scan hemo
compl bi std
L054A
93X01
1
Dup-scan hemo
compl uni std
ED050
93X01
1
Dup-scan hemo
compl uni std
EL016
workstation
room,
ultrasound,
vascular
Vascular
Technologist
Technologist
PACS
workstation
room,
ultrasound,
vascular
NF
conform to changes in clinical
labor time
El5: Refined equipment time to
conform to changes in clinical
labor time
E:\FR\FM\14AUP2.SGM
86
84
4
2
NF
60
58
NF
47
45
4
2
L 1: Refined time to standard for
this clinical labor task
-1.08
NF
Prepare
oom,
equipment
and
supplies
Prepare
oom,
P-quipment
L 1: Refined time to standard for
this clinical labor task
E15: Refined equipment time to
conform to changes in clinical
labor time
E15: Refined equipment time to
conform to changes in clinical
labor time
-3.57
-1.08
-0.04
-3.57
14AUP2
Dup-scan hemo
compl uni std
L054A
95X01
Eegcontrec
w/vid eeg tech
L047B I REEGT
NF
10
3
G 1: See preamble text
-3.29
95X01
Eegcontrec
w/vid eeg tech
L047B I REEGT
NF
13
7
G 1: See preamble text
-2.82
95X01
Eegcontrec
w/vid eeg tech
L047B I REEGT
NF
10
7
G 1: See preamble text
-1.41
93X01
1
Vascular
Technologist
NF
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
18:25 Aug 13, 2019
compl bi std
40659
EP14AU19.064
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labor time
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NF
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'-'-'
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L047B
L047B
"-''-"· _._....._""_._ ... ..._.._""...,.. ._,....._YY.._.J
NF
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I
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services
I
510
I
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'1....._\..LI-.._.._..._._~,
what is typical for the pro<
El5: Refined equipment time to
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labor time
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labor time
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I EQ016 I station,
ED050
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services
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labor time
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22
5
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labor time
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11
5
G 1: See preamble text
-2.82
1480
I
--
95X07
1
Eeg w/o vid ea
12-26hr cont
L047B
REEGT
NF
95X08
1
Veeg 2-12 hr
unmonitored
ED050
Technologist
PACS
workstation
NF
95X08
1
Veeg 2-12 hr
unmonitored
L047B
REEGT
NF
95X09
1
yeeg 2-12 hr
mtmt mntr
ED050
Technologist
PACS
workstation
NF
95X09
1
yeeg 2-12 hr
mtmt nmtr
L047B
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NF
pv~t-
Coordinate
postprocedure
services
Coordinate
post-
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
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I L047B I REEGT
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I L047B I REEGT
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14AUP2
I L047B I REEGT
95Xl3 I Veeg ea 12-26hr
cont nmtr
I ED050 I PACS
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I L047B I REEGT
5
E15: Refined equipment time to
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labor time
-0.37
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I
I
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I
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I G 1: See preamble text
-11.34
NF
Coordinate
postprocedure
services
I
11
I
5
I G 1: See preamble text
-2.82
44
NF
NF
Coordinate
postprocedure
services
I
NF
Coordinate
postprocedure
services
I
I
22
NF
Coordinate
ostrocedure
10
10
I
44
NF
NF
22
10
44
NF
Technologist
work stati on
EEGrev1ew
95Xl3 I Veeg ea 12-26hr I EQ016 I station.
cont nmtr
1·t
ambuao
22
NF
Technologist
I ED050 I PACS
95X12 I yeeg ea 12 -26 hr
mtmtnmtr
95Xl3 I Veeg ea 12-26hr
cont nmtr
EP14AU19.067
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PACS
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1
workstation
EEGreview
I EQ016 I station,
ambulator
ED050
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10
E15: Refined equipment time to
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labor time
I G 1: See preamble text
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conform to changes in clinical
labor time
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conform to changes in clinical
labor time
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-0.75
-5.64
-0.75
I
1495
I
415
I G 1: See preamble text
-34.02
I
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I
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I G 1: See preamble text
-5.64
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-0.50
95Xl5 I Eeg phys/qhp 2 12 hr w/veeg
I EQ016
I
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I
I
55
I
40
I G 1: See preamble text
-0.47
95Xl6 I ~eg phys/~hp ea
mcrw/o v1d
I EQ016
I
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I
I
60
I
45
I G 1: See preamble text
-0.47
95X17 I ~egphy/qhp ea
mcrw/veeg
EQ016
I
NF
I
I
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I
60
I Gl: See preamble text
-0.47
I
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I
I
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I G 1: See preamble text
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I
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I
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I
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I G 1: See preamble text
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95Xl8 I phy/qhp>36<60
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95Xl9 I phy/qhp>36<60
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95 X2 2 I Eeg phy~qhp>84
hrw/o v1d
EQ016
95X23 I Eegphy/qhp>84
hr w/veeg
I EQ016
97607
1
Neg press wnd
tx =50 sq em
ambulato
EEGreview
I station,
1t
ambuao
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I station,
ambuao
1t
EEGreview
station,
ambulatory
EEGreview
station,
ambulator
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station,
ambulator
EEGreview
station,
ambulator
EEGreview
station,
ambulator
EEGreview
station,
ambulatory
EEGreview
I station,
ambu1ator
I EFO 14 I light, surgical
NF
23
20
El5: Refined equipment time to
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labor time
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wound tx >50
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I Screen c/v thin
layer bv md
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NF
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El5: Refined equipment time to
conform to changes in clinical
labor time
-0.05
L 1: Refined time to standard for
this clinical labor task
-1.11
L037D
RNILPN/MT
A
NF
5
2
EF014
light, surgical
NF
31
28
EF031
table, power
NF
31
28
Check
E15: Refined equipment time to
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labor time
E15: Refined equipment time to
conform to changes in clinical
labor time
-0.02
-0.05
L037D
RNILPN/MT
A
NF
5
2
L 1: Refined time to standard for
this clinical labor task
-1.11
EP024
microscope,
compound
NF
14
10
01: See preamble text
-0.13
L033A
Lab
Technician
NF
1
0
06: Indirect Practice Expense
input and/or not individually
allocable to a oarticular oatient for
-0.33
File
specimen,
~··--1;~~
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Lab
Teclmician
NF
Cytoteclmolog
ist
NF
14AUP2
P3001
P3001
NF
7
I
I
File
specimen,
supplies,
and other
14
I
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G 1: See preamble text
-0.90
10
I G 1: See preamble text
-0.13
1
0
G6: Indirect Practice Expense
input and/or not individually
allocable to a particular patient for
a particular service
7
5
G 1: See preamble text
-0.90
G 1: See preamble text
-0.19
NF
I Screening pap
smear by phys
IL033A I Lab
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.
I"supplies,
G6: Indirect Practice Expense
1''-''-'
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EP14AU19.071
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40667
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
TABLE 22: Proposed CY 2020 Invoices Received for Existing Direct PE Inputs
Estim~ted
non·
.fac:ility aUowe(j
serviCes ror ·
BCPC.S cqdes
Urolift Implant and
im lantation device
.
.
CPTliiCPCS
codes·.
15X01, 15X03
205X1, 205X2
37765,37766
37765,37766
64430,64435
78459, 78491,
78492, 78X33
78491, 78492,
78X31, 78X32,
78X33, 78X34
78491, 78492,
78X31, 78X32,
78X33, 78X34,
78X35
78X29, 78X31,
78X32, 78X34,
78X35
788X3
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95X01, 95Xll,
95X12, 95X13
97607,97608
VerDate Sep<11>2014
.
·.· .·
SD291
$814.89
$875.00
7%
3
24,149
EQ002
$68,842.6
2
$86,334.5
0
25%
6
80,359
TABLE 23 : P ropose d CY 2020 New I nVOICeS
..•..
·.·
.
..
.. •· .. ·
..·
CMScode .·
...•..
.
N.umber
pnc~ .•·>·.···
Average
.. of
NF
EQ395
.····
SC107
SD333
EQ393
SA129
$22,039.05
$0.25
$11.00
$1,750.00
$5.24
Invoices
1
3
3
1
1
Allowed
S~ices
1,565
8
18,700
18,700
1,254
PET Refurbished Imaging Cardiac Configuration
ERllO
$425,000.00
1
65,277
IV line kit for Rb Generator
SA130
$16.98
7
130,539
PET Generator Infusion Cart
ER109
$47,052.80
5
130,585
PET/CT Imaging Camera Cardiac Configuration
ER111
$1,232,226.44
4
65,798
ER112
$40,535.75
4
23
EQ394
$26,410.95
2
251,218
SA131
$100.00
0
759
. ·..··.·.ItemName
Liposuction system
needle, dry needling
tumescent tubing
tumescent pump
pudendal block tray, sterile
...
·.·
..
.• ..·
•
Software and hardware package for tumor and
other distribution Quantitation
EEG, digital, prolonged testing system with
remote video, for patients home use
kit, negative pressure wound therapy, disposable
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52441,
52442
92546,
92548,
92XXO
40668
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
TABLE 24: Proposed CY 2020 NoPE Refinements
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62272
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62368
62369
64421
64449
64XXO
66711
66982
66984
70210
70220
70250
70260
70360
70480
70481
70482
72020
72040
72050
72052
72070
72072
72074
72080
72100
72110
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..
t~{~t\'J·.\;~·;.. :.···
~; ~~~~ ~·;~~,;.~;;
Orchiopexy ingunlscrot appr
Dx lmbr spi pnxr
Ther spi pnxr drg csf
Dx lmbr spi pnxr w/fluor/ct
Ther spi pnxr csf fluor/ct
Analyze spine infus pump
Analyze sp infpump w/reprog
Anal sp infpmp w/reprg&fill
Njx aa&/strd ntrcost nrv ea
Njx aa&/strd lmbr plex nfs
Njx aa&/strd gnclr nrv bmch
Ecp ciliary body destruction
Xcapsl ctrc rmvl cplx wo ecp
Xcapsl ctrc rmvl w/o ecp
X -ray exam of sinuses
X -ray exam of sinuses
X -ray exam of skull
X -ray exam of skull
X -ray exam of neck
Ct orbit/ear/fossa w/o dye
Ct orbit/ear/fossa w/dye
Ct orbit/ear/fossa w/o&w/dye
X -ray exam of spine 1 view
X-ray exam neck spine 2-3 vw
X-ray exam neck spine 4/5vws
X -ray exam neck spine 6/>vws
X-ray exam thorac spine 2vws
X-ray exam thorac spine 3vws
X -ray exam tho rae spine4/>vw
X -ray exam thoracolmb 2/> vw
X-ray exam 1-s spine 2/3 vws
X-ray exam 1-2 spine 4/>vws
X-ray exam 1-s spine bending
X-ray bend only 1-s spine
Ct neck spine w/o dye
Ct neck spine w/dye
Ct neck spine w/o & w/dye
Ct chest spine w/o dye
Ct chest spine w/dye
Ct chest spine w/o & w/dye
Ct lumbar spine w/o dye
Ct lumbar spine w/dye
Ct lumbar spine w/o & w/dye
X -ray exam of pelvis
X -ray exam of pelvis
X-ray exam sijoints
E:\FR\FM\14AUP2.SGM
14AUP2
EP14AU19.073
'•'
~I(:·~~i;~~·i
Insert drug implant device
Remove drug implant device
Remove/insert drug implant
grfg autol soft tiss dir exc
grfg autol fat lipo 50 eel<
grfg autol fat lipo ea addl
grfg autol fat lipo 25 eel<
gfrg autol fat lipo ea addl
Bone biopsy trocar/needle
Ndl insj w/o njx 1 or 2 muse
Ndl insj w/o njx 3+ muse
Mnl prep&insj dp rx dlvr dev
Mnl prep&insj imed rx dev
Mnl prep&insj i -artie rx dev
Rmvl deep rx delivery device
Rmvl imed rx delivery device
Rmvl i-artic rx delivery dev
Drain hand tendon sheath
Arthrodesis sacroiliac joint
Incision of heart sac
Incision of heart sac
Replace aortic valve perq
Replace aortic valve open
Replace aortic valve open
Replace aortic valve open
Replace aortic valve open
Trcath replace aortic valve
Aortic hemiarch graft
As-aort grf f/aortic dsj
Evasc rpr a-iliac ndgft
Evasc rpr n/a a-iliac ndgft
Intrvasc us noncoronary 1st
Intrvasc us noncoronary addl
Stab phleb veins xtr 10-20
Phleb veins - extrem 20+
Pericardiocentesis w /imaging
Prcrd drg 6yr+ w/o cgen car
Prcrd drg 0-5yr or w/anomly
Perq prcrd drg insj cath ct
Int hrhc lig 1 hroid w/o img
Int hrhc lig 2+hroid w/o img
Int hrhc tranal dartlzj 2+
Prpertl pel pack hemrrg trma
Reexploration pelvic wound
Cystourethro w/implant
Cystourethro w/addl implant
;·~· i:\;':\.;:~\1··
11981
11982
11983
15XOO
15X01
15X02
15X03
15X04
20220
205Xl
205X2
206XO
206Xl
206X2
206X3
206X4
206X5
26020
27279
33020
33025
33361
33362
33363
33364
33365
33366
33866
338XX
34XOO
34X01
37252
37253
37765
37766
3XOOO
3X001
3X002
3X003
46945
46946
46X48
490Xl
490X2
52441
52442
72202
72220
73000
73010
73020
73030
73050
73070
73080
73090
73650
73660
73700
73701
73702
74210
74220
74240
74246
74251
74270
74280
74425
74XOO
74X01
75625
75630
75726
75774
76098
76376
76604
77073
77074
77075
77076
77077
788X3
909XX
92145
92548
92626
92627
92Xl8
92Xl9
92XXO
933XO
93784
93786
VerDate Sep<11>2014
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Ambl bp nmtr w/sw air
Ambl bp nmtr w/sw i&r
Lung function test (mbc/mvv)
Hlth bhv assmtlreassessment
Hlth bhv ivntj indiv 1st 30
Hlth bhv ivntj indiv ea addl
Hlth bhv ivntj grp 1st 30
Hlth bhv ivntj grp ea addl
Hlth bhv ivntj fam 1st 30
Hlth bhv ivntj fam ea addl
Hlth bhv ivntj fam wo pt 1st
Hlth bhv ivntj fam w/o pt ea
Ther ivntj 1st 15 min
Rmvl devital tis 20 em/<
Rmvl devital tis addl20cm/<
Low frequency non-thermal us
Qnhp ol dig e/m svc 5-10min
Qnhp ol dig em svc ll-20min
Qnhp ol dig e/m svc 21 + min
Emergency dept visit
Emergency dept visit
Emergency dept visit
Emergency dept visit
Emergency dept visit
Trans care mgmt 14 day disch
Trans care mgmt 7 day disch
Rem physiol mntr ea addl 20
Self-meas bp pt educaj/train
Self-meas bp 2 readg bid 30d
01 dig e/m svc 5-10 min
01 dig e/m svc 11-20 min
01 dig e/m svc 21 + min
Ther ivntj ea addll5 min
I ;. ···~0'Y:\~,~~:
X-ray exam sijoints 3/>vws
X-ray exam sacrum tailbone
X -ray exam of collar bone
X -ray exam of shoulder blade
X-ray exam of shoulder
X-ray exam of shoulder
X-ray exam of shoulders
X-ray exam of elbow
X-ray exam of elbow
X-ray exam of forearm
X-ray exam of heel
X-ray exam oftoe(s)
Ct lower extremity w/o dye
Ct lower extremity w/dye
Ct lwr extremity w/o&w/dye
X-ray xm phrnx&/crv esoph c+
X-ray xm esophagus lcntrst
X-ray xm upr gi trc lcntrst
X-ray xm upr gi trc 2cntrst
X-ray exam of small bowel
X-ray xm colon lcntrst std
X-ray xm colon 2cntrst std
Contrst x-ray urinary tract
X-ray xm esophagus 2cntrst
X-ray sm int f-thm std
Contrast exam abdominl aorta
X-ray aorta leg arteries
Artery x-rays abdomen
Artery x-ray each vessel
X-ray exam breast specimen
3d render w/intrp postproces
Us exam chest
X-rays bone length studies
X-rays bone survey limited
X-rays bone survey complete
X-rays bone survey infant
Joint survey single view
Rp quan meas single area
Bfb training ea addll5 min
Corneal hysteresis deter
Cdp-sot 6 cond w/i&r
Eval aud funcj 1st hour
Eval aud funcj ea addll5
Opscpy extnd rta draw unilbi
Opscpy extnd on/mac draw
Cdp-sot 6 cond w /i&r mct&adt
Myocrd strain img spckl trek
Ambl bp nmtr w/software
Ambl bp nmtrw/sw rec only
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93790
94200
961XO
961Xl
961X2
961X3
961X4
961X5
961X6
961X7
961X8
971XX
97597
97598
97610
98XOO
98X01
98X02
99281
99282
99283
99284
99285
99495
99496
994XO
99X01
99X02
9XOX1
9XOX2
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BILLING CODE 4120–01–C
O. Comment Solicitation on
Opportunities for Bundled Payments
Under the PFS
Under the PFS, Medicare typically
makes a separate payment for each
individual service furnished to a
beneficiary consistent with section 1848
of the Act, which requires CMS to
establish payment for physicians’
services based on the relative resources
involved in furnishing the service. The
statute defines ‘‘services’’ broadly, with
reference to the uniform procedure
coding system established by CMS for
the purpose of Medicare FFS payments,
called the Healthcare Common
Procedure Coding System (HCPCS).
There are sets of HCPCS codes that
represent health care procedures,
supplies, medical equipment, products,
and services. The majority of
physicians’ services for which payment
is made under the PFS are described
using HCPCS Level I codes and
descriptors that are the AMA’s Current
Procedural Terminology (CPT) code set.
CPT codes generally describe an
individual item or service, while some
codes describe a combination of services
(a procedure and imaging guidance, for
example) bundled together. Some
HCPCS codes explicitly encompass
multiple services (global surgery codes,
for example), and the PFS payment for
some services is reduced when a
combination of services is furnished to
the same patient on the same day
(through multiple procedure payment
reduction policies). However, payment
for most services under the PFS is made
based on rates established for individual
services, each described by a CPT code.
Identifying and developing appropriate
payment policies that aim to achieve
better care and improved health for
Medicare beneficiaries is a priority for
CMS. Consistent with that goal, we are
interested in exploring new options for
establishing PFS payment rates or
adjustments for services that are
furnished together. For purposes of this
discussion, we will refer to the
circumstances where a set of services is
grouped together for purposes of
ratesetting and payment as ‘‘bundled
payment.’’
One of the mechanisms through
which we support innovative payment
and service delivery models, for
Medicare and other beneficiaries, is
through CMS’ Center for Medicare and
Medicaid Innovation (the Innovation
Center). The Innovation Center is
currently testing models in which
payment for physicians’ services is
bundled on a per-beneficiary population
basis, or is based on episodes of care
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that usually begin with a triggering
event and extend for a specified period
of time thereafter. An example of a
model in which payment is made on a
per-beneficiary population basis is
Comprehensive Primary Care Plus
(CPC+), in which participating practices
receive prospective per-beneficiary care
management fees and Comprehensive
Primary Care Payments for certain
primary care services such as chronic
care management and evaluation and
management services. An example of an
episode payment model is the Oncology
Care Model (OCM), in which
participating physician practices receive
a per-beneficiary Monthly Enhanced
Oncology Services payment for care
management and care coordination
surrounding chemotherapy
administration to cancer patients. We
are actively exploring the extent to
which these basic principles of bundled
payment, such as establishing perbeneficiary payments for multiple
services or condition-specific episodes
of care, can be applied within the
statutory framework of the PFS.
We are seeking public comments on
opportunities to expand the concept of
bundling to recognize efficiencies
among physicians’ services paid under
the PFS and better align Medicare
payment policies with CMS’s broader
goal of achieving better care for patients,
better health for our communities, and
lower costs through improvement in our
health care system. We believe that the
statute, while requiring CMS to pay for
physicians’ services based on the
relative resources involved in furnishing
the service, allows considerable
flexibility for developing payments
under the PFS.
P. Payment for Evaluation and
Management (E/M) Visits
1. Background
a. E/M Visits Coding Structure
Physicians and other practitioners
who are paid under the PFS bill for
common office visits for evaluation and
management (E/M) services under a
relatively generic set of CPT codes
(Level I HCPCS codes) that distinguish
visits based on the level of complexity,
site of service, and whether the patient
is new or established. These CPT codes
are broadly referred to as E/M visit
codes and have three key components
within their code descriptors: History of
present illness (History), physical
examination (Exam), and medical
decision-making (MDM).80
80 2019 CPT Codebook, Evaluation and
Management, pp. 6–13.
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The CPT code descriptors recognize
counseling, care coordination, and the
nature of the presenting problem as
additional service components, but
these are contributory factors in
determining which code to report.81 Per
the CPT code descriptors, counseling
and/or care coordination are provided
consistent with the nature of the
problem and the patient’s and/or
family’s needs. Counseling and care
coordination are not required at every
patient encounter and can be accounted
for in separate coding.82
As finalized in the CY 2019 PFS final
rule, the amount of time spent by the
billing practitioner is not a determining
factor in code level selection unless (1)
counseling and care coordination
dominate the visit, in which case time
becomes the key factor in determining
visit level; and/or (2) the service is a
prolonged (or beginning in 2021,
‘‘extended’’) (83 FR 59630) E/M visit.
Typical times for each level of E/M visit
are included in each of the CPT code
descriptors, are used for PFS rate setting
purposes, and provide a reference point
for the reporting of prolonged visits.
Separate add-on codes describe, and can
be reported for, visits that take
prolonged (or beginning in 2021,
‘‘extended’’) (83 FR 59630) amounts of
time.
There are 3 to 5 E/M visit code levels,
depending upon site of service and the
extent of the three components of
history, exam, and MDM. For example,
there are 3 to 4 levels of E/M visit codes
in the inpatient hospital and nursing
facility settings based on a relatively
narrow range of complexity in those
settings. In contrast, there are 5 levels of
E/M visit codes in the office or other
outpatient setting based on a broader
range of complexity in those settings.
PFS payment rates for E/M visit codes
generally increase with the level of visit
billed, although in the CY 2019 PFS
final rule (83 FR 59638), for reasons
discussed below, we finalized the
assignment of a single payment rate for
levels 2 through 4 office/outpatient E/M
visits beginning in CY 2021. As for all
services under the PFS, the payment
rates for E/M visits are based on the
work (time and intensity), practice
expense, and malpractice expense
resources required to furnish the typical
case of the service.
In total, E/M visits comprise
approximately 40 percent of allowed
charges for PFS services, and office/
outpatient E/M visits comprise
81 2019 CPT Codebook, Evaluation and
Management, pp. 6–13.
82 2019 CPT Codebook, Evaluation and
Management, pp. 4–56.
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approximately 20 percent of allowed
charges for PFS services. Within the E/
M services represented in these
percentages, there is wide variation in
the volume and level of E/M visits
billed by different specialties.
According to Medicare claims data, E/M
visits are furnished by nearly all
specialties, but represent a greater share
of total allowed services for physicians
and other practitioners who do not
routinely furnish procedural
interventions or diagnostic tests.
Generally, these practitioners include
both primary care practitioners and
certain specialists such as neurologists,
endocrinologists and rheumatologists.
Certain specialties, such as podiatry,
tend to furnish lower level E/M visits
more often than higher level E/M visits.
Some specialties, such as dermatology
and otolaryngology, tend to bill more E/
M visits on the same day as they bill
minor procedures.
b. E/M Documentation Guidelines
For CY 2019 and 2020, when coding
and billing E/M visits to Medicare,
practitioners may use one of two
versions of the E/M Documentation
Guidelines for a patient encounter,
commonly referenced based on the year
of their release: the ‘‘1995’’ or ‘‘1997’’ E/
M Documentation Guidelines (hereafter,
the 1995 and 1997 Guidelines).83 These
Guidelines specify the medical record
information within each of the three key
components (such as number of body
systems reviewed) that serves as support
for billing a given level of E/M visit. The
1995 and 1997 Guidelines are very
similar to the guidelines for E/M visits
that currently reside within the AMA’s
CPT codebook for E/M visits. For
example, the core structure of what
comprises or defines the different levels
of history, exam, and medical decisionmaking in the 1995 and 1997 Guidelines
are the same as those in the CPT
codebook. However, the 1995 and 1997
Guidelines include extensive examples
of clinical work that comprise different
levels of medical decision-making that
do not appear in the AMA’s CPT
codebook. Also, the 1995 and 1997
Guidelines do not contain references to
preventive care that appear in the
AMA’s CPT codebook. We provide an
example of how the 1995 and 1997
Guidelines distinguish between level 2
and level 3 E/M visits in Table 25.
TABLE 25—KEY COMPONENT DOCUMENTATION REQUIREMENTS FOR LEVEL 2 VS. 3 E/M VISIT
Key component *
Level 2
(1995)
Level 3
(1995)
Level 2
(1997)
History (History of Present
Illness or HPI).
Review of Systems (ROS)
n/a.
No change from 1995 .......
No change from 1995.
Physical Examination
(Exam).
A limited examination of
the affected body area
or organ system.
Problem Pertinent ROS:
Inquires about the system directly related to
the problem(s) identified
in the HPI.
A limited examination of
the affected body area
or organ system and
other symptomatic or related organ system(s).
General multi-system
exam: Performance and
documentation of one to
five elements in one or
more organ system(s) or
body area(s).
Single organ system
exam: Performance and
documentation of one to
five elements.
General multi-system
exam: Performance and
documentation of at
least six elements in one
or more organ system(s)
or body area(s).
Single organ system
exam: Performance and
documentation of at
least six elements.
Medical Decision Making
(MDM). Measured by: **
1. Problem—Number
of diagnoses/treatment options.
2. Data—Amount and/
or complexity of
data to be reviewed.
3. Risk—Risk of complications and/or
morbidity or mortality.
Straightforward:
Low complexity:
Level 3
(1997)
No change from 1995.
1. Minimal ..................
1. Limited.
2. Minimal or no data
review.
2. Limited data review.
3. Minimal risk ............
3. Low risk.
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* For certain settings and patient types, each of these three key components must be met or exceeded (for example, new patients; initial hospital visits). For others, only two of the three key components must be met or exceeded (for example, established patients, subsequent hospital
or other visits).
** Two of three met or exceeded.
According to both Medicare claims
processing manual instructions and CPT
coding rules, when counseling and/or
coordination of care accounts for more
than 50 percent of the face-to-face
physician/patient encounter (or, in the
case of inpatient E/M services, the floor
time) the duration of the visit can be
used as an alternative basis to select the
appropriate E/M visit level (Pub. 100–
04, Medicare Claims Processing Manual,
Chapter 12, Section 30.6.1.C available at
https://www.cms.gov/Regulations-andGuidance/Guidance/Manuals/
Downloads/clm104c12.pdf; see also
2019 CPT Codebook Evaluation and
Management Services Guidelines, page
10). Pub. 100–04, Medicare Claims
Processing Manual, Chapter 12, Section
30.6.1.B states, ‘‘Instruct physicians to
select the code for the service based
83 See https://www.cms.gov/Outreach-andEducation/Medicare-Learning-Network-MLN/
MLNEdWebGuide/Downloads/95Docguidelines.pdf;
https://www.cms.gov/Outreach-and-Education/
Medicare-Learning-Network-MLN/
MLNEdWebGuide/Downloads/97Docguidelines.pdf;
and the Evaluation and Management Services guide
at https://www.cms.gov/Outreach-and-Education/
Medicare-Learning-Network-MLN/MLNProducts/
Downloads/eval-mgmt-serv-guide-ICN006764.pdf.
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upon the content of the service. The
duration of the visit is an ancillary
factor and does not control the level of
the service to be billed unless more than
50 percent of the face-to-face time (for
non-inpatient services) or more than 50
percent of the floor time (for inpatient
services) is spent providing counseling
or coordination of care as described in
subsection C.’’ Subsection C states that
‘‘the physician may document time
spent with the patient in conjunction
with the medical decision-making
involved and a description of the
coordination of care or counseling
provided. Documentation must be in
sufficient detail to support the claim.’’
The example included in subsection C
further states, ‘‘The code selection is
based on the total time of the face-toface encounter or floor time, not just the
counseling time. The medical record
must be documented in sufficient detail
to justify the selection of the specific
code if time is the basis for selection of
the code.’’
Both the 1995 and 1997 Guidelines
address time, stating that, ‘‘In the case
where counseling and/or coordination
of care dominates (more than 50 percent
of) the physician/patient and/or family
encounter (face-to-face time in the office
or other outpatient setting or floor/unit
time in the hospital or nursing facility),
time is considered the key or controlling
factor to qualify for a particular level of
E/M services.’’ The Guidelines go on to
state that, ‘‘If the physician elects to
report the level of service based on
counseling and/or coordination of care,
the total length of time of the encounter
(face-to-face or floor time, as
appropriate) should be documented and
the record should describe the
counseling and/or activities to
coordinate care.’’ 84 Additional manual
provisions regarding E/M visits are
housed separately within Medicare’s
internet-Only Manuals, and are not
contained within the 1995 or 1997
Guidelines.
In accordance with section
1862(a)(1)(A) of the Act, which requires
services paid under Medicare Part B to
be reasonable and necessary for the
diagnosis or treatment of illness or
injury or to improve the functioning of
a malformed body member, medical
necessity is a prerequisite to Medicare
payment for E/M visits. Pub. 100–04,
Medicare Claims Processing Manual,
Chapter 12, Section 30.6.1.B states,
‘‘Medical necessity of a service is the
overarching criterion for payment in
addition to the individual requirements
of a CPT code. It would not be
84 Page 16 of the 1995 E/M guidelines and page
48 of the 1997 guidelines.
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medically necessary or appropriate to
bill a higher level of evaluation and
management service when a lower level
of service is warranted. The volume of
documentation should not be the
primary influence upon which a
specific level of service is billed.
Documentation should support the level
of service reported.’’
c. Summary of Changes to Coding,
Payment and Documentation of Office/
Outpatient E/M Visits Finalized for CY
2021 in the CY 2019 PFS Final Rule
In the CY 2019 PFS final rule (83 FR
59452 through 60303), we finalized a
number of coding, payment, and
documentation changes under the PFS
for office/outpatient E/M visits (CPT
codes 99201–99215) to reduce
administrative burden, improve
payment accuracy, and update this code
set to better reflect the current practice
of medicine. In summary, we finalized
the following policy changes for office/
outpatient E/M visits under the PFS
effective January 1, 2021:
• Reduction in the payment variation
for office/outpatient E/M visit levels by
paying a single rate (also referred to as
a blended rate) for office/outpatient E/
M visit levels 2 through 4 (one rate for
established patients and another rate for
new patients), while maintaining the
payment rate for office/outpatient E/M
visit level 5 in order to better account
for the care and needs of complex
patients. Practitioners will still report
the appropriate code for the level of
service they furnished, since we did not
replace these CPT codes with HCPCS G
codes and will continue to use typical
times associated with each individual
CPT code when time is used to
document the office/outpatient E/M
visit.
• Permitting practitioners to choose
to document office/outpatient E/M level
2 through 5 visits using MDM or time,
or the current framework based on the
1995 or 1997 Guidelines.
• As a corollary to the uniform
payment rate for level 2–4 E/M visits,
when using MDM or the current
framework to document the office/
outpatient E/M visit, a minimum
supporting documentation standard
associated with level 2 office/outpatient
E/M visits will apply. For these cases,
Medicare will require information to
support a level 2 office/outpatient E/M
visit code for history, exam, and/or
MDM.
• When time is used to document,
practitioners will document the medical
necessity of the office/outpatient E/M
visit and that the billing practitioner
personally spent the required amount of
time face-to-face with the beneficiary.
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The required face-to-face time will be
the typical time for the reported code,
except for extended or prolonged visits
where extended or prolonged times will
apply.
• Implementation of HCPCS add-on G
codes that describe the additional
resources inherent in visits for primary
care and particular kinds of nonprocedural specialized medical care
(HCPCS codes GPC1X and GCG0X,
respectively). These codes were
finalized in order to reflect the
differential resource costs associated
with performing certain types of office/
outpatient E/M visits. These codes will
only be reportable with office/outpatient
E/M level 2 through 4 visits.
• Adoption of a new ‘‘extended visit’’
add-on G code (HCPCS code GPRO1) for
use only with office/outpatient E/M
level 2 through 4 visits, to account for
the additional resources required when
practitioners need to spend extended
time with the patient for these visits.
The existing prolonged E/M codes can
continue to be used with levels 1 and 5
office/outpatient E/M visits.
We stated that we believed these
policies would allow practitioners
greater flexibility to exercise clinical
judgment in documentation so they can
focus on what is clinically relevant and
medically necessary for the beneficiary.
We believed these policies will reduce
a substantial amount of administrative
burden (83 FR 60068 through 60070)
and result in limited specialty-level
redistributive impacts (83 FR 60060).
We stated our intent to continue
engaging in further discussions with the
public over the next several years to
potentially further refine our policies for
2021. We finalized the coding, payment,
and documentation changes to reduce
administrative burden, improve
payment accuracy, and update the code
set to better reflect the current practice
of medicine.
2. Continued Stakeholder Feedback
In January and February 2019, we
hosted a series of structured listening
sessions on the forthcoming changes
that CMS finalized for office/outpatient
E/M visit coding, documentation and
payment for CY 2021. These sessions
provided an opportunity for CMS to
gain further input and information from
the wide range of affected stakeholders
on these important policy changes. Our
goal was to continue to listen and
consider perspectives from individual
practicing clinicians, specialty
associations, beneficiaries and their
advocates, and other interested
stakeholders to prepare for
implementation of the office/outpatient
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E/M visit policies that we finalized for
CY 2021.
In these listening sessions, although
stakeholders supported our intention to
reduce burdensome, clinically outdated
documentation requirements, they
noted that in response to the office/
outpatient E/M visit policies CMS
finalized for CY 2021, the AMA/CPT
established the Joint AMA CPT
Workgroup on E/M to develop an
alternative solution. This workgroup
developed an alternative approach,
similar to the one we finalized, for
office/outpatient E/M coding and
documentation. That approach was
approved by the CPT Editorial Panel in
February 2019, with an effective date of
January 1, 2021 and is available on the
AMA’s website at https://www.amaassn.org/cpt-evaluation-andmanagement.
Effective January 1, 2021, the CPT
Editorial Panel adopted revisions to the
office/outpatient E/M code descriptors,
and substantially revised both the CPT
prefatory language and the CPT
interpretive guidelines that instruct
practitioners on how to bill these codes.
The AMA has approved an
accompanying set of interpretive
guidelines governing and updating what
determines different levels of MDM for
office/outpatient E/M visits. Some of the
changes made by the CPT Editorial
Panel parallel our finalized policies for
CY 2021, such as the choice of time or
MDM in determination of code level.
Other aspects differ, such as the number
of code levels retained, presumably for
purposes of differential payment; the
times, and inclusion of all time spent on
the day of the visit; and elimination of
options such as the use of history and
exam or time in combination with
MDM, to select code level.
Many stakeholders have continued to
express objections to our assignment of
a single payment rate to level 2–4 office/
outpatient E/M visits stating that this
inappropriately incentivizes multiple,
shorter visits and seeing less complex
patients. Many stakeholders also stated
that the purpose and use of the HCPCS
add-on G codes that we established for
primary care and non-procedural
specialized medical care remain
ambiguous, expressed concern that the
codes are potentially contrary to current
law prohibiting specialty-specific
payment, and asserted that Medicare’s
coding approach is unlikely to be
adopted by other payers.
In meetings with stakeholders since
we issued the CY 2019 PFS final rule,
some stakeholders suggested that only
time should be used to select the service
level because time is easy to audit,
simple to document, and better accounts
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for patient complexity, in comparison to
the CPT Editorial Panel revised MDM
interpretive guidance. These
stakeholders stated that the
implementation of the CPT Editorial
Panel revised MDM interpretive
guidance will result in the likely
increase in the selection of levels 4 and
5, relative to current typical coding
patterns. They suggested that to more
accurately distinguish varying levels of
patient complexity, either the visit
levels should be recalibrated so that
levels 4 and 5 no longer represent the
most often billed visit, or a sixth level
should be added. In these meetings,
some stakeholders also stated that the
office/outpatient E/M codes fail to
capture the full range of services
provided by certain specialties,
particularly primary care and other
specialties that rely heavily on office/
outpatient E/M services rather than
procedures, systematically undervaluing
primary care visits and visits furnished
in the context of non-procedural
specialty care, thereby creating payment
disparities that have contributed to
workforce shortages and beneficiary
access challenges across a range of
specialties. They reiterated that office/
outpatient E/M visit codes have not
been extensively examined since the
creation of the PFS and recommended
that CMS conduct an extensive research
effort to revise and revalue office/
outpatient E/M services through a major
research initiative akin to that
undertaken when the PFS was first
established.
The AMA believes its approach will
accomplish greater burden reduction, is
more clinically intuitive and reflects the
current practice of medicine, and is
more likely to be adopted by all payers
than the policies CMS finalized for CY
2021. The AMA has posted an estimate
of the burden reduction associated with
the policies approved at CPT on the
AMA’s website, available at https://
www.ama-assn.org/cpt-evaluation-andmanagement.
Given the CPT coding changes that
will take effect in 2021, the AMA RUC
has conducted a resurvey and
revaluation of the office/outpatient E/M
visit codes, and provided us with its
recommendations. We discuss our
proposal to adopt the CPT coding for
office/outpatient E/M visits below,
noting that the CPT coding changes will
also necessitate some changes to CMS’
policies for CY 2021, due to forthcoming
changes in code descriptors. In addition,
we address revaluation of the codes,
proposing new values for the codes as
revised by CPT. We propose to assign
separate payment rather than a blended
rate, to each of the office/outpatient E/
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40673
M visit codes (except CPT code 99201,
which CPT is deleting) and the new
prolonged visit add-on CPT code (CPT
code 99XXX). We propose to delete the
HCPCS add-on code we finalized last
year for CY 2021 for extended visits
(GPRO1). We propose to simplify,
consolidate and revalue the HCPCS addon codes we finalized last year for CY
2021 for primary care (GPC1X) and nonprocedural specialized medical care
(GCG0X), and to allow the new code to
be reported with all office/outpatient E/
M visit levels (not just levels 2 through
4). All of these changes would be
effective January 1, 2021. We believe
our proposed policies will further our
ongoing effort to reduce administrative
burden, improve payment accuracy, and
update the office/outpatient EM visit
code set to better reflect the current
practice of medicine.
3. Proposed Policies for CY 2021 for
Office/Outpatient E/M Visits
a. Office/Outpatient E/M Visit Coding
and Documentation
For CY 2021, for office/outpatient E/
M visits (CPT codes 99201–99215) we
are proposing to adopt the new coding,
prefatory language, and interpretive
guidance framework that has been
issued by the AMA/CPT (see https://
www.ama-assn.org/cpt-evaluation-andmanagement) because we believe it
would accomplish greater burden
reduction than the policies we finalized
for CY 2021 and would be more
intuitive and consistent with the current
practice of medicine. We note that this
includes deletion of CPT code 99201
(Level 1 office/outpatient visit, new
patient), which the CPT Editorial Panel
decided to eliminate as CPT codes
99201 and 99202 are both
straightforward MDM and only
differentiated by history and exam
elements.
Under this new framework, history
and exam would no longer select the
level of code selection for office/
outpatient E/M visits. Instead, an office/
outpatient E/M visit would include a
medically appropriate history and exam,
when performed. The clinically
outdated system for number of body
systems/areas reviewed and examined
under history and exam would no
longer apply, and these components
would only be performed when, and to
the extent medically necessary and
clinically appropriate. Level 1 visits
would only describe or include visits
performed by clinical staff for
established patients.
For levels 2 through 5 office/
outpatient E/M visits, the code level
reported would be decided based on
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either the level of MDM (as redefined in
the new AMA/CPT guidance
framework) or the total time personally
spent by the reporting practitioner on
the day of the visit (including face-toface and non-face-to-face time). Because
we would no longer assign a blended
payment rate (discussed below), we
would no longer adopt the minimum
supporting documentation associated
with level 2 office/outpatient E/M visits,
which we finalized as a corollary to the
uniform payment rate for level 2–4
office/outpatient E/M visits when using
MDM or the current framework to
document the office/outpatient E/M
visit.
We would adopt the new time ranges
within the CPT codes as revised by the
CPT Editorial Panel. We interpret the
revised CPT prefatory language and
reporting instructions to mean that there
would be a single add-on CPT code for
prolonged office/outpatient E/M visits
(CPT code 99XXX) that would only be
reported when time is used for code
level selection and the time for a level
5 office/outpatient visit (the floor of the
level 5 time range) is exceeded by 15
minutes or more on the date of service.
The long descriptor for CPT code
99XXX is Prolonged office or other
outpatient evaluation and management
service(s) (beyond the total time of the
primary procedure which has been
selected using total time), requiring total
time with or without direct patient
contact beyond the usual service, on the
date of the primary service; each 15
minutes (List separately in addition to
codes 99205, 99215 for office or other
outpatient Evaluation and Management
services). We demonstrate below how
prolonged office/outpatient E/M visit
time would be reported:
TABLE 26—TOTAL PROPOSED PRACTITIONER TIMES FOR OFFICE/OUTPATIENT E/M VISITS WHEN TIME IS USED TO
SELECT VISIT LEVEL
Established patient office/outpatient E/M visit
(total practitioner time, when time is used to select code level)
(minutes)
40–54 ........................................................................................................
55–69 ........................................................................................................
70–84 ........................................................................................................
85 or more ................................................................................................
CPT code
99215.
99215x1 and 99XXXx1.
99215x1 and 99XXXx2.
99215x1 and 99XXXx3 or more for each additional 15 mintues.
New patient office/outpatient E/M visit
(total practitioner time, when time is used to select code level)
(minutes)
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60–74 ........................................................................................................
75–89 ........................................................................................................
90–104 ......................................................................................................
105 or more ..............................................................................................
We are proposing to adopt our
interpretation of the revised CPT
prefatory language and reporting
instructions, that CPT codes 99358–9
(Prolonged E/M without Direct Patient
Contact) would no longer be reportable
in association or ‘‘conjunction’’ with
office/outpatient E/M visits. In other
words, when using time to select office/
outpatient E/M visit level, any
additional time spent by the reporting
practitioner on a prior or subsequent
date of service (such as reviewing
medical records or test results) could
not count towards the required times for
reporting CPT codes 99202–99215 or
99XXX, or be reportable using CPT
codes 99358–9. This interpretation
would be consistent with the way the
office/outpatient E/M visit codes were
resurveyed, where the AMA/RUC
instructed practitioners to consider all
time spent 3 days prior to, or 7 days
after, the office/outpatient E/M visit (see
below for a discussion of revaluation
proposals). Moreover we note that CPT
codes 99358–9 describe time spent
beyond the ‘‘usual’’ time (CPT prefatory
language), and it is not clear what
would comprise ‘‘usual’’ time given the
new time ranges for the office/
outpatient E/M visit codes and new CPT
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CPT code
99205.
99205x1 and 99XXXx1.
99205x1 and 99XXXx2.
99205x1 and 99XXXx3 or more for each additional 15 minutes.
code 99XXX (prolonged office/
outpatient E/M visit). New CPT
prefatory language specifies, ‘‘For
prolonged services on a date other than
the date of a face-to-face encounter,
including office or other outpatient
services (99202, 99203, 99204, 99205,
99211, 99212, 99213, 99214, 99215), see
99358, 99359 . . . Do not report 99XXX
in conjunction with . . . 99358, 99359’’.
We do not believe CPT code 99211
should be included in this list of base
codes since it will only include clinical
staff time. Also given that CPT codes
99358, 99359 can be used to report
practitioner time spent on any date (the
date of the visit or any other day), the
CPT reporting instruction ‘‘see 99358,
99359’’ seems circular. The new
prefatory language seems unclear
regarding whether CPT codes 99358,
99359 could be reported instead of, or
in addition to, CPT code 99XXX, and
whether the prolonged time would have
to be spent on the visit date, within 3
days prior or 7 days after the visit date,
or outside of this new 10-day window
relevant for the base code. We are
seeking public input on this proposal
and whether it would be appropriate to
interpret the CPT reporting instructions
for CPT codes 99358–9 as proposed, as
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well as how this interpretation may
impact valuation. We believe CPT codes
99358 and 99359 may need to be
redefined, resurveyed and revalued.
After internal review, we believe that
when time is used to select visit level,
having one add-on code (CPT code
99XXX) instead of multiple add-on
codes for additional time may be
administratively simpler and most
consistent with our goal of
documentation burden reduction.
HCPCS code GPRO1 (extended office/
outpatient E/M time) would no longer
be needed because the time described
by this code would instead be described
by a level 3, 4 or 5 office/outpatient E/
M visit base code and, if applicable, the
single new add-on CPT code for
prolonged office/outpatient E/M visits
(CPT code 99XXX). Therefore, we
propose to delete HCPCS code GPRO1
for CY 2021. We propose to adopt the
AMA/CPT prefatory language that lists
qualifying activities that could be
included when time is used to select the
visit level. Alternatively, if MDM is
used to choose the visit level, time
would not be relevant to code selection.
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b. Office/Outpatient E/M Visit
Revaluation (CPT Codes 99201 Through
99215)
We have received valuation
recommendations from the AMA RUC
for the revised office/outpatient E/M
codes (CPT codes 99201 through 99215)
following completion of its survey and
revaluation process for these codes.
Although these codes do not take effect
until CY 2021, we believe that it is
appropriate to follow our usual process
of addressing the valuation of the
revised office/outpatient E/M codes
through rulemaking after we receive the
RUC recommendations. Additionally,
establishing values for the new codes
through rulemaking this year will allow
more time for clinicians to make any
necessary process and systems
adjustments before they begin using the
codes. In recent years, we have
considered how best to update and
revalue the office/outpatient E/M codes
as they represent a significant
proportion of PFS expenditures.
MedPAC has had longstanding
concerns that office/outpatient E/M
services are undervalued in the PFS,
and in its March 2019 Report to
Congress, further asserted that the
office/outpatient E/M code set has
become passively devalued as values of
these codes have remained unchanged,
while the coding and valuation for other
types of services under the fee schedule
have been updated to reflect changes in
medical practice (see pages 120 through
121 at https://www.medpac.gov/docs/
default-source/reports/mar19_medpac_
ch4_sec.pdf?sfvrsn=0).
In April 2019, the RUC provided us
the results of its review, and
recommendations for work RVUs,
practice expense inputs and physician
time (number of minutes) for the revised
office/outpatient E/M code set. Please
note that these proposed changes in
coding and values are for the revised
office/outpatient E/M code set and a
new 15-minute prolonged services code.
That code set is effective beginning in
CY 2021, and the proposed values
would go into effect with those codes as
of January 1, 2021.
We are proposing to adopt the RUCrecommended work RVUs for all of the
office/outpatient E/M codes and the
new prolonged services add-on code.
Specifically, we are proposing a work
RVU of 0.93 for CPT code 99202 (Office
or other outpatient visit for the
evaluation and management of a new
patient, which requires a medically
appropriate history and/or examination
and straightforward medical decision
making. When using time for code
selection, 15–29 minutes of total time is
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spent on the date of the encounter), a
work RVU of 1.6 for CPT code 99203
(Office or other outpatient visit for the
evaluation and management of a new
patient, which requires a medically
appropriate history and/or examination
and low level of medical decision
making. When using time for code
selection, 30–44 minutes of total time is
spent on the date of the encounter), a
work RVU of 2.6 for CPT code 99204
(Office or other outpatient visit for the
evaluation and management of a new
patient, which requires a medically
appropriate history and/or examination
and moderate level of medical decision
making. When using time for code
selection, 45–59 minutes of total time is
spent on the date of the encounter), a
work RVU of 3.5 for CPT code 99205
(Office or other outpatient visit for the
evaluation and management of a new
patient, which requires a medically
appropriate history and/or examination
and high level of medical decision
making. When using time for code
selection, 60–74 minutes of total time is
spent on the date of the encounter. (For
services 75 minutes or longer, see
Prolonged Services 99XXX)), a work
RVU of 0.18 for CPT code 99211 (Office
or other outpatient visit for the
evaluation and management of an
established patient, that may not require
the presence of a physician or other
qualified health care professional.
Usually, the presenting problem(s) are
minimal)), a work RVU of 0.7 for CPT
code 99212 (Office or other outpatient
visit for the evaluation and management
of an established patient, which requires
a medically appropriate history and/or
examination and straightforward
medical decision making. When using
time for code selection, 10–19 minutes
of total time is spent on the date of the
encounter), a work RVU of 1.3 for CPT
code 99213 (Office or other outpatient
visit for the evaluation and management
of an established patient, which requires
a medically appropriate history and/or
examination and low level of medical
decision making. When using time for
code selection, 20–29 minutes of total
time is spent on the date of the
encounter), a work RVU of 1.92 for CPT
code 99214 (Office or other outpatient
visit for the evaluation and management
of an established patient, which requires
a medically appropriate history and/or
examination and moderate level of
medical decision making. When using
time for code selection, 30–39 minutes
of total time is spent on the date of the
encounter), a work RVU of 2.8 for CPT
code 99215 (Office or other outpatient
visit for the evaluation and management
of an established patient, which requires
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a medically appropriate history and/or
examination and high level of medical
decision making. When using time for
code selection, 40–54 minutes of total
time is spent on the date of the
encounter. (For services 55 minutes or
longer, see Prolonged Services 99XXX))
and a work RVU of 0.61 for CPT code
99XXX (Prolonged office or other
outpatient evaluation and management
service(s) (beyond the total time of the
primary procedure which has been
selected using total time), requiring total
time with or without direct patient
contact beyond the usual service, on the
date of the primary service; each 15
minutes (List separately in addition to
codes 99205, 99215 for office or other
outpatient Evaluation and Management
services)).
Regarding the RUC recommendations
for practice expense inputs for these
codes, we are proposing to remove
equipment item ED021 (computer,
desktop, with monitor), as we do not
believe that this item would be allocated
to the use of an individual patient for an
individual service; rather, we believe
this item is better characterized as part
of indirect costs similar to office rent or
administrative expenses.
The information we reviewed on the
RUC valuation exercise was based on an
extensive survey the RUC conducted of
over 50 specialty societies. For purposes
of valuation, survey respondents were
asked to consider the total time spent on
the day of the visit, as well as any preand post-service time occurring within
a time frame of 3 days prior to the visit
and 7 days after, respectively. This is
different from the way codes are usually
surveyed by the RUC for purposes of
valuation, where pre-, intra-, and postservice time were surveyed, but not
within a specific time frame. The RUC
then separately averaged the survey
results for pre-service, day of service,
and post-service times, and the survey
results for total time, with the result
that, for some of the codes, the sum of
the times associated with the three
service periods does not match the RUCrecommended total time. The RUC’s
approach sometimes results in two
conflicting sets of times: The component
times as surveyed and the total time as
surveyed. Although we are proposing to
adopt the RUC-recommended times as
explained below, we are seeking
comment on how CMS should address
the discrepancies in times, which have
implications both for for valuation of
individual codes and for PFS ratesetting
in general, as the intra-service times and
total times are used as references for
valuing many other services under the
PFS and that the programming used for
PFS ratesetting requires that the
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component times sum to the total time.
Specifically, we request comment on
which times should CMS use, and how
we should resolve differences between
the component and total times when
they conflict. Table 27A illustrates the
surveyed times for each service period
and the surveyed total time. It also
shows the actual total time if summed
from the component times.
TABLE 27A—RUC-RECOMMENDED PRE-, INTRA-, POST-SERVICE TIMES, RUC-RECOMMENDED TOTAL TIMES FOR CPT
CODES 99202–99215 AND ACTUAL TOTAL TIME
Pre-service
time
HCPCS
99202
99203
99204
99205
99211
99212
99213
99214
99215
...................................................................................
...................................................................................
...................................................................................
...................................................................................
...................................................................................
...................................................................................
...................................................................................
...................................................................................
...................................................................................
Table 27B summarizes the current
office/outpatient E/M services code set,
and the new prolonged services code
Intra-service
time
2
5
10
14
........................
2
5
7
10
Immediate
post-service
time
15
25
40
59
5
11
20
30
45
physician work RVUs and total time
compared to what CMS finalized in CY
Actual total
time
3
5
10
15
2
3
5
10
15
RUCrecommended
total time
20
35
60
88
7
16
30
47
70
22
40
60
85
7
18
30
49
70
2019 for CY 2021, and the RUCrecommended work RVU and total time.
TABLE 27B—SIDE BY SIDE COMPARISON OF WORK RVUS AND PHYSICIAN TIME FOR THE OFFICE/OUTPATIENT E/M
SERVICES CODE SET, AND THE NEW PROLONGED SERVICES CODE
[Current versus revised]
Current
total time
(mins)
HCPCS code
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99201 .......................................................
99202 .......................................................
99203 .......................................................
99204 .......................................................
99205 .......................................................
99211 .......................................................
99212 .......................................................
99213 .......................................................
99214 .......................................................
99215 .......................................................
99XXX ......................................................
17
22
29
45
67
7
16
23
40
55
N/A
The RUC recommendations reflect a
rigorous robust survey approach,
including surveying over 50 specialty
societies, demonstrate that office/
outpatient E/M visits are generally more
complex, for most clinicians. In the CY
2019 PFS final rule, we finalized for CY
2021 a significant reduction in the
payment variation in office/outpatient
E/M visit levels by paying a single
blended rate for E/M office/outpatient
visit levels 2 through 4 (one for
established and another for new
patients). We also maintained the
separate payment rates for E/M office/
outpatient level 5 visits in order to
better account for the care and needs of
particularly complex patients. We
believed that the single blended
payment rate for E/M office/outpatient
visit levels 2–4 better accounted for the
resources associated with the typical
visit. After reviewing the RUC
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CY 2021
total time
(mins)
Current
work RVU
0.48
0.93
1.42
2.43
3.17
0.18
0.48
0.97
1.5
2.11
N/A
17
22
29
45
67
7
16
23
40
55
N/A
recommendations, in conjunction with
the revised code descriptors and
documentation guidelines for CPT codes
99202 through 99215, we believe codes
and recommended values would more
accurately account for the time and
intensity of office/outpatient E/M visits
than either the current codes and values
or the values we finalized in the CY
2019 PFS final rule for CY 2021.
Therefore, we are proposing to establish
separate values for Levels 2–4 office/
outpatient E/M visits for both new and
established patients rather than
continue with the blended rate. We are
proposing to accept the RUCrecommended work and time values for
the revised office/outpatient E/M codes
without refinement for CY 2021. With
regard to the RUC’s recommendations
for practice expense inputs, we are
proposing to remove equipment item
ED021 (computer, desktop, with
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CY 2021
work RVU
0.48
1.76
1.76
1.76
3.17
0.18
1.18
1.18
1.18
2.11
N/A
RUC rec
total time
(mins)
N/A
22
40
60
85
7
18
30
49
70
15
RUC rec
work RVU
N/A
0.93
1.6
2.6
3.5
0.18
0.7
1.3
1.92
2.8
0.61
monitor), as this item is included in the
overhead costs. Note that these changes
to codes and values would go into effect
January 1, 2021.
c. Simplification, Consolidation and
Revaluation of HCPCS Codes GCG0X
and GPC1X
Although we believe that the RUCrecommended values for the revised
office/outpatient E/M visit codes would
more accurately reflect the resources
involved in furnishing a typical office/
outpatient E/M visit, we believe that the
revalued office/outpatient E/M code set
itself still does not appropriately reflect
differences in resource costs between
certain types of office/outpatient E/M
visits. In the CY 2019 PFS proposed rule
we articulated that, based on
stakeholder comments, clinical
examples, and our review of the
literature on office/outpatient E/M
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services, there are three types of office/
outpatient E/M visits that differ from the
typical office/outpatient E/M visit and
are not appropriately reflected in the
current office/outpatient E/M code set
and valuation. These three types of
office/outpatient E/M visits can be
distinguished by the mode of care
provided and, as a result, have different
resource costs. The three types of office/
outpatient E/M visits that differ from the
typical office/outpatient E/M service are
(1) separately identifiable office/
outpatient E/M visits furnished in
conjunction with a global procedure, (2)
primary care office/outpatient E/M
visits for continuous patient care, and
(3) certain types of specialist office/
outpatient E/M visits. We proposed, but
did not finalize, the application of an
MPPR to the first category of visits, to
account for overlapping resource costs
when office/outpatient E/M visits were
furnished on the same day as a 0-day
global procedure. To address the
shortcomings in the E/M code set in
appropriately describing and reflecting
resource costs for the other two types of
office/outpatient E/M visits, we
proposed and finalized the two HCPCS
G codes: HCPCS code GCG0X (Visit
complexity inherent to evaluation and
management associated with nonprocedural specialty care including
endocrinology, rheumatology,
hematology/oncology, urology,
neurology, obstetrics/gynecology,
allergy/immunology, otolaryngology,
interventional pain management,
cardiology, nephrology, infectious
disease, psychiatry, and pulmonology
(Add-on code, list separately in addition
to level 2 through 4 office/outpatient
evaluation and management visit, new
or established) which describes the
inherent complexity associated with
certain types of specialist visits and
GPC1X (Visit complexity inherent to
evaluation and management associated
with primary medical care services that
serve as the continuing focal point for
all needed health care services (Add-on
code, list separately in addition to level
2 through 4 office/outpatient evaluation
and management visit, new or
established), which describes additional
resources associated with primary care
visits.
Although we finalized two separate
codes, we valued both HCPCS codes
GCG0X and GPC1X via a crosswalk to
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75 percent of the work and time value
of CPT code 90785 (Interactive
complexity (List separately in addition
to the code for primary procedure)).
Interactive complexity is an add-on
code that may be billed when a
psychotherapy or psychiatric service
requires more work due to the
complexity of the patient, and we
believed that 75 percent of its work and
time values accurately captured the
additional resource costs of primary
care office/outpatient visits and certain
types of specialty office/outpatient visits
when billed with the single, blended
payment rate for office/outpatient E/M
visit levels 2–4.
In the CY 2019 PFS final rule, we
stated that, due to the variation among
the types of visits performed by certain
specialties, we did not believe that the
broad office/outpatient E/M code set
captured the resource costs associated
with furnishing primary care and
certain types of specialist visits (FR 83
59638). As we stated above, we believe
that the revised office/outpatient E/M
code set and RUC-recommended values
more accurately reflect the resources
associated with a typical visit. However,
we believe the typical visit described by
the revised code set still does not
adequately describe or reflect the
resources associated with primary care
and certain types of specialty visits.
As such, we believe that there is still
a need for add-on coding because the
revised office/outpatient E/M code set
does not recognize that there are
additional resource costs inherent in
furnishing some kinds of office/
outpatient E/M visits. However, based
on previous public comments and
ongoing engagement with stakeholders,
we understand the need for the add-on
code(s) and descriptor(s) to be easy to
understand and report when
appropriate, including in terms of
medical record documentation and
billing. We also want to make it clear
that the add-on coding is not intended
to reflect any difference in payment
based on the billing practitioner’s
specialty, but rather the recognition of
different per-visit resource costs based
on the kinds of care the practitioner
provides, regardless of their specialty.
Therefore, we are proposing to simplify
the coding by consolidating the two
add-on codes into a single add-on code
and revising the single code descriptor
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to better describe the work associated
with visits that are part of ongoing,
comprehensive primary care and/or
visits that are part of ongoing care
related to a patient’s single, serious, or
complex chronic condition.
We are proposing to revise the
descriptor for HCPCS code GPC1X and
delete HCPCS code GCG0X. The
proposed descriptor for GPC1X appears
in Table 28. We are seeking comment
from the public and stakeholders
regarding these proposed changes,
particularly the proposed new code
descriptor for GPC1X and whether or
not more than one code, similar to the
policy finalized last year, would be
necessary or beneficial.
We have also reconsidered the
appropriate valuation for this HCPCS
add-on G-code in the context of the
revised office/outpatient E/M service
code set and proposed values. Upon
further review and in light of the other
proposed changes to the office/
outpatient E/M service code set, we
believe that valuing the add-on code at
75 percent of CPT code 90785 would
understate the additional inherent
intensity associated with furnishing
primary care and certain types of
specialty visits. As CPT code 90785 also
describes additional work associated
with certain psychotherapy or
psychiatric services, we believe its work
and time values are the most
appropriate crosswalk for the revised
HCPCS code GPC1X. Therefore, we are
proposing to value HCPCS code GPC1X
at 100 percent of the work and time
values for CPT code 90785, and
proposing a work RVU of 0.33 and a
physician time of 11 minutes. We are
also proposing that this HCPCS add-on
G code could be billed as applicable
with every level of office and outpatient
E/M visit, and that we would revise the
code descriptor to reflect that change.
See Table 28 for the proposed changes
to the code descriptor. We note that if
the CPT Editorial Panel makes any
further changes to the office and
outpatient E/M codes and descriptors,
or creates one or more CPT codes that
duplicate this add-on code, or if the
RUC and/or stakeholders or other public
commenters recommend values for
these or other related codes, we would
consider them through subsequent
rulemaking.
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TABLE 28—PROPOSED REVALUATION OF HCPCS ADD-ON G CODE FINALIZED FOR CY 2021
HCPCS code
Proposed code descriptor revisions
GPC1X ..........
Visit complexity inherent to evaluation and management
associated with medical care services that serve as the
continuing focal point for all needed health care services
and/or with medical care services that are part of ongoing care related to a patient’s single, serious, or complex
chronic condition. (Add-on code, list separately in addition to office/outpatient evaluation and management visit,
new or established).
d. Valuation of CPT Code 99xxx
(Prolonged Office/Outpatient E/M)
The RUC also provided a
recommendation for new CPT code
99XXX (Prolonged office or other
outpatient evaluation and management
service(s) (beyond the total time of the
primary procedure which has been
selected using total time), requiring total
time with or without direct patient
contact beyond the usual service, on the
date of the primary service; each 15
minutes (List separately in addition to
codes 99205, 99215 for office or other
outpatient Evaluation and Management
services). The RUC recommended 15
minutes of physician time and a work
RVU of 0.61. We are proposing to delete
to the HCPCS add-on code we finalized
last year for CY 2021 for extended visits
(GPRO1) and adopt the new CPT code
99XXX. Further, as discussed above we
are proposing to accept the RUC
recommended values for CPT code
99XXX without refinement.
We are seeking comment on these
proposals, as well as any additional
information stakeholders can provide on
the appropriate valuation for these
services.
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e. Implementation Timeframe
We propose that these policy changes
for office/outpatient E/M visits would
be effective for services furnished
starting January 1, 2021. We believe this
would allow sufficient time for
practitioner and provider education and
further feedback; changes in clinical
workflows, EHRs and any other
impacted systems; and corresponding
changes that may be made by other
payers. In summary, we propose to
adopt the following policies for office/
outpatient E/M visits effective January
1, 2021:
• Separate payment for the five levels
of office/outpatient E/M visit CPT
codes, as revised by the CPT Editorial
Panel effective January 1, 2021 and
resurveyed by the AMA RUC, with
minor refinement. This would include
deletion of CPT code 99201 (Level 1
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FR 2019
total time
(mins)
FR 2019
work RVU
Proposed
total time
(mins)
Proposed
work RVU
8.25
0.25
11
0.33
new patient office/outpatient E/M visit)
and adoption of the revised CPT code
descriptors for CPT codes 99202–99215;
• Elimination of the use of history
and/or physical exam to select among
code levels;
• Choice of time or medical decision
making to decide the level of office/
outpatient E/M visit (using the revised
CPT interpretive guidelines for medical
decision making);
• Payment for prolonged office/
outpatient E/M visits using the revised
CPT code for such services, including
separate payment for new CPT code
99xxx and deletion of HCPCS code
GPRO1 (extended office/outpatient E/M
visit) that we previously finalized for
2021;
• Revise the descriptor for HCPCS
code GPC1X and delete HCPCS code
GCG0X; and
• Increase in value for HCPCS code
GCG1X and allowing it to be reported
with all office/outpatient E/M visit
levels.
f. Global Surgical Packages
In addition to their recommendations
regarding physician work, time, and
practice expense for office/outpatient E/
M visits, the AMA RUC also
recommended adjusting the office/
outpatient E/M visits for codes with a
global period to reflect the changes
made to the values for office/outpatient
E/M visits. Procedures with a 10- and
90-day global period have postoperative visits included in their
valuation. These post-operative visits
are valued with reference to values for
the E/M visits and each procedure has
at least a half of an E/M visit included
the global period. However, these visits
are not directly included in the
valuation. Rather, work RVUs for
procedures with a global period are
generally valued using magnitude
estimation.
In the CY 2015 PFS final rule, we
discussed the challenges of accurately
accounting for the number of visits
included in the valuation of 10- and 90day global packages. (79 FR 67548,
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67582.) We finalized a policy to change
all global periods to 0-day global
periods, and to allow separate payment
for post-operative follow-up E/M visits.
Our concerns were based on a number
of key points including: The lack of
sufficient data on the number of visits
typically furnished during the global
periods, questions about whether we
will be able to adjust values on a regular
basis to reflect changes in the practice
of medicine and health care delivery,
and concerns about how our global
payment policies could affect the
services that are actually furnished. In
finalizing a policy to transform all 10and 90-day global codes to 0-day global
codes in CY 2017 and CY 2018,
respectively, to improve the accuracy of
valuation and payment for the various
components of global packages,
including pre- and post-operative visits
and the procedure itself, we stated that
we were adopting this policy because it
is critical that PFS payment rates be
based upon RVUs that reflect the
relative resources involved in furnishing
the services. We also stated our belief
that transforming all 10- and 90-day
global codes to 0-day global packages
would:
• Increase the accuracy of PFS
payment by setting payment rates for
individual services that more closely
reflect the typical resources used in
furnishing the procedures;
• Avoid potentially duplicative or
unwarranted payments when a
beneficiary receives post-operative care
from a different practitioner during the
global period;
• Eliminate disparities between the
payment for E/M services in global
periods and those furnished
individually;
• Maintain the same-day packaging of
pre- and post-operative physicians’
services in the 0-day global packages;
and
• Facilitate the availability of more
accurate data for new payment models
and quality research.
Section 523(a) of MACRA added
section 1848(c)(8)(A) of the Act, which
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prohibited the Secretary from
implementing the policy described
above, which would have transformed
all 10-day and 90-day global surgery
packages to 0-day global packages.
Section 1848(c)(8)(B) of the Act, which
was also added by section 523(a) of the
MACRA, required us to collect data to
value surgical services. Section
1848(c)(8)(B)(i) of the Act requires us to
develop a process to gather information
needed to value surgical services from a
representative sample of physicians,
and requires that the data collection
begin no later than January 1, 2017. The
collected information must include the
number and level of medical visits
furnished during the global period and
other items and services related to the
surgery and furnished during the global
period, as appropriate. Section
1848(c)(8)(B)(iii) of the Act specifies
that the Inspector General shall audit a
sample of the collected information to
verify its accuracy. Section 1848(c)(8)(C)
of the Act, which was also added by
section 523(a) of the MACRA, requires
that, beginning in CY 2019, we must use
the information collected as
appropriate, along with other available
data, to improve the accuracy of
valuation of surgical services under the
PFS.
Resource-based valuation of
individual physicians’ services is a
critical foundation for Medicare
payment to physicians. It is essential
that the RVUs under the PFS be based
as closely and accurately as possible on
the actual resources used in furnishing
specific services to make appropriate
payment and preserve relativity among
services. For global surgical packages,
this requires using objective data on all
of the resources used to furnish the
services that are included in the
package. Not having such data for some
components may significantly skew
relativity and create unwarranted
payment disparities within the PFS. The
current valuations for many services
valued as global packages are based
upon the total package as a unit rather
than by determining the resources used
in furnishing the procedure and each
additional service/visit and summing
the results. As a result, we do not have
the same level of information about the
components of global packages as we do
for other services. To value global
packages accurately and relative to other
procedures, we need accurate
information about the resources—work,
PEs and malpractice—used in
furnishing the procedure, similar to
what is used to determine RVUs for all
services. In addition, we need the same
information on the postoperative
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services furnished in the global period
(and pre-operative services the day
before for 90-day global packages).
In response to the MACRA
amendments to section 1848(c)(8 of the
Act), CMS required practitioners who
work in practices that include 10 or
more practitioners in Florida, Kentucky,
Louisiana, Nevada, New Jersey, North
Dakota, Ohio, Oregon, and Rhode Island
to report using CPT 99024 on postoperative visits furnished during the
global period for select procedures
furnished on or after July 1, 2017. The
specified procedures are those that are
furnished by more than 100
practitioners and either are nationally
furnished more than 10,000 times
annually or have more than $10 million
in annual allowed charges.
RAND analyzed the data collected
from the post-operative visits through
this claim-based reporting for the first
year of reporting, July 1, 2017–June 30,
2018. They found that only 4 percent of
procedures with 10-day global periods
had any post-operative visits reported.
While 71 percent of procedures with 90day global periods had at least one
associated post-operative visit, only 39
percent of the total post-operative visits
expected for procedures with 90-day
global periods were reported. (A
complete report on this is available at
https://www.cms.gov/Medicare/
Medicare-Fee-for-Service-Payment/
PhysicianFeeSched/Global-SurgeryData-Collection-.html).
In addition to the claims-based data
collection, RAND collected data on the
level of visits. They began with an
attempt to collect data via a survey from
all specialties as described in the 2017
final rule. Given the low rate of
response from practitioners, we shifted
the study and focused on three highvolume procedures with global periods
that were common enough to likely
result in a robust sample size: (1)
Cataract surgery; (2) hip arthroplasty;
and (3) complex wound repair. A total
of 725 physicians billing frequently for
cataract surgery, hip arthroplasty, and
complex wound repair reported on the
time, activities, and staff involved in
3,469 visits. Our findings on physician
time and work from the survey were
broadly similar to what we expected
based on the Time File for cataract
surgery and hip replacement and
somewhat different for complex wound
repair. (For the complete report, see
https://www.cms.gov/Medicare/
Medicare-Fee-for-Service-Payment/
PhysicianFeeSched/Global-SurgeryData-Collection-.html).
The third report in the series looks at
ways we could consider revaluing
procedures using the collected data. To
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provide us with estimates to frame a
discussion, RAND modeled how
valuation for procedures would change
by adjusting work RVUs, physician
time, and direct PE inputs based on the
difference between the number of postoperative visits observed via claimsbased reporting and the expected
number of post-operative visits used
during valuation. RAND looked at three
types of changes: (1) Updated work
RVUs based on the observed number of
post-operative visits measured four
ways (median, 75th percentile, mean,
and modal observed visits); (2)
Allocated PE RVUs reflecting direct PE
inputs updated to reflect the median
number of reported post-operative
visits; and (3) Modeled total RVUs
reflecting (a) updated work RVUs, (b)
updated physician time, and (c) updated
direct PE inputs, and including
allocated PE and malpractice RVUs.
This report is designed to inform further
conversations about how to revalue
global procedures. (For the complete
report, see https://www.cms.gov/
Medicare/Medicare-Fee-for-ServicePayment/PhysicianFeeSched/GlobalSurgery-Data-Collection-.html.) We will
give the public and stakeholders time to
study the reports we are making
available along with this rule and
consider an appropriate approach to
revaluing global surgical procedures.
We also note that the Office of the
Inspector General (OIG) has published a
number of reports on this topic. We will
continue to study and consider
alternative ways to address the values
for these services.
g. Comment Solicitation on Revaluing
the Office/Outpatient E/M Visit Within
TCM, Cognitive Impairment
Assessment/Care Planning and Similar
Services
We recognize there are services other
than the global surgical codes for which
the values are closely tied to the values
of the office/outpatient E/M visit codes,
such as transitional care management
services (CPT codes 99495, 99496);
cognitive impairment assessment and
care planning (CPT code 99483); certain
ESRD monthly services (CPT codes
90951 through 90961); the Initial
Preventive Physical Exam (G0438) and
the Annual Wellness Visit (G0439). In
future rulemaking, we may consider
adjusting the RVUs for these services
and are seeking public input on such a
policy. We note that unlike the global
surgical codes, these services always
include an office/outpatient E/M visit(s)
furnished by the reporting practitioner
as part of the service, and it may
therefore be appropriate to adjust their
valuation commensurate with any
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changes to the values for the revised
codes for office/outpatient E/M visits.
While some of these services do not
involve an E/M visit, we valued them
using a direct crosswalk to the RVUs
assigned to an office/outpatient E/M
visit(s) and for this reason they are
closely tied to values for office/
outpatient E/M visits.
We are also seeking comment on
whether or not the public believes it
would be necessary or beneficial to
make systematic adjustments to other
related PFS services to maintain
relativity between these services and
office/outpatient E/M visits. We are
particularly interested in whether it
would be beneficial or necessary to
make corresponding adjustments to E/M
codes describing visits in other settings,
such as home visits, or to codes
describing more specific kinds of visits,
like counseling visits. For example, CPT
code 99348 (Home visit for the
evaluation and management of an
established patient, which requires at
least 2 of these 3 key components: An
expanded problem focused interval
history; An expanded problem focused
examination; Medical decision making
of low complexity. Counseling and/or
coordination of care with other
physicians, other qualified health care
professionals, or agencies are provided
consistent with the nature of the
problem(s) and the patient’s and/or
family’s needs. Usually, the presenting
problem(s) are of low to moderate
severity. Typically, 25 minutes are spent
face-to-face with the patient and/or
family) is commonly used to report
home visits, and like CPT code 99214,
the code describes approximately 45
minutes of time with the patient and has
a work RVU of 1.56. Under the proposal
to increase the work RVU of CPT code
99214 from 1.5 to 1.92, the proportional
value of CPT code 99348 would
decrease relative to the work RVU for
CPT code 99214. To maintain the same
proportional value to CPT code 99214,
the work RVU for CPT code 99348
would need to increase from 1.56 to
2.00. We understand that certain other
services, such as those that describe
ophthalmological examination and
evaluation, as well as psychotherapy
visit codes, are used either in place of
or in association with office/outpatient
visit codes. For example, CPT code
92012 (Ophthalmological services:
Medical examination and evaluation,
with initiation or continuation of
diagnostic and treatment program;
intermediate, established patient)
currently has a work RVU of 0.92.
Under the proposal to increase the work
RVU of CPT code 99213 from 0.97 to
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1.30, the proportional value of CPT code
92012 would decrease relative to the
work RVU for CPT code 99213, as both
codes describe around 30 minutes of
work. To maintain the same
proportional value to CPT code 99213,
the work RVU for CPT code 92012
would need to increase from 0.92 to
1.23. Similarly, behavioral health
professionals report several codes to
describe psychiatric diagnostic
evaluations and visits they furnish.
When furnished with an evaluation and
management service, practitioners
report psychotherapy add-on codes
instead of stand-alone psychotherapy
codes that would otherwise be reported.
Because the overall work RVUs for the
combined service, including the value
for the office/outpatient visit code,
would increase under the proposal, we
are interested in comments regarding
whether or not it would be appropriate
to reconsider the value of the
psychotherapy codes, as well as the
psychiatric diagnostic evaluations
relative to the proposed values for the
office/outpatient visit codes. Under the
proposed revaluation of the office/
outpatient E/M visits, the proportional
value of CPT code 90834
(Psychotherapy, 45 minutes with
patient) would decrease relative to work
RVUs for CPT code 99214 plus CPT
code 90836. The current work RVU for
CPT code 99214 when reported with
CPT code 90836 is 3.40 (1.90 + 1.50)
and the current work RVU for CPT code
90834 is 2.0. Under the proposed
revaluation of the office/outpatient E/M
visits, the combined work RVU for CPT
codes 99214 and 90836 would be 3.82
(1.90 + 1.92). In order to maintain the
proportionate difference between these
services, the work RVU for CPT code
90834 would increase from 2.00 to 2.25.
Based on these three examples, we are
seeking public comment on whether we
should make similar adjustments to E/
M codes in different settings, and other
types of visits, such as counseling
services.
III. Other Provisions of the Proposed
Regulations
A. Changes to the Ambulance Physician
Certification Statement Requirement
Under our ongoing initiative to
identify Medicare regulations that are
unnecessary, obsolete, or excessively
burdensome on health care providers
and suppliers, we are proposing to
revise §§ 410.40 and 410.41.
Importantly, we first clarify that these
requirements apply to ambulance
providers, as well as suppliers. The
proposed revisions would give certain
clarity to ambulance providers and
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suppliers regarding the physician or
non-physician certification statement
and add staff who may sign certification
statements when the ambulance
provider or supplier is unable to obtain
a signed statement from the attending
physician.
1. Exceptions to Certification Statement
Requirement
Under section 1861(s)(7) of the Act,
ambulance services are covered where
the use of other methods of
transportation is contraindicated by the
individual’s condition, but only to the
extent provided in regulations.
Currently, § 410.40(d) specifies the
medical necessity requirements for both
nonemergency, scheduled, repetitive
ambulance services and nonemergency
ambulance services that are either
unscheduled or that are scheduled on a
nonrepetitive basis. In the final rule
with comment period that appeared in
the January 25, 1999 Federal Register
(64 FR 3637) (hereinafter referred to as
the ‘‘January 25, 1999 final rule with
comment period’’), we stated that a
physician certification statement (PCS)
must be obtained as evidence that the
attending physician has determined that
other means of transportation are
contraindicated and that the transport is
medically necessary (64 FR 3639). In the
final rule with comment period that
appeared in the February 27, 2002
Federal Register (67 FR 9100)
(hereinafter referred to as the ‘‘February
27, 2002 final rule with comment
period’’) we added that a certification
statement (hereinafter referred to as
non-physician certification statement)
could be obtained from other authorized
staff should the attending physician be
unavailable. (67 FR 9111)
Currently there are no circumstances,
other than those specified at
§ 410.40(d)(3)(ii) and (iv), granting
exceptions to the need for a PCS or nonphysician certification statement, and
we have received feedback from
ambulance providers, suppliers, and
their industry representatives
(‘‘stakeholders’’) that various situations
exist where the need for a PCS or nonphysician certification is excessive, or at
least redundant to similar existing
documentation requirements. Two of
the most prominent circumstances
identified by the stakeholders include
interfacility transports (IFTs),
commonly referred to as hospital to
hospital transports and specialty care
transports (SCTs), and it has been
requested that we incorporate additional
exceptions into the regulatory
framework.
Upon reviewing the need for a PCS
and non-physician certification
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statement, stakeholders’ concerns, and
our commitment to reducing the burden
placed on providers and suppliers, we
have determined that instead of
incorporating additional exceptions, our
efforts would be better served by
minorly altering the structure of the
existing regulatory framework. These
changes are intended to maximize
flexibility for ambulance providers and
suppliers to obtain the requisite
certification statements and maintain
the focus on the determination that
other means of transportation are
contraindicated and that the transport is
medically necessary.
To accomplish this, we are proposing
to add a new paragraph (a) in § 410.40
in which we would define both PSCs, as
well as non-physician certification
statements. Therefore, we are proposing
to redesignate existing paragraph (a)
‘‘Basic rules’’ as paragraph (b) and
redesignate the remaining paragraphs,
respectively. Most significantly,
paragraph (d) ‘‘Medical necessity
requirements’’ will be redesignated as
paragraph (e).
For new proposed paragraph (a), the
two definitions, PCSs and nonphysician certification statements,
would clarify that: (1) The focus is on
the certification of the medical necessity
provisions contained in proposed newly
redesignated paragraph (e)(1); and (2)
the form of the certification statement is
not prescribed, thus affording maximum
flexibility to ambulance providers and
suppliers. Since the two definitions
incorporate the requirement to obtain a
certification of medical necessity, we
are proposing a conforming change to
newly redesignated paragraph (e)(2) to
remove the language requiring that an
order certifying medical necessity be
obtained.
We have repeatedly been told by
stakeholders that there are ample
opportunities for ambulance providers
and suppliers to convey the information
required in the certification statement.
Stakeholders have mentioned, for
example, that for transports such as IFTs
and SCTs other requirements of federal,
state, or local law require them to obtain
other documentation, such as
Emergency Medical Treatment & Labor
Act (EMTALA) forms and medical
transport forms, that can serve the same
purpose as the PCS or non-physician
certification statement. There is every
likelihood that other ambulance
transports require similarly styled
documentation that likewise could serve
the same purpose.
To be clear, our regulations have
never prescribed the precise form or
format of this required documentation.
To satisfy the requirements of section
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1861(s)(7) of the Act, ambulance
providers’ and suppliers’ focus should
be on clearly documenting the threshold
determination that other means of
transportation are contraindicated and
that the transport is medically
necessary. The precise form or format by
which that information is conveyed has
never been prescribed. We aim here to
ensure that ambulance providers and
suppliers understand they have
flexibility in the form by which they
convey the requirements of proposed
§ 410.40(e), so long as that threshold
determination is clearly expressed.
The definition of non-physician
certification statement in proposed
§ 410.40(a) would incorporate the
existing requirements that apply when
an ambulance provider or supplier is
unable to obtain a signed PCS from the
attending physician and, instead,
obtains a non-physician certification
statement, including: (1) That the staff
have personal knowledge of the
beneficiary’s condition at the time the
ambulance transport is ordered or the
service is furnished; (2) the employment
requirements; and (3) the specific staff
that can sign in lieu of the attending
physician. Included within the
proposed definition of non-physician
certification statement, and as further
discussed below, is an expansion of the
list of staff who may sign when the
attending physician is unavailable. In
light of the staff being listed as part of
the definition of non-physician
certification statement proposed at
§ 410.40(a), we are proposing a
corresponding change to proposed and
newly redesignated paragraph (e)(3)(iii)
to remove the reference to the staff
currently listed within the paragraph.
Moreover, in paragraphs (e)(3)(i) and
(iv) we have proposed changes to refer
to the newly redesignated paragraph (e)
and in paragraph (e)(3)(v) we have
proposed changes to refer to the newly
defined terms in paragraph (a),
specifically the physician or nonphysician certification statement. Lastly,
we are also proposing a corresponding
change to § 410.41(c)(1) to add that
ambulance providers or suppliers must
indicate on the claims form that, ‘‘when
applicable, a physician certification
statement or non-physician certification
statement is on file.’’
In the CY 2013 PFS final rule with
comment period (77 FR 69161), we
stated that the Secretary is the final
arbiter of whether a service is medically
necessary for Medicare coverage. We
believe that the proposed changes
would better enable contractors to
establish the medical necessity of these
transports by focusing more on the
threshold medical necessity
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determination as opposed to the form or
format of the documentation used. We
do not anticipate that this clarification
will alter the frequency of claim denials.
2. Addition of Staff Authorized To Sign
Non-Physician Certification Statements
In the January 25, 1999 final rule with
comment period (64 FR 3637), we
finalized language at § 410.40 to require
ambulance providers or suppliers, in the
case of nonemergency unscheduled
ambulance services (§ 410.40(d)(3)) to
obtain a PCS. In that rule, we explained
that: (1) Nonemergency ambulance
service is a Medicare service furnished
to a beneficiary for whom a physician is
responsible, therefore, the physician is
responsible for the medical necessity
determination; and (2) the PCS will help
to ensure that the claims submitted for
ambulance services are reasonable and
necessary, because other methods of
transportation are contraindicated (64
FR 3641). We further stated that we
believed the requirement would help to
avoid Medicare payment for
unnecessary ambulance services that are
not medically necessary even though
they may be desirable to beneficiaries.
In that final rule with comment
period, however, we also addressed the
ability of ambulance providers or
suppliers to obtain a written order from
the beneficiary’s attending physician
within 48 hours after the transport to
avoid unnecessary delays. We agreed
with stakeholders that while it is
reasonable to expect that an ambulance
supplier could obtain a pretransport
PCS for routine, scheduled trips, it is
less reasonable to impose such a
requirement on unscheduled transports,
and that it was not necessary that the
ambulance suppliers have the PCS in
hand prior to furnishing the service. To
avoid unnecessary delays for
unscheduled transports, we therefore
finalized the requirement that required
documentation can be obtained within
48 hours after the ambulance
transportation service has been
furnished.
In the February 27, 2002 final rule
with comment period (67 FR 9111), we
noted that we had been made aware of
instances in which ambulance
suppliers, despite having provided
ambulance transports, were, through no
fault of their own, experiencing
difficulty in obtaining the necessary
PCS within the required 48-hour
timeframe. We stated that the 48-hour
period remained the appropriate period
of time, but created alternatives for
ambulance providers and suppliers
unable to obtain a PCS. We finalized an
alternative at § 410.40(d)(3)(iii) where
ambulance providers and suppliers
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unable to obtain a PCS from the
attending physician could obtain a
signed certification (not a physician
certification statement) from certain
other staff. At that time, we identified
several staff members, including a
physician assistant (PA), nurse
practitioner (NP), clinical nurse
specialist (CNS), registered nurse (RN),
and a discharge planner as staff
members able to sign such a nonphysician certification statement. The
only additional constraints are: (1) That
the staff be employed by the
beneficiary’s attending physician or by
the hospital or facility where the
beneficiary is being treated and from
which the beneficiary is transported;
and (2) that the staff have personal
knowledge of the beneficiary’s
condition at the time the ambulance
transport is ordered or the service is
furnished.
In the intervening years, we have
received feedback from stakeholders
that other staff, such as licensed
practical nurses (LPNs), social workers,
and case managers, should be included
in the list of staff that can sign a
certification statement. Similar to the
currently designated staff, we now
believe that LPNs, social workers, and
case managers who have personal
knowledge of a beneficiary’s condition
at the time ambulance transport is
ordered and the service is furnished
have a skill set largely equal or similar
to the other staff members. Thus, we are
proposing as part of the new proposed
definition of non-physician certification
statement at § 410.40(a)(2)(iii) to add
LPNs, social workers, and case
managers to the list of staff who may
sign a certification statement when the
ambulance provider or supplier is
unable to obtain a signed PCS from the
attending physician. As with the staff
currently listed in § 410.40(d)(3)(iii),
LPNs, social workers, and case
managers would need to be employed
by the beneficiary’s attending physician
or the hospital or facility where the
beneficiary is being treated and from
which the beneficiary is transported,
and have personal knowledge of the
beneficiary’s condition at the time the
ambulance transport is ordered or the
service is furnished. We also request
comments on whether other staff should
be included in this regulation, and
request that commenters identify such
staff’s licensure and position and the
reason it would be appropriate for such
staff to sign a certification statement.
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B. Proposal To Establish a Medicare
Ground Ambulance Services Data
Collection System
1. Background
Section 1861(s)(7) of the Act
establishes an ambulance service as a
Medicare Part B service where the use
of other methods of transportation is
contraindicated by the individual’s
condition, but only to the extent
provided in regulations. Since April 1,
2002, payment for ambulance services
has been made under the ambulance fee
schedule (AFS), which the Secretary
established under section 1834(l) of the
Act. Payment for an ambulance service
is made at the lesser of the actual billed
amount or the AFS amount, which
consists of a base rate for the level of
service, a separate payment for mileage
to the nearest appropriate facility, a
geographic adjustment factor, and other
applicable adjustment factors as set
forth at section 1834(l) of the Act and 42
CFR 414.610 of the regulations. In
accordance with section 1834(l)(3) of
the Act and § 414.610(f), the AFS rates
are adjusted annually based on an
inflation factor. The AFS also
incorporates two permanent add-on
payments and three temporary add-on
payments to the base rate and/or
mileage rate. The two permanent add-on
payments are: (1) A 50 percent increase
in the standard mileage rate for ground
ambulance transports that originate in
rural areas where the travel distance is
between 1 and 17 miles; and (2) a 50
percent increase to both the base and
mileage rate for rural air ambulance
transports. The three temporary add-on
payments are: (1) A 3 percent increase
to the base and mileage rate for ground
ambulance transports that originate in
rural areas; (2) a 2 percent increase to
the base and mileage rate for ground
ambulance transports that originate in
urban areas; and (3) a 22.6 percent
increase in the base rate for ground
ambulance transports that originate in
‘‘super rural’’ areas. Our regulations
relating to coverage of and payment for
ambulance services are set forth at 42
CFR part 410, subpart B, and 42 CFR
part 414, subpart H.
2. Statutory Requirement for Ground
Ambulance Providers and Suppliers To
Submit Cost and Other Information
Section 50203(b) of the BBA of 2018
added a new paragraph (17) to section
1834(l) of the Act, which requires
ground ambulance providers of services
and suppliers to submit cost and other
information. Specifically, section
1834(l)(17)(A) of the Act requires the
Secretary to develop a data collection
system (which may include use of a cost
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survey) to collect cost, revenue,
utilization, and other information
determined appropriate by the Secretary
for providers and suppliers of ground
ambulance services. Such system must
be designed to collect information: (1)
Needed to evaluate the extent to which
reported costs relate to payment rates
under the AFS; (2) on the utilization of
capital equipment and ambulance
capacity, including information
consistent with the type of information
described in section 1121(a) of the Act;
and (3) on different types of ground
ambulance services furnished in
different geographic locations, including
rural areas and low population density
areas described in section 1834(l)(12) of
the Act (super rural areas).
Section 1834(l)(17)(B)(i) of the Act
requires the Secretary to specify the data
collection system by December 31, 2019,
and to identify the ground ambulance
providers and suppliers that would be
required to submit information under
the data collection system, including the
representative sample defined at clause
(ii).
Under section 1834(l)(17)(B)(ii) of the
Act, not later than December 31, 2019,
for the data collection for the first year
and for each subsequent year through
2024, the Secretary must determine a
representative sample to submit
information under the data collection
system. The sample must be
representative of different types of
ground ambulance providers and
suppliers (such as those providers and
suppliers that are part of an emergency
service or part of a government
organization) and the geographic
locations in which ground ambulance
services are furnished (such as urban,
rural, and low population density
areas), and not include an individual
ground ambulance provider or supplier
in the sample for 2 consecutive years, to
the extent practicable.
Section 1834(l)(17)(C) of the Act
requires that for each year, a ground
ambulance provider or supplier
identified by the Secretary in the
representative sample as being required
to submit information under the data
collection system for a period for the
year must submit to the Secretary the
information specified under the system
in a form and manner, and at a time
specified by the Secretary.
Section 1834(l)(17)(D) of the Act
requires that beginning January 1, 2022,
the Secretary apply a 10 percent
payment reduction to payments made
under section 1834(l) of the Act for the
applicable period to a ground
ambulance provider or supplier that is
required to submit information under
the data collection system and does not
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sufficiently submit such information.
The term ‘‘applicable period’’ is defined
under section 1834(l)(17)(D)(ii) of the
Act to mean, for a ground ambulance
provider or supplier, a year specified by
the Secretary not more than 2 years after
the end of the period for which the
Secretary has made a determination that
the ground ambulance provider or
supplier has failed to sufficiently submit
information under the data collection
system. A hardship exemption to the
payment reduction is authorized under
section 1834(l)(17)(D)(iii) of the Act,
which provides that the Secretary may
exempt a ground ambulance provider or
supplier from the payment reduction for
an applicable period in the event of
significant hardship, such as a natural
disaster, bankruptcy, or other similar
situation that the Secretary determines
interfered with the ability of the ground
ambulance provider or supplier to
submit such information in a timely
manner for the specified period. Lastly,
section 1834(l)(17)(D)(iv) of the Act
requires the Secretary to establish an
informal review process under which a
ground ambulance provider or supplier
may seek an informal review of a
determination that the provider or
supplier is subject to the payment
reduction.
Section 1834(l)(17)(E)(i) allows the
Secretary to revise the data collection
system as appropriate and, if available,
taking into consideration the report (or
reports) that the Medicare Payment
Advisory Commission (MedPAC) will
submit to Congress. Section
1834(l)(17)(E)(ii) of the Act specifies
that, to continue to evaluate the extent
to which reported costs relate to
payment rates under section 1834(l) of
the Act and other purposes as the
Secretary deems appropriate, the
Secretary shall require ground
ambulance providers and suppliers to
submit information for years after 2024,
but in no case less often than once every
3 years, as determined appropriate by
the Secretary.
As required by section 1834(l)(17)(F)
of the Act, not later than March 15,
2023, and as determined necessary by
MedPAC, MedPAC must assess, and
submit to Congress a report on,
information submitted by providers and
suppliers of ground ambulance services
through the data collection system, the
adequacy of payments for ground
ambulance services and geographic
variations in the cost of furnishing such
services. The report must contain the
following:
• An analysis of information
submitted through the data collection
system;
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• An analysis of any burden on
ground ambulance providers and
suppliers associated with the data
collection system;
• A recommendation as to whether
information should continue to be
submitted through such data collection
system or if such system should be
revised by the Secretary, as provided
under section 1834(l)(17)(E)(i) of the
Act; and
• Other information determined
appropriate by MedPAC.
Section 1834(l)(17)(G) of the Act
requires the Secretary to post
information on the results of the data
collection on the CMS website, as
determined appropriate by the
Secretary.
Section 1834(l)(17)(H) of the Act
requires the Secretary to implement the
provisions of section 1834(l)(17) of the
Act through notice and comment
rulemaking.
Section 1834(l)(17)(I) of the Act
provides that the Paperwork Reduction
Act (Title 44, Chapter 35 of the U.S.
Code) does not apply to collection of
information required under section
1834(l)(17) of the Act.
Section 1834(l)(17)(J) of the Act
provides that there shall be no
administrative or judicial review under
sections 1869 or 1878 of the Act, or
otherwise, of the data collection system
or identification of respondents.
We note that while the requirements
of section 1834(l)(17) of the Act are
specific to ground ambulance
organizations, many stakeholders have
expressed interest to us in making this
type of information available for other
providers and suppliers of ambulance
services. For example, air ambulance
organizations have suggested they are
interested in making this information
available. We recognize that the
regulation of air ambulances spans
multiple federal agencies, and note that
section 418 of the FAA Reauthorization
Act of 2018 (Pub. L. 115–254, enacted
October 5, 2018) requires the Secretary
of HHS, in consultation with the
Secretary of Transportation, to establish
an advisory committee that includes
HHS, DOT, and others to review options
to improve the disclosure of charges and
fees for air medical services, better
inform consumers of insurance options
for those services, and better inform and
protect consumers of these services. We
welcome comments on the state of the
air ambulance industry and how CMS
can work within its statutory authority
to ensure that appropriate payments are
made to air ambulance organizations
serving the Medicare population.
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3. Research To Inform the Development
of a Ground Ambulance Data Collection
System
To inform the development of a
ground ambulance data collection
system, including a representative
sampling plan, our contractor developed
recommendations regarding the
methodology for collecting cost,
revenue, utilization and other
information from ground ambulance
providers and suppliers (collectively
referred to in this proposed rule as
‘‘ground ambulance organizations’’) and
a sampling plan consistent with sections
1834(l)(17)(A) and (B) of the Act. Our
contractor also developed
recommendations for the collection and
reporting of data with the least amount
of burden possible to ground ambulance
organizations. The recommendations
took into consideration the following:
• An environmental scan consisting
of a review of existing peer-reviewed
literature, government and association
reports, and targeted web searches. The
purpose of the environmental scan was
to collect information on costs and
revenues of ground ambulance
transportation services, identify
background information regarding the
differences among ground ambulance
organizations including state and local
requirements that may impact the costs
of providing ambulance services, and
describe financial challenges facing the
ambulance industry. Five previously
fielded ambulance cost collection tools
were also identified and analyzed and
are described below.
• Interviews with ambulance
providers and suppliers, billing
companies, and other stakeholders to
determine all major cost, revenue, and
utilization components, and differences
in these components across ground
ambulance organizations. These
discussions provided valuable
information on the process for
developing a data collection system,
including how to best elicit valid
responses and limit burden on
respondents, as well as the timing of the
data collection.
• Analyses of Medicare claims and
enrollment data, including all fee-forservice (FFS) Medicare claims with
dates of service in 2016, the most recent
complete year of claims data for ground
ambulance services.
Our contractor also analyzed the
following five data collection tools that
currently collect or have collected data
from ground ambulance organizations:
• The Moran Company Statistical and
Financial Data Survey (the ‘‘Moran
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survey’’).85 In 2012, American
Ambulance Association (AAA)
commissioned a study with the goal of
developing a data collection instrument
and making recommendations for
collecting data to determine the costs of
delivering ground ambulance services to
Medicare beneficiaries. The result was
the Moran survey, which is a two-step
data collection method in which all
ambulance providers and suppliers first
complete a short survey with basic
descriptive information on their
characteristics, and second, a
representative sample of ambulance
providers and suppliers report more
specific cost information.
• Ground Emergency Medical
Transportation (GEMT) Cost Report
form and instructions from California’s
Medicaid program.86 The GEMT Cost
Report form and instructions is used by
some states to determine whether
ambulance providers and suppliers
should receive supplemental payments
from state Medicaid programs to cover
shortfalls between revenue and costs.
This data collection instrument is
geared toward government entities, as
private ambulance providers and
suppliers do not qualify for the
supplemental payments.
• The Emergency Medical Services
Cost Analysis Project (EMSCAP)
framework.87 The National Highway
Traffic Safety Administration funded
EMSCAP in 2007 to develop a
framework for determining the cost for
an EMS system at the community level.
Subsequently, EMSCAP researchers
used this framework to develop a cost
workbook and pilot test the instrument
on three communities representing
rural, urban, and suburban areas. EMS
services within the three communities
included volunteer, paid, and
combination EMS agencies, both fire
department and third service-based.
Third service-based refers to services
provided by a local government that
85 The Moran Company (2014). Detailing ‘‘Hybrid
Data Collection Method’’ for the Ambulance
Industry: Beta Test Results of the Statistical &
Financial Data Survey & Recommendations,
[Online]. Available at https://s3.amazonaws.com/
americanambulance-advocacy/AAA+Final+Report+
Detailing+Hybrid+Data+Collection+Method.pdf.
86 State of California—Health and Human
Services Agency Department of Health Care
Services Ground Emergency Medical
Transportation (2013). Ground Emergency Medical
Transportation Services Cost Report General
Instructions for Completing Cost Report Forms,
[Online]. Available at https://www.dhcs.ca.gov/
provgovpart/documents/gemt/gemt_cstrptinstr.pdf.
87 Lerner, E.B., Nichol, G., Spaite, D.W., Garrison,
H.G., & Maio, R.F. (2007). A comprehensive
framework for determining the cost of an emergency
medical services system. Available at https://
www.mcw.edu/departments/emergency-medicine/
research/emergency-medical-services-cost-analysisproject.
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include a fire department, police
department and a separate EMS,
forming an emergency trio.
• A 2012 Government Accountability
Office (GAO) ambulance survey.88 To
examine ground ambulance suppliers’
costs for transports, in 2012 GAO
administered a web-based survey to a
random sample of 294 eligible
ambulance suppliers. GAO collected
data on their 2010 costs, revenues,
transports, and organizational
characteristics. Although the GAO
survey collected data for each domain at
the summary level, it also prompted
respondents to take into account
multiple factors when calculating their
summary costs.
• The Rural Ambulance Service
Budget Model.89 This tool was
developed by a task force of the Rural
EMS and Trauma Technical Assistance
Center with funds from the Health
Resources and Services Administration
(HRSA) in the early 2000s. The purpose
was to provide assistance to rural
ambulance entities in establishing an
annual budget and to calculate the value
of services donated by other entities, as
well as services donated by the
ambulance entity’s staff to the
community. The tool was last updated
in 2010 and has been cited as a resource
for rural ground ambulance
organizations by state and national
government agencies. However, use of
the tool is not required by any of these
agencies.
Our contractor’s analysis of these
tools revealed that while there was
overlap of the broad cost categories
collected (for example, labor, vehicles,
and facilities costs) via these tools, there
were significant differences in the more
specific data collected within these
broad categories. Overall, there was a
large amount of variability regarding
whether the tools allowed for detailed
accounting of costs and whether the
tools used respondent-defined or
survey-defined categories for reporting.
The five tools also differed in terms of
their instructions, format, and design in
terms of how a portion of organizations’
total costs were allocated to ground
ambulance costs, the time frame for
reporting, and the flexibility of
reporting.
Based on these activities, our
contractor prepared a report entitled,
‘‘Medicare Ground Ambulance Data
88 U.S. Government Accountability Office (2012).
Survey of Ambulance Services. Available at https://
www.gao.gov/assets/650/649018.pdf.
89 Health Resources and Services Administration.
The Rural Ambulance Service Budget Model,
[Online]. Available at https://www.ruralcenter.org/
resource-library/rural-ambulance-service-budgetmodel.
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Collection System—Sampling and Data
Collection Instrument Considerations
and Recommendations’’ (referred to as
‘‘the CAMH 90 report’’) which is
referenced throughout this proposed
rule. It is available at https://
www.cms.gov/Center/Provider-Type/
Ambulances-Services-Center.html and
provides more detail on the research,
findings and recommendations
concerning the data collection
instrument and sampling. This report,
in addition to other considerations we
describe below, informed our proposals
for the data collection instrument.
4. Proposals for the Data Collection
Instrument
a. Proposed Format
We considered several options for
collecting the data including a survey, a
cost report spreadsheet like the GEMT,
and the Medicare Cost Report (MCR).
During interviews with ambulance
providers and suppliers, some
participants stated that they would
prefer that data collection be done
through a cost report spreadsheet, rather
than a survey, such as the GEMT and
other similar data collection tools
utilized by state Medicaid programs.
They noted that data cost collection
spreadsheets such as the GEMT are used
in some states where supplemental
payments are made to ground
ambulance organizations based on costs
and revenue reported via a cost
reporting template. Although these tools
are valuable to the ambulance suppliers
that utilize them for Medicaid payment
purposes, we note that only a small
number of states make use of these tools
for the purpose of providing
supplemental payments and that they
are generally geared toward government
run entities that provide a broad range
of emergency medical services and not
just ground ambulance services. For
these reasons, we do not believe that
these tools could be used by all ground
ambulance organizations for Medicare
payment purposes without significant
revision.
Other ambulance providers and
suppliers stated their preference for
survey-based reporting, such as the
Moran survey, because they believe
survey reporting is less burdensome and
allows more flexibility for reporting. We
agree that survey reporting can be
designed to provide greater flexibility of
reporting with reduced reporting
burden. However, the Moran survey
recommended excluding small ground
ambulance organizations with limited
capacity or those which relied heavily
90 CMS
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on volunteer services, which would
exclude a large percentage of ground
ambulance organizations from our
sample. It would also not take into
account the unique differences of
government run ground ambulance
entities, and specifically ground
ambulance entities that provide other
emergency services such as fire services,
and could not be used by all ground
ambulance organizations without
significant revisions. Some ambulance
organizations that favored using the
Moran survey also recommended using
cost reporting guidelines that are similar
to the CMS requirements for the MCR.
Although we agree that standardization
is important for data analysis, many
smaller ground ambulance organizations
have said they would have difficulty
complying with complex cost reporting
guidelines. We believe that requiring
ground ambulance organizations to
complete and submit an MCR for the
purpose of the data collection required
in section 1834(l)(17) of the Act would
be unnecessarily resource intensive and
burdensome.
We also considered using multiple
instruments or staged data collection as
recommended in the Moran Report,
where we would first collect
organizational characteristic data from
all ground ambulance organizations, use
that information for sampling purposes,
and then collect cost and revenue
information from a sample of ambulance
providers and suppliers. Using this
approach, we would need 100 percent
participation from all ground ambulance
organizations in reporting the
organizational characteristic data in
order for the data to be used for
sampling purposes. We are not
proposing this approach because we
believe multiple data collections would
increase respondent burden and may
not align with sections 1834(l)(17)(A)
and (B) of the Act which requires CMS
to collect data from a random sample
and prohibits data collection from the
same ground ambulance organizations
in 2 consecutive years to the extent
practicable. We will discuss this more
in the options we considered for
sampling section of this proposed rule.
Based on our analysis of the existing
or previously used data collection
instruments described above, we do not
believe that any of them would be
sufficient to adequately capture the data
required by section 1834(l) of the Act.
Therefore, we are proposing to collect
ground ambulance organization data
using a survey that we developed
specifically for this purpose, which we
will refer to from this point forward in
this proposed rule as the data collection
instrument, and which we would make
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available via a secure web-based system.
We believe that the data collection
instrument should be usable by all
ground ambulance organizations,
regardless of their size, scope of
operations and services offered, and
structure. The proposed data collection
instrument includes screening questions
and skip patterns that direct ground
ambulance organizations to only view
and respond to questions that apply to
their specific type of organization. We
also believe that the proposed data
collection instrument is easier to
navigate and less time consuming to
complete than a cost report spreadsheet.
The proposed secure web-based survey
would be available before the start of the
first data reporting period to allow time
for users to register, receive their secure
login information, and receive training
from CMS on how to use the system. We
are also proposing to codify these
policies at § 414.626.
b. Proposed Scope of Cost, Revenue, and
Utilization Data
Section 1834(l)(17)(A) of the Act
requires CMS to develop a data
collection system to collect data related
to cost, revenue, utilization, and other
information determined appropriate by
the Secretary for ground ambulance
organizations. Section 1834(1)(17)(A)(i)
of the Act further specifies that the
information collected through the
system should be sufficient to evaluate
the extent to which reported costs relate
to payment rates.
We considered several options
regarding the scope of collecting data on
ground ambulance cost, revenue, and
utilization. One option would be to
require ground ambulance organizations
to report on their: (1) Total costs related
to ground ambulance services; (2) total
revenue from ground ambulance
services; and (3) total ground ambulance
service utilization. This approach would
consider all ground ambulance costs,
revenue, and utilization, regardless of
whether the service was billable to
Medicare or related to a Medicare
beneficiary. The advantage of this
approach is that ground ambulance
organizations already track information
at their organizational level on total
costs, revenue, and utilization for their
own internal budgeting and planning.
This method was also used to calculate
an organization-level average cost per
transport in two previous studies
described below:
In a 2012 study entitled, ‘‘Ambulance
Providers: Costs and Medicare Margins
Varied Widely; Transports of
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Beneficiaries has Increased’’,91 the GAO
performed an analysis to assess how
Medicare payments, including the
temporary add-on payments, compared
to costs reported using a survey. The
GAO collected information via a survey
on organizations’ total costs, including
operating and capital costs, without
restriction to costs associated with
Medicare transports or costs incurred in
responding to calls for service from
Medicare beneficiaries. GAO then
divided reported total costs by the
reported number of transports
(regardless of whether Medicare paid for
the transport) to calculate an average
cost per transport for each organization,
and reported summary statistics across
these averages, including a median cost
per transport of $429. However, to
simplify data collection and analysis,
the analysis was limited to ambulance
suppliers that did not share operational
costs with a fire department, hospital, or
other entity. GAO stated that its
calculations assumed that this average
cost per transport was constant for all of
an organization’s transports regardless
of whether or not the patient
transported was a Medicare beneficiary.
This approach implicitly loads the costs
associated with activities that did not
result in a transport, such as responses
by a ground ambulance where the
patient could not be located, refused
transport, or was treated on the scene,
into the estimated cost per transport.
The second study, ‘‘Report to
Congress Evaluation of Hospitals’
Ambulance Data on Medicare Cost
Reports and Feasibility of Obtaining
Cost Data from All Ambulance
Providers and Suppliers,’’ 92 was
conducted by HHS as required under
the American Taxpayer Relief Act of
2012 (ATRA) (Pub. L. 112–240, enacted
January 2, 2013). This report used data
from Medicare cost reports as its data
source, rather than a survey, and
included only ambulance providers,
rather than ambulance providers and
suppliers. It described substantially
higher costs per transports for
ambulance providers compared to the
estimate from GAO, with a median of
approximately $1,750 per transport. It
did not compare reported total costs to
Medicare revenue tallied in claims data
with and without the temporary add-on
payments. Neither the GAO nor the
HHS report compared costs and AFS
payment rates for specific Healthcare
Common Procedure Coding System
91 This report is available at https://www.gao.gov/
assets/650/649018.pdf.
92 This report is available at https://www.cms.gov/
Medicare/Medicare-Fee-for-Service-Payment/
AmbulanceFeeSchedule/Downloads/Report-ToCongress-September-2015.pdf.
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(HCPCS) codes because the available
cost data in both studies did not support
that level of analysis.
Another option would be to consider
only those costs that are relevant to
ground ambulance services furnished to
Medicare beneficiaries. Collecting costs
associated with specific services (such
as Medicare transports) and excluding
other services (such as Medicaid
transports or responses that did not
result in transport) would require either
a much more intensive and costly data
collection approach (such as time and
motion studies) or assumptions on
which portions of total costs were
related to the specific activity. We
believe this approach would be overly
burdensome and complex for ground
ambulance organizations, especially
those who provide other services in
addition to ground ambulance services.
A third option would be to consider
only those costs that are related to the
specific ground ambulance transport
services that are paid under the AFS.
This would require ground ambulance
organizations to report costs, revenue,
and utilization related to specific levels
of services reported with HCPCS codes,
but not costs, revenue, and utilization
for other services such as responses that
did not result in a transport (which is
not covered under the AFS). We believe
this option would also be overly
burdensome and complex.
In discussions with ambulance
providers and suppliers, we were
informed that ground ambulance
organizations most often track
organization-level total costs, revenue,
and utilization across all activities and
services furnished to all patients, and
that most would find it difficult to
report costs, revenue, and utilization
associated with services furnished
exclusively to Medicare beneficiaries or
associated with Medicare services
covered under the AFS.
Therefore, we propose the first option
as discussed above, which would
require ground ambulance organizations
to report on their: (1) Total costs related
to ground ambulance services; (2) total
revenue from ground ambulance
services; and (3) total ground ambulance
service utilization. This approach would
consider all ground ambulance costs,
revenue, and utilization, regardless of
whether the service was billable to
Medicare or related to a Medicare
beneficiary to collect total cost, total
revenue, and total utilization data.
Although we are proposing to collect
a ground ambulance organization’s total
costs and total revenues, we are aware
that many ground ambulance
organizations share operational costs
with fire departments, other public
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service organizations, air ambulance
services, hospitals, and other entities.
For these organizations, only a portion
of certain capital and operational costs
contribute to total ground ambulance
costs, and only a portion of revenue is
from ground ambulance services. We are
also aware that some ground ambulance
suppliers deploy emergency medical
technicians (EMTs) in fire trucks, which
would make it difficult to determine
whether the fire truck costs should be
factored into the total ground
ambulance costs, and if so, how that
would be calculated.
One option to address these
challenges is to limit data collection to
ground ambulance organizations that do
not share operational costs with fire
departments, hospitals, or other entities,
as GAO did for their 2012 report.
However, we do not believe this
approach meets the requirement in
section 1834(l)(17)(B)(ii) of the Act for a
representative sample because many
ambulance suppliers and all ambulance
providers share operational costs with
fire, police, health care delivery or other
activities. We also considered including
providers’ and suppliers’ total costs and
revenues across all activities. While this
would simplify cost and revenue data
reporting, the resulting data would not
be limited to ground ambulance
activities, and therefore, would result in
biased estimates of ground ambulance
costs or require significant assumptions
to estimate ground ambulance costs
alone.
To more accurately define total costs
and total revenues related to ground
ambulance services for those ground
ambulance organizations that provide
other services in addition to ground
ambulance services, we are proposing
an approach where the data collection
instrument instructions would
separately address three further refined
proposed categories of total ground
ambulance costs and revenues:
• Cost and revenue components
completely unrelated to ground
ambulance services. These costs and
revenues would be unrelated to this
data collection and not reported.
Examples include administrative staff
without ground ambulance
responsibilities, health care delivery
outside of ground ambulance,
community paramedicine, community
education and outreach, and fire and
police public safety response.
• Cost and revenue components
partially related to ground ambulance
services. These costs and revenue would
be reported in full, but respondents
would report additional information
that can be used to allocate a portion of
the costs to ground ambulance services.
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Depending on how the data would be
utilized, certain costs could be included
or excluded from an analysis after data
are collected. Examples include EMTs
who are also firefighters and facilities
with both ground ambulance and fire
department functions. (We considered
an alternative where respondents would
allocate costs and report only costs
associated with ground ambulance
services but believe that would pose an
additional burden on the respondent to
calculate allocated amounts, and would
result in an allocation process that is
less transparent and standardized).
• Cost and revenue components
entirely related to ground ambulance
services. These costs are reported in full.
Examples include EMTs with only
ground ambulance responsibilities and
ground ambulance vehicles.
We believe that this approach would
enable us to collect the data necessary
to evaluate the adequacy of payments
for ground ambulance services, the
utilization of capital equipment and
ambulance capacity, and the geographic
variation in the cost of furnishing such
services. The data could be analyzed in
the same manner as the data in the GAO
report, for example, calculating an
average per-transport cost for each
organization and calculating Medicare
margins with and without add-on
payments, or could provide the basis for
other analyses to link reported costs to
AFS rates. For example, an analysis
could use reported total costs and
information on the volume of transports
by levels of services to estimate a cost
for each HCPCS code reported for the
AFS, or regression-based approaches to
estimate the marginal cost of furnishing
each HCPCS code on the AFS. We
believe that under our proposed
approach, the collected data would be
available to estimate total costs and
revenue relevant to ground ambulance
services.
c. Proposed Data Collection Elements
The draft data collection instrument is
available on the CMS website at https://
www.cms.gov/Center/Provider-Type/
Ambulances-Services-Center.html. An
overview of the elements of the data
collection instrument we are proposing
is in Table 29, including information on
costs, revenues, utilization (which we
define for the purposes of the
instrument as service volume and
service mix), as well as the
characteristics of ground ambulance
organizations.
To help structure the data collection
instrument, we organized costs by
category (for example, labor, vehicles,
and facilities), which is the approach
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used in the GEMT and the AAA/Moran
survey.
TABLE 29—PROPOSED COMPONENTS FOR THE DATA COLLECTION INSTRUMENT
Component
(data collection instrument section)
Broad description
Ground ambulance organization characteristics
(2–4).
Information regarding the identity of the organization and respondent(s), service area, ownership, response time, and other characteristics; broad questions about offered services to
serve as screening questions.
Number of responses and transports, level of services reported by HCPCS code.
Utilization: Ground ambulance service volume
and service mix (5 and 6).
Costs (7–12) .......................................................
• Staffing and Labor Costs (7) ...................
• Facilities Costs (8) ...................................
• Vehicle Costs (9) .....................................
• Equipment & Supply Costs (10) ..............
• Other Costs (11) ......................................
• Total Cost (12) .........................................
Revenue (13) ......................................................
The following sections describe our
proposed approach for data collection in
each of these categories.
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(1) Collecting Data on Ground
Ambulance Provider and Supplier
Characteristics
CMS is required to collect information
regarding the geographic location of
ground ambulance organizations to meet
the requirement at section
1834(l)(17)(A)(iii) of the Act that the
collected data include information on
services furnished in different
geographic locations, including rural
areas and low population density areas.
We also recognize that there are
differences between and among ground
ambulance organizations on several key
characteristics, including geographic
location; ownership (for-profit or nonprofit, government or non-government,
etc.); service volume, organization type
(including whether costs are shared
with fire or police response or health
care delivery operations); EMS
responsibilities; and staffing models.
Research conducted for this proposal
indicates that:
• There are differences in costs per
transport by ground ambulance
organizations with a different
ownership status;
• EMS level of service and staffing
models often have an important impact
on costs, with higher EMS levels of
service (for example, quicker response
times) and static staffing models (that is,
mainatining a constant response
capability 24 hours a day, 7 days a
week, 365 days a year) involving higher
fixed costs; and
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Information on all costs partially or entirely related to ground ambulance services.
Number and costs associated with EMTs administrative staff, and facilities staff; separate reporting of volunteer staff and associated costs.
Number of facilities; rent and mortgage payments, insurance, maintenance, and utility costs.
Number of ground ambulances; number of other vehicles used in ground ambulance responses; annual depreciation; total fuel, maintenance, and insurance costs.
Capital medical and non-medical equipment; medical and non-medical supplies and other
equipment.
All other costs not reported elsewhere.
Total costs for the ground ambulance organization included as a way to cross-check costs reported in the instrument.
Revenue from health insurers (including Medicare); revenue from all other sources including
communities served.
• Utilization varies significantly
across ambulance providers and
suppliers of different characteristics.
Due to this variation in characteristics
and the effect it has on costs and
revenues, we believe it is important for
ground ambulance organizations to
report additional characterictics, as
described below, to adequately analyze
the differences in costs and revenue
among different types of ambulance
providers and suppliers. We also believe
collecting this information directly
through the proposed data collection
instrument will improve data quality
with minimal burden on the
respondents because the proposed data
collection instrument is designed to
tailor later sections and questions based
on respondents’ characteristics through
programmed ‘‘skip patterns’’. We
considered relying exclusively on the
Medicare enrollment form CMS 855A
for ground ambulance providers or CMS
855B for ground ambulance suppliers to
capture this information, but believe
that data accuracy would be more robust
if reported directly by respondents for
the specific purpose of this data
collection.
The proposed data collection
questions related to organizational
characteristics and service area are in
sections 2, 3, and 4 of the data
collection instrument. We are proposing
to collect information on ownership and
organization type through a sequence of
questions in section 2 of the data
collection instrument. Some of the
questions in this section are adapted in
part from prior surveys (such as the
GAO and Moran surveys) with changes
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as necessary to fit scenarios reported
during interviews with ground
ambulance organizations. The first
question related to organizational
characteristics, question 6, asks about
the organizations’ ownership status.
This item aligns closely with a similar
question on the Medicare enrollment
form CMS 855B for ambulance
suppliers. Question 7 asks whether the
respondent’s organization uses any
volunteer labor. While this question
could have been asked later in the data
collection instrument around the
collection of labor data, we opted to
include it here because many ground
ambulance organizations informed CMS
that they view the use of volunteer labor
as a defining organizational
characteristic, on par with ownership
status, and that a volunteer labor
question was expected by respondents
at this early point in the data collection
instrument. Question 8 asks
respondents to select a category that
best describes their ambulance
organization. The response options for
this item are mutually exclusive and
align with the ambulance provider and
supplier taxonomy described in the
CAMH report. The next two questions,
9 and 10, more directly ask whether the
respondent has shared operational costs
with an entity of another type, including
a fire department, hospital, or other
entity. We are proposing these questions
in addition to the organization type
question to account for situations where
a respondent might primarily identify as
an organization of one type (with
implications for shared operational
costs) but then might have shared
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operational costs with another entity
type. Responses to questions 9 and 10
play an important role in skip logic later
in the data collection instrument
regarding questions and response
options relevant only to ground
ambulance organizations with shared
operational costs with an entity of
another type.
Other proposed questions regarding
organizational characteristics are
necessary to tailor later parts of the data
collection instrument to the respondent.
These include proposed questions in
section 2 of the data collection
instrument on whether the respondent’s
ambulance organization:
• Is part of a broader corporation or
other entity billing under multiple
National Provider Identifiers (NPIs)
(question 2).
• Routinely responds to emergency
calls for service (question 11).
• Operates land, water, and air
ambulances (questions 12–14).
• Has a staffing model that is static
(that is, consistent staffing over the
course of a day/week) or dynamic (that
is, staffing varies over the course of a
day/week) or combined deployment
(certain times of the day have a fixed
number of units, and other times are
dynamic depending on need) (question
15).
• Provides continuous (also known as
‘‘24/7/365’’) emergency services)
(question 16).
• Provides paramedic or other
emergency response staff to meet
ambulances from other organizations in
the course of a response (questions 17
and 18).
In our interviews with ambulance
providers and suppliers, some
participants indicated that their staffing
model is an organizational characteristic
that would likely be associated with
costs per transport. Organizations that
need to maintain fixed staffing levels
over time (for example, to maintain an
emergency response capability to serve
a community) would likely have higher
costs than those that do not.
Section 1834(l)(17)(A)(iii) of the Act
requires collecting data from ambulance
providers and suppliers in different
geographic locations, including rural
areas and low population density areas.
The area served by ambulance providers
and suppliers is an important
characteristic and we are proposing to
collect information on the geographic
area served by each ambulance provider
and supplier in section 3 of the data
collection instrument.
Many ground ambulance
organizations have a primary service
area in which they are responsible for a
certain type of service (for example,
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ALS–1 emergency response within the
borders of a county, town, or other
municipality) and may have secondary
services areas for a variety reasons, such
as providing mutual or auto aid, or
providing a different service in a
secondary area (for example, nonemergency transports state-wide). We
considered several alternatives to collect
information on service area. One option
would be to utilize Medicare claims
data, but this would limit the
information to Medicare billed
transports only and would also not
differentiate between primary and other
service areas. Another option would be
to allow respondents to write in a
description of their primary and other
service areas, but this would require
converting written responses to a format
that can be used for analysis. A third
option would be for respondents to
report the ZIP codes that constitute their
primary and other service area. This
approach aligns with the Medicare
enrollment process requirement to
submit ZIP codes where the ground
ambulance organization operates. It
would also collect ZIP code-based
information on service area that can be
easily linked to the ZIP Code to Carrier
Locality file 93 that lists each ZIP code
and its designation as urban; rural; or
super-rural. This file is used by the
MACs to determine if the temporary
add-on payments should apply to a
transport under the AFS. The main
limitation of this approach is that ZIP
codes would not always align to service
areas, because ZIP codes routinely cross
town, county, and other boundaries that
are likely relevant for defining ground
ambulance organizations’ service areas.
We are proposing to require ground
ambulance organizations that are
selected during sampling to identify
their primary service area by either: (1)
Providing a list of ZIP codes that
constitute their primary service area; or
(2) selecting a primary service area
using pre-populated drop-down menus
at the county and municipality level in
question 1, section 3 of the data
collection instrument. We are also
proposing to require respondents to
specify whether they have a
‘‘secondary’’ service area, which are
areas where services are regularly
provided under mutual aid, auto-aid, or
other agreements in section 3, question
4 of the data collection instrument and
if so, to identify the secondary service
area using ZIP codes or other regions as
described above for the primary service
area (section 3, question 5). Mutual aid
93 Available at https://www.cms.gov/Medicare/
Medicare-Fee-for-Service-Payment/Ambulance
FeeSchedule/.
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agreements are joint agreements with
neighboring areas in which they can ask
each other for assistance. Auto-aid
arrangements allow a central dispatch to
send the closest ambulance to the scene.
We are not proposing to collect
information on areas served only in
exceptional circumstances, such as
areas rarely served under mutual or
auto-aid agreements or deployments in
response to natural disasters or mass
casualty events because we believe
reporting on rarely-served areas would
involve significant additional burden
and would add to instrument
complexity without generating data that
would be useful for analysis.
The proposed approach distinguishes
between primary and secondary service
areas. This would allow subsequent
questions on the balance of transports in
a respondent’s primary versus
secondary service area and whether
average trip time and response times are
substantively longer in the secondary
versus primary service area. We believe
this approach results in data that can be
easily analyzed and eliminates the need
to ask certain other questions (such as
the population and square mileage of
the respondent’s service area) because
this information can be inferred using
the reported geographic service area
boundaries.
We are proposing to ask the following
questions in sections 3 and 4 of the of
the data collection instrument, service
area and subsequent emergency
response time, because the responses to
these questions are closely related to the
area served by the organization:
• Whether the respondent is the
primary emergency ambulance
organization for at least one type of
service in their primary service area
(section 3, question 2).
• Average trip time in primary and
secondary service areas (section 3,
questions 3 and 6).
• Average response time (for
organizations responding to emergency
calls for service) for primary and
secondary service areas (section 4,
questions 1–2).
• Whether the organization is
required or incentivized to meet
response time targets by contract or
other arrangement (for organizations
responding to emergency calls for
service) (section 4, question 3).
Average trip and response time are
necessary to understand how geographic
distance between the ground ambulance
organization’s facilities and patients
affects costs. In interviews, ground
ambulance organizations recommended
the collection of average trip time in
addition to mileage because some rural
and remote areas may have relatively
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long average trip times even though
mileage may be more modest due to
terrain, the quality of roads, and other
factors. We believe that collecting
information on average response time
would allow the analysis of whether
communities with different response
time expectations and targets have
systematically different costs.
(2) Collecting Data on Ground
Ambulance Utilization
CMS is required to collect information
on the utilization of ground ambulance
services. While we could collect
information on the volume of ground
ambulance services that can be billed to
Medicare, this approach would not
provide information needed to
determine total utilization of ground
ambulance organizations. Another
option would be to utilize Medicare
claims data for estimates of ground
ambulance transport volume and
separately collect information on
services not payable by Medicare (such
as responses that did not result in a
transport). This approach would also
not provide complete information on
total transport volume, since other
services, such as responses that do not
result in a transport, would not be
included.
Based on information provided during
interviews with ground ambulance
organizations, we identified several
distinct utilization categories, such as
total responses and ground ambulance
responses. This is particularly important
for fire-based and police-based
organizations that may have a
significant volume of fire and police
responses that do not involve a ground
ambulance. The number of responses
that did not result in a transport can be
separately tallied. Other important
utilization categories are ground
ambulance transports (that is, responses
during which a patient is loaded in a
ground ambulance), which can be
measured in terms of total transports
(that is, all ground ambulance transports
regardless of payor) or paid transports
(that is, transports for which the
ambulance provider or supplier was
paid in part or in full). Another
utilization category would include
information on ambulance providers
and suppliers that furnish paramedic
intercept services or provide paramediclevel staff in the course of a BLS
response where another organization
provides the ground ambulance
transport.
We believe it is important to collect
utilization data related to all services,
not just transports, because other
services that contribute to the total
volume of responses have direct
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implications for costs. Collecting
utilization information related to
transports but not other services could
omit important cost information. Some
utilization measures, such as the ratio of
ground ambulance to total responses,
may be one basis for allocating certain
costs reported elsewhere in the data
collection instrument. Another example
would be the difference between total
and paid transport, as this would
provide information on services that
were provided to patients but for which
no payment is received.
To best capture the full range of
utilization data, we are proposing a twopronged approach to collect data on the
volume and the mix of services. First,
we are proposing to collect total volume
of services for each of the categories
listed below in section 5 of the proposed
data collection instrument:
• Total responses, including those
where a ground ambulance was not
deployed (question 1).
• Ground ambulance responses, that
is, responses where a ground ambulance
was deployed (question 2).
• Ground ambulance responses that
did not result in a transport (question 4).
• Ground ambulance transports
(question 5).
• Paid ground ambulance transports,
that is, ground ambulance transports
where the ambulance provider or
supplier was paid for a billed amount in
part or in full (question 6).
• Standby events (question 7).
• Paramedic intercept services as
defined by Medicare (question 8).
• Other situations where paramedic
staff contributes to a response where
another organization provides the
ground ambulance transport (question
9).
The CAMH report describes several
cases where an ambulance provider or
suppliers’ mix of services within one of
the utilization categories described
above could affect costs or revenue.
Most importantly, within billed
transports, variation in the mix of
specific ground ambulance services (for
example, ALS versus BLS services) will
affect both costs (because ALS
transports require more and more costly
inputs) and revenue (because ALS
services are generally paid at a higher
rate). Ground ambulance organizations
with a higher share of responses that are
emergency responses may also face
higher fixed costs, and that the costs for
organizations furnishing larger shares of
water ambulance transports are likely
different than costs from organizations
that do not furnish water ambulance
transports. There is a subset of ground
ambulance organizations that specialize
in non-emergency transports or inter-
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facility transports, which suggests that
this business model may result in
different per-transport costs compared
to EMS-focused ambulance providers
and suppliers.
Second, to account for this significant
variation, we are proposing to collect
the following information related to
service mix:
• The share of responses that were
emergency versus non-emergency
(section 6 question 1).
• The share of transports that were
land versus water (asked only of
organizations reporting that they operate
water ambulances; section 6 question 2).
• The share of transports by service
level (section 6 question 3).
• The share of transports that were
inter-facility transports (section 6
question 4).
We are not proposing that
respondents report on their mix of
services in primary and secondary
service areas (as defined above)
separately because this would double
the length of this section of the data
collection instrument and require
complex calculations or use of
assumptions by respondents that do not
separately track services by area.
Instead, we are proposing that
respondents report the share of total
ground ambulance responses that were
in a secondary rather than primary
service area in a single item (section 5
question 3). We also are not proposing
to collect detailed information regarding
the mix of services for total transports
(versus paid transports) and paid
transports (versus total transports)
because collecting information on the
mix of services for total and paid
transports separately would double the
reporting burden in this section and
because we believe, based on
discussions with stakeholders, that it is
reasonable to assume that the
distribution of transports across
categories would be the same.
(3) Collecting Data on Costs
Section 1834(l)(17)(A) of the Act
requires CMS to collect cost information
from ground ambulance organizations,
and we previously discussed our
proposal to collect data on a ground
ambulance organization’s total costs.
This part of the proposed rule describes
the data in each cost category that we
are proposing to collect, as well as
alternatives that we considered.
The costs reported separately in the
categories of costs we are proposing to
collect would sum to an organization’s
total ground ambulance costs. In
addition to ground ambulance costs, we
are proposing to ask all respondents in
the proposed data collection instrument
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to report their total annual costs (that is,
operating and capital expenses),
inclusive of costs unrelated to ground
ambulance services, in a single survey
item (section 12, question 1). For ground
ambulance organizations that do not
have costs from other activities (such as
from operating a fire or police
department), the reported total costs are
a way to cross-check costs reported in
individual cost categories throughout
the instrument, and we can compare the
reported total to the sum of costs across
categories. Such a cross-check may also
be appropriate for ground ambulance
organizations with costs from other
activities, as the sum of costs across
ground ambulance cost categories
should always be less than the ground
ambulance organization’s reported total
costs. We believe that this cross-check
will improve data quality and is
consistent with existing survey-based
data collection tools. This approach will
also provide a better understanding of
the overall size and scope of ground
ambulance organizations, including
activities other than providing ground
ambulance services. Relatively larger
organizations may have lower ground
ambulance costs due to due to
economies of scale and scope.
To avoid reporting the same costs
multiple times, there are instructions
and reminders throughout the proposed
data collection instrument to avoid
double-counting of costs. From a design
perspective, we believe it is less
important where a particular cost is
reported on the survey data collection
instrument and more important that the
cost is reported only once.
We are making two proposals that
have important implications for
reporting in all cost sections in the
proposed data collection instrument.
First, in the case where a sampled
organization is part of a broader
organization (such as when a single
parent company operates different
ground ambulance suppliers), we
propose to ask the respondents to report
an allocated portion of the relevant
ground ambulance labor, facilities,
vehicle, supply/equipment, and other
costs from the broader parent
organization level in separate questions
in several places in the cost sections of
the data collection instrument (section
7.2 question 3, section 8.2 question 2,
section 8.3 question 2, section 9.2
question 5, section 9.3 question 6,
section 10.2 question 4, and section 11
questions 2 and 5). This scenario is
discussed in more detail in the sampling
section below. In exploratory analyses,
we found that a small share of NPIs
were part of broader parent
organizations. Due to the rarity of this
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scenario and the complexity of
calculations required, we are proposing
to allow the respondent to report an
allocated amount directly for these
questions using an allocation approach
they regularly use for this purpose. We
believe that while proposing a specific
allocation approach would yield more
uniform and transparent data, we
believe that these benefits are not worth
the additional respondent burden.
Second, we are proposing to include
a general instruction stating that in
cases where costs are paid by another
entity with which the respondent has an
ongoing business relationship, the
respondent must collect and report
these costs to ensure that the data
reported reflects all costs relevant to
ground ambulance services. Examples
include when a municipality pays rent,
utilities, or benefits directly for a
government or non-profit ambulance
organization, or when hospitals provide
supplies and/or medications to ground
ambulance operations at no cost. During
interviews with ground ambulance
organizations, we were told that there
are many nuanced arrangements that fit
this broad scenario. Although we
recognize this would be an additional
step for some ground ambulance
organizations, we are concerned that the
lack of reported cost data in one of these
major categories could significantly
affect calculated total cost.
Because some ambulances, other
vehicles, and buildings are donated to
ground ambulance organizations, we
considered asking respondents to report
fair market values for these vehicles and
buildings. However, we are aware that
while the lack of reported cost data in
one of these major categories could
affect calculated total cost, it is not
always clear what cost is appropriate to
report. To avoid the subjectivity and
burden involved in asking respondents
to report fair market value, we propose
instead that respondents report which
ambulances, other vehicles, and
buildings have been donated, but not an
estimate of the fair market value of those
donations. We believe fair market values
could be imputed using publicly
available sources of data to facilitate
comparison of data between
organizations that have donations and
those that do not. For the same reasons,
we are also proposing not to collect an
estimate of fair market value for donated
equipment, supplies, and costs collected
in the ‘‘other costs’’ section of the
instrument. As noted above, for those
organizations with costs that were paid
by another entity with which the
respondent has an ongoing business
relationship, such as a ground
ambulance organization that is part of or
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owned by a government entity,
respondents would obtain the cost
information directly from that entity
since we would not consider these to be
donated items.
The following sections describe each
cost category, alternative for data
collection, and our proposals related to
each category of costs separately.
(i.) Collecting Data on Staffing and
Labor Costs
In interviews with ambulance
providers and suppliers, they stated that
labor is one the largest contributors to
total ground ambulance costs (especially
medical staff such as EMTs, paramedics,
and medical directors) and that they use
a broad mix of labor types and hiring
arrangements. There is also significant
variation in tracking staffing and labor
cost inputs that are needed to calculate
costs. We were also informed by
ambulance providers and suppliers that
data on the number of ground
ambulance staff and associated labor
costs were often available at one of three
levels: The individual employee level;
aggregated by category such as EMTBasic or Medical Director; or aggregated
across all staff. Additionally, we were
told by ambulance providers and
suppliers that ground ambulance
organizations typically face challenges
in tracking ground ambulance staff and
costs by category when staff had
multiple ground ambulance
responsibilities (for example, EMTs
with supervisory responsibilities, EMTs
who are also firefighters, etc.).
We agree that labor costs are an
important component of total costs and
believe that it is necessary to collect
information on both staffing levels, that
is, the quantity of labor used, and the
labor costs resulting from these labor
inputs. Without information on staffing
levels, we would not be able to gauge
whether differences in labor costs are
due to compensation or different levels
of staffing. Collecting information on
staffing levels also allows the use of
imputed labor rates from other sources
(such as the Bureau of Labor Statistics).
We also acknowledge the practical need
to balance the burden involved in
reporting extremely detailed staffing
and labor costs information against the
usefulness of detailed data for
explaining variation in ground
ambulance costs. Therefore, we are
proposing to collect information in the
proposed data collection instrument on
the number of staff and labor costs for
several detailed categories of response
staff (for example, EMT-basic, EMTintermediate, and EMT-paramedic)
(section 7.1), and for a single category
for paid administrative and facilities
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staff (for example, executives, billing
staff, and maintenance staff) (section
7.2), and (c) separately for medical
directors (section 7.2). We believe this
approach involves less respondent
burden compared to reporting on each
individual staff member. If more
detailed categories were used for
reporting staffing levels and costs, we
believe the burden involved in assigning
paid administrative and facilities staff
with multiple roles to individual
categories or apportioning their labor
and costs to separate categories would
increase.
The main limitation of the proposed
approach is that we would not collect
detailed information on specific paid
administration and facilities labor
categories. Therefore, we are also
proposing to collect some information
that would help explain variation in
labor costs by asking whether the
ground ambulance organization has
some staff in more specific paid
administration and facilities categories
such as billing, dispatch, and
maintenance staff (section 7, question
1). This question also serves as a
screening question to determine which
response options appear to the
respondent in several other questions in
this section of the proposed data
collection instrument. We also propose
to ask for information on why
individual labor categories are not used
(section 7, question 1) and if there is at
least one individual with 20 hours a
week or more of effort devoted to
specific activities such as training and
quality assurance (section 7.2, question
2).
over the entire reporting year allows for
more accurate reporting of staff working
part-time and may involve less burden
for respondents that already tally annual
labor hours (for example, via payroll
records), but would likely be difficult
for those who do not already track labor
hours in this manner. As a fourth
approach, we considered asking
respondents to report ground ambulance
staffing levels in terms of hours worked
during a typical week. Reporting staffing
levels in terms of hours worked either
over a reporting year or during a typical
week allows detailed accounting of parttime staff and staff with ground
ambulance and other responsibilities
and involves fewer calculations and
adjustments than reporting FTEs.
Reporting in terms of hours over a
typical week has the additional
advantage of simplifying reporting for
staff that start or stop work during the
12-month reporting period. The main
limitation of reporting staffing levels in
terms of hours over a typical week is
that the week that the respondent
selects for reporting may not be
generalizable to other weeks in the
reporting period.
In the interest of minimizing reporting
burden, we are proposing to collect
information on the number of staff in
terms of hours worked over a typical
week (sections 7.1 and 7.2). The
instructions in the proposed data
collection instrument ask respondents
to ‘‘select a week for reporting that is
typical, in terms of seasonality, in the
volume of services that you offer (if any)
and staffing levels during the reporting
year.’’
Reporting Staffing Levels
In reporting staffing levels in the
proposed data collection instrument, we
considered several approaches. One
approach we considered was asking the
respondent to report only the number of
staff (that is, counts of people). Under
this approach, a part-time employee
would count as ‘‘1’’ to the number of
staff even if they worked a small
number of hours per week. We believe
this approach would result in less
accurate reporting of labor inputs,
especially from organizations relying
heavily on part-time staff or staff with
responsibilities unrelated to ground
ambulance services. We also considered
allowing respondents to report fulltime-equivalent (FTE) staff on a 40-hour
per week basis, but ground ambulance
organizations informed us that reporting
FTEs would be burdensome. As a third
approach, we considered asking
respondents to report ground ambulance
staffing levels in terms of hours over a
reporting year. Reporting labor hours
Scope of Reported Labor Costs
For the purposes of collecting
information on labor costs, we are
proposing to define labor costs to
include compensation, benefits (for
example, healthcare, paid time off,
retirement contributions, etc.), stipends,
overtime pay, and all other
compensation to staff. We refer to these
costs as fully-burdened costs. Some
ambulance providers and suppliers
track compensation but not benefits
because another entity, such as a
municipality, pays for benefits, and that
the ability of these ambulance providers
and suppliers to report fully burdened
costs may be limited. Despite this
limitation, due to the importance of
labor costs as a component of total
ground ambulance costs, we believe that
information on fully burdened costs
(sections 7.1 and 7.2) must be reported
so that all relevant ground ambulance
transport costs are collected. Ambulance
providers and suppliers selected to
report data may need to implement new
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tracking systems or request information
from other entities (such as
municipalities) to be able to report fullyburdened labor costs.
Volunteer Labor
Ground ambulance organizations have
also informed CMS that a significant
share of ambulance providers and
suppliers rely in part or entirely on
volunteer labor and that the systems and
data available to track the number of
volunteers and the time that they devote
to ground ambulance services varies.
We are proposing to collect information
on the total number of volunteers and
the total volunteer hours in a typical
week using the same EMT/response staff
and administrative and facilities staff
categories used elsewhere in the
proposed data collection instrument
(section 7.3, questions 1–5). Although
some suggested that assigning a value to
volunteer labor hours may be important,
the proposed data collection instrument
collects information only on the amount
of volunteer labor (measured in hours in
a typical week) and not a market value
for that labor. We believe reported hours
can be converted, if necessary, to market
rates using data from other sources. We
are also proposing to collect the total
realized costs associated with volunteer
labor such as stipends, honorariums,
and other benefits to ensure all costs
associated with ground ambulance
transport are collected (section 7.3,
question 6).
Allocation and Reporting Staff With
Other Non-Ground Ambulance
Responsibilities
Since firefighter/EMTs are common in
many ambulance suppliers, we are
proposing to ask respondents that share
costs with a fire or police department to
report total hours in a typical week for
paid EMT/response staff with fire/police
duties only (section 7.1). We believe this
information can be used to subtract a
portion of associated labor costs when
calculating ground ambulance labor
costs. We believe our proposed
approach is more consistent and
involves less burden than asking
respondents to perform their own
allocation calculations necessary to
report only the hours or full-time
equivalents related to ground
ambulance services.
As already noted, many ground
ambulance organizations have staff with
responsibilities beyond ground
ambulance and fire/police response. To
account for these scenarios, we are
proposing to ask respondents to report
the total hours in a typical week
unrelated to ground ambulance or fire/
police response duties (which are
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addressed separately as described in
section 7.1), as the costs associated with
this labor can be subtracted by those
analyzing the data when calculating
ground ambulance labor costs. We
believe this proposed approach provides
both transparency and consistency in
the data with minimal burden, and may
avoid scenarios where all of the costs
associated with staff with limited
ground ambulance responsibilities
contribute to total ground ambulance
costs.
(ii.) Collecting Data on Facility Costs
Facility costs may include rent,
mortgage payments, depreciation,
property taxes, utilities, insurance, and
maintenance, and the associated costs
vary widely across ambulance providers
and suppliers. Some ground ambulance
organizations own facilities while for
others, rent, mortgage, or leasing is an
important component of total
operational costs. Some ground
ambulance organizations share facilities
with other operations (such as fire and
rescue services), and individual ground
ambulance organizations often operate
out of several facilities of different
types, sizes, and share of space related
to ground ambulance operations.
We considered proposing to require
respondents to report facilities costs
aggregated across all facilities. We
believe this approach would minimize
burden on the respondent by
eliminating the need to break costs
down by facility; however, it may also
increase the risk for inconsistencies in
how respondents report total facilities
costs. Under this approach, respondents
whose ground ambulance organizations
share operational costs with a fire
department or other entity would need
to calculate and report an estimate of
facilities costs that was relevant only to
ground ambulance services.
We also considered proposing to
require respondents to report all costs
on a per-facility basis. We believe this
approach would allow the most
flexibility in reporting complex facility
arrangements from ground ambulance
organizations operating out of multiple
facilities. However, this approach may
also involve more burden, particularly
for larger organizations, to report costs
on a facility-by-facility basis, and many
organizations do not track costs such as
maintenance or utilities on a per-facility
basis.
We are proposing a hybrid approach
involving both per-facility and aggregate
reporting of different information. First,
respondents report the total number of
facilities (section 8., questions 1–2) and
then indicate for each facility whether
they paid rent, mortgage, or neither
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during the reporting period, total square
footage, and share of square footage
related to ground ambulance services
(section 8.1, question 3). Second,
respondents report their per-facility
rent, mortgage, or annual depreciation
(section 8.2). Third, respondents report
facilities-related insurance,
maintenance, utilities, and property
taxes aggregated across all facilities
(section 8.3).
We believe this proposed approach
allows for the collection of the
information needed to calculate a total
facilities cost related to ground
ambulance services while avoiding a
burden on respondents to calculate
allocated facility costs. Total insurance,
maintenance, utility, and property tax
costs can be allocated using reported
square footage and shares of square
footage related to ground ambulance
services. The proposed approach
requires respondents to provide both the
square footage of each facility, and the
share of square footage for the facility
that is related to ground ambulance
operations. We expect that some ground
ambulance organizations would have
this information available and others
would need to collect this square
footage information to report along with
facilities costs, but do not believe this
information would be difficult to
collect.
(iii.) Collecting Data on Vehicle Costs
Section 1834(l)(17)(A)(ii) of the Act
requires CMS to collect information on
‘‘the utilization of capital equipment
and ambulance capacity.’’ We are
proposing to collect information on the
number of ground ambulances and other
vehicles related to providing ground
ambulance services, as well as the costs
associated with these vehicles to meet
these requirements.
Ambulance providers and suppliers
operate ground ambulances, as well as
other vehicles to support their ground
ambulance operation, and some may
have a variety of other vehicles that are
associated with ground ambulance
responses. For example, a fire truck
staffed with fire personnel cross-trained
as EMTs may respond with a ground
ambulance to an emergency call. Other
vehicles might be used in responses and
may be referred to as a non-transporting
EMS vehicle, a quick response vehicle,
a fly-car, or an SUV that carries a
paramedic to meet a BLS ambulance
from another organization during the
course of a response.
We considered two alternatives for
collecting vehicle costs. One alternative
would be to only include the costs for
ambulances and exclude other certain
non-ambulance response vehicles from
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reported costs. We believe that
excluding other certain non-ambulance
response vehicles from reported costs
could potentially result in
underreporting of total ground
ambulance costs, particularly among
those providers or suppliers that rely
heavily on these vehicles to support
their ground ambulance services.
Another alternative would be to include
the costs of all vehicles that are used as
part of ambulance services, such as
quick response vehicles that are used to
supplement ambulances.
For all vehicles, vehicle costs can be
reported either in aggregate or on a pervehicle basis. We believe that while
reporting vehicle costs in aggregate may
involve less burden for some
respondents, those respondents that do
not track aggregated costs would still
require a tool to enter information on
per-vehicle basis. Furthermore, we
believe that aggregated costs for vehicles
other than ground ambulances offer
analysts with fewer alternatives to
allocate a share of vehicle costs to
ground ambulance services.
We are proposing to collect data on
vehicle costs in the proposed data
collection instrument in two parts:
Ground ambulance vehicles (section
9.1); and all other vehicles related to
ground ambulance operations (section
9.2). For ground ambulance vehicles, we
are proposing to collect information on
the number of vehicles, total miles
traveled, and per-vehicle information on
annual depreciated value (and
remounting costs if applicable) for
owned vehicles, and annual lease
payments for rented vehicles (section
9.1, questions 1–4). We considered
proposing to collect the necessary
information to calculate annual
depreciated value using a standardized
approach. However, we are proposing to
allow respondents with owned vehicles
to use their own accounting approach to
calculate annual depreciated value per
vehicle. We believe that allowing
flexibility for respondents to use their
standard approach for this calculation
would result in more accurate data and
less reporting burden.
We are also proposing to use a similar
approach to collect per-vehicle
information for owned and leased
vehicles of any other type that
contribute to ground ambulance
operations, including fire trucks, quick
response vehicles, all-terrain vehicles,
etc. (section 9.2, questions 1–5). The
proposed instructions in section 9.2 of
the data collection instrument specify
that reported vehicles must support
ground ambulance services. We are
proposing to collect the type of each
vehicle in broad categories in addition
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to the annual depreciated value or lease
payment amount for each vehicle.
In addition to the above costs, we also
are proposing to collect aggregate costs
associated with licensing, registration,
maintenance, fuel, insurance costs for
all vehicles combined (ambulance and
non-ambulance) (section 9.3, questions
1–5). We believe that these costs are
often aggregated within providers’ and
suppliers’ records and that reporting in
aggregate form may reduce respondent
burden with minimum risk for reporting
error.
When estimating total ground
ambulance vehicle costs for ground
ambulance organizations that share
operational costs with fire and police
response or other non-ground
ambulance activities, a share of vehicle
costs reported via the instrument will
need to be allocated as vehicle costs
related to ground ambulance services.
One alternative we considered to do this
was simply to ask respondents about the
share of costs associated with ground
ambulance services as we thought this
would be the least burdensome
approach; however, we believe data
collected in this manner would not
allow for estimation of costs associated
with non-ground ambulance vehicles
that support ambulance services. We
considered another alternative where (1)
the ratio of ground ambulance to total
responses would be used to allocate
costs associated with non-ambulance
vehicles, (2) the total number of vehicles
would be used to allocate aggregate
costs associated with licensing,
registration, maintenance, and fuel
costs, and (3) depreciated annual costs
and/or lease payment amounts would be
used to allocate insurance costs. The
main limitation of this approach is that
maintenance and fuel costs could vary
significantly across vehicle categories.
For example, maintenance and fuel
costs may be significantly different for
ground ambulance than for other types
of vehicles. As a result, we are
proposing a modification of this
alternative where we also ask
respondents to list percent of total
maintenance and fuel costs attributable
to each type of vehicle (that is, ground
ambulances, fire trucks, land rescue
vehicles, water rescue vehicle, other
vehicles that respond to emergencies
such as quick response vehicles, and
other vehicles; section 9.3, questions 4
and 5). We propose to also ask
respondents to report total mileage for
ground ambulance (land and water
separately) and total mileage for other
vehicles related to ground ambulance
responses (land and water separately) as
a potential alternative means to allocate
fuel and maintenance costs.
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(iv.) Collecting Data on Equipment and
Supply Costs
In our interviews with ground
ambulance organizations, we were told
that not all ground ambulance
organizations would be able to report
detailed item-by-item equipment and
supply information, and that some
organizations have far more
sophisticated inventory tracking
systems than others that would allow
them to report detailed information
within a category.
We considered alternative approaches
related to reporting equipment and
supply costs that varied primarily on
the level of detail for reporting. We
considered extremely detailed data
reporting as it would be potentially
useful to identify variability in costs
across organizations. However, as noted
above, many ground ambulance
organizations may not keep detailed
records of all their individual
equipment and supply costs. Taking
those factors into account, we are
proposing to request total costs in a
small number of equipment and supply
categories rather than itemized
information for all equipment and
supply categories (section 10). These
would include:
• Capital medical equipment.
• Medications.
• All other medical equipment,
supplies, and consumables.
• Capital non-medical equipment.
• Uniforms.
• All other non-medical equipment
and supplies.
We also considered whether to have
respondents report both medical and
non-medical equipment and supplies
together. We believe that the majority of
medical supplies are more likely to be
related to ground ambulance services
than non-medical supplies for
organizations with shared services, and
therefore, we are proposing to collect
this information separately.
Reporting of Capital Versus Non-Capital
Equipment
To meet the requirement in section
1834(l)(17)(A)(ii) of the Act to collect
information to facilitate the analysis of
‘‘the utilization of capital equipment,’’
we are proposing to separately collect
information on capital equipment
expenses (rather than equipment-related
operating expenses). Capital equipment
(both medical and non-medical) yield
utility over time, which can vary
depending on the expected service life
of the specific good. In addition to the
cost of purchasing or leasing durable
goods equipment, depreciation and
maintenance costs must be considered
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in the total cost calculations. Since
ground ambulance organizations often
track capital equipment on an itemized
level, separating items of significantly
different age and cost is necessary to
calculate depreciation. Therefore, to
minimize burden by aligning reporting
with the accounting approaches used by
respondents, we are proposing to ask for
capital (section 10.1, question 1; section
10.2, question 1) and non-capital costs
(section 10.1, questions 2–3; section
10.2, questions 2–3) separately so that
respondents can report annual
depreciated costs for capital equipment
and total annual costs otherwise. We
also are proposing to allow respondents
to report annual maintenance and
service costs for capital equipment
because ground ambulance
organizations have stated during
interviews that these costs can be
significant compared to purchase costs
or annual depreciated costs. Finally, we
are proposing to allow respondents to
use their own standard accounting
practice to categorize equipment as
capital or non-capital. While we believe
it would be possible to ask respondents
to use a standard approach, we believe
this would require respondents with
another practice to recalculate annual
depreciated cost and potentially
increase respondent burden and
reporting errors.
Allocation of Shared Costs
During interviews with ground
ambulance organizations, it was noted
that although the vast majority of
equipment and supplies are for ground
ambulance services, some costs are
shared with hospitals or clinics. We
believe separate reporting on medical
and non-medical equipment and
supplies would facilitate allocation
(section 10.1, versus section 10.2). For
organizations that indicate the use of
shared services, we are proposing to ask
separately what share of medical and
non-medical equipment and supply
costs are related to ground ambulance
services (section 10.1, questions 1c, 2a;
section 10.2, questions 1c, 2a, 3a). The
share of non-medical equipment and
supplies used for ambulance services
may vary for respondents with
operations beyond ambulance services.
While other allocation methods (such as
the share of responses that are ground
ambulance responses) may be
appropriate to allocate equipment and
supply costs, asking respondents to
provide their estimate of the share of
equipment and supply costs related to
ambulance services reduces
assumptions made about how best to
apply allocation across the various
equipment and supplies reported.
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(v.) Collecting Data on Other Costs
In addition to core costs for
ambulance providers and suppliers that
are associated with labor, vehicles,
facilities, and equipment or supplies,
ground ambulance organizations have
indicated that these entities incur costs
associated with contracted services (for
example, for billing, vehicle
maintenance, accounting, dispatch or
call center services, facilities
maintenance, and IT support), as well as
other miscellaneous costs (for example,
administrative expenses, fees and taxes)
to support ground ambulance services.
We considered including contracted
services as part of the labor section,
since many of the contracted services
related to costs that would otherwise be
labor-related if the tasks were performed
by employed staff. However, we were
concerned that ground ambulance
organizations might report this
information in multiple instrument
sections (for example, both labor and
miscellaneous costs). As a result, we
separated contracted services into their
own categories. While we considered
allowing respondents to report in the
aggregate any other miscellaneous costs
associated with ground ambulance
services because we believed this
approach may be less burdensome for
organizations that track miscellaneous
costs in aggregate, we believe this would
introduce a large amount of reporting
bias and inconsistency in reporting
across organizations. Our proposals
related to reporting contracted services
and miscellaneous costs are described
below.
Reporting Contracted Services
For contracted services, we are
proposing that respondents indicate
whether their organization utilizes
contracted services to support a variety
of tasks (section 11, question 1), the
associated total annual cost for these
services, and the percentage of costs
attributable to ground ambulance
services. The proposed data collection
instrument would provide instructions
to ensure that respondents do not report
on contracted costs multiple times.
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Reporting of Miscellaneous Costs
For other miscellaneous costs not
otherwise captured in prior sections of
the data collection instrument, we are
proposing that respondents be able to
report additional costs first using an
extensive list of other potential cost
categories (section 11, question 2) and
then use write-in fields if necessary.
Providing a pre-populated check list
would help ensure the consistency and
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completeness of reporting across
respondents.
Allocation of Miscellaneous Shared
Costs
Information from ground ambulance
organizations indicates that there are a
number of miscellaneous costs
associated with the overall operation of
organizations that are shared across
services. To account for these shared
costs, we are proposing that respondents
report an allocation factor for each
contracted service, (section 11, question
1), as well as for each reported
miscellaneous expense (section 11,
questions 3–4) as described in the data
collection instrument. We considered
the alternative of asking for an overall
share of miscellaneous costs associated
with ground ambulance services or
utilizing information gathered about the
share of ground ambulance responses
versus total responses to determine an
overall allocation factor. While this
would present less burden on
respondents, the share of miscellaneous
costs and share of contracted services
varies widely across organizations with
shared services.
d. Proposed Data Collection on Revenue
Section 1834(l)(17)(A) of the Act
requires the development of a data
collection system to collect revenue
information for ground ambulance
provider and suppliers. Payments from
Medicare and other health care payers
are important components of total
revenue for some ambulance providers
and suppliers. Most ambulance
providers and suppliers also have other
sources of revenue in addition to
payments for billed services. Based on
review of existing literature and
discussions with ground ambulance
organizations, these primary sources of
revenue include, but are not limited to:
Patient out-of-pocket payments; direct
public financing of fire, EMS, or other
agencies; subsidies, grants, and other
revenue from local, state, or federal
government sources; revenue from
providing services under contract; and
fundraising and donations. We view
total revenue as the sum of payments
from health care payers and all other
sources of revenue, including those
listed above.
While collecting information on total
revenue is essential to understanding
variations in how EMS services are
financed across the country, this
information is not collected by Medicare
or by any other entity of which we are
aware. Similar to other sections of the
data collection instrument, we also
considered what level of data to request
in this section. We are proposing to ask
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for total revenue in aggregate (section
13, question 1) and total revenue from
paid ground ambulance transports for
Medicare and, if possible, broken down
by payer category for other payers
(section 13, questions 2–5). We are
proposing this level of detail because we
believe understanding payer mix would
be helpful to assess Medicare’s
contributions to total revenue. Based on
information provided by ambulance
providers and suppliers, there is
variation in how patient-paid amounts
were recorded in ambulance billing
systems. We are proposing to ask
respondents whether revenue by payer
includes corresponding patient cost
sharing or whether cost-sharing
amounts are included in a self-pay
category. For other revenue (for
example, contracts from facilities and
membership fees (such as those
associated with community members
that enroll in ambulance clubs), we are
proposing to request information on
additional revenue in predetermined
categories and using write-in fields if
necessary (section 13, question 5).
Allocation of Shared Revenues.
Ground ambulance organizations vary
widely in the types of other revenue
sources (as noted in section 13, question
6) they receive and their share of
allocated costs. For this reason, we are
proposing to have respondents report
the share of revenue for each category
that is attributable to ground ambulance
services (section 13). Similar to
miscellaneous costs, we considered the
alternative of asking for an overall share
of other revenue sources associated with
ground ambulance services or utilizing
information gathered about the share of
ground ambulance responses versus
total responses to determine an overall
allocation factor. While this would
present less burden on respondents, we
do not believe it would not adequately
capture the revenue only associated
with ground ambulance services,
especially for organization with shared
services.
To collect information on
uncompensated care, including charity
care and bad debt, we are proposing to
collect information on both total and
paid transports. These two measures of
volume can be used to provide insight
into the share of transports that are not
paid. The proposed data collection
instrument broadly collects information
on total costs (including costs incurred
in furnishing services that are ultimately
paid and not paid) and total transports
(again including transports that are both
paid and not paid). The collected data
could be used to estimate per-transport
costs that can be estimated by dividing
total costs by total transports, so we do
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not believe it is necessary to directly
collect information on uncompensated
care in the revenue section of the data
collection instrument.
We invite comments regarding all the
proposals for data collection described
in this section, including our proposals
on the format, scope, elements
(characteristics, utilization, and costs),
collection of equipment and supply
costs, and other costs.
5. Proposals for Sampling
Section 1834(l)(17)(B)(i) of the Act
requires that CMS identify the ground
ambulance providers and suppliers
organizations that would be required to
submit information under the data
collection system, including the
representative sample. Section
1834(l)(17)(B)(ii)(II) of the Act requires
the representative sample must be
representative of the different types of
providers and suppliers of ground
ambulance services (such as those
providers and suppliers that are part of
an emergency service or part of a
government organization) and the
geographic locations in which ground
ambulance services are furnished (such
as urban, rural, and low population
density areas). Under section
1834(l)(17)(B)(ii)(III) of the Act, the
Secretary cannot include an individual
ambulance provider and supplier in 2
consecutive years, to the extent
practicable. In addition to meeting the
requirements set forth in the statute,
including developing a representative
sample, our proposals around sampling
aim to balance our need for statistical
precision with reporting burden. Our
proposals to meet these statutory
requirements are described below, and
were developed with the intention of
obtaining statistical precision with the
least amount of reporting burden.
Eligible Organizations. A sampling
frame drawing on all ground ambulance
organizations in the United States and
its territories that provide ground
ambulance services (that is, not just
those enrolled in Medicare or billing
Medicare in a given year) may be of
interest conceptually, but we have not
identified a data source listing all
ambulance providers and suppliers that
could be used as the source for a
broader sampling frame. Since sections
1834(l)(17)(A) of the Act requires the
Secretary to collect cost, revenue, and
utilization information from providers
of services and suppliers of ground
ambulance services (which are Medicare
specific terms with specific meaning)
with the purpose of determining the
adequacy of payment rates and section
1834(l)(17)(D) of the Act requires the
Secretary to reduce payments to ground
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ambulance organizations that do not
sufficiently report, we believe that the
intent of the statute is to collect
information under the data collection
system from ground ambulance
organizations that bill Medicare.
Therefore, we are proposing to sample
ground ambulance organizations that
are enrolled in Medicare and that billed
for at least one Medicare ambulance
transport in the most recent year for
which we have a full year of claims data
prior to sampling. Since ground
ambulance organizations have a full
year to submit their claims to Medicare
after the date of service, claims data for
a calendar year are generally not
considered complete until the end of the
following calendar year. As a result, we
would use 2017 Medicare claims and
enrollment data to determine the sample
for the 2020 data collection period
because 2018 Medicare claims data
could not be considered complete in
late 2019 when the sample for the 2020
data collection period would be
selected.
Sampling at the NPI level: Section
1834(l)(17) of the Act prohibits, to the
extent practicable, sampling the same
ambulance provider or supplier in 2
consecutive years. Although we
considered sampling at a broader parent
organization level for those that bill
Medicare under more than one NPI, we
found it was difficult to tease out of the
Medicare enrollment data all the
complexities of the business
relationships and identify all NPIs that
may be affiliated with the same parent
organization. Therefore, we are
proposing to select the sample at the
NPI level and to include the specific
NPI selected to report information.
Furthermore, we propose to collect the
name of the ground ambulance
organization and the name and contact
information of the person responsible
for completing the data collection
instrument for the purposes of
confirming that the data submitted
aligns with the intended NPI (section 2,
questions 3 and 4).
Organizations using volunteer labor:
Some stakeholders have suggested that
ground ambulance organizations relying
on volunteer labor above a certain
threshold (for example, more than 10
percent of volunteer labor) should be
exempt from sampling. Others have
suggested that ground ambulance
organizations using volunteer labor
should not be excluded because those
organizations that use volunteer labor
are likely to be smaller and that a large
share of ambulance suppliers
(particilarly those in rural and super
rural areas) would be exempt from
sampling, and therefore, our sample
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would not be representative as required
by section 1834(l)(17)(B)(ii) of the Act.
We acknowledge that analysis of the
data may require additional steps to
combine data submitted from ground
ambulance organzations that do and do
not rely on volunteers since reported
labor costs would be significantly lower
for ground ambulance organizations that
use volunteer labor compared to those
that do not. Ground ambulance
organizations that use volunteer labor
might have some costs related to their
volunteer labor, such as stipends, but
may not have others, such as an hourly
wage. Therefore, we are proposing to
collect information on paid and unpaid
volunteer hours during a typical week
using the same EMT/response staff
categories used elsewhere in the data
collection instrument. We believe
reported hours can be converted to
market rates using data from other
sources, such as the Bureau of Labor
Statistics’ wage data. Ambulance
providers and supplies that rely on
volunteer labor report that it is
becoming increasingly difficult to find
volunteers and they are having to hire
paid staff in their place, especially for
the more costly labor categories, such as
paramedics. Therefore, we are
proposing that ambulance providers and
suppliers that use any amount of
volunteer labor be included in
sampling. We invite comments as to
whether organanizations that rely on
volunteer labor should be exempt from
sampling.
Sampling file. The organizational
characteristics being proposed for the
specific strata (volume of Medicare
billed transports, service area
population density, ownership, provider
versus supplier status, and the share of
transports that are non-emergency) can
be obtained from available Medicare
data. We are proposing to develop
sampling files using the most recent full
year of data available. For the first
sample notified in 2019 and reporting in
2020, we are proposing to use 2017
claims and enrollment data. Another
alternative we considered was using
2018 data, however we are not
proposing this because such data may
not be complete for all 2018 service
dates at the time the sample for the
initial year of data reporting is selected.
We invite comments on our proposal to
use the most recent full year of available
Medicare data for sampling purposes, as
described above.
Implications of historical sampling
files. We expect there may be instances
in which some ground ambulance
organizations that were in operation at
the time they were selected for the
sample may cease operations by the
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time data reporting begins. Similarily,
we expect that some new ground
ambulance organizations would start
operating between the time the sample
was pulled and when reporting begins.
Since we propose to collect a full 12
continous months of data, these
organizations would not have the data
we are proposing to collect. Therefore,
we are proposing that ground
ambulance providers and suppliers
organizations selected for the sample
that were not in business for the full 12
continuous months of the data
collection period would be exempt from
reporting for the applicable data
collection period; however, for newer
ground ambulance organizations, they
would be eligible for sampling and
reporting in future years when they did
have a full continuous 12 months of
data.
We believe the above scenerios are
inevitable given the significant amount
of time between sampling and data
reporting and invite comments on our
proposed approach regarding exempting
ground ambulance organizations who
do not have a full 12-month continuous
period of data.
Sampling rate: We are also proposing
that 25 percent of ground ambulance
organizations be sampled from all strata
(as described below) in each of the first
4 years of reporting without
replacement; that is, if an organization
is sampled in Year 1, it would not be
eligible for sampling again in the
subsequent 3 years of data collection.
We are proposing a 25 percent sampling
rate because if a lower sampling rate is
used, estimates of cost, revenue, and
utilization from the data collected via
the instrument for subgroups of ground
ambulance suppliers would be of
inadequate precision as described in the
following section. Furthermore, our
analyses illustrated that using 50
percent sampling rate yielded only
marginal gains in precision over a
corresponding strategy that involves
sampling NPIs at a 25 percent rate while
doubling the response burden. In our
view, these gains are not sufficient to
merit the increased burden that would
be imposed by implementing a higher
sampling rate. Our proposal was
informed by analyses regarding the
alternative sampling rates in Chapter 7
of the CAMH report. We invite
comments on the proposed sampling
rate of 25 percent each year.
We are also proposing to notify
ground ambulance organizations that
have been selected for the representative
sample by listing such ground
ambulance organizations on the CMS
website at https://www.cms.gov/Center/
Provider-Type/Ambulances-Services-
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Center.html and providing written
notification to each selected ground
ambulance organization via email or
U.S. mail. Notification on the CMS
website would be provided at least 30
days prior to the time the selected
ambulance organization would be
required to begin collecting data. For
purposes of CY 2020, we will post such
information on the website when the CY
2020 PFS final rule is issued. A
discussion of the proposed collection
and reporting requirements can be
found in the next section. We are also
proposing to codify the representative
sample requirements in § 414.626(c).
Approach for Sampling: We
considered several alternatives for
developing a stratified sampling
approach to facilitate data collection
from specific types of ground
ambulance oragnizations. Section
1834(l)(17)(B)(ii)(II) of the Act requires
that the sample be representative of the
different types of providers and
suppliers of ground ambulance services,
such as those providers and suppliers
that are part of an emergency service or
part of a government organization and
the geographic locations in which
ground ambulance services are funished
(such as urban, rural, and low
population density areas). One approach
we considered was to sample ground
ambulance organizations in proportion
to their volume of Medicare-billed
ground ambulance services. Under this
approach, organizations with more
billed Medicare ground ambulance
transports would be more likely to be
sampled than organizations with fewer
billed Medicare ground ambulance
transports. The analysis of our 2016 data
described in the CAMH report shows
that a small number of ground
ambulance organizations provided a
large share of total Medicare transports.
Specifically, the top 10 percent of
ground ambulance organizations by
volume accounted for nearly 70 percent
of total Medicare ground ambulance
transports. In contrast, the bottom 50
percent of ambulance providers and
suppliers by volume accounted for only
3 percent of total Medicare ground
ambulance transports. Under this
approach, the ambulance providers and
suppliers in the top 10 percent by
volume would therefore be much more
likely to be sampled compared to those
in the bottom 50 percent by volume.
While this approach would efficiently
collect data on the majority of Medicare
ground ambulance transports, we do not
believe that this approach would
comport with the requirements in
section 1834(l)(17)(B)(ii)(II) of the Act to
develop a representative sample of
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ground ambulance organizations based
on the characteristics (such as
ownership and geographic location) of
ambulance providers and suppliers.
Therefore, we do not believe that data
we would be collecting using this
approach would meet the requirements
in section 1834(l)(17)(B)(ii)(II) of the
Act.
Other alternatives for a sampling
methodology include simple and
stratified random samples of ground
ambulance organizations. A simple
random sample would include a fixed
share of all ground ambulance
organizations, regardless of any
differences in characteristics, in each
year’s sample. Unlike sampling in
proportion to Medicare-billed ground
ambulance services, a simple random
sample by definition provides a
representative sample. A stratified
random sample first stratifies all ground
ambulance organizations based on
selected characteristics and then a
sample is seleced at random from the
strata. The rate at which these
organizations are sampled would be the
same for organizations in the same
stratum; however, the sampling rate
may vary across strata. So long as the
sampling rate is not zero within any
stratum and so long as appropriate
weighting adjustments are used, the
sample can be considered
representative.
Stratified random sampling has
several advantages in that it is easy to
implement and it meets the requirement
that the sample be representative. It also
can be used to target sampling of
ambulance organziations with specific
characteristics, such as ownership and
geographic location, to specifically meet
the requirements in section
1834(l)(17)(B)(ii)(II) of the Act that the
sample be representative of the different
types of providers and suppliers of
ground ambulance services, such as
those providers and suppliers that are
part of an emergency service or part of
a government organziation and the
geographic locations in which ground
ambulance services are funished (such
as urban, rural, and low population
density areas). It is also possible to
oversample from less prevelant strata
using this approach in order to facilitate
more precise estimates for certain
groups or comparisons between
subgroups. Furthermore, unlike a
simple random sample, the flexibility to
vary sampling rates across strata allows
the ability to account for anticipated
and unanticipated rates of nonresponse.
We believe that use of a stratified
random sample would comport with the
statutory requirements. Therefore, we
are proposing a stratified random
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sample approach. Specifically, we are
proposing to sample from each strata at
the same rate (25 percent, as described
above). We believe that data collected
from a sample of this type can be
adjusted via statistical weighting to be
representative of all ground ambulance
organizations billing Medicare for
ground ambulance services even if
response rates vary across the
characteristics used for stratification.
For the purposes of estimating the
number of responses from the sampled
ground ambulance organizations, we
assumed that all ground ambulance
providers and suppliers organizations
sampled will report, because: (1)
Reporting is a requirement; (2) there is
a 10 percent payment reduction for
failure to sufficiently report; and (3) we
believe every ground ambulance
organization would want its data
accounted for in the evaluation of the
extent to which reported costs relate to
payment rates.
Variables for Stratification: Section
1834(l)(17)(B)(ii)(II) of the Act requires
that the sample be representative of the
different types of providers and
suppliers of ground ambulance services,
such as those providers and suppliers
that are part of an emergency service or
part of a government organization, and
the geographic locations in which
ground ambulance services are funished
(such as urban, rural, and low
population density areas). As discussed
above, we are proposing a stratified
sampling approach under which we
would first sample based on a set of
charactericistcs of ground ambulance
organizations that are described below
(that is, strata) and then assess response
rates based on those characteristics.
Based on our analysis of information
provided by ground ambulance
organizations, we believe there are
several important characteristics that
vary among ground ambulance
organizations that have implications for
their costs and revenues and that could
serve as strata for the purposes of
sampling:
• Provider versus supplier status. The
GAO (2012) 94 and HHS (2015) 95 reports
found much higher per-transport costs
for ambulance providers than those of
ambulance suppliers. This suggests that
the ground ambulance cost structures
for ambulance providers and suppliers
are fundamentally different.
• Service area population density.
Ground ambulance organizations
94 This report is available at https://www.gao.gov/
assets/650/649018.pdf.
95 This report is available at https://www.cms.gov/
Medicare/Medicare-Fee-for-Service-Payment/
AmbulanceFeeSchedule/Downloads/Report-ToCongress-September-2015.pdf.
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operate in urban, rural, and super-rural
settings. As described in the CAMH
report, rural and super-rural
organizations tend to be smaller,
transport patients at greater distances,
are more likely to be government
owned, and rely more heavily on
volunteer labor. The population density
of the area in which a ground
ambulance organization is operating is
expected to affect costs and revenues in
a number of ways. Organizations serving
rural and super-rural areas generally are
likely to face lower demand for services,
and thus, deliver a smaller number of
transports. In addition, in rural and
super-rural areas the average distance
traveled per transport tends to be
greater. Payment rates will also
differentially impact revenue by
population density because the
Medicare AFS accounts for mileage and,
in addition, rural and super-rural
providers and suppliers receive higher
temporary add-on payments.
• Volume of transports. If there are
economies of scale, organizations
providing a larger volume of services
typically would face lower per-transport
costs. Our analysis found that the
volume distribution is highly skewed. In
other words, the majority of ground
ambulance organizations have a low
volume of transports, but there are a
small number of organizations with a
very high volume of transports.
Suppliers providing a large volume of
transports are more likely to be forprofit organizations.
• Ownership. For-profit (nongovernment), non-profit (nongovernment), and government ground
ambulance organizations have different
business models and mixes of services,
leading to different costs. Conceptually,
for-profit organizations maximize profit
and operate only in markets and service
lines with positive margins. Non-profit
and government ground ambulance
organizations more broadly provide
emergency service to communities and
may be organized and operated in a way
that does not maximize profits. The
2012 GAO report found ground
ambulance organizations with more
limited government support are more
likely to have incentives to keep costs
lower. They found that for each 2
percent decline in the average length of
government subsidy there was a 2
percent decline in the average cost per
transport. As a result, we expect that
costs will differ based on ownership.
• Types of services provided. One key
distinction in the types of services
provided is between emergency
transports and non-emergency (for
example, scheduled or inter-facility)
transports. For-profit suppliers are more
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likely than others to specialize in nonemergency scheduled transports.
Another key distinction is between the
level of service provided (for example
BLS versus ALS).
• Staffing. The level of staff training
(for example, EMTs versus paramedics)
and the number of staff deployed is
driven in part by the type and volume
of calls, the availability and proximity
of the nearest providers, and resources
available in that community. Some
suppliers use static staffing models that
use set staff schedules, whereas others
use a dynamic, or flexible, staffing
model that calls upon staff if there is a
surge in demand.
• Use of volunteer labor. Volunteer
labor tends to be more common among
small, government-based ambulance
suppliers operating in rural and superrural settings.
• Response times. In many cases,
response times are related to the
population density of the area in which
they operate, with rural areas having
response times more than double those
of urban areas. Rural and super-rural
ambulance providers and suppliers
generally travel greater distances to get
to patients and transport them to a
hospital or the nearest appropriate
facility. Variation in response times
within urban areas might also occur, for
example if there is significant
emergency department crowding, or in
extreme cases diversion that requires
the ambulance to travel further to
another hospital or wait with the patient
until a bed is available. This extra time
affects the availability of the ambulance
and the staff for subsequent trips,
potentially increasing response times.
As previously discussed, we are not
aware of any existing data source that
lists all ground ambulance organzations
or one that encompasses all the
characteristics that impact costs and
revenues described above. Medicare
claims and enrollment data is the only
source of data for which we are aware
that has all the providers and suppliers
that bill Medicare in a given year.
Several of the organizational
characteristics we discuss above
(including provider versus supplier
status, ownership, service area
population density, Medicare billed
transport volume, and type of services
provided) are available from Medicare
data while others, such as the use of
volunteer labor, staffing model, and
response times are not.
We are proposing to stratify the
sample based on provider versus
supplier status, ownership (for-profit,
non-profit, and government), service
area population density (transports
originating in primarily urban, rural,
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and super rural zip codes), and
Medicare billed transport volume
categories. Based on our analysis of the
number and distribution of ground
ambulance organizations’ transports in
2016, we are proposing volume
categories of 1 to 200, 201 to 800, 801
to 2,500, and 2,501 or more paid
Medicare transports. The proposed
volume categories aim to divide ground
ambulance organizations into roughly
similar-sized groups, while separating
ground ambulance organizations with
very high volume (that is, greater than
2,500 Medicare transports per year) into
a separate category. We would expect
that these highest-volume ground
ambulance organizations may face
different costs than lower-volume
organizations due to economies of scale.
We are proposing to focus on these
four characteristics due to data
availability, and our analyses that show
these to be key defining characteristics
of ground ambulance organizations
(which are also described in the CAMH
report). Also, service area population
density and Medicare billed transport
volume have a direct impact on ground
ambulance revenue, which is one of the
categories of data that we are required
to collect by section 1834(l)(17)(A) of
the Act. Through Medicare claims and
enrollment data, we believe we have
enough information to stratify ground
ambulance organizations on these four
characteristics. This stratification
approach results in 36 groupings of
ground ambulance suppliers (defined by
combinations of the three ownership
categories, three service area population
density categories, and four Medicare
billed transport volume categories) and
the same number of groupings for
ambulance providers.
In some of these groupings, there are
only a handful of ground ambulance
organizations providing ground
ambulance services with a specific set of
the four characteristics. This could
result in situations where few or no
ground ambulance organizations with
the specific set of characteristics were
sampled. To minimize this risk and
avoid situations where we are sampling
from strata that contain only a few
ambulance providers and suppliers in
the entire population, we propose to
stratify ground ambulance providers,
which account for only 6 percent of
ground ambulance organizations
combined, based on service area
population density only. We are
proposing to use this characteristic to
stratify providers rather than another
characteristic because section
1834(l)(17)(A) of the Act specifically
requires the Secretary to develop a data
collection system to collect information
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on ground ambulance services furnished
in different geographic locations,
including rural areas and low
population density areas described in
section 1834(l)(12) of the Act (super
rural areas).
We are also proposing to collapse the
two highest Medicare ground
ambulance transport volume categories
(801–2500 and 2501 and more
transports) into a single category (801
and more transports) for for-profit
ground ambulance suppliers that
primarily service super-rural areas due
to the small number of ground
ambulance organizations in these two
volume categories. The proposed
sampling rate of 25 percent aims to meet
a threshold that will provide an
adequate degree of precision for
estimates within each strata subgroup
(that is, provider versus supplier status,
ownership (for-profit, non-profit, and
government), service area population
density (transports originating in
primarily urban, rural, and super rural
zip codes), and Medicare billed
transport volume categories). The
specific threshold is 200 expected
responses in each subgroup. This
number of expected responses will
ensure that small to medium differences
in means between groups (that is, affect
size) can be detected.
A 25 percent sampling rate is
expected to result in more than 200
responses in each subgroup except for
ground ambulance providers (where we
expect 153 responses with a 25 percent
sampling rate). A 25 percent sampling
rate will also result in more than 200
expected responses for other
organizations not represented in the
strata, including organizations
providing primarily non-emergency
transports and transports to and from
dialysis facilities. We also expect that a
25 percent sampling rate will result in
more than 200 responses for
organizations that rely primarily on
volunteer labor, as well as for those who
do not.
We invite comments on all our
proposals for sampling as described in
this section, including our proposals on
eligible organizations, methods for
sampling, sampling at the NPI level,
sampling of organizations using
volunteer labor, sampling files, and
sampling rates. We also invite
comments on our proposals to collect
data from ground ambulance
organizations that bill Medicare, and the
use of a stratified random sample.
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6. Proposals for Collecting and
Reporting of Information Under the Data
Collection System
For each data collection year, section
1834(l)(17)(C) of the Act requires ground
ambulance organizations identified as
part of the representative sample to
submit information specified under the
system, with respect to a period for the
year (referred to as the ‘‘data collection
period’’), in a form and manner and at
a time (referred to as the ‘‘data reporting
period’’) specified by the Secretary. In
this section, we are proposing to define
the data collection period and the data
reporting period. In determining when
the proposed data collection and
reporting periods should fall, our
objectives were to: (1) Allow selected
ground ambulance organizations
sufficient time to collect and report the
required information; and (2) collect the
data for analysis in the least
burdensome manner.
We considered annual (that is, 12month) data collection periods and
shorter data collection periods (for
example, a 6-month period). We are
proposing a 12-month data collection
period because a shorter period could
result in biased data due to seasonality
in costs, revenue, or utilization among
ground ambulance organizations.
As we stated previously, ambulance
providers and suppliers constitute a
diverse group of organizations with
varied annual accounting practices.
Accordingly, we are proposing to define
the data collection period as a
continuous 12-month period of time,
which is either the calendar year
aligning with the data collection year, or
when an organization uses another
fiscal year for accounting purposes and
the organization elects to collect and
report data over this period rather than
the calendar year, the 12-month period
that is their fiscal year that begins
during the data collection year. We are
proposing this data collection period
based on feedback from ground
ambulance organizations that stated that
they prefer to collect data based on an
annual accounting period (either
calendar year or fiscal year) already
used by the organization, and that
requiring all organizations to report on
the same 12-month period (for example,
calendar year) could involve significant
additional burden in terms of data
collection and reporting. We believe
that providing flexibility in collecting
information under the data collection
system would reduce the burden on
ground ambulance organizations.
Therefore, we are proposing that the
first data collection period be January 1,
2020 through December 31, 2021, with
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organizations reporting on a calendar
year basis collecting data from January
1, 2020 through December 31, 2021, and
organizations reporting on a fiscal year
basis collecting data over a continuous
12-month period of time from the start
of the fiscal year beginning in calendar
year 2020. Upon being notified that they
are selected as part of the sample,
ground ambulance organizations must
notify CMS of their annual accounting
period within 30 days according to the
instructions in the notification letter, so
that CMS is aware of when their data
collection and data reporting periods
would begin. We propose that
respondents would additionally confirm
the data collection period when
reporting data via the data collection
instrument (section 2, question 5).
We also propose that ground
ambulance organizations would have up
to 5 months to report to CMS (data
reporting period) the data following the
end of its 12-month data collection
period. For example, if a ground
ambulance organization is selected as
part of the representative sample for the
CY 2020 data collection year, and
notifies CMS that its annual accounting
period is based on a calendar year, the
data collection period for this ground
ambulance organization would begin on
January 1, 2020 and end on December
31, 2020, and the data reporting period
would be January 1, 2021 through May
31, 2021. A ground ambulance
organization selected for CY 2020 that
notifies CMS that its annual accounting
period is based on a fiscal year basis
with a fiscal year beginning on June 1,
2020 would have a data collection
period from June 1, 2020 through May
31, 2021 and a data reporting period
from June 1, 2021 through October 1,
2021. Since a 5-month reporting period
is enough time for entities that file cost
reports with Medicare to complete and
submit their data, we believe it should
also provide adequate time for ground
ambulance organizations to report
information under the data collection
system to CMS. This proposal will allow
providers and suppliers time to validate
the information and certify the accuracy
of their data required under the data
collection before reporting it to CMS.
We propose to codify the data
collection and reporting requirements
for selected ground organizations at
§ 414.626(b).
Tables 30 and 31 illustrate various
examples of data collection periods and
the data reporting periods under our
proposal. Please note that an individual
ground ambulance organization would
only be selected to participate in one
data collection and reporting period,
and that the specific data collection and
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reporting period dates might vary for
each organization and be different than
the dates noted in the tables.
TABLE 30—EXAMPLE OF A DATA COLLECTION AND REPORTING PERIOD
FOR A GROUND AMBULANCE ORGANIZATION WITH A CALENDAR YEAR
ACCOUNTING PERIOD
Year
1 .......
2 .......
3 .......
4 .......
Data collection
period
Data reporting
period
01/01/2020–12/31/
2020
01/01/2021–12/31/
2021
01/01/2022–12/31/
2022
01/01/2023–12/31/
2023
01/01/2021–05/31/
2021
01/01/2022–05/31/
2022
01/01/2023–05/31/
2023
01/01/2024–05/31/
2024
TABLE 31—EXAMPLE OF A DATA COLLECTION AND REPORTING PERIOD
FOR A GROUND AMBULANCE ORGANIZATION WITH AN ACCOUNTING PERIOD NOT BASED ON A CALENDAR
YEAR
Year
1 .......
2 .......
3 .......
4 .......
Data collection
period
Data reporting
period
06/01/2020–05/31/
2021
06/01/2021–05/31/
2022
06/01/2022–05/31/
2023
06/01/2023–05/31/
2024
06/01/2021–10/31/
2021
06/01/2022–10/31/
2022
06/01/2023–10/31/
2023
06/01/2024–10/31/
2024
We invite comments on our proposal
to use a 12-month data collection
period. We also invite comments on our
proposal to give sampled ground
ambulances the flexibility to collect data
on either a calendar year basis or on the
basis of the ground ambulance
organization’s fiscal year. In addition,
we invite comments on our proposal to
allow a ground ambulance organization
5 months to report the data collected
during data collection period to CMS
through the data collection system. We
plan on addressing section
1834(l)(17)(E) of the Act, ongoing data
collection, in future rulemaking.
7. Proposed Payment Reduction for
Failure To Report
a. General Information and Applicable
Period
Section 1834(l)(17)(D)(i) of the Act
requires that beginning January 1, 2022,
subject to clause (ii), the Secretary
reduce the payments made to a ground
ambulance organization under section
1834(l)(17) of the Act for the applicable
period by 10 percent if the ground
ambulance organization is required to
submit data under the data collection
system with respect to a data collection
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period and does not sufficiently submit
such data. Section 1834(l)(17)(D)(ii) of
the Act defines the applicable period as
a year specified by the Secretary not
more than 2 years after the end of the
period for which the Secretary has made
a determination that the ground
ambulance provider or supplier failed to
sufficiently submit information under
the data collection system.
As previously discussed, we are
proposing to define the data collection
and data reporting periods based on the
ground ambulance organization’s
annual accounting period (either
calendar year or fiscal year). The
timeline for the determination of the 10
percent reduction to payments would
depend on: (1) The 12-month data
collection period based on the
organization’s accounting period; (2) the
end of the data reporting period that
corresponds with the selected data
collection period; and (3) the time it
would take CMS to review the data to
determine whether it had been
sufficiently submitted. We are
proposing that we would make a
determination that the ground
ambulance organization is subject to the
10 percent payment reduction no later
than the date that is 3 months following
the date that the ambulance
organization’s data reporting period
ends. This timeframe will allow CMS to
assess whether the required data was
sufficiently submitted.
For example, if a ground ambulance
organization is selected in the first
sampling year and it reports to CMS that
its annual accounting period is an
October 1 through September 30th fiscal
year, then its data collection period
would be October 1, 2020 through
September 30, 2021, and the data
reporting period that would apply to the
ground ambulance organization would
be from October 1, 2021–February 28 (or
29, if a leap year), 2022. We would make
a determination regarding the
sufficiency of that ground ambulance
organization’s reporting no later than
June 1, 2022. With this timeframe, we
would propose to apply the 10 percent
reduction in payments, if applicable, for
ambulance services provided by that
ground ambulance organization between
January 1, 2023 and December 31, 2023,
because under section 1834(l)(17)(D)(iii)
of the Act, the applicable period must
be one year in length. As another
example, if a ground ambulance
organization’s annual accounting period
is the calendar year, its data collection
period would be January 1, 2020
through December 31, 2020, the data
reporting period that would apply to the
ground ambulance organization would
be from January 1, 2021–May 31, 2021,
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and we would make a determination
regarding the sufficiency of that
ambulance organization’s reporting no
later than August 31, 2021. With this
timeframe, we would propose to apply
the 10 percent reduction in payments, if
applicable, for ambulance services
provided between January 1, 2022 and
December 31, 2022. The payment
reduction would always be applied to
ground ambulance transports provided
during the calendar year that begins
following the date that we determine
that the ground ambulance organization
is subject to the payment reduction.
We propose that if we find the data
reported is not sufficient, we would
notify the ground ambulance
organization that it will be subject to the
10 percent payment reduction for
ambulance services provided during the
next calendar year. We would interpret
‘‘sufficient’’ to mean that the data
reported by the ground ambulance
organization is accurate and includes all
required data requested on the data
collection instrument.
We are proposing to apply the 10
percent payment reduction for the
appropriate calendar year as described
above to ambulance fee schedule
payments as described in § 414.610. The
payment reduction would apply to
claims for dates of service during the
applicable calendar year and would be
applied to the final ambulance fee
schedule payment, after all other
adjustments have been applied under
§ 414.610(c). We are proposing to codify
the payment reduction by adding a new
paragraph (c)(9) in § 414.610.
b. Proposed Hardship Exemption
Section 1834(l)(17)(A)(D)(iii) of the
Act authorizes the Secretary to exempt
a ground ambulance provider or
supplier from the 10 percent payment
reduction for an applicable period in the
event of significant hardship, such as a
natural disaster, bankruptcy, or other
similar situation that the Secretary
determines interfered with the ability of
the ground ambulance provider or
supplier to submit such information in
a timely manner for the specified
period.
We recognize that there may be some
ground ambulance organizations that
have limited resources that affect their
ability to report the required
information, and that for these ground
ambulance organizations, a 10 percent
payment reduction in Medicare
payments could result in significant
financial hardship.
An example of this situation could be
a ground ambulance organization that is
located in a super rural area with such
limited resources that it cannot report
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the required information without
significantly increasing the possibility
that it would need to file for
bankruptcy.
Another example could be a ground
ambulance organization that is located
in an area that had recently experienced
a natural disaster such as widespread
flooding that caused the closure of a
local emergency room or other facilities.
Due to the increased demand for
services and rerouting of patients, this
ground ambulance organization might
be unable to collect and report
information in a timely manner.
We are proposing that ground
ambulance organizations in these or
other similar situations could request
that CMS grant a hardship exemption,
and CMS could consider granting an
exemption if the ground ambulance
organization could demonstrate that the
significant hardship interfered with its
ability to submit the required data under
the data collection system.
To request a hardship exemption, we
propose that a ground ambulance
organization submit to CMS a
completed request form, which can be
found on the Ambulance Services
Center website (https://www.cms.gov/
Center/Provider-Type/AmbulancesServices-Center.html), and that the
following information be included:
• Ambulance Provider or Supplier
Name;
• NPI Number;
• Ambulance Provider or Supplier
Location Address;
• CEO and any other designated
personnel contact information,
including name, email address,
telephone number and mailing address
(must include a physical address, a post
office box address is not acceptable);
• Reason for requesting a hardship
exemption;
• Evidence of the impact of the
hardship exemption (such as
photographs, newspaper, other media
articles, financial data, bankruptcy
filing, etc.); and
• Date when the ground ambulance
organization would be able to begin
submitting information under the data
collection system.
We are proposing that the completed
hardship exemption request form be
signed and dated by the Chief Executive
Officer (CEO) or designee of the
ambulance company, and be submitted
as soon as possible, and not later than
90 calendar days of the date that the
ground ambulance organization was
notified that it will be subject to the 10
percent payment reduction as a result of
not sufficiently submitting information
under the data collection system. We
propose that the request form be
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submitted to the Ambulance ODF
mailbox at AMBULANCEODF@
cms.hhs.gov. Following receipt of the
request form, we are proposing to
provide: (1) A written acknowledgement
that the request has been received; and
(2) a written response to the CEO and
any designated personnel using the
contact information provided in the
request within 30 days of the date that
we received the request. We are also
proposing to codify the hardship
exemption requirement at § 414.626(d).
c. Informal Review
Section 1834(l)(17)(D)(iv) of the Act
requires the Secretary to establish a
process under which a sampled ground
organization may seek an informal
review of a determination that it is
subject to the 10 percent reduction. To
request an informal review, we propose
that a ground ambulance organization
must submit the following information:
• Ground Ambulance Organization
Name;
• NPI Number;
• CEO and any other designated
personnel contact information,
including name, email address,
telephone number and mailing address
(must include a physical address, a post
office box address is not acceptable);
• Ground ambulance organization’s
selected data collection period and data
reporting period; and
• A statement of the reasons why the
ground ambulance organization does
not agree with CMS’s determination and
any supporting documentation.
We propose that the informal review
request must be signed by the CEO/
designee of the ground ambulance
organization and be submitted within 90
calendar days of the date that the
ground ambulance organization
received notice regarding the 10 percent
reduction in payments. We are
proposing 90 calendar days to submit an
informal review request to allow time
for the ground ambulance organization
to gather the information needed to
support the request for informal review.
We are proposing that the request be
submitted to the Ambulance ODF
mailbox at AMBULANCEODF@
cms.hhs.gov. Following receipt of the
request for informal review, we would
provide: (1) A written acknowledgement
using the contact information provided
in the request, to the CEO and any
additional designated personnel,
notifying them that the ambulance
provider or supplier’s request has been
received; and (2) a written response to
the CEO and any designated personnel
using the contact information provided
in the request within 30 days. We are
seeking comments on our proposed
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informal review process. We are also
proposing to codify the informal review
process in § 414.610(e).
We invite comments regarding all the
proposals on the payment reduction for
failure to report, including the
applicable period, hardship exemption,
and informal review.
8. Public Availability
Section 1834(l)(17)(G) of the Act
requires that the results of the data
collection be posted on the CMS
website, as determined appropriate by
the Secretary. We are proposing to post
on our website a report that includes
summary statistics, respondent
characteristics, and other relevant
results in the aggregate so that
individual ground ambulance
organizations are not identifiable.
We are also proposing that the data
proposed above will be made available
to the public through posting on our
website at least every 2 years. The 2year timeframe would allow CMS time
to analyze the data that is being
reported, factoring in the various
accounting periods of the first group of
sampled ground ambulance
organizations (which have early
accounting periods in the CY 2020 data
collection year).
We are proposing to post summary
results by the last quarter of 2022,
because we believe we may have most
or all of the data requested by then. We
invite comments on our proposals
regarding the type of information that
should be posted from the data collected
and the timeline in which the results of
the data collection should be posted on
our website.
We invite comments regarding our
proposals for public availability of the
data.
9. Limitations on Review
Section 1834(l)(17)(J) of the Act
provides that there shall be no
administrative or judicial review under
sections 1869 or 1878 of the Act, or
otherwise, of the data collection system
or identification of respondents. We are
proposing to codify the limitations on
review at § 414.626(g).
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C. Expanded Access to Medicare
Intensive Cardiac Rehabilitation (ICR)
Section 51004 of the Bipartisan
Budget Act of 2018 (BBA of 2018) (Pub.
L. 115–123, enacted February 9, 2018)
amended section 1861(eee)(4)(B) of the
Act directing CMS to add covered
conditions for intensive cardiac
rehabilitation (ICR). This proposed rule
includes our proposals for
implementing this expansion of
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coverage through revisions to
§ 410.49(b)(1).
1. Background
Cardiac rehabilitation (CR) was
developed in the 1950s from the
concept of early mobilization after acute
myocardial infarction (heart attack).96
The standard of care prior to the
widespread adoption of CR was bed-rest
and inactivity after acute myocardial
infarction.97 In the 1970s, cardiac
rehabilitation developed into highly
structured, physician supervised,
electrocardiographically-monitored
exercise programs. However, the
programs consisted almost solely of
exercise alone.98 Referencing 1998
guidelines 99 from the American
Association of Cardiovascular and
Pulmonary Rehabilitation (AACVPR),
Forman (2000) stated that ‘‘over
subsequent years the objectives of
cardiac rehabilitation broadened beyond
exercise into a composite of cardiac risk
modification. Lipid, blood pressure, and
stress reduction, smoking cessation, diet
change, and weight loss were coupled to
goals of exercise training.’’
ICR, also commonly referred to as a
‘‘lifestyle modification’’ program,
typically involves the same elements as
traditional CR programs, but are
furnished in highly structured
environments in which sessions of the
various components may be combined
for longer periods of CR and also may
be more rigorous.
Section 144(a) of the Medicare
Improvements for Patients and
Providers Act of 2008 (MIPPA) (Pub. L.
110–275, enacted July 15, 2008)
amended Title XVIII to add new section
1861(eee) of the Act to provide coverage
of CR and ICR under Medicare part B.
The statute specified certain conditions
for these services and an effective date
of January 1, 2010, for coverage of these
services. Conditions of coverage for CR
and ICR consistent with the statutory
provisions of section 144(a) of the
MIPPA were codified in § 410.49
through the CY 2010 PFS final rule with
comment period (74 FR 61872–61879
and 62004–62005). These programs
were designed to improve the health
96 Pashkow, FJ. Issues in Contemporary Cardiac
Rehabilitation: A Historical Perspective. JACC 1993
Mar 1;21(3):822–34.
97 Forman DE. Cardiac rehabilitation and
secondary prevention programs for elderly cardiac
patients. Clin Geriatr Med. 2000 Aug;16(3):619–29.
98 Ades PA. A controlled trial of cardiac
rehabilitation in the home setting using
electrocardiographic and voice transtelephonic
monitoring. Am Heart J. 2000 Mar;139(3):543–8.
99 AACWR Guidelines for Cardiac Rehabilitation
and Secondary Prevention Programs, ed 3. Windsor,
ON, Human Kinetics, 1998.
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care of Medicare beneficiaries with
cardiovascular disease.
Under § 410.49(b), Medicare part B
covers CR and ICR program services for
beneficiaries who have experienced one
or more of the following: (1) An acute
myocardial infarction within the
preceding 12 months; (2) a coronary
artery bypass surgery; (3) current stable
angina pectoris; (4) heart valve repair or
replacement; (5) percutaneous
transluminal coronary angioplasty
(PTCA) or coronary stenting; or (6) a
heart or heart-lung transplant. For CR
only, other cardiac conditions may be
added as specified through a national
coverage determination (NCD). Effective
February 18, 2014, we expanded
coverage of CR in NCD 20.10.1, Cardiac
Rehabilitation Programs for Chronic
Heart Failure (Pub. 100–03 20.10.1), to
beneficiaries with stable, chronic heart
failure, defined as patients with left
ventricular ejection fraction of 35
percent or less and New York Heart
Association (NYHA) class II to IV
symptoms despite being on optimal
heart failure therapy for at least 6 weeks.
Stable patients are defined as patients
who have not had recent (≤6 weeks) or
planned (≤6 months) major
cardiovascular hospitalizations or
procedures.
2. Statutory Authority
Section 51004 of the BBA of 2018,
entitled ‘‘Expanded Access to Medicare
Intensive Cardiac Rehabilitation
Programs,’’ amended section
1861(eee)(4)(B) of the Act. The
amendment directs us to expand the list
of covered conditions for ICR beyond
the 6 conditions specified in section
144(a) of the MIPPA and codified in
§ 410.49(b)(1).
3. Discussion of Statutory Requirements
Section 1861(eee)(4)(B) of the Act
requires that, in addition to the 6
conditions specified in section 144(a) of
the MIPPA, ICR be covered for
beneficiaries with (1) stable, chronic
heart failure (defined as patients with
left ventricular ejection fraction of 35
percent or less and New York Heart
Association (NYHA) class II to IV
symptoms despite being on optimal
heart failure therapy for at least 6
weeks); or (2) any additional condition
for which the Secretary has determined
that a cardiac rehabilitation program
shall be covered, unless the Secretary
determines, using the same process used
to determine that the condition is
covered for a cardiac rehabilitation
program, that such coverage is not
supported by the clinical evidence.
The statute explicitly states cardiac
rehabilitation; therefore, this proposed
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rule is specific to CR and ICR for cardiac
conditions. As such, this proposed rule
could not exceed the limits of the
statute to apply CR and ICR other
conditions (for example, cancer,
metabolic syndrome, diabetes,
peripheral artery disease, etc.).
5. Summary
1. Background
Sections 1903(a)(3)(F) and 1903(t) of
the Act provide the statutory basis for
the incentive payments made to
Medicaid EPs and eligible hospitals for
the adoption, implementation, upgrade,
and meaningful use of Certified EHR
Technology (CEHRT). We have
implemented these statutory provisions
in prior rulemakings to establish the
Medicaid Promoting Interoperability
Program.
Under sections 1848(o)(2)(A)(iii) and
1903(t)(6)(C)(i)(II) of the Act, and the
definition of ‘‘meaningful EHR user’’ in
regulations at 42 CFR 495.4, one of the
requirements of being a meaningful EHR
user is to successfully report the clinical
quality measures selected by CMS to
CMS or a state, as applicable, in the
form and manner specified by CMS or
the state, as applicable. Section
1848(o)(2)(B)(iii) of the Act requires that
in selecting electronic clinical quality
measures (eCQMs) for EPs to report
under the Promoting Interoperability
Program, and in establishing the form
and manner of reporting, the Secretary
shall seek to avoid redundant or
duplicative reporting otherwise
required. We have taken steps to align
various quality reporting and payment
programs that include the submission of
eCQMs.
In the CY 2019 PFS final rule (83 FR
59452, 59703 through 59704), we
established for 2019 that Medicaid EPs
are required to report on any 6 eCQMs
that are relevant to the EP’s scope of
practice, regardless of whether they
report via attestation or electronically.
We also adopted the Merit-based
Incentive Payment System (MIPS)
requirement that EPs report on at least
one outcome measure (or, if an
applicable outcome measure is not
available or relevant, one other high
priority measure). We explained that if
no outcome or high priority measure is
relevant to a Medicaid EP’s scope of
practice, the EP may report on any 6
eCQMs that are relevant.
In summary, we are proposing
modifications to existing requirements
under § 410.49(b) to implement the
coverage changes specific to ICR. The
proposals involve expanding coverage
of ICR to beneficiaries with chronic
heart failure as discussed above and
providing for modifications to covered
cardiac conditions for ICR, in addition
to CR, as specified through an NCD. We
invite the public to provide comments
on these proposals.
2. eCQM Reporting Requirements for
EPs Under the Medicaid Promoting
Interoperability Program for 2020
We annually review and revise the list
of eCQMs for each MIPS performance
year to reflect updated clinical
standards and guidelines. In section
III.I.3.h.(2)(b)(i) of this proposed rule,
we propose to amend the list of
available eCQMs for the CY 2020
performance period. To keep eCQM
specifications current and minimize
4. Proposals for Implementation
We propose to amend § 410.49(b) to
expand the covered conditions for ICR.
We propose to amend § 410.49(b)(vii) to
add coverage of ICR for patients with
stable, chronic heart failure defined as
patients with left ventricular ejection
fraction of 35 percent or less and New
York Heart Association (NYHA) class II
to IV symptoms despite being on
optimal heart failure therapy for at least
6 weeks. We also propose to specify in
§ 410.49(b)(vii) that coverage for CR was
effective February 18, 2014 as per the
NCD for Cardiac Rehabilitation for
Chronic Heart Failure (Pub. 100–03
20.10.1) which was finalized on
February 18, 2014 as discussed above,
and that coverage for ICR was effective
on enactment of the BBA of 2018
(February 9, 2018).
We also propose to add new
§ 410.49(b)(viii) to include coverage of
ICR, in addition to CR, for other cardiac
conditions as specified through an NCD.
Under the existing § 410.49(b)(vii),
coverage for CR may be established for
other cardiac conditions through an
NCD, and our proposal would extend
this criterion to ICR, as well unless
coverage for ICR is not supported by
clinical evidence. As such, NCDs
modifying the covered conditions
would apply to both CR and ICR so long
as clinical evidence supports coverage
for CR and coverage for ICR.
It is important to note that conditions
that may be considered for expanded
coverage are limited to cardiac
conditions and may not include other
conditions (for example, cancer,
metabolic syndrome, diabetes,
peripheral artery disease, etc.).
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D. Medicaid Promoting Interoperability
Program Requirements for Eligible
Professionals (EPs)
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complexity, we propose to align the
eCQMs available for Medicaid EPs in
2020 with those available for MIPS
eligible clinicians for the CY 2020
performance period. Specifically, we
propose that the eCQMs available for
Medicaid EPs in 2020 would consist of
the list of quality measures available
under the eCQM collection type on the
final list of quality measures established
under MIPS for the CY 2020
performance period.
In previous years, CMS proposals to
align the list of eCQMs for MIPS and the
Medicaid Promoting Interoperability
Program for EPs received positive
comments that indicated that alignment
between these two programs would help
reduce health care provider reporting
burden (83 FR 59702). These comments
thus suggest that aligning the eCQM
lists might encourage EP participation
in the Medicaid Promoting
Interoperability Program by giving
Medicaid EPs that are also MIPS eligible
clinicians the ability to report the same
eCQMs as they report for MIPS. Not
aligning the eCQM lists could lead to
increased burden, because EPs might
have to report on different eCQMs for
the Medicaid Promoting Interoperability
Program if they opt to report on newly
added eCQMs for MIPS. In addition, we
believe that aligning the eCQMs
available in each program would help to
ensure the most uniform application of
up-to-date clinical standards and
guidelines possible.
We anticipate that this proposal
would reduce burden for Medicaid EPs
by aligning the requirements for
multiple reporting programs, and that
the system changes required for EPs to
implement this change would not be
significant, particularly in light of our
belief that many EPs would report
eCQMs to meet the quality performance
category of MIPS and therefore should
be prepared to report on the available
eCQMs for 2020. We expect that this
proposal would have only a minimal
impact on states, by requiring minor
adjustments to state systems for 2020 to
maintain current eCQM lists and
specifications.
For 2020, we propose to again require
(as we did for 2019) that Medicaid EPs
report on any 6 eCQMs that are relevant
to their scope of practice, regardless of
whether they report via attestation or
electronically. This policy of allowing
Medicaid EPs to report on any 6
measures relevant to their scope of
practice would generally align with the
MIPS data submission requirement for
eligible clinicians using the eCQM
collection type for the quality
performance category, which is
established at § 414.1335(a)(1). MIPS
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eligible clinicians who elect to submit
eCQMs must generally submit data on at
least 6 quality measures, including at
least one outcome measure (or, if an
applicable outcome measure is not
available, one other high priority
measure). We refer readers to
§ 414.1335(a) for the data submission
criteria that apply to individual MIPS
eligible clinicians and groups that elect
to submit data with other collection
types.
In addition, as we did for 2019, we
propose that for 2020, EPs in the
Medicaid Promoting Interoperability
Program would be required to report on
at least one outcome measure (or, if an
outcome measure is not available or
relevant, one other high priority
measure). This policy would improve
alignment with the requirements for the
MIPS quality performance category for
eligible clinicians using the eCQM
collection type. We also propose that if
no outcome or high priority measures
are relevant to a Medicaid EP’s scope of
practice, the clinician may report on any
6 eCQMs that are relevant, as was the
policy in 2019.
In the CY 2019 PFS final rule (83 FR
59702 and 59704), we established the
following three methods to identify
which of the available measures are
high priority measures for EPs
participating in the Medicaid Promoting
Interoperability Program. We propose to
use the same three methods for
identifying high priority eCQMs for the
Medicaid Promoting Interoperability
Program for 2020:
• The same set of measures that are
identified as high priority measures for
reporting on the quality performance
category for eligible clinicians
participating in MIPS.
• All e-specified measures from the
previous year’s core set of quality
measures for Medicaid and the
Children’s Health Insurance Program
(CHIP) (Child Core Set) or the core set
of health care quality measures for
adults enrolled in Medicaid (Adult Core
Set) (hereinafter together referred to as
‘‘Core Sets’’) that are also included on
the MIPS list of eCQMs.
Sections 1139A and 1139B of the Act
require the Secretary to identify and
publish core sets of health care quality
measures for child Medicaid and CHIP
beneficiaries and adult Medicaid
beneficiaries. These measure sets are
required by statute to be updated
annually and are voluntarily reported by
states to CMS. These Core Sets are
composed of measures that specifically
focus on populations served by the
Medicaid and CHIP programs and are of
particular importance to their care. The
MIPS eCQM list includes several, but
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not all, of the measures in the Core Sets.
Because the Core Sets are released at the
beginning of each year, it is not possible
to update the list of high-priority
eCQMs with those added to the current
year’s Core Sets.
The eCQMs that would be available
for Medicaid EPs to report in 2020, that
are both part of the Core Sets and on the
MIPS list of eCQMs, and that would be
considered high priority measures
under our proposal are: CMS2,
‘‘Preventive Care and Screening:
Screening for Depression and FollowUp Plan’’; CMS122, ‘‘Diabetes:
Hemoglobin A1c (HbA1c) Poor Control
(>9%)’’; CMS125, ‘‘Breast Cancer
Screening’’; CMS128, ‘‘Anti-depressant
Medication Management’’; CMS136,
‘‘Follow-Up Care for Children
Prescribed ADHD Medication (ADD)’’;
CMS137, ‘‘Initiation and Engagement of
Alcohol and Other Drug Dependence
Treatment’’; CMS153, ‘‘Chlamydia
Screening for Women’’; CMS155,
‘‘Weight Assessment and Counseling for
Nutrition and Physical Activity for
Children and Adolescents’’; and
CMS165, ‘‘Controlling High Blood
Pressure.’’
• Through an amendment to
§ 495.332(f), we gave each state the
flexibility to identify which of the
eCQMs available for reporting in the
Medicaid Promoting Interoperability
Program are high priority measures for
Medicaid EPs in that state, with review
and approval by CMS, through the State
Medicaid HIT Plan (SMHP). States are
thus able to identify high priority
measures that align with their state
health goals or other programs within
the state.
All eCQMs identified via any of these
three methods are high priority
measures for EPs participating in the
Medicaid Promoting Interoperability
Program for 2019. As noted above, we
propose to use the same three methods
for identifying high priority eCQMs for
the Medicaid Promoting Interoperability
Program for 2020. We invite comments
as to whether any of these methods
should be altered or removed, or
whether any additional methods should
be considered for 2021.
We also propose that the 2020 eCQM
reporting period for Medicaid EPs who
have demonstrated meaningful use in a
prior year be a minimum of any
continuous 274-day period within CY
2020. This 274-day eCQM reporting
period corresponds to the 9-month
period from January 1, 2020 to
September 30, 2020. Medicaid EPs
would not be required to use that exact
reporting period, but would be able to
use any continuous 274-day period
within CY 2020. Medicaid EPs could
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also use a longer eCQM reporting period
in CY 2020, up to the full calendar year.
In addition, states would be required to
allow sufficient time for EPs to attest for
program year 2020 beyond January 1,
2021 so that EPs may, should they
choose to do so, select EHR and eCQM
reporting periods that take place at any
time within the 2020 calendar year
through December 31, 2020.
We are proposing this eCQM
reporting period for 2020 to improve
state flexibility in the penultimate year
of the Medicaid Promoting
Interoperability Program, and to
facilitate an orderly end of the program
in 2021. In the CY 2019 PFS final rule,
we established that the eCQM reporting
period for Medicaid EPs in 2021 will be
a minimum of any continuous 90-day
period within CY 2021, and also
established that the end date for this
period must fall before October 31,
2021, to help ensure that states can
issue all Medicaid Promoting
Interoperability payments to EPs by the
December 31, 2021 statutory deadline
(83 FR 59704 through 59706). When
proposing that policy, we received
comments that asked us to consider an
eCQM reporting period shorter than a
full year in 2020. Commenters stated
that a full-year reporting period may
create significant backlogs of 2020 and
2021 attestations in 2021 that may
create difficulty for states to issue
payments by the statutory deadline (83
FR 59705). We continue to believe that
longer reporting periods create more
useful data for quality measurement and
improvement because they give states a
broader picture of a health care
provider’s care and patient outcomes.
However, we agree that a full-year
eCQM reporting period in 2020 might
unnecessarily burden states as they
would need to issue incentive payments
and implement systems changes for
2021 in a timely manner.
This proposal would allow states to
accept attestations for program year
2020 as early as October 1, 2020 from
Medicaid EPs who choose to use an
eCQM reporting period early in the year,
and thus could give states additional
time to prepare for 2021 and the end of
the Medicaid Promoting Interoperability
Program. Even though states would also
still have to allow EPs to submit
attestations for 2020 in 2021, we believe
that allowing some EPs to attest sooner
could accelerate states’ pre-payment
verification and payment process. We
considered whether to propose a
Medicaid EP eCQM reporting period for
2020 from January 1, 2020 through
September 30, 2020, with no flexibility
for EPs to select an alternative 274-day
eCQM reporting period. We also
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considered whether to propose a date
prior to December 31, 2020 by which all
Medicaid EP EHR and eCQM reporting
periods for 2020 must end. While either
of these alternatives might have further
helped to ensure that all states would
have additional time to prepare for
2021, we decided not to propose either
of them because we wanted to preserve
as much flexibility as possible for
Medicaid EPs. However, we seek
comment, especially from states and
Medicaid EPs, about whether either of
these alternatives might be preferable to
our proposal.
We note that states submit their
attestation deadlines to CMS each year
as part of their SMHPs. We do not
believe that this proposal would create
any additional burden on EPs or CEHRT
vendors, as CEHRT should be able to
report eCQM data from any length of
time.
We propose that, in 2020, the eCQM
reporting period for Medicaid EPs
demonstrating meaningful use for the
first time, which was established in the
final rule entitled ‘‘Medicare and
Medicaid Programs; Electronic Health
Record Incentive Program-Stage 3 and
Modifications to Meaningful Use in
2015 Through 2017’’ (80 FR 62762,
62892) (hereinafter known as the ‘‘Stage
3 final rule’’), would remain any
continuous 90-day period within the
calendar year, as in previous years.
3. Objective 1: Protect Patient Health
Information in 2021
In the Stage 3 final rule (80 FR 62762,
62832), we established Meaningful Use
Objective 1 as ‘‘Protect electronic
protected health information (ePHI)
created or maintained by the CEHRT
through the implementation of
appropriate technical, administrative,
and physical safeguards.’’ As specified
at § 495.24(d)(1)(i)(B), to meet that
objective, EPs must meet the associated
measure to conduct or review a security
risk analysis in accordance with the
requirements under 45 CFR
164.308(a)(1), including addressing the
security (including encryption) of data
created or maintained by CEHRT in
accordance with requirements under 45
CFR 164.312(a)(2)(iv) and 164.306(d)(3),
implement security updates as
necessary, and correct identified
security deficiencies as part of the
provider’s risk management process.
In the Stage 3 final rule, we explained
that this measure must be completed in
the same calendar year as the EHR
reporting period. This may occur before,
during, or after the EHR reporting
period, though if it occurs after the EHR
reporting period it must occur before the
provider attests to meaningful use of
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CEHRT or before the end of the calendar
year, whichever comes first (80 FR
62831). In practice, this means that EPs
do not attest to meaningful use of
CEHRT before completing this measure.
As discussed above, states must issue
all Medicaid Promoting Interoperability
Program incentive payments by the
statutory deadline of December 31,
2021. States can establish state-specific
deadlines for Medicaid EPs to attest to
the state regarding meaningful use of
CEHRT in CY 2021. However, due to
changes CMS made in prior rulemaking
to the Medicaid Promoting
Interoperability Program EHR and
eCQM reporting periods for 2021, all
states must set attestation deadlines on
or before October 31, 2021. See 42 CFR
495.4 (definition of ‘‘EHR reporting
period’’) and 495.332(f)(3) and (4), and
83 FR 59704 through 59705. Because all
EPs are therefore expected to attest to
meaningful use of CEHRT before the
end of CY 2021, Medicaid EPs would no
longer have the option of completing the
security risk analysis at the end of the
calendar year, and would likely have to
complete it well before December 2021.
For example, in a state with an
attestation deadline of October 1, 2021,
a Medicaid EP would have to conduct
the security risk analysis by September
30, 2021. Stakeholders have given us
feedback that most security risk
analyses are conducted on a clinic or
practice level, which may include EPs
and non-EPs. As we noted in the Stage
3 final rule, ‘‘[a]n organization may
conduct one security risk analysis or
review which is applicable to all EPs
within the organization, provided it is
within the same calendar year and prior
to any EP attestation for that calendar
year. However, each EP is individually
responsible for their own attestation and
for independently meeting the objective.
Therefore, it is incumbent on each
individual EP to ensure that any
security risk analysis or review
conducted for the group is relevant to
and fully inclusive of any unique
implementation or use of CEHRT
relevant to their individual practice’’ (80
FR 62794).
If an EP or practice typically conducts
the security risk analysis at the end of
each year, the CY 2021 timeline for
attesting to meaningful use of CEHRT
may create burden for all Medicaid EPs
and for non-EP health care providers
within the same organization as
Medicaid EPs, and may not be optimal
for protecting information security,
because it could disrupt the intervals
between security risk analyses. As we
explained in the Stage 3 final rule, a
security risk analysis is not a discrete
item in time, but a comprehensive
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analysis covering the full period of time
for which it is applicable; and the
annual review of such an analysis is
similarly comprehensive. In other
words, the analysis and review, no
matter when they are conducted, should
not be just a ‘‘point in time’’ exercise,
and instead should cover a span of the
entire year, including a review planning
for future system changes within the
year or a review of prior system changes
within the year (80 FR 62831). However,
EPs that typically conduct the security
risk analysis in December of each
calendar year might conduct one
security risk analysis in December 2020,
and then have to conduct another one
well before December 2021, if the
analysis must be completed before the
EP attests to meaningful use of CEHRT
for CY 2021. We believe that security
risk analyses are most effective for data
security when conducted on a regular
schedule. In addition, practice locations
may have ongoing contracts or processes
in place to perform a security risk
analysis at the same time each year. We
do not wish to create burden for EPs and
non-EPs related to changing those
processes to meet the CY 2021 Medicaid
Promoting Interoperability Program
attestation timelines.
Therefore, we are proposing to allow
Medicaid EPs to conduct a security risk
analysis at any time during CY 2021,
even if the EP conducts the analysis
after the EP attests to meaningful use of
CEHRT to the state. A Medicaid EP who
has not completed a security risk
analysis for CY 2021 by the time he or
she attests to meaningful use of CEHRT
for CY 2021 would be required to attest
that he or she will complete the
required analysis by December 31, 2021.
Under this proposal, states could
require Medicaid EPs to submit
evidence that the security risk analysis
has been completed as promised, even
after the incentive payment has been
issued. In addition, states could require
EPs to attest that if a security risk
analysis is not completed by December
31, 2021, they will voluntarily rescind
their attestation to meaningful use of
CEHRT and return the incentive
payment. If this proposal is finalized as
proposed, we would work with states to
develop post-payment verification and
audit processes that meet CMS due
diligence requirements, including those
in §§ 495.318 and 495.368, and
generally to ensure that incentive
payments are made properly. We
remind states that as a condition of
receiving enhanced federal financial
participation (FFP), they are required to
demonstrate to the satisfaction of HHS
that they are conducting adequate
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oversight of the program, including
routine tracking of meaningful use
attestations (See § 495.318(b)). States are
also reminded that they must submit a
description of the methodology used to
verify that EPs have meaningfully used
CEHRT for CMS approval as part of
their SMHP. (See § 495.332(c)). In the
final rule titled ‘‘Medicare and Medicaid
Programs; Electronic Health Record
Incentive Program’’ (75 FR 44313), CMS
explained that states are expected to
‘‘look behind’’ provider attestations, and
that this would require audits both preand post-payment (75 FR 44515). These
requirements and expectations would
not change under this proposal.
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4. Clarification
In the CY 2019 PFS final rule (83 FR
59702), in the list of high priority
eCQMs that are available for Medicaid
EPs to report in 2019 because they are
both part of the Core Sets and on the
MIPS list of eCQMs, we inadvertently
listed ‘‘Initiation and Engagement of
Alcohol and Other Drug Dependence
Treatment’’ as ‘‘CMS4.’’ It should have
read ‘‘CMS137, ‘Initiation and
Engagement of Alcohol and Other Drug
Dependence Treatment.’ ’’
E. Medicare Shared Savings Program
As required under section 1899 of the
Act, we established the Medicare
Shared Savings Program (Shared
Savings Program) to facilitate
coordination and cooperation among
health care providers to improve the
quality of care for Medicare fee-forservice (FFS) beneficiaries and reduce
the rate of growth in expenditures under
Medicare Parts A and B. Eligible groups
of providers and suppliers, including
physicians, hospitals, and other health
care providers, may participate in the
Shared Savings Program by forming or
participating in an Accountable Care
Organization (ACO). The final rule
establishing the Shared Savings Program
appeared in the November 2, 2011
Federal Register (Medicare Program;
Medicare Shared Savings Program:
Accountable Care Organizations; final
rule (76 FR 67802) (hereinafter referred
to as the ‘‘November 2011 final rule’’)).
A subsequent major update to the
program rules appeared in the June 9,
2015 Federal Register (Medicare
Program; Medicare Shared Savings
Program: Accountable Care
Organizations; final rule (80 FR 32692)
(hereinafter referred to as the ‘‘June
2015 final rule’’)). The final rule
entitled, ‘‘Medicare Program; Medicare
Shared Savings Program; Accountable
Care Organizations—Revised
Benchmark Rebasing Methodology,
Facilitating Transition to Performance-
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Based Risk, and Administrative Finality
of Financial Calculations,’’ which
addressed changes related to the
program’s financial benchmark
methodology, appeared in the June 9,
2016 Federal Register (81 FR 37950)
(hereinafter referred to as the ‘‘June
2016 final rule’’)). A final rule
redesigning the Shared Savings Program
appeared in the December 31, 2018
Federal Register (Medicare Program:
Medicare Shared Savings Program;
Accountable Care OrganizationsPathways to Success; final rule) (83 FR
67816) (hereinafter referred to as the
‘‘December 2018 final rule’’). In the
December 2018 final rule, we finalized
a number of policies including redesign
of the participation options available
under the program to encourage ACOs
to transition to two-sided models; new
tools to support coordination of care
across settings and strengthen
beneficiary engagement; and revisions
to ensure rigorous benchmarking.
We have also made use of the annual
CY PFS rules to address quality
reporting for the Shared Savings
Program and certain other issues. In the
CY 2019 PFS final rule, we finalized a
voluntary 6-month extension for
existing ACOs whose participation
agreements would otherwise expire on
December 31, 2018; allowed
beneficiaries greater flexibility in
selecting their primary care provider
and in the use of that selection for
purposes of assigning the beneficiary to
an ACO if the clinician they align with
is participating in an ACO; revised the
definition of primary care services used
in beneficiary assignment; provided
relief for ACOs and their clinicians
impacted by extreme and uncontrollable
circumstances in performance year 2018
and subsequent years; established a new
Certified Electronic Health Record
Technology (CEHRT) threshold
requirement; and reduced the Shared
Savings Program quality measure set
from 31 to 23 measures (83 FR 59940
through 59990 and 59707 through
59715). In the CY 2018 PFS final rule
(82 FR 53209 through 53226), we
finalized revisions to several different
policies under the Shared Savings
Program, including the assignment
methodology, quality measure
validation audit process, use of the
skilled nursing facility (SNF) 3-day
waiver, and handling of demonstration
payments for purposes of financial
reconciliation and establishing
historical benchmarks. In addition, in
the CY 2017 and CY 2018 Quality
Payment Program final rules (81 FR
77255 through 77260, and 82 FR 53688
through 53706, respectively), we
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40705
finalized policies related to the
Alternative Payment Model (APM)
scoring standard under the Merit-Based
Incentive Payment System (MIPS),
which reduced the reporting burden for
MIPS eligible clinicians who participate
in MIPS APMs, such as the Shared
Savings Program.
As a general summary, in this CY
2020 PFS proposed rule, we:
• Discuss aligning the Shared Savings
Program quality measure set with
proposed changes to the Web Interface
measure set under MIPS per previouslyfinalized policy;
• Propose a change to the claimsbased measures;
• Solicit comment on aligning the
Shared Savings Program quality score
with the MIPS quality performance
category score; and
• Propose a technical change to
correct a cross-reference within a
provision of the Shared Savings
Program’s regulations on the skilled
nursing facility (SNF) 3-day rule waiver,
to conform with amendments to
§ 425.612 that were adopted in the
December 2018 final rule;
1. Quality Measurement
a. Background
Section 1899(b)(3)(C) of the Act states
that the Secretary shall establish quality
performance standards to assess the
quality of care furnished by ACOs and
seek to improve the quality of care
furnished by ACOs over time by
specifying higher standards, new
measures, or both. In the November
2011 final rule, we established a quality
measure set spanning four domains:
Patient experience of care, care
coordination/patient safety, preventive
health, and at-risk population (76 FR
67872 through 67891). Since the Shared
Savings Program was established, we
have updated the measures that
comprise the quality performance
measure set for the Shared Savings
Program through the annual rulemaking
in the CY 2015, 2016, 2017, and 2019
PFS final rules (79 FR 67907 through
67920, 80 FR 71263 through 71268, 81
FR 80484 through 80489, and 83 FR
59707 through 59715 respectively).
As we stated in the November 2011
final rule establishing the Shared
Savings Program (76 FR 67872), our
principal goal in selecting quality
measures for ACOs has been to identify
measures of success in the delivery of
high-quality health care at the
individual and population levels, with a
focus on outcomes. For performance
year 2019, 23 quality measures will be
used to determine ACO quality
performance (83 FR 59707 through
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59715). The information used to
determine ACO performance on these
quality measures will be submitted by
the ACO through the CMS Web
Interface, calculated by us from
administrative claims data, and
collected via a patient experience of
care survey referred to as the Consumer
Assessment of Healthcare Provider and
Systems (CAHPS) for ACOs Survey.
Eligible clinicians who are
participating in an ACO and who are
subject to MIPS (MIPS eligible
clinicians) will be scored under the
APM scoring standard under MIPS (81
FR 77260). These MIPS eligible
clinicians include any eligible clinicians
who are participating in an ACO in a
track (or payment model within a track,
such as Levels A–D of the BASIC Track)
of the Shared Savings Program that is
not an Advanced APM, as well as those
participating in an ACO in a track (or
payment model within a track) that is an
Advanced APM, but who do not become
Qualifying APM Participants (QPs) as
specified in § 414.1425, and are not
otherwise excluded from MIPS.
b. Proposed Changes to the CMS Web
Interface and Claims-Based Measures
Since the Shared Savings Program
was first established in 2012, we have
updated the quality measure set to
reduce reporting burden and focus on
more meaningful, outcome-based
measures. The most recent updates to
the Shared Savings Program quality
measure set were made in the CY 2019
PFS final rule (83 FR 59711). In the CY
2019 PFS final rule, we explained that
in developing the proposed changes to
the quality measure set for 2019, we had
considered the agency’s efforts to
streamline quality measures, reduce
regulatory burden and promote
innovation as part of the agency’s
Meaningful Measures initiative (see
CMS Press Release, CMS Administrator
Verma Announces New Meaningful
Measures Initiative and Addresses
Regulatory Reform; Promotes Innovation
at LAN Summit, October 30, 2017,
available at https://www.cms.gov/
Newsroom/MediaReleaseDatabase/
Press-releases/2017-Press-releasesitems/2017-10-30.html). We also noted
that under the Meaningful Measures
initiative, we have committed to
assessing only those core issues that are
most vital to providing high-quality care
and improving patient outcomes, with
the aim of focusing on high-priority
measures, reducing unnecessary burden
on providers, and putting patients first.
The changes made in the CY 2019 PFS
final rule reduced the Shared Savings
Program quality measure set from 31 to
23 measures. Currently, more than half
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of the 23 Shared Savings Program
quality measures are outcome and highpriority measures, including:
• Patient-experience of care measures
collected through the CAHPS for ACOs
Survey that strengthen patient and
caregiver experience.
• Outcome measures supporting
effective communication and care
coordination, such as unplanned
admission and readmission measures.
• Intermediate outcome measures that
address the effective treatment of
chronic disease, such as hemoglobin
A1c control for patients with diabetes.
As we stated in the CY 2019 PFS final
rule (83 FR 59713), we seek to align the
Shared Savings Program measure set
with changes made to the CMS Web
Interface measures under the Quality
Payment Program. In the 2017 PFS final
rule, we stated that we do not believe it
is beneficial to propose CMS Web
interface measures for ACO quality
reporting separately (81 FR 80499).
Therefore, to avoid confusion and
duplicative rulemaking, we adopted a
policy that any future changes to the
CMS Web interface measures would be
proposed and finalized through
rulemaking for the Quality Payment
Program, and that such changes would
be applicable to ACO quality reporting
under the Shared Savings Program. In
accordance with the policy adopted in
the CY 2017 PFS final rule (81 FR
80501), we are not making any specific
proposals related to changes in CMS
Web Interface measures reported under
the Shared Savings Program. Rather, we
refer readers to Appendix 1, Table C
(Existing Quality Measures Proposed for
Removal Beginning with the 2022 MIPS
Payment Year) and Table Group A (New
Quality Measures Proposed for Addition
Beginning with the 2022 MIPS Payment
Year) of this proposed rule for a
complete discussion of the proposed
changes to the CMS Web Interface
measures for performance year 2020
(2022 MIPS Payment Year). Based on
the changes being proposed in
Appendix 1, Table C of this proposed
rule, ACOs would no longer be
responsible for reporting the following
measure for purposes of the Shared
Savings Program starting with reporting
for performance year 2020:
• ACO–14 Preventive Care and
Screening Influenza Immunization
In the event we do not finalize the
removal of this measure, we would
maintain the measure with the
‘‘substantive’’ change described in
Appendix 1, Table C (Previously
Finalized Quality Measures Proposed
for Removal in the 2022 Payment Year
and Future Years) of this proposed rule.
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We have reviewed the proposed
‘‘substantive’’ change and we do not
believe that this change to the measure
would require that we revert the
measure to pay-for-reporting for the
2020 performance year as we could
create a historical benchmark.
Additionally, in section III.I.3.B.(1) of
this proposed rule, we are proposing to
add the following measure to the CMS
Web Interface for purposes of the
Quality Payment Program:
• ACO–47 Adult Immunization Status
Based on the policies being proposed
for purposes of MIPS in Appendix 1,
Table Group A of this proposed rule,
Shared Savings Program ACOs would be
responsible for reporting the Adult
Immunization Status measure (ACO–47)
starting with quality reporting for
performance year 2020. Consistent with
our existing policy regarding the scoring
of newly introduced quality measures,
this measure would be pay-for-reporting
for all ACOs for 2 years (performance
years 2020 and performance year 2021).
The measure would then phase into
pay-for-performance beginning in
performance year 2022 (§ 425.502(a)(4)).
In section III.J.3.c.(1)(d) of this rule,
we note that as discussed in Table DD
(Previously Finalized Quality Measures
with Substantive Changes Proposed for
the 2021 MIPS Payment Year), we have
determined based on extensive
stakeholder feedback that the 2018 CMS
Web Interface measure numerator
guidance for the Preventive Care and
Screening: Tobacco Use: Screening and
Cessation Intervention (ACO–17)
measure is inconsistent with the intent
of the CMS Web Interface version of this
measure as modified in the CY 2018
Quality Payment Program final rule (82
FR 54164) and is unduly burdensome
on clinicians. Moreover, due to the
current guidance, we are unable to rely
on historical data to benchmark the
measure. Therefore, for the 2018
performance year we are designating the
measure pay-for-reporting in accordance
with § 425.502(a)(5). Additionally, in
section III.J.3.c.(1)(d) of this proposed
rule, we are proposing to update the
CMS Web Interface measure numerator
guidance for purposes of the Quality
Payment Program. To the extent that
this proposed change constitutes a
change to the Shared Savings Program
measure set after the start of the 2019
performance period, we believe that,
consistent with section 1871(e)(1)(A)(ii)
of the Act, it would be contrary to the
public interest not to modify the
measure as proposed in Table DD
because the current guidance is
inconsistent with the intent of the CMS
Web Interface version of this measure,
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as modified in the CY 2018 QPP final
rule, and unduly burdensome on
clinicians. If this modification is
finalized as proposed, consistent with
our discussion in the CY 2018 PFS final
rule, we expect we would be able to use
historical data reported on the measure
to establish an appropriate 2019
benchmark that aligns with the updated
specifications (82 FR 53214 and 53215)
and the measure would be pay-forperformance for performance year 2019
and subsequent year.
In addition, we note that AHRQ,
which is the measure steward for ACO–
43—Ambulatory Sensitive Condition
Acute Composite (AHRQ Prevention
Quality Indicator (PQI) #91) (version
with additional Risk Adjustment), made
an update to the measure that will
require a change to the measure
specifications for performance year
2020.100 Currently, ACO–43 assesses the
risk adjusted rate of hospital discharges
for acute PQI conditions with a
principal diagnosis of dehydration,
bacterial pneumonia, and urinary tract
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Retirement%20Notice_v2019_Indicators.pdf.
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infection. The updated measure will
only include two conditions, bacterial
pneumonia and urinary tract infection.
This measure is a composite measure
and the rate of hospital discharges is
approximately equal to the sum of the
rates of hospital discharges for each of
its components. Therefore, the removal
of dehydration will likely decrease the
composite rate by approximately the
rate of dehydration discharges. Based on
this substantive change, we propose to
redesignate ACO–43 as pay-forreporting for 2020 and 2021 consistent
with our policy under § 425.502(a)(4),
which provides that a newly introduced
measure is set at the level of complete
and accurate reporting for the first two
reporting periods the measure is
required. However, we also considered
creating a benchmark using historical
data for bacterial pneumonia and
urinary tract infection and keeping the
measure pay-for-performance. As this is
a claims-based measure, we have access
to historical data for both bacterial
pneumonia and urinary tract infection
so we would be able to create a
historical benchmark for the revised
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measure. However, we believe that
changes to measures impact how ACOs,
their ACO participants, and ACO
provider/suppliers allocate their
resources and redesign their care
process to improve quality of care for
their beneficiaries. As a result, our
proposal to revert the measure to payfor-reporting for 2 years will give ACOs
time to refine care processes and
educate clinicians while also gaining
experience with the refined composite
measure and understanding of
performance under revised benchmarks
prior to the start of a pay for
performance year.
We seek comment on this proposal
and the alternative approach
considered.
Table 32 shows the Shared Savings
Program quality measure set for
performance year 2020 and subsequent
performance years that would result if
the proposals in section III.I.3.B.(1) of
this proposed rule are finalized,
including the phase-in schedule for the
proposed Adult Immunization Status
measure (ACO–47).
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TABLE 32: Measure Set for Use in Establishing the Shared Savings Program
Quality Performance Standard, Starting with Performance Years during 2020
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ACO
Measure
#
Domain
Pay for Performance
Phase-In
R- Reporting
P- Performance
The net result, if the proposals in
section III.I.3.b.(1) of this proposed rule
are finalized, would be a set of 23
measures on which ACOs’ quality
performance would be assessed for
performance year 2020 and subsequent
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c. Seeking Comment on Aligning the
Shared Savings Program Quality Score
With the MIPS Quality Score
As discussed above, our principal
goal in selecting quality measures for
the Shared Savings Program has been to
identify measures of success in the
delivery of high-quality health care at
the individual and population levels,
with a focus on outcomes. The Shared
Savings Program quality measure set
currently consists of 23 measures
spanning four domains that are
submitted by the ACO through the CMS
Web Interface, calculated by us for
ACOs from administrative claims data,
and collected via a patient experience of
care survey referred to as the CAHPS for
ACOs Survey. The number of measures
within the four domains has changed
over time to reflect changes in clinical
practice, move towards more outcome
and high-priority measures, align with
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performance years. The 4 domains
would include the following numbers of
quality measures (See Table 33):
• Patient/Caregiver Experience of
Care-10 measures.
• Care Coordination/Patient Safety-4
measures.
• Preventive Health-6 measures.
• At Risk Populations-3 measures.
Table 33 provides a summary of the
number of measures by domain and the
total points and domain weights that
would be used for scoring purposes.
other quality reporting programs, and
reduce burden; however, the overall
structure of four equally weighted
measure domains has remained
consistent in determining ACOs’ quality
performance since the Shared Savings
Program was established in 2012. As
provided in section 1899(d)(2) of the
Act and § 425.502(a) of the Shared
Savings Program regulations, ACOs
must meet a quality performance
standard to qualify to share in savings.
Currently, the quality performance
standard is based on an ACO’s
performance year rather than financial
track. The quality performance standard
is defined at the level of full and
complete reporting (pay-for-reporting
(P4R)) for the first performance year of
an ACO’s first agreement period. In the
second or subsequent years of the first
agreement period and all years of
subsequent agreement periods, quality
measures are scored as pay-forperformance (P4P) according to the
phase-in schedule for the specific
measure and the ACO’s performance
year in the Shared Savings Program:
• For all performance years, ACOs
must completely and accurately report
all quality data used to calculate and
assess their quality performance.
• CMS designates a performance
benchmark and minimum attainment
level for each P4P measure and
establishes a point scale for the
measure. An ACO’s quality performance
for a measure is evaluated using the
appropriate point scale, and these
measure specific scores are used to
calculate the final quality score for the
ACO.
• ACOs must meet minimum
attainment (defined as the 30th
percentile benchmark for P4P measures)
on at least one measure in each domain
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to be eligible to share in any savings
generated (§ 425.502(d)(2)(iii)(A)).
ACOs are rewarded for their quality
performance on a sliding scale on which
higher levels of quality performance
translate to higher rates of shared
savings and, depending on the track
under which an ACO is participating,
may result in lower rates of shared
losses. In addition, ACOs that
demonstrate significant quality
improvement on measures in a domain
are eligible to receive a quality
improvement reward (§ 425.502(e)(4)).
Specifically, for each domain, ACOs can
be awarded up to four additional points
for quality performance improvement
on the quality measures within the
domain. These bonus points are added
to the total points that an ACO achieves
for the quality measures within that
domain, but the total number of points
cannot exceed the maximum total
points for the domain.
In the CY 2018 Quality Payment
Program final rule, we finalized a policy
for the 2018 performance period and
subsequent performance periods that
the quality performance category under
the MIPS APM Scoring Standard for
MIPS eligible clinicians participating in
a Shared Savings Program ACO will be
assessed based on measures collected
through the CMS Web Interface and the
CAHPS for ACOs survey measures (82
FR 53688 through 53706). We assign the
same MIPS quality performance
category score to each Tax Identification
Number (TIN)/National Provider
Identifier (NPI) in a Shared Savings
Program ACO based on the ACO’s total
quality score derived from the measures
reported via the CMS Web Interface and
the CAHPS for ACOs survey. Eligible
clinicians in a Shared Savings Program
ACO will receive full credit for the
improvement activities performance
category in 2020 based on their
performance of improvement activities
required under the Shared Savings
Program. In addition, ACO participants
report on the Promoting Interoperability
performance category at the group or
solo practice level for eligible clinicians
subject to Promoting Interoperability
performance category. Data for the
Promoting Interoperability performance
category is reported by ACO
participants at the TIN level and is then
weighted and aggregated to get a single
ACO score for the performance category
that applies to all eligible clinicians
participating in the ACO. These three
categories in the APM scoring standard
are weighted as follows: Quality is 50
percent, Improvement Activities is 20
percent, and Promoting Interoperability
is 30 percent. Eligible Clinicians
participating in the Shared Savings
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Program are not assessed under the
MIPS cost performance category as these
eligible clinicians are already subject to
cost and utilization performance
assessments as part of the Shared
Savings Program. Therefore, the cost
performance category is weighted at
zero percent.
Eligible clinicians who reassign their
billing rights to an ACO Participant TIN
in an Advanced APM (Track 2, Track 1+
ACO Model, BASIC Track Level E, and
ENHANCED Track) and who are
included on the Advanced APM
Participation List on at least one of three
snapshot dates (March 31, June 30, and
August 31) during the performance year
may become Qualifying APM
Participants (QPs) for the year, if they
meet payment or patient count
thresholds. If these eligible clinicians
attain QP status for the performance
year via their participation in the
Shared Savings Program ACO, they
would receive an APM incentive
payment and would not be subject to
the MIPS reporting requirements or
payment adjustment for the related
payment year. However, they would be
required to report quality for purposes
of the Shared Savings Program financial
reconciliation.
We recognize that ACOs and their
participating providers and suppliers
have finite resources to dedicate to
engaging in efforts to improve quality
and reduce costs for their assigned
beneficiary population. Although CMS
has worked to align policies under the
Shared Savings Program with the
Quality Payment Program, we recognize
that some differences in program
methodologies for the Shared Savings
Program and MIPS remain and could
potentially create conflicts for MIPS
eligible clinicians in an ACO who are
attempting to strategically transform
their respective practices to earn shared
savings under the terms of the Shared
Savings Program and a positive payment
adjustment under MIPS. Currently,
under the Shared Savings Program,
ACOs in performance years other than
the first performance year of their first
agreement period are allocated up to
two points for quality measures that are
pay-for-performance, according to
where their performance falls, relative
to benchmark deciles. Incomplete
reporting of any CMS Web Interface
measure will result in zero points for all
CMS Web Interface measures and the
ACO will fail to meet the quality
performance standard for the
performance year. Similarly, if a CAHPS
for ACOs Survey is not administered
and/or no data is transmitted to CMS,
zero points will be earned for all
Patient/Caregiver Experience measures
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and the ACO will fail to meet the
quality standard for the performance
year. The quality measure set for the
Shared Savings Program also includes
certain claims-based measures that are
not part of the MIPS quality
performance category, and we currently
calculate performance rates on these
claims-based measures for purposes of
determining an ACO’s overall quality
score under the Shared Savings
Program.
In contrast, when a group submits
measures for the MIPS quality
performance category via the CMS Web
Interface, each measure is assessed
against its benchmark to determine how
many points the measure earns. For the
2019 MIPS performance period, a group
can receive between 3 and 10 points for
each MIPS measure (not including
bonus points) that meets the data
completeness and case minimum
requirements by comparing measure
performance to established benchmarks.
If a group fails to meet the data
completeness requirement on one of the
CMS Web Interface measures, it receives
zero points for that measure; however,
all other CMS Web Interface measures
that meet the data completeness
requirement are assessed against the
measure benchmarks, and the points
earned across all measures are included
in the quality performance category
score. Currently, the only administrative
claims-based measure used in MIPS is
the All-Cause Readmission measure,
which is only calculated for groups with
16 or more eligible clinicians. These
differences between the Shared Savings
Program quality measure set and the
MIPS quality measure set highlight the
different quality measurement
approaches for which Shared Savings
Program ACOs must simultaneously
evaluate, prioritize, and target resources
that may be better directed toward
patient care if the quality measurement
approaches under the Shared Savings
Program and MIPS were more closely
aligned.
We believe that using a single
methodology to measure quality
performance under both the Shared
Savings Program and the MIPS would
allow ACOs to better focus on
increasing the value of healthcare,
improving care, and engaging patients,
and reduce burden as ACOs would be
able to track to a smaller measure set
under a unified scoring methodology.
Accordingly, we are soliciting comment
on how to potentially align the Shared
Savings Program quality reporting
requirements and scoring methodology
more closely with the MIPS quality
reporting requirements and scoring
methodology.
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First, we are requesting comments on
replacing the Shared Savings Program
quality score with the MIPS quality
performance category score, for ACOs in
Shared Savings Program tracks (or
payment models within a track) that do
not meet the definition of an Advanced
APM (currently, Track 1 and BASIC
Track Levels A, B, C and D). Allowing
for a single quality performance score
for both programs would eliminate the
need for ACOs to focus their resources
for quality improvement on maximizing
performance under two separate quality
reporting requirements with distinct
scoring methodologies. Currently, for
ACOs in tracks (or payment models
within a track) that do not meet the
definition of an Advanced APM, the
MIPS quality performance category
score is calculated based on the
measures reported by the ACO via the
CMS Web Interface and the CAHPS for
ACO survey measures. For Shared
Savings Program quality scoring
purposes, we could utilize the MIPS
quality performance category score,
converted to a percentage of points
earned out of the total points available,
as the ACO’s quality score for purposes
of financial reconciliation under the
Shared Savings Program. We note that
for performance year 2017 (the only year
from which we have complete data
available), the weighted mean MIPS
quality performance category score for
ACOs in Shared Savings Program tracks
(or payment models within a track) that
do not meet the definition of an
Advanced APM) was 45.01 and the
weighted median MIPS quality
performance score for these ACOs was
46.8, out of a possible 50 points
assigned for the quality performance
category.
ACOs in tracks (or payment models
within a track) that meet the definition
of an Advanced APM whose eligible
clinicians are QPs for the year and thus
are excluded from the MIPS reporting
requirements, do not receive a quality
performance category score under MIPS.
Instead the quality data the ACO reports
to the CMS Web Interface is used along
with the ACO’s CAHPS data and the
administrative claims-based measures
calculated by us, solely for the purpose
of scoring the quality performance of the
ACO under the Shared Savings Program
quality scoring methodology. As an
alternative, given that we currently
collect the necessary data from these
ACOs, we could also calculate a quality
score for these ACOs under the MIPS
scoring methodology, and use this score
to assess the quality performance of the
ACO for purposes of the Shared Savings
Program. Using this score would also
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inform eligible clinicians participating
in these ACOs of their MIPS quality
score in the event that they lose QP
status and are scored under the MIPS
APM scoring standard.
Utilizing a MIPS quality performance
category score to assess the quality
performance for purposes of the Shared
Savings Program ACOs in tracks (or
payment models within a track) that
qualify as an Advanced APM would not
change whether eligible clinicians
participating in the ACO obtain QP
status and are excluded from MIPS, nor
would it change the ACO participant
TINs’ eligibility to receive Advanced
APM incentive payments. Rather, under
this approach we would utilize the same
scoring methodology to determine the
quality performance, for Shared Savings
Program ACOs that are participating in
Advanced APMs as would be used to
assess the quality performance of ACOs
in Shared Savings Program tracks (or
payment models within a track) that do
not meet the definition of an Advanced
APM, creating further alignment of
performance results and further
synergies between the Shared Savings
Program and MIPS. We welcome
comment on the approach of using the
MIPS quality performance category
score to assess quality performance for
purposes of the Shared Savings Program
quality performance standard for ACOs
that are in tracks (or payment models
within a track) that qualify as Advanced
APMs. We also welcome comment on
potential alternative approaches for
scoring Shared Savings Program quality
performance in a way that more closely
aligns with MIPS.
In addition, we note that we are also
soliciting comment on simplifying MIPS
by implementing a core measure set
using administrative claims-based
measures that can be broadly applied to
communities or populations and
developing measure set tracks around
specialty areas or public health
conditions to standardize and provide
more cohesive reporting and
participation. We refer readers to
section III.I.3.a.(3) of this proposed rule
for more information on these
approaches.
Currently, for ACOs in tracks (or
payment models within a track) that do
not meet the definition of an Advanced
APM, the MIPS quality performance
category score is calculated based on the
measures reported by the ACO via the
CMS Web Interface and the CAHPS for
ACO survey measures. In section
III.I.3.b.(1)(ii) of this proposed rule, we
are proposing to add the MIPS AllCause Unplanned Admission for
Patients with Multiple Chronic
Conditions (MCC) measure to the MIPS
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quality performance category. If this
measure were to be added to MIPS
quality performance category,
implementation of the measure would
be delayed until the 2021 performance
period for MIPS as explained in section
III.I.3.B.(1)(ii). If the MCC measure were
to be included in the MIPS quality
performance category, we would also
consider including the MIPS claimsbased measures (MCC and MIPS AllCause Readmission measure) in the
MIPS APM scoring standard for ACOs
in tracks (or payment models within a
track) that are not Advanced APMs and
in the MIPS quality performance
category equivalent score for ACOs in
tracks that are Advanced APMs, in order
to fully align the quality scoring
methodology under the Shared Savings
Program with the MIPS scoring
methodology to reduce the burden on
ACOs and their eligible clinicians of
tracking to multiple quality reporting
requirements and quality scoring
methodologies. We would then use this
score for purposes of assessing quality
performance under the Shared Savings
Program for all ACOs. These MIPS
claims-based measures are similar to
those currently used to assess ACO
quality under the Shared Savings
Program. The proposed MIPS MCC and
ACO MCC are similar because they both
target patients with multiple chronic
conditions but the cohort, outcome, and
risk model for the proposed MIPS MCC
measure would vary from the ACO MCC
measure. The cohort for the ACO MCC
includes eight conditions whereas the
MIPS MCC measure includes nine
conditions, where the additional
condition is diabetes. The ACO MCC
measure does not adjust for social risk
factors whereas the MIPS MCC measure
adjusts for two area-level social risk
factors: (1) AHRQ socioeconomic status
(SES) index; and (2) specialist density.
For more detailed information on the
MIPS MCC measure please refer to
Appendix 1 Table AA (New Quality
Measures Proposed for Addition for the
2023 Payment Year and Future Years) of
this proposed rule. Both the MIPS and
Shared Savings Program versions of the
All-Cause Readmission measure were
developed to fully align with the
original hospital measure of HospitalWide Readmission. The MIPS and
Shared Savings Program versions of the
All Cause Readmission measure are
essentially re-specifications of the same
hospital measure and are updated
annually to maintain that alignment.
Because of this, the measures have a
very similar, or identical, definition for
included patients, outcome definition,
and risk adjustment model. The primary
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difference among the measures is only
the entity that is accountable—either an
ACO or a MIPS-eligible clinician—but
the specifications are otherwise aligned.
We also welcome comment on
potentially including all of the MIPS
claims-based measures in the MIPS
quality performance category score for
ACOs (instead of the 3 claims-based
measures that are currently included in
the Shared Savings Program quality
score), and using this score (converted
to a percentage of points earned out of
the total points available) in place of the
current Shared Savings Program quality
score to assess quality performance for
all ACOs for purposes of the Shared
Savings Program. We note that we
would also continue to assess ACOs on
the CAHPS for ACOs survey but quality
performance would be calculated by
MIPS based on the methodology used
for scoring the CAHPS for MIPS survey
and included in the MIPS quality
performance category score. The scoring
and benchmarking approach for the
CAHPS for MIPS is to assign points
based on each summary survey measure
(SSM) and then average the points for
all the scored SSMs to calculate the
overall CAHPS score. In contrast, ACOs
currently, receive up to 2 points for each
of the 10 SSMs for a total of 20 points.
In addition, we are soliciting
comment on determining the threshold
for minimum attainment in the Shared
Savings Program using the MIPS APM
quality performance category scoring.
As noted previously in this section,
ACOs in the first performance year of
their first agreement period are
considered to have met the quality
performance standard and therefore to
be eligible to share in savings or
minimize shared losses, if applicable,
when they completely and accurately
report all quality measures. ACOs in all
other performance years are required to
completely and accurately report and
meet the minimum attainment level on
at least one measure in each domain, to
be determined to have met the quality
performance standard and to be eligible
to share in savings. For these ACOs,
minimum attainment is defined as a
score that is at or above 30 percent or
the 30th percentile of the performance
benchmark. The 30th percentile for the
Shared Savings Program is the
equivalent of the 4th decile performance
benchmark under MIPS APM quality
performance category scoring. As we
look to more closely align with MIPS
quality performance category scoring in
future years, we are considering how to
determine whether ACOs have met the
minimum attainment level. For
example, minimum attainment could
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continue to be defined as complete and
accurate reporting for ACOs in their first
performance year of their first
agreement period, while a MIPS quality
performance category score that is at or
above the 4th decile across all MIPS
quality performance category scores
would be required for ACOs in all other
performance years under the Shared
Savings Program. ACOs with quality
scores under the 4th decile of all MIPS
quality performance category scores
would not meet the quality performance
standard for the Shared Savings
Program and thus would not be eligible
to share in savings or would owe the
maximum shared losses, if applicable.
In addition, ACOs with quality scores
under the 4th decile of all MIPS quality
performance category scores would be
subject to compliance actions and
possible termination. We recognize that
a requirement that ACOs achieve an
overall MIPS quality performance
category score (or equivalent score) that
meets or exceeds the 4th decile across
all MIPS quality performance category
scores is a higher standard than the
current requirement that ACOs meet the
30th percentile on one measure per
Shared Savings Program quality
domain; however, section 1899(b)(3)(C)
of the Act not only gives us discretion
to establish quality performance
standards for the Shared Savings
Program, but also indicates that we
should seek to improve the quality of
care furnished by ACOs over time by
specifying higher standards. We believe
that increasing the minimum attainment
level would incentivize improvement in
the quality of care provided to the
beneficiaries assigned to an ACO.
Furthermore, consistent with section
1899(b)(3)(C) of the Act, it is appropriate
to require a higher standard of care in
order for ACOs to continue to share in
any savings they achieve. Given the
maturity of the Shared Savings Program,
we are also considering setting a higher
threshold, such as the median or mean
quality performance category score
across all MIPS quality category scores,
for determining eligibility to share in
savings under the Shared Savings
Program for all ACOs, other than those
ACOs in their first performance year of
their first agreement period. We
welcome comment on these potential
approaches or other approaches for
determining Shared Savings Program
quality minimum attainment using
MIPS data.
We are also seeking comment on how
to potentially utilize the MIPS quality
performance category score to adjust
shared savings and shared losses under
the Shared Savings Program, as
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applicable. Currently, for all Shared
Savings Program ACOs and Track 1+
Model ACOs, the ACO’s quality score is
multiplied with the maximum sharing
rate of the track to determine the final
sharing rate and therefore the amount of
shared savings, if applicable. For some
ACOs under two-sided models,
specifically ACOs in Track 2 and the
ENHANCED track, the ACO’s quality
score is also used in determining the
amount of shared losses owed, if
applicable. Under Track 2 and the
ENHANCED track, the loss sharing rate
is determined as 1 minus the ACO’s
final sharing rate based on quality
performance, up to a maximum of 60
percent or 75 percent, respectively.
Under the Track 1+ Model and twosided models of the BASIC track (Levels
C, D and E), the amount of shared losses
is determined based on a fixed 30
percent loss sharing rate, regardless of
the ACO’s quality score. Thus, a higher
quality score results in the ACO
receiving a higher proportion of shared
savings in all Shared Savings Program
tracks and the Track 1+ Model, or
greater mitigation of shared losses in
Track 2 and the ENHANCED track. We
could apply the MIPS quality
performance category score to determine
ACOs’ shared savings and shared losses,
if applicable, in the same manner. For
instance, as an alternative to the current
approach to determining shared savings
payments for Shared Savings Program
ACOs, we could establish a minimum
attainment threshold, such as a score at
or above the 4th decile of all MIPS
quality performance category scores or
the median or mean quality
performance category score, that if met
would allow ACOs to share in savings
based on the full sharing rate of their
track. We welcome comment on these or
other potential approaches for utilizing
the MIPS quality performance category
score or an alternative score in
determining shared savings or shared
losses under the Shared Savings
Program.
In addition, we are considering an
option under which we would
determine the MIPS quality
performance category score for all
Shared Savings Program ACOs as it is
currently calculated for non-ACO group
reporters using the CMS Web Interface.
That is, ACOs would receive a score for
each of the measures they report and
zero points for those measures they do
not report. This would be a change from
the current methodology under which
ACOs must report all Web Interface
measures to complete quality reporting.
We note that currently, for ACOs in the
first year of their first agreement period,
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minimum attainment is set at the level
of complete and accurate reporting of all
measures. If we were to adopt the MIPS
quality performance category score as
the Shared Savings Program quality
score, we would consider no longer
imposing a different quality standard for
ACOs in the first year of their first
participation agreement versus ACOs in
later performance years. Given that the
Shared Savings Program is evolving and
many Medicare quality programs
including MIPS are incentivizing
performance rather than reporting, we
are considering no longer transitioning
from pay-for-reporting to pay-forperformance during an ACO’s first
agreement period in the Shared Savings
Program. We believe that requiring all
ACOs regardless of time in the program
to be assessed on quality performance
would be an appropriate policy since
nearly 100 percent of ACOs consistently
satisfactorily report all quality
measures. We welcome comment on
this alternative for determining the
MIPS quality performance category
score.
Lastly, we are seeking comment on
using the MIPS quality improvement
scoring methodology rather than the
Shared Savings Program Quality
Improvement Reward to reward ACOs
for quality improvement. Under the
Shared Savings Program, we currently
allow ACOs not in their first
performance year in the program to earn
a Quality Improvement Reward in each
of the four quality domains. In contrast,
under MIPS improvement points are
generally awarded as part of the MIPS
quality performance category score if a
MIPS eligible clinician (1) has a quality
performance category achievement
percent score for the previous
performance period and the current
performance period; (2) fully
participates in the quality performance
category for the current performance
period; and (3) submits data under the
same identifier for the 2 consecutive
performance periods. If we were to
adopt the MIPS quality performance
category score for the Shared Savings
Program quality score, quality
improvement points earned under MIPS
would be included in that score, and we
would not have a need to add additional
points to it. We welcome public
comment on this or other approaches to
considering improvement as part of
using the MIPS quality performance
category or an equivalent score, to
determine quality performance under
the Shared Savings Program.
We are seeking stakeholder feedback
on the approaches discussed in this
section of the proposed rule and any
other recommendations regarding the
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potential alignment of the Shared
Savings Program quality performance
standard with the MIPS quality
performance category in the assessment
of ACO quality performance in the
future for purposes of the Shared
Savings Program.
2. Technical Change To Correct
Reference in SNF–3 Day Rule Waiver
Provision
In the December 2018 final rule, we
made a number of amendments to
§ 425.612 (83 FR 68080). As part of
these amendments, we redesignated
paragraphs (a)(1)(v)(A) through (C) of
§ 425.612 as paragraphs (a)(1)(v)(C)
through (E). In making these
amendments, we inadvertently omitted
a necessary update to a cross-reference
to one of these provisions. Accordingly,
we propose to remove the phase
‘‘paragraph (a)(1)(v)(B)’’ from
§ 425.612(a)(1)(v)(E), and in its place
add the phrase ‘‘paragraph (a)(1)(v)(D).’’
F. Open Payments
1. Background
a. Open Payments Policies
The Open Payments program is a
statutorily-mandated program that
promotes transparency by providing
information about the financial
relationships between the
pharmaceutical and medical device
industry and certain types of health care
providers and makes the information
available to the public. Section 1128G of
the Act requires manufacturers of
covered drugs, devices, biologicals, or
medical supplies (referred to as
‘‘applicable manufacturers’’) to annually
submit information for the preceding
calendar year about certain payments or
other transfers of value made to
‘‘covered recipients,’’ currently defined
as physicians and teaching hospitals.
Payments or other transfers of value
that must be reported include such
things as research, honoraria, gifts,
travel expenses, meals, grants, and other
compensation. The type of information
required to be reported includes, but is
not limited to, the date and amount of
the payment or other transfer of value,
identifying information about the
covered recipient, and details about
products associated with the
transaction. When a payment or other
transfer of value is related to marketing,
education, or research specific to a
covered drug, device, biological or
medical supply, the name of that
covered drug, device, biological or
medical supply also must be reported
under section 1128G of the Act. The
estimated burden of these reporting
requirements, as outlined under OMB
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control number 0938–1237, is just over
1 million hours over the course of 1
year.
Section 1128G of the Act establishes
certain minimum dollar thresholds for
required reporting, with two bases for
reporting, individual and aggregate
payments or transfers of value. To
determine if small individual payments
or other transfers of value made to a
covered recipient exceed the aggregate
threshold and must be reported,
applicable manufacturers and
applicable GPOs must aggregate all
individual payments made across all
payment categories within a given
reporting year. The statutory threshold
established in 2013 was $10 for
individual payments, and $100 for
aggregated payments, and this amount
has increased with the consumer price
index each year. For CY 2019, the
annual reporting thresholds for
individual payments or other transfers
of value is $10.79 and the aggregate
amount is $107.91.
The Open Payments program yields
transparency that provides information
to the general public that may influence
their health care decision-making and
choice of providers, as well as
information that researchers looking
into potential correlations between
financial relationships and provider
behaviors may use. More than 51
million records have been disclosed
under the Open Payments program
since August 2013, enabling significant
transparency into covered exchanges of
value. We have been committed to
stakeholder engagement in an effort to
limit burden in the Open Payments
program reporting processes and
improve clarity for the public.
Additional background about the
program and guidance, including FAQs,
about how the program works and what
type of information is required to be
reported is available at www.cms.gov/
OpenPayments.
In the February 8, 2013 Federal
Register (78 FR 9458), we issued
regulations implementing section 1128G
of the Act to create the Open Payments
program. Section 1128G of the Act
requires manufacturers of covered
drugs, devices, biologicals, or medical
supplies (referred to as ‘‘applicable
manufacturers’’) to submit information
annually about certain payments or
other transfers of value made to
‘‘covered recipients,’’ currently defined
as physicians and teaching hospitals,
during the course of the preceding
calendar year. Additionally, section
1128G of the Act defines covered drugs,
devices, biologicals, or medical supplies
as those covered under Medicare or a
State plan under Medicaid or the CHIP
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(or a waiver of such a plan); and
requires applicable manufacturers and
applicable GPOs to disclose any
ownership or investment interests in
such entities held by physicians or
physician’s immediate family members,
as well as information on any payments
or other transfers of value provided to
such physician owners or investors.
Under section 1128G(e)(10)(A) of the
Act, the term ‘‘payment or other transfer
of value’’ refers to a transfer of anything
of value, though some exclusions apply.
In the CY 2015 PFS final rule with
comment period (79 FR 67548), we
revised the regulations by standardizing
reporting in the Open Payments
program. Specifically, we: (1) Deleted
the definition of ‘‘covered device’’; (2)
removed the special rules for payments
or other transfers of value related to
continuing education programs; (3)
clarified the marketed name reporting
requirements for devices and medical
supplies; and (4) required stock, stock
options, and any other ownership
interests to be reported as distinct forms
of payment.
In the CY 2017 PFS proposed rule (81
FR 46395), we solicited information
from the public on a wide variety of
information regarding the Open
Payments program. Since the
implementation of the program and
changes made in the CY 2015 PFS final
rule with comment period, various
commenters have provided us feedback.
Consequently, we identified areas in the
rule that might benefit from revision
and solicited public comments to
inform future rulemaking. We sought
comment on whether the nature of
payment categories listed at
§ 403.904(e)(2) are adequately inclusive
to facilitate reporting of all payments or
transfers of value, and sought ways to
streamline or make the reporting
process more efficient while facilitating
our role in oversight, compliance, and
enforcement, along with posing other
program-specific questions. A summary
of solicited comments was published in
the CY 2017 PFS final rule (81 FR
80428–80429).
On October 24, 2018, the Substance
Use-Disorder Prevention that Promotes
Opioid Recovery and Treatment for
Patients and Communities Act
(SUPPORT Act) (Pub. L. 115–270) was
signed into law. Section 6111 of the
SUPPORT Act amended the definition
of ‘‘covered recipient’’ under section
1128G(e)(6) of the Act with respect to
information required to be submitted on
or after January 1, 2022, to include
physician assistants (PA), nurse
practitioners (NP), clinical nurse
specialists (CNS), certified registered
nurse anesthetists (CRNA), and certified
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nurse midwives (CNM), in addition to
the previously listed covered recipients
of physicians and teaching hospitals.
This rule proposes to codify the Open
Payments provisions from the
SUPPORT Act, proposes to address
public comments received from the CY
2017 PFS proposed rule by simplifying
the process for reporting data by
adjusting the nature of payment
categories, and proposes changes to
standardize data on reported covered
drugs, devices, biologicals, or medical
supplies.
b. Legal Authority
Three principal legal authorities from
the Social Security Act ground our
proposed provisions:
• Sections 1102 and 1871, which
provide general authority for the
Secretary to prescribe regulations for the
efficient administration of the Medicare
program.
• Section 1861, which defines
providers and suppliers.
• Section 1128G, as amended by
section 6111 of the SUPPORT Act,
which requires applicable
manufacturers of drugs, devices,
biologicals, or medical supplies covered
under Medicare or a State plan under
Medicaid or CHIP to report annually to
the Secretary certain payments or other
transfers of value to physicians and
teaching hospitals, and to PAs, NPs,
CNSs, CRNAs, and CNMs for
information required to be submitted
under section 1128G of the Act on or
after January 1, 2022.
c. Proposed Changes
In this rule, we propose to revise
several Open Payments regulations at 42
CFR part 403. We are proposing that the
following provisions be effective for
data collected beginning in CY 2021 and
reported in CY 2022: (1) Expanding the
definition of a covered recipient to
include the categories specified in the
SUPPORT Act; (2) expanding the nature
of payment categories; and (3)
standardizing data on reported covered
drugs, devices, biologicals, or medical
supplies. We are also proposing a
correction to the national drug codes
(NDCs) reporting requirements for drugs
and biologicals that, should the rule be
finalized as proposed, would be
effective 60 days following the
publication of the final rule. We believe
this would give all stakeholders
sufficient time to prepare for these
requirements.
(1) Expanding the Definition of a
Covered Recipient
Section 1128G of the Act requires
applicable manufacturers and
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applicable GPOs to report annually
information about certain payments or
other transfers of value made to covered
recipients, as well as ownership or
investment interests held by physicians
or their immediate family members in
such entities, though at section
1128G(e)(7) of the Act it excepts
physicians who are employed by the
reporting manufacturer, such that
manufacturers do not report payments
to their own employees. As we noted
previously, section 6111 of the
SUPPORT Act expanded the definition
of covered recipients from physicians
and teaching hospitals to include PAs,
NPs, CNSs, CRNAs, and CNMs; it
likewise expanded to these individuals
the same exception for manufactureremployment. The SUPPORT Act
requires these changes to be in effect for
information required to be submitted on
or after January 1, 2022. In short,
applicable manufacturers will be
required to report transfers of value
pertaining to these additional provider
types in the same way they have been
required to report transfers of value to
physicians and teaching hospitals. Since
the information is reported to CMS in
the calendar year following the year in
which it was collected, this means that
the data would be collected by the
industry during CY 2021.
We are proposing to revise § 403.902
to align with the statutory requirements
in sections 1128G(e)(6)(A) and (B) of the
Act. Specifically, we are proposing to
revise the definition of ‘‘covered
recipient’’ in § 403.902 to include PAs,
NPs, CNSs, CRNAs, and CNMs. In
addition, we are proposing at § 403.902
to reference the definitions of these
additional provider types as defined in
sections 1861(aa)(5)(A), 1861(aa)(5)(B),
1861(bb)(2), and 1861(gg)(2) of the Act.
We are also proposing to update
certain provisions in part 403, subpart I
to include provider and supplier types
other than physicians as specified in
sections 1128G(e)(6)(A) and (B) of the
Act. Specifically, we propose the
following revisions:
• In § 403.902, to add the definitions
of ‘‘certified nurse midwife,’’ ‘‘certified
registered nurse anesthetist,’’ ‘‘clinical
nurse specialist,’’ ‘‘non-teaching
hospital covered recipient,’’ ‘‘nurse
practitioner,’’ and ‘‘physician assistant.’’
• In § 403.902, to revise the definition
of ‘‘covered recipient’’ by adding
physician assistant, nurse practitioner,
clinical nurse specialist, certified
registered nurse anesthetist, or certified
nurse-midwife’’ after the phrase ‘‘Any
physician.’’
• In § 403.904(c)(1), (f)(1)(i)(A), and
(h)(7), to replace the term ‘‘physician’’
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with the phrase ‘‘non-teaching
hospital.’’
• In § 403.904(c)(3), to replace the
term ‘‘physician’’ in the title with the
phrase ‘‘non-teaching hospital,’’ add the
phrase ‘‘non-teaching hospital’’ after ‘‘In
the case of a,’’ and remove the phrase
‘‘who is a physician’’ from the text.
• In § 403.904(c)(3)(ii) and (iii),
(f)(1)(i)(A)(1), (f)(1)(i)(A)(3) and (5), and
(f)(1)(v), to change the term ‘‘physician’’
to the phrase ‘‘non-teaching hospital
covered recipient.’’
• In § 403.904(h)(13), to remove the
phrase ‘‘who is a physician’’ and add
the phrase ‘‘non-teaching hospital’’ after
‘‘In the case of.’’
• In § 403.904(f)(1), to remove the
phrase ‘‘(either physicians or teaching
hospitals).’’
• In § 403.908(g)(2)(ii), to change the
words ‘‘physicians and teaching
hospitals’’ to the term ‘‘Covered
recipients.’’
(2) Nature of Payment Categories
Applicable manufacturers and
applicable GPOs must characterize the
nature of payments made to covered
recipients by selecting the ‘‘Nature of
Payment’’ category that most closely
describes the reported payment. Some
of the ‘‘Nature of Payment’’ categories,
as specified at § 403.904(e)(2), are
specifically required by section
1128G(a)(1)(A)(vi) of the Act, while the
statute also allows the Secretary to
define any other nature of payment or
other transfer of value.
Based upon information we obtained
from the public comments solicited in
the CY 2017 PFS proposed rule (81 FR
46395), stakeholders have identified
debt forgiveness, long term medical
supply or device loan, and acquisitions
(among others) as useful categories to
add to comply with the general
reporting requirement under section
1128G(a)(1)(A) of the Act. Therefore,
and so as to add clarity to the types of
payments or transfers of value made by
applicable manufactures and applicable
GPOs to covered recipients, we are
proposing to revise the ‘‘Nature of
Payment’’ categories in § 403.904(e)(2)
by consolidating two duplicative
categories and by adding the three new
categories described below.
First, the categories that we are
proposing to consolidate include two
separate categories for continuing
education programs. Section
1128G(a)(1)(A)(vi)(XIII) of the Act
requires manufacturers to report direct
compensation for serving as faculty or a
speaker for medical education programs.
The current § 403.904(e)(2)(xiv) and (xv)
distinguish between accredited/certified
and unaccredited/non-certified
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continuing education programs. At
proposed revised § 403.904(e)(2)(xv), we
are proposing to consolidate these
categories and make the regulatory
wording match the statutory language
‘‘medical education programs,’’ which
we believe would streamline the
reporting requirements while not
detracting from the underlying context
of the data. Although we defined
separate categories at the inception of
the Open Payments program, we no
longer believe that the distinction in
this category is necessary.
In addition, we are proposing three
additional categories that would operate
prospectively and would not require the
updating of previously reported
payments or other transfers of value that
may fall within these new categories.
The three new categories are as
follows:
• Debt Forgiveness (proposed
§ 403.904(e)(2)(xi)): This would be used
to categorize transfers of value related to
forgiving the debt of a covered recipient,
a physician owner, or the immediate
family of the physician who holds an
ownership or investment interest.
• Long-Term Medical Supply or
Device Loan (proposed new
§ 403.904(e)(2)(xiv)): Section 403.904
currently contains an exclusion from
reporting for the loan of a covered
device, or the provision of a limited
quantity of medical supplies for a shortterm trial period, not to exceed a loan
period of 90 days, or a quantity of 90
days of average use, respectively. This
new category would be used to
characterize the loans of covered
devices or medical supplies for longer
than 90 days. (Note: We are proposing
to combine current paragraphs on
continuing education programs
§ 403.904(e)(2)(xiv) and (xv) to replace
paragraph (e)(2)(xv) as noted in the
consolidating continuing education
programs above.)
• Acquisitions (proposed
§ 403.904(e)(2)(xviii)): This addition
would provide a category for
characterizing buyout payments made to
covered recipients in relation to the
acquisition of a company in which the
covered recipient has an ownership
interest.
We also are proposing to add the
definition of ‘‘long-term medical supply
or device loan’’ to § 403.902 as ‘‘the loan
of supplies or a device for 91 days or
longer.’’ For consistency within the
definitions section, we propose to
redesignate § 403.904(h)(5)—which
contains the definition of ‘‘short-term
medical supply or device loan’’ to
§ 403.902. As a result, we are proposing
a new § 403.904(h)(5) to be ‘‘short-term
medical supply or device loan.’’
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(3) Standardizing Data on Reported
Covered Drugs, Devices, Biologicals, or
Medical Supplies
When applicable manufacturers or
applicable GPOs report payments or
transfers of value related to specific
drugs and biologicals, we currently
require names and NDCs to be reported
to the Open Payments program.
However, based upon the lack of
federally-recognized identifiers when
we started the Open Payments program,
we have not required analogous
reporting for medical devices from the
manufacturers. However, the Food and
Drug Administration (FDA) established
and continues to implement a system
for the use of standardized unique
device identifiers (UDIs) for medical
devices and has issued regulations at 21
CFR part 801, subpart B, and 21 CFR
part 830, requiring, among other things,
that a UDI be included on the label of
most devices distributed in the United
States. (See 78 FR 58785, September 24,
2013.) Based upon the FDA’s UDI
regulatory requirements and the HHS
Office of the National Coordinator’s
requirement that UDIs form part of the
Common Clinical Data Set (45 CFR part
170), we believe that the use of UDIs
and device identifiers (DIs), a
subcomponent of the UDI, have become
more standardized. Moreover, the HHS
Office of Inspector General (OIG)
included a recommendation for Open
Payments to require more specific
information about devices in an August
2018 report (OEI–03–15–00220).
With the standardization and typical
use of UDIs and based upon OIG’s
recommendation, we propose that the
DI component, the mandatory fixed
portion of the UDI assigned to a device,
if any, should be incorporated into
Open Payments reporting that
applicable manufacturers or applicable
GPOs provide. We do not propose to
require a full UDI. We believe such a
step would substantially aid in
enhancing the quality of the Open
Payments data because the identifiers
can be used to validate submitted device
information. This effort would also
enhance the usefulness of Open
Payments data to the public by
providing more precise information
about the medical supplies and devices
associated with a transaction.
Specifically, we are proposing to revise
§ 403.904(c)(8) to require applicable
manufacturers and applicable GPOs to
provide the DIs (if any) to identify
reported devices in a comprehensive
fashion meaningful to the users of Open
Payments data and reorganize the
section accordingly.
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We also seek to further clarify the
reporting requirements with regard to
drugs and biologicals. Since the outset
of the Open Payments program, NDCs
have been required for both research
and non-research payments. In
§ 403.904(f)(1)(iv), we require that NDCs
be reported for drugs and biologicals
used in research. However, in the CY
2015 PFS final rule with comment
period (79 FR 67548), the non-research
payment NDC requirement was
erroneously removed when changes
were made to the rule text regarding
marketed names. We propose to correct
this error in order to reiterate that NDCs
are required for both research and nonresearch payments and to make the
change effective 60 days from
publishing the final rule.
We propose to revise § 403.904(c)(8)
to require DIs (if any) to identify
reported devices in a comprehensive
fashion meaningful to the users of Open
Payments data and reorganize the
section accordingly. We also propose to
reincorporate language that specifically
requires reporting of NDCs.
As a result of the proposed changes to
§ 403.904(c)(8), we are also proposing
technical changes to § 403.904(f)(1)(iv)
and to add mirrored definitions from 21
CFR 801.3 for ‘‘device identifier’’ and
‘‘unique device identifier’’ to § 403.902.
G. Solicitation of Public Comments
Regarding Notification of Infusion
Therapy Options Available Prior To
Furnishing Home Infusion Therapy
Section 5012 of the 21st Century
Cures Act (Cures Act) (Pub. L. 114–255;
enacted December 13, 2016) created a
separate Medicare Part B benefit under
section 1861(s)(2)(GG) and section
1861(iii) of the Act to cover home
infusion therapy-associated professional
services for certain drugs and
biologicals administered intravenously
or subcutaneously through a pump that
is an item of durable medical equipment
in the beneficiary’s home, effective for
January 1, 2021. Section 5012 of the
Cures Act also added section 1834(u) to
the Act that establishes the payment and
related requirements for home infusion
therapy under this benefit.
Specifically, section 1834(u)(6) of the
Act requires that prior to the furnishing
of home infusion therapy to an
individual, the physician who
establishes the plan described in section
1861(iii)(1) of the Act for the individual
shall provide notification (in a form,
manner, and frequency determined
appropriate by the Secretary) of the
options available (such as home,
physician’s office, hospital outpatient
department) for the furnishing of
infusion therapy under this part.
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We recognize there are several
possible forms, manners, and
frequencies that physicians may use to
notify patients of their infusion therapy
treatment options. For example, a
physician may verbally discuss the
treatment options with the patient
during the visit and annotate the
treatment decision in the medical
records before establishing the infusion
plan. Some physicians may also provide
options in writing to the patient in the
hospital discharge papers or office visit
summaries, as well as retain a written
patient attestation that all options were
provided and considered. The frequency
of discussing these options could vary
based on a routine scheduled visit or
according to the individual’s clinical
needs.
We are soliciting comments regarding
the appropriate form, manner and
frequency that any physician must use
to provide notification of the treatment
options available to their patient for the
furnishing of infusion therapy under
Medicare Part B as required under
section 1834(u)(6) of the Act. We also
invite comments on any additional
interpretations of this notification
requirement.
H. Medicare Enrollment of Opioid
Treatment Programs and Enhancements
to General Enrollment Policies
Concerning Improper Prescribing and
Patient Harm
1. Enrollment of Opioid Treatment
Programs
a. Legislative and Regulatory
Background
As previously explained in more
detail in this proposed rule, the
SUPPORT Act was designed to alleviate
the nationwide opioid crisis by: (1)
Reducing the abuse and supply of
opioids; (2) helping individuals recover
from opioid addiction and supporting
the families of these persons; and (3)
establishing innovative and long-term
solutions to the crisis. The SUPPORT
Act attempts to fulfill these objectives,
in part, by establishing a new Medicare
benefit category for opioid treatment
programs (OTPs) pursuant to section
2005 thereof. Section 2005(d) of the
SUPPORT Act amended section 1866(e)
of the Act by adding a new paragraph
(3) classifying OTPs as Medicare
providers (though only with respect to
the furnishing of opioid use disorder
treatment services). This will enable
OTPs that meet all applicable statutory
and regulatory requirements to bill and
receive payment under the Medicare
program for furnishing such services to
Medicare beneficiaries.
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b. Definition of and Certain
Requirements for OTPs
As already mentioned, an OTP is
currently defined in 42 CFR 8.2 as a
program or practitioner engaged in
opioid treatment of individuals with an
opioid agonist treatment medication
registered under 21 U.S.C. 823(g)(1).
Section 2005(b) of the SUPPORT Act
added a new section 1861(jjj)(2) to the
Act defining an OTP as an entity that
meets, among other things, the
definition of an OTP in § 8.2 (or any
successor regulation). Section
1861(jjj)(2) of the Act also outlines
certain additional requirements that an
OTP must meet to qualify as such.
These requirements include the
following:
(1) Accreditation
Consistent with new section
1861(jjj)(2)(C) of the Act, as added by
section 2005(b) of the SUPPORT Act,
and also required under 42 CFR
8.11(a)(2), an OTP must have a current,
valid accreditation by an accrediting
body or other entity approved by the
SAMHSA, the federal agency that
oversees OTPs. A core purpose of OTP
accreditation is to ensure that an OTP
meets: (1) Certain minimum
requirements for furnishing medicationassisted treatment (MAT); and (2) the
applicable accreditation standards of
SAMHSA-approved accrediting bodies,
of which there presently are six. The
accreditation process includes, but is
not limited to, an accreditation survey,
which involves an onsite review and
evaluation of an OTP to determine
compliance with applicable federal
standards.
(2) Certification
A second requirement addressed in
section 1861(jjj)(2)(B) of the Act, as
added by section 2005(b) of the
SUPPORT Act, is also in current
regulations referenced in 42 CFR
8.11(a). Along with accreditation, an
OTP must have a current, valid
certification by SAMHSA for such a
program. The prerequisites for
certification (as well as the certification
process itself) are outlined in 42 CFR
8.11 and include, but are not restricted
to, the following:
• Current and valid accreditation (as
described previously);
• Adherence to the federal opioid
treatment standards described in § 8.12;
• Compliance with all pertinent state
laws and regulations, as stated in
§ 8.11(f)(1);
• Per § 8.11(f)(6), compliance with all
regulations enforced by the Drug
Enforcement Administration (DEA)
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under 21 CFR chapter II; this includes
registration by the DEA before
administering or dispensing opioid
agonist treatment medications; and
• As stated in § 8.11(a)(2), compliance
with all other conditions for
certification established by SAMHSA.
Under § 8.11(a)(3), certification is
generally for a maximum 3-year period,
though this may be extended by 1 year
if an application for accreditation is
pending. SAMHSA may revoke or
suspend an OTP’s certification if any of
the applicable grounds identified in
§ 8.14(a) or (b), respectively, exist.
Under § 8.11(e)(1), an OTP that has no
current certification from SAMHSA but
has applied for accreditation with an
accreditation body may obtain a
provisional certification for up to 1 year.
At the time of application for
certification or any time thereafter, an
OTP may request from SAMHSA an
exemption from the regulatory
requirements of §§ 8.11 and 8.12.
Section 8.11(h), which governs the
exemption process, cites an example of
a private practitioner who wishes to
treat a limited number of patients in a
non-metropolitan area with few
physicians and no rehabilitative
services geographically accessible; he or
she may choose to seek an exemption
from some of the staffing and service
standards.
According to SAMHSA statistics,
there are currently about 1,677 active
OTPs; of these, approximately 1,585
have full certifications and 92 have
provisional certifications.
(3) OTP Enrollment
Most pertinent to the discussion and
proposals below, section 2005(b) of the
SUPPORT Act, which added a new
section 1861(jjj)(2)(A) to the Act,
requires that an OTP be enrolled in the
Medicare program under section 1866(j)
of the Act to qualify as an OTP and to
bill and receive payment from Medicare
for opioid use disorder treatment
services. Per section 1861(jjj)(2)(A) of
the Act, the provisions of this proposed
rule would establish requirements that
OTPs must meet in order to enroll in
Medicare.
c. Current Medicare Enrollment Process
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(1) Background
Section 1866(j)(1)(A) of the Act
requires the Secretary to establish a
process for the enrollment of providers
and suppliers in the Medicare program.
The overarching purpose of the
enrollment process is to help ensure
that providers and suppliers that seek to
bill the Medicare program for services or
items furnished to Medicare
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beneficiaries are qualified to do so
under federal and state laws. The
process is, to an extent, a ‘‘gatekeeper’’
that prevents unqualified and
potentially fraudulent individuals and
entities from being able to enter and
inappropriately bill Medicare. As
further explained below, CMS and its
Medicare Administrative Contractors
(MACs; hereafter occasionally referred
to as ‘‘contractors’’) carefully and
closely screen and review Medicare
enrollment applicants to verify that they
meet all applicable legal requirements.
CMS has taken various steps via
regulation to outline a process for
enrolling providers and suppliers in the
Medicare program. In the April 21, 2006
Federal Register (71 FR 20754), we
published the ‘‘Medicare Program;
Requirements for Providers and
Suppliers to Establish and Maintain
Medicare Enrollment’’ final rule that set
forth certain requirements in 42 CFR
part 424, subpart P (currently §§ 424.500
through 424.570) that providers and
suppliers must meet to obtain and
maintain Medicare billing privileges. In
the April 21, 2006 final rule, we cited
sections 1102 and 1871 of the Act as
general authority for our establishment
of these requirements, which were
designed for the efficient administration
of the Medicare program.
Subsequent to the April 21, 2006 final
rule, we published additional provider
enrollment regulations. These were
intended not only to clarify or
strengthen certain components of the
enrollment process but also to enable us
to take further action against providers
and suppliers: (1) Engaging (or
potentially engaging) in fraudulent or
abusive behavior; (2) presenting a risk of
harm to Medicare beneficiaries or the
Medicare Trust Funds; or (3) that are
otherwise unqualified to furnish
Medicare services or items.
One of the provider enrollment
regulations was the ‘‘Medicare,
Medicaid, and Children’s Health
Insurance Programs; Additional
Screening Requirements, Application
Fees, Temporary Enrollment Moratoria,
Payment Suspensions and Compliance
Plans for Providers and Suppliers’’ final
rule published in the February 2, 2011
Federal Register (76 FR 5862). This
final rule implemented various
provisions of the Affordable Care Act,
including the following:
• Added a new § 424.514 that
required submission of application fees
by institutional providers (as that term
is defined in § 424.502) as part of the
Medicare, Medicaid, and Children’s
Health Insurance Program (CHIP)
provider enrollment processes.
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• Added a new § 424.518 that
established Medicare, Medicaid, and
CHIP provider enrollment screening
categories and requirements based on
the CMS-assessed level of risk of fraud,
waste, and abuse posed by a particular
category of provider or supplier.
We also published the ‘‘Medicare
Program; Requirements for the Medicare
Incentive Reward Program and Provider
Enrollment’’ final rule in the December
5, 2014 Federal Register (79 FR 72499)
wherein we addressed several
vulnerabilities in the provider
enrollment process. As part of the
December 2014 final rule—
• We expanded the number of
reasons for which we can: (1) deny a
prospective provider’s or supplier’s
enrollment in the Medicare program
under § 424.530; or (2) revoke the
Medicare enrollment of an existing
provider or supplier under § 424.535.
• We supplemented the existing
denial reason in § 424.530(a)(3) such
that we could deny a prospective
provider’s or supplier’s Medicare
enrollment if a managing employee (as
that term is defined in § 424.502) of the
provider or supplier has, within the 10
years preceding enrollment or
revalidation of enrollment, been
convicted of a federal or state felony
offense that we determined to be
detrimental to the best interests of the
Medicare program and its beneficiaries.
• We expanded the existing
revocation reason in § 424.535(a)(8) to
allow us to revoke a provider’s or
supplier’s enrollment if we determine
that the provider or supplier has a
pattern or practice of submitting claims
that fail to meet Medicare requirements.
In addition to these final rules, we
have also made several other regulatory
changes to 42 CFR part 424, subpart P
to address various program integrity
issues that have arisen.
(2) Form CMS–855—Medicare
Enrollment Application
Under § 424.510, a provider or
supplier must complete, sign, and
submit to its assigned MAC the
appropriate Form CMS–855 (OMB
Control No. 0938–0685) application in
order to enroll in the Medicare program
and obtain Medicare billing privileges.
The Form CMS–855, which can be
submitted via paper or electronically
through the internet-based Provider
Enrollment, Chain, and Ownership
System (PECOS) process (SORN: 09–70–
0532, Provider Enrollment, Chain, and
Ownership System) captures
information about the provider or
supplier that is needed for CMS or its
MACs to determine whether the
provider or supplier meets all Medicare
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requirements. Data collected on the
Form CMS–855 is carefully reviewed
and verified by CMS or its MACs and
includes, but is not limited to:
• General identifying information (for
example, legal business name, tax
identification number).
• Licensure and/or certification data.
• Any final adverse actions (as that
term is defined in § 424.502) of the
provider or supplier, such as felony
convictions, exclusions by the HHS
Office of Inspector General (OIG), or
state license suspensions or revocations.
• Practice locations and other
applicable addresses of the provider or
supplier.
• Information regarding the
provider’s or supplier’s owning and
managing individuals and organizations
and any final adverse actions those
parties may have.
• As applicable, information about
the provider’s or supplier’s use of a
billing agency.
The Form CMS–855 application is
used for a number of provider
enrollment transactions, such as:
• Initial enrollment: The provider or
supplier is enrolling in Medicare for the
first time, enrolling in another MAC’s
jurisdiction, or seeking to enroll in
Medicare after having previously been
enrolled.
• Change of ownership: The provider
or supplier is reporting a change in its
ownership.
• Revalidation: The provider or
supplier is revalidating its Medicare
enrollment information in accordance
with § 424.515.
• Reactivation: The provider or
supplier is seeking to reactivate its
Medicare billing privileges after being
deactivated under § 424.540.
• Change of information: The
provider or supplier is reporting a
change in its existing enrollment
information in accordance with
§ 424.516.
After receiving a provider’s or
supplier’s initial enrollment
application, reviewing and confirming
the information thereon, and
determining whether the provider or
supplier meets all applicable Medicare
requirements, CMS or the MAC will
either: (1) Approve the application and
grant billing privileges to the provider
or supplier (or, depending upon the
provider or supplier type involved,
simply recommend approval of the
application and refer it to the state
agency or to the CMS regional office, as
applicable); or (2) deny enrollment
under § 424.530.
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d. Proposed OTP Enrollment Provisions
(2) OTP Enrollment Requirements
(1) Legal Basis and Necessity
(a) Addition of 42 CFR 424.67 and
General OTP Requirement To Enroll
We propose to establish a new 42 CFR
424.67 that would include most of our
proposed OTP provisions. In paragraph
(a), we are proposing that in order for a
program to receive Medicare payment
for the provision of opioid use disorder
treatment services, the provider must
qualify as an OTP (as that term is
defined in § 8.2) and enroll in the
Medicare program under the provisions
of subpart P of this part and this section.
As previously indicated, subpart P
outlines the requirements and
procedures of the enrollment process.
All providers and suppliers that seek to
bill Medicare must enroll in Medicare
and adhere to all enrollment
requirements in subpart P. Proposed
§ 424.67 would implement the abovementioned requirement stated in section
1861(jjj)(2)(A) of the Act.
As mentioned earlier, section
1861(jjj)(2)(A) of the Act requires OTPs
to enroll in Medicare to bill and receive
payment. In the proposals discussed in
this section III.I.3. of this proposed rule,
we outline the proposed requirements
and procedures with which OTPs must
comply to enroll and remain enrolled in
Medicare. In doing so, we are relying on
the authority granted to us not only
under section 1861(jjj)(2)(A) of the Act
but also under several other statutory
provisions. First, section 1866(j) of the
Act provides specific authority with
respect to the enrollment process for
providers and suppliers. Second,
sections 1102 and 1871 of the Act
furnish general authority for the
Secretary to prescribe regulations for the
efficient administration of the Medicare
program.
We believe, and it has been our
longstanding experience, that the
provider enrollment process is
invaluable in helping to ensure that: (1)
All potential providers and suppliers
are carefully screened for compliance
with all applicable requirements; (2)
problematic providers and suppliers are
kept out of Medicare; and (3)
beneficiaries are protected from
unqualified providers and suppliers.
Indeed, without this process, the
Medicare program and Medicare
beneficiaries are endangered, and
billions of Trust Fund dollars may be
paid to unqualified or fraudulent
parties.
Nor, we add, are our general concerns
restricted to the mere need and desire to
establish provider enrollment
requirements for OTPs. Though a very
critical one, provider enrollment is only
a single component of CMS’ much
broader program integrity efforts. We
emphasize that in establishing and
implementing an overall Medicare OTP
process per the SUPPORT Act and
implementing an overall program
integrity strategy, our objectives will
extend to matters such as: (1)
Monitoring OTP billing patterns; (2)
ensuring the proper payment of OTP
claims; (3) performing OTP audits as
required by law; (4) making certain that
OTP beneficiaries receive quality care;
and (5) taking action (enrollment-related
or otherwise) against non-compliant or
abusive OTP providers. In other words,
it should not be assumed for purposes
of the OTP process that the term
‘‘program integrity’’ is limited to the
provider enrollment concept, for it
actually applies to many other types of
payment safeguards as well.
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(b) OTPs—Procedures and Compliance
In paragraph (b) of § 424.67, we are
proposing several specific enrollment
requirements that OTPs must meet that
either clarify or supplement those
contained in subpart P.
(i) OTPs: Form CMS–855B
In § 424.67(b)(1), we propose that an
OTP must complete in full and submit
the Form CMS–855B application
(‘‘Medicare Enrollment Application:
Clinics/Group Practices and Certain
Other Suppliers’’) (OMB Control No.:
0938–0685) and any applicable
supplement or attachment thereto
(which would be submitted to OMB
under control number 0938–0685) to its
applicable Medicare contractor. While
we recognize that the Form CMS–855B
is typically completed by suppliers
rather than providers, we believe that
certain unique characteristics of OTPs
(for example, OTPs would only bill
Medicare Part B) make the Form CMS–
855B the most suitable enrollment
application for OTPs. The supplement
or attachment would capture certain
information that is: (1) Unique to OTPs
but not obtained via the Form CMS–
855B; and (2) necessary to enable CMS
to effectively screen their applications
and confirm their qualifications.
As part of this general requirement
concerning CMS–855 form completion,
we propose two subsidiary requirements
as part of the aforementioned
supplement/attachment.
First, in § 424.67(b)(1)(i), we propose
that the OTP must maintain and submit
to CMS (via the applicable supplement
or attachment) a list of all physicians
and other eligible professionals (as the
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term ‘‘eligible professional’’ is defined
in section 1848(k)(3)(B) of the Act) who
are legally authorized to prescribe,
order, or dispense controlled substances
on behalf of the OTP. The list must
include the physician’s or other eligible
professional’s first and last name and
middle initial, Social Security Number,
National Provider Identifier, and (4)
license number (if applicable). This
requirement, in our view, would enable
us to: (1) Confirm that these individuals
are qualified to perform the activities in
question; and (2) screen their
prescribing practices, the latter being an
especially important consideration in
light of the nationwide opioid epidemic.
Second, we propose in
§ 424.67(b)(1)(ii) that the OTP must
certify via the Form CMS–855B and/or
the applicable supplement or
attachment thereto that the OTP meets
and will continue to meet the specific
requirements and standards for
enrollment described in § 424.67(b) and
(d) (discussed below). This is to help
ensure that the OTP fully understands
its obligation to maintain constant
compliance with the requirements
associated with OTP enrollment.
We do not believe that the
requirements addressed in proposed
§ 424.67(b)(1) duplicate any other
information collection effort involving
OTPs. Indeed, the OTP enrollment
process will capture various data
elements not collected via other means,
such as the SAMHSA certification
process. Such data elements include the
name, social security number (SSN) and
National Provider Identification (NPI)
number of all eligible professionals at
the OTP who are legally authorized to
prescribe, order, or dispense controlled
substances. While SAMHSA’s approved
accreditation bodies do verify that these
individuals have appropriate licensure,
they do not collect this information on
a form, screen against federal databases,
or have a database that keeps this
information. CMS, however, intends to
conduct these activities.
(ii) OTPs: Application Fee
As mentioned previously in our
discussion of the February 2, 2011 final
rule, under § 424.514, prospective and
revalidating institutional providers that
are submitting an enrollment
application generally must pay the
applicable application fee. (For CY
2019, the fee amount is $586.) Section
424.502 defines an institutional
provider as any provider or supplier
that submits a paper Medicare
enrollment application using the Form
CMS–855A, Form CMS–855B (not
including physician and non-physician
practitioner organizations, which are
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exempt from the fee requirement if they
are enrolling as a physician or nonphysician practitioner organization),
Form CMS–855S, Form CMS–20134, or
an associated internet-based PECOS
enrollment application. Since an OTP,
as a specialized facility, would be
required to complete the Form CMS–
855B to enroll in Medicare as an OTP
(and would not be enrolling as a
physician and non-physician
organization), we believe that an OTP
would meet the definition of an
institutional provider under § 424.502.
It would therefore be required to pay an
application fee consistent with
§ 424.514; we are proposing to clarify
this requirement to pay the fee in new
§ 424.67(b)(2).
(c) OTPs: Categorical Risk Designation
We previously referenced § 424.518,
which outlines screening categories and
requirements based on a CMS
assessment of the level of risk of fraud,
waste, and abuse posed by a particular
category of provider or supplier. In
general, the higher the level of risk that
a certain provider or supplier type
poses, the greater the level of scrutiny
with which CMS will screen and review
providers or suppliers within that
category.
There are three categories of screening
in § 424.518: High, moderate, and
limited. Irrespective of which category a
provider or supplier type falls within,
the MAC performs the following
screening functions upon receipt of an
initial enrollment application, a
revalidation application, or an
application to add a new practice
location:
• Verifies that a provider or supplier
meets all applicable federal regulations
and state requirements for their provider
or supplier type.
• Conducts state license verifications.
• Conducts database checks on a preand post-enrollment basis to ensure that
providers and suppliers continue to
meet the enrollment criteria for their
provider or supplier type.
However, providers and suppliers at
the moderate and high categorical risk
levels must also undergo a site visit.
Furthermore, for those in the high
categorical risk level, the MAC performs
two additional functions under
§ 424.518(c)(2). First, the MAC requires
the submission of a set of fingerprints
for a national background check from all
individuals who maintain a 5 percent or
greater direct or indirect ownership
interest in the provider or supplier.
Second, it conducts a fingerprint-based
criminal history record check of the
Federal Bureau of Investigation’s
Integrated Automated Fingerprint
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Identification System on all individuals
who maintain a 5 percent or greater
direct or indirect ownership interest in
the provider or supplier. These
additional verification activities are
intended to correspond to the
heightened risk involved.
There currently are only three
provider or supplier types that fall
within the high categorical risk level
under § 424.518(c)(1): Newly/initially
enrolling home health agencies (HHAs);
newly/initially enrolling suppliers of
durable medical equipment, prosthetics,
orthotics, and supplies (DMEPOS); and
newly/initially enrolling Medicare
Diabetes Prevention Program (MDPP)
suppliers. We are now proposing to
assign newly enrolling OTPs to the high
categorical risk level.
A principal concern is that, as
indicated previously, we have no
historical information on OTPs (either
from an enrollment, billing, or claims
payment perspective) upon which we
can fairly estimate the degree of risk
they may pose. This is because OTP
services are an entirely new Medicare
benefit. We expressed similar concerns
regarding our inclusion of MDPP
suppliers in § 424.518(c)(1). That is, in
the CY 2017 PFS proposed rule (81 FR
46162), we proposed to assign MDPP
suppliers to the high categorical risk
level because the MDPP could bring
organization types that are entirely new
to Medicare.
Our concerns about OTPs go well
beyond the above-referenced lack of
historical information, though. The
opioid epidemic has, in our view,
increased the potential for unscrupulous
providers to take advantage of Medicare
beneficiaries through fraudulent billing
schemes and abusive prescribing
practices; recent examples include
‘‘patient brokers’’ in Massachusetts, as
well as excessive stays in ‘‘sober
homes’’ in Florida. Furthermore, there is
a heightened risk in OTP facilities
compared to other types of providers
due to: (1) The core service provided at
the facilities—the prescribing and
dispensing of methadone and other
opioids as part of medication-assisted
treatment for opioid addiction; and (2)
the nature of the patients at the
facilities, that is, individuals grappling
with opioid addiction. By assigning
OTPs to the ‘‘high-risk’’ screening
level—thereby capturing fingerprints of
all 5 percent or greater owners and
conducting site visits—we would be
taking a preventative approach to
stopping fraudulent billing and
prescribing practices and keeping
Medicare beneficiaries safe.
Given the foregoing, we are proposing
four regulatory provisions. First, we are
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proposing to state in new § 424.67(b)(3)
that newly enrolling OTP providers will
be screened at the high categorical risk
level in accordance with the
requirements of § 424.518(c). Second,
we are proposing to add a new
paragraph (iv) to § 424.518(c)(1) that
would add newly enrolling OTPs to the
types of providers and suppliers
screened at the high categorical risk
level. Third, we are proposing to add a
new paragraph (xii) to § 424.518(b)(1)
whereby OTPs that are revalidating their
current Medicare enrollment (under
§ 424.515) would be screened at the
moderate categorical risk level (which
involves a site visit but does not include
the fingerprint submission requirement
of the high categorical risk level). This
would be consistent with our approach
towards DMEPOS suppliers, HHAs, and
MDPPs, which are screened at the high
categorical risk level when newly
enrolling and at the moderate level
when revalidating. Fourth, and
consistent with the addition of new
§ 424.518(b)(1)(xii), we propose to
require that, upon revalidation, the OTP
successfully complete the moderate
categorical risk level screening required
under § 424.518(b) in order to remain
enrolled in Medicare. This provision
would be designated as new
§ 424.67(d)(1)(iii); as discussed below,
proposed paragraph (d) addresses
ongoing obligations and standards with
which enrolled OTPs must comply.
(d) OTPs: Certification
We are proposing in new
§ 424.67(b)(4) that to enroll in Medicare,
an OTP must have in effect a current,
valid certification by SAMHSA for such
a program. This requirement is
consistent with both section
1861(jjj)(2)(B) of the Act and § 8.11. We
consider SAMHSA certification to be
extremely important because it would:
(1) Assist us in ensuring that the
provider is qualified to furnish OTP
services; and (2) help confirm that the
provider is in compliance with the
relevant provisions of part 8 and other
applicable requirements (such as federal
opioid treatment standards).
We noted earlier that, under § 8.11(e),
OTPs with no current SAMHSA
certification that have applied for
accreditation with an accreditation body
are eligible to receive a provisional
certification for up to 1 year. To receive
a provisional certification, an OTP must
submit to SAMHSA certain information
required under § 8.11(e), along with:
• A statement identifying the
accreditation body to which the OTP
has applied for accreditation;
• The date on which the OTP applied
for accreditation;
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• The dates of any accreditation
surveys that have taken place or are
expected to take place; and
• The expected schedule for
completing the accreditation process.
Under proposed § 424.67(b)(4)(ii), we
state that we would not accept a
provisional certification under § 8.11(e)
in lieu of the certification described in
§ 8.11(a). As already mentioned, section
1861(jjj)(2)(B) of the Act states that an
OTP must have in effect a certification
by SAMHSA, a requirement we
interpret to mean full SAMHSA
certification rather than provisional
certification. Indeed, provisional
certification under § 8.11(e) applies to
OTPs that do not have a current
SAMHSA certification but have applied
for accreditation with an accreditation
body. Section 1861(jjj)(2)(C) of the Act,
however, requires actual accreditation
rather than the mere application for
accreditation. Thus, we believe that full
certification should be required.
(e) OTPs: Managing Employees
Consistent with sections 1124 and
1124A of the Act, an enrolling provider
or supplier must disclose all of its
managing employees on the Form CMS–
855 application. Section 424.502 of our
regulations defines a managing
employee as a general manager,
business manager, administrator,
director, or other individual that
exercises operational or managerial
control over (or who directly or
indirectly conducts) the day-to-day
operation of the provider or supplier,
either under contract or through some
other arrangement, whether or not the
individual is a W–2 employee of the
provider or supplier. We are proposing
in new § 424.67(b)(5) that all of the
OTP’s staff that meet the regulatory
definition of managing employee must
be reported on the Form CMS–855
application and/or any applicable
supplement. Such individuals would
include, but not be limited to, the OTP’s
medical director and program sponsor
(both as described in § 8.2).
(f) Standards Specific to OTPs
Given the previously mentioned
concerns about the nationwide opioid
crisis and the need for drugs to be
prescribed and, moreover, dispensed, in
a careful, reasonable manner, we believe
that OTPs should adhere to certain
standards unique to the services they
provide. In particular, we wish to
ensure that problematic providers and
personnel are not prescribing or
dispensing drugs on behalf of the OTP.
To this end, we propose the following
additional requirements with which
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OTPs must comply in order to enroll in
Medicare.
In new § 424.67(b)(6)(i), we propose
that an OTP must not employ or
contract with a prescribing or ordering
physician or other eligible professional
or with any individual legally
authorized to dispense narcotics who,
within the preceding 10 years, has been
convicted (as that term is defined in 42
CFR 1001.2) of a federal or state felony
that we deem detrimental to the best
interests of the Medicare program and
its beneficiaries, based on the same
categories of detrimental felonies, as
well as case-by-case detrimental
determinations, found at 42 CFR
424.535(a)(3). This provision would
apply irrespective of whether the
individual in question is: (1) Currently
dispensing narcotics at or on behalf of
the OTP; or (2) a W–2 employee of the
OTP. We note that SAMHSA recognizes
the importance of dispensing personnel
in an OTP’s operations by requiring, as
part of the certification process,
disclosure of the names and state
license numbers of all OTP personnel
(other than program physicians) who
legally dispense narcotic drugs even if
they are not, at present, responsible for
administering or dispensing methadone
at the program. Such individuals
include pharmacists, registered nurses,
and licensed practical nurses. (See
https://www.samhsa.gov/medicationassisted-treatment/opioid-treatmentprograms.apply.) We, too, acknowledge
the crucial roles of such persons in
ensuring the safe dispensing of
medicines and believe that those with
felonious histories pose a potential risk
to the health and safety of Medicare
beneficiaries.
This overarching concern regarding
possible patient harm also lies behind
our proposed standards in new
§ 424.67(b)(6)(ii) and (iii). In the former
paragraph, we propose that the OTP
must not employ or contract with any
personnel, regardless of whether the
individual is a W–2 employee of the
OTP, who is revoked from Medicare
under § 424.535 or any other applicable
section in Title 42, or who is on the
preclusion list under §§ 422.222 or
423.120(c)(6). In § 424.67(b)(6)(iii), we
propose that the OTP must not employ
or contract with any personnel
(regardless of whether the individual is
a W–2 employee of the OTP) who has
a current or prior adverse action
imposed by a state oversight board,
including, but not limited to, a
reprimand, fine, or restriction, for a case
or situation involving patient harm that
CMS deems detrimental to the best
interests of the Medicare program and
its beneficiaries. We would consider the
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factors enumerated at § 424.535(a)(22) in
each case of patient harm that
potentially applies to this provision.
Concerning § 424.67(b)(6)(ii), we
believe that OTP personnel who are
revoked from Medicare for problematic
behavior present a potential threat to the
OTP’s patients. We hold a similar view
regarding persons on the preclusion list
(as that term is defined in §§ 422.2 and
423.100). Indeed, such individuals are
precluded from receiving payment for
Medicare Advantage (MA) items and
services or Part D drugs furnished or
prescribed to Medicare beneficiaries
under, respectively, §§ 422.222 or
423.120(c)(6), due to, in general, a prior
felony conviction, a current revocation,
or behavior that would warrant a
revocation if the person were enrolled
in Medicare. As for § 424.67(b)(6)(iii),
we discuss in detail our proposed new
revocation reason at § 424.535(a)(22) in
section III.H.2. of this proposed rule.
This proposed new revocation ground
pertains to improper conduct that led to
patient harm. In light of the
aforementioned and critical need to
preserve the safety of Medicare
beneficiaries, we believe that
§ 424.67(b)(6)(iii) is an appropriate
requirement.
(g) Provider Agreement
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(i) General Requirement
As previously mentioned, section
2005(d) of the SUPPORT Act amended
section 1866(e) of the Act by adding a
new paragraph (3) classifying OTPs as
Medicare providers, though only with
respect to the furnishing of opioid use
disorder treatment services. Under
section 1866(a)(1) of the Act, all
Medicare providers (as that term is
defined in section 1866(e) of the Act)
must enter into a provider agreement
with the Secretary. Section 1866(a)(1)
outlines required terms of the provider
agreement, such as allowed charges for
furnished services.
Consistent with these requirements,
and as previously discussed in more
detail in this proposed rule, we are
proposing to revise various sections of
42 CFR part 489 to include OTPs within
the category of providers that must sign
a provider agreement in order to
participate in Medicare. To incorporate
this requirement into § 424.67 as a
prerequisite for enrollment, we propose
to state in new § 424.67(b)(7)(i) that an
OTP must, in accordance with the
provisions of 42 CFR part 489, sign (and
adhere to the terms of) a provider
agreement with CMS in order to
participate and enroll in Medicare.
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(ii) Appeals
Under § 489.53, we may terminate a
provider agreement if any of the
circumstances outlined in that section
apply (for example, the provider under
§ 489.53(a)(1) fails to comply with the
provisions of Title XVIII of the Act). The
provider may, however, appeal any such
termination pursuant to 42 CFR part
498. This process is akin to what occurs
with Medicare revocations, whereby: (1)
Medicare may revoke a provider’s or
supplier’s Medicare enrollment for any
of the reasons identified in § 424.535;
and (2) the provider or supplier may
appeal said revocation under part 498.
There is, though, an additional
important result of the revocation
process; under § 424.535(b), when a
provider’s or supplier’s billing
privileges are revoked, any provider
agreement in effect at the time of
revocation is terminated effective with
the date of revocation.
Given this linkage in § 424.535(b)
between a revocation of enrollment and
the termination of a provider agreement,
we are concerned about the potential for
duplicate appeals processes (that is, one
for the revocation and the other for the
provider agreement termination)
involving a revoked OTP. The same
concern, of course, would apply in the
reverse situation, in which a
termination of the provider agreement
under § 489.53 led to a revocation under
§ 424.535 because a provider agreement
is a requirement for enrollment
pursuant to proposed § 424.67(b)(7)(i).
We believe that having dual appeals
processes for OTPs would impose
unnecessary administrative burdens on
OTPs and CMS. A single appeals
process would, in our view, be more
efficient. To this end, we propose in
new § 424.67(b)(7)(ii) that an OTP’s
appeals under 498 of a Medicare
revocation (under § 424.535) and a
provider agreement termination (under
§ 489.53) must be filed jointly and, as
applicable, considered jointly by CMS
under part 498 of this chapter. We note
that there is precedence for such a
consolidated approach. Under
§§ 422.222(a)(2)(ii)(B) and
423.120(c)(6)(v)(B)(2) (which apply to
Medicare Part C and D, respectively), if
a provider’s or prescriber’s inclusion on
the preclusion list (see https://
www.cms.gov/Medicare/ProviderEnrollment-and-Certification/Medicare
ProviderSupEnroll/PreclusionList.html
for background information on the
preclusion list) is based on a
contemporaneous Medicare revocation
under § 424.535, the appeals of the
preclusion list inclusion and the
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revocation must be filed jointly and
considered jointly under part 498.
We would appreciate comment on our
proposed consolidated appeals process,
including suggestions of alternative
processes and the potential operational
components thereof.
(h) OTPs: Other Applicable
Requirements
To ensure that the OTP meets all
other applicable requirements for
enrollment, we are proposing at
§ 424.67(b)(8)) that the OTP must
comply with all other applicable
requirements for enrollment specified in
§ 424.67 and in part 424, subpart P.
(i) OTPs: Denial of Enrollment and
Appeals Thereof
We are proposing to state in new
§ 424.67(c)(1)(i) and (ii) that CMS may
deny an OTP’s enrollment application
on either of the following grounds:
• The provider does not have in effect
a current, valid certification by
SAMHSA as required under
§ 424.67(b)(4) or fails to meet any other
applicable requirement in § 424.67.
• Any of the reasons for denial of a
prospective provider’s or supplier’s
enrollment application in § 424.530
applies.
In new § 424.67(c)(2), we are
proposing that an OTP may appeal the
denial of its enrollment application
under part 498.
We believe that § 424.67(c)(1)(i) is
necessary so as to comply with the
previously mentioned statutory and
regulatory requirements that an OTP be
SAMHSA-certified. Concerning
paragraphs (c)(1)(ii) and (2), we note
that because an OTP is a Medicare
provider, it must be treated in the same
manner as any other provider or
supplier for purposes of enrollment and
appeal rights; that is, subpart P and the
appeals provisions in part 498 apply to
OTPs to the same extent they do to all
other providers and suppliers. We
accordingly believe it is appropriate to
include paragraphs (c)(1)(ii) and (2) in
this proposed rule.
(j) OTPs: Continued Compliance,
Standards, and Reasons for Revocation
For reasons identical to those behind
our proposed addition of paragraph (c),
we propose several provisions in new
§ 424.67(d).
In paragraph (d)(1), we are proposing
to state that, upon and after enrollment,
an OTP:
• Must remain validly certified by
SAMHSA as required under § 8.11.
• Remains subject to, and must
remain in full compliance with, the
provisions of part 424, subpart P and
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those in § 424.67. This includes, but is
not limited to, the provisions of
§ 424.67(b)(6), the revalidation
provisions in § 424.515, and the
deactivation and reactivation provisions
in § 424.540.
In paragraph (d)(2), we are proposing
that CMS may revoke an OTP’s
enrollment if:
• The provider does not have a
current, valid certification by SAMHSA
or fails to meet any other applicable
requirement or standard in § 424.67,
including, but not limited to, the OTP
standards in §§ 424.67(b)(6) and (d)(1).
• Any of the revocation reasons in
§ 424.535 applies.
Finally, in new paragraph (d)(3), we
are proposing that an OTP may appeal
the revocation of its enrollment under
part 498.
(k) OTPs: Prescribing Individuals
We believe it is important for us to be
able to monitor the prescribing and
dispensing practices occurring at an
OTP. We have an obligation to ensure
that beneficiary safety is maintained and
the Trust Funds are protected.
Accordingly, we propose under new
§ 424.67(e)(1) (and with respect to
payment to OTP providers for furnished
drugs) that the prescribing or
medication ordering physician’s or
other eligible professional’s National
Provider Identifier must be listed on
Field 17 (the ordering/referring/other
field) of the Form CMS–1500 (Health
Insurance Claim Form; 0938–1197) (or
the digital equivalent thereof)). We note
that our use of the term ‘‘medication
ordering’’ is merely intended to reiterate
that our proposed provision applies to
any physician or other eligible
professional who prescribes or orders
drugs in the OTP arena.
Section 424.67(e)(1), in our view,
would help us: (1) Ensure that the
physician or other eligible professional
in question is qualified to prescribe
drugs on behalf of the OTP; and (2)
monitor the prescribing individual in
relation to each claim. This requirement
would have to be met in order for an
OTP claim for a prescribed drug to be
paid. So as to avoid the impression,
however, that this is the only
requirement necessary for claim
payment, we propose to further clarify
in new paragraph (e)(2) that all other
applicable requirements in § 424.67,
part 424, and part 8 must also be met.
(l) OTPs: Relationship to 42 CFR Part 8
To help ensure that OTPs understand
their continuing need to comply with
the provisions in part 8 (several of
which are referenced above) and to
clarify that the provisions in § 424.67
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are generally restricted to the
enrollment process, we propose to state
in new § 424.67(f) that § 424.67 shall not
be construed as: (1) Supplanting any of
the provisions in part 8; or (2)
eliminating an OTP’s obligation to
maintain compliance with all applicable
provisions in part 8.
(m) Effective and Retrospective Date of
OTP Billing Privileges
Section 424.520 of Title 42 outlines
the effective date of billing privileges for
provider and supplier types that are
eligible to enroll in Medicare. Paragraph
(d) thereof sets forth the applicable
effective date for physicians, nonphysician practitioners, physician and
non-physician practitioner
organizations, and ambulance suppliers.
This effective date is the later of: (1) The
date of filing of a Medicare enrollment
application that was subsequently
approved by a Medicare contractor; or
(2) the date that the supplier first began
furnishing services at a new practice
location In a similar vein, § 424.521(a)
states that physicians, non-physician
practitioners, physician and nonphysician practitioner organizations,
and ambulance suppliers may
retrospectively bill for services when
the supplier has met all program
requirements (including state licensure
requirements), and services were
provided at the enrolled practice
location for up to:
• 30 days prior to their effective date
if circumstances precluded enrollment
in advance of providing services to
Medicare beneficiaries; or
• 90 days prior to their effective date
if a Presidentially-declared disaster
under the Robert T. Stafford Disaster
Relief and Emergency Assistance Act,
42 U.S.C. 5121–5206 (Stafford Act)
precluded enrollment in advance of
providing services to Medicare
beneficiaries.
To clarify the effective date of billing
privileges for OTPs and to account for
circumstances that could prevent an
OTP’s enrollment prior to the furnishing
of Medicare services, we propose to
include newly enrolling OTPs within
the scope of both § 424.520(d) and
§ 424.521(a). We believe that the
effective and retrospective billing dates
addressed therein achieves a proper
balance between the need for the
prompt provision of OTP services and
the importance of ensuring that each
prospective OTP enrollee is carefully
and closely screened for compliance
with all applicable requirements.
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2. Revision(s) and Addition(s) to Denial
and Revocation Reasons in §§ 424.530
and 424.535
a. Improper Prescribing
Under § 424.535(a)(14), CMS may
revoke a physician’s or other eligible
professional’s enrollment if he or she
has a pattern or practice of prescribing
Part D drugs that:
• Is abusive, and/or represents a
threat to the health and safety of
Medicare beneficiaries; or
• Fails to meet Medicare
requirements.
This revocation reason was finalized
in the ‘‘Medicare Program; Contract
Year 2015 Policy and Technical
Changes to the Medicare Advantage and
the Medicare Prescription Drug Benefit
Programs’’ final rule that was published
in the May 23, 2014 Federal Register
(79 FR 29844). It was designed to
address situations, which we discussed
in that final rule, where prescribers of
Part D drugs engaged in prescribing
activities that were or could be harmful
to Medicare beneficiaries and the Trust
Funds or were otherwise inconsistent
with Medicare policies. Since the
provision’s inception, we have revoked
the enrollments of practitioners who
have engaged in a variety of improper
prescribing practices. We believe these
administrative actions have helped to
shield beneficiaries and the program at
large from improper prescribing
practices.
The dispensing of drugs in the
treatment of opioid use disorder is, as
indicated previously, an important
component of an OTP’s function. Akin
to our rationale for the establishment of
§ 424.535(a)(14) in 2014, we are
concerned about potential instances
where OTP physicians and other
eligible professionals prescribe drugs in
an improper fashion. This is an
especially important consideration
given the nationwide opioid epidemic
and the need to reduce opioid abuse.
Given this, we believe that
§ 424.535(a)(14) should no longer be
restricted to Part D drugs but must
extend to all Medicare drugs, including
Part B drugs. Improper prescribing in
the Part B context is no less troubling or
potentially dangerous than prescribing
in the Part D context. Thus, only
through such an expansion can we, on
a much broader and necessary scale,
further deter parties from improper
Medicare prescribing practices.
In the introductory text of
§ 424.535(a)(14), we currently state that
CMS determines that the physician or
other eligible professional has a pattern
or practice of prescribing Part D drugs.
Consistent with the above discussion,
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we are proposing to revise this
paragraph to include Part B drugs so we
would specify the prescribing of ‘‘Part B
or D drugs.’’ We note that this proposal
would affect prescriptions of any Part B
or D drugs, not merely those
prescriptions given to beneficiaries
using OTPs.
b. Patient Harm
As referenced previously, and due to
the importance of ensuring patient
safety in all provider and supplier
settings (not merely those involving
OTPs), we are also proposing to add
§ 424.535(a)(22) as a new revocation
reason; this would be coupled with a
concomitant new denial reason in
§ 424.530(a)(15). These two paragraphs
would permit us to revoke or deny, as
applicable, a physician’s or other
eligible professional’s (as that term is
defined in 1848(k)(3)(B) of the Act)
enrollment if he or she has been subject
to prior action from a state oversight
board, federal or state health care
program, Independent Review
Organization (IRO) determination(s), or
any other equivalent governmental body
or program that oversees, regulates, or
administers the provision of health care
with underlying facts reflecting
improper physician or other eligible
professional conduct that led to patient
harm. In determining whether a
revocation or denial on this ground is
appropriate, CMS would consider the
following factors:
• The nature of the patient harm.
• The nature of the physician’s or
other eligible professional’s conduct.
• The number and type(s) of
sanctions or disciplinary actions that
have been imposed against the
physician or other eligible professional
by a state oversight board, IRO, federal
or state health care program, or any
other equivalent governmental body or
program that oversees, regulates, or
administers the provision of health care.
Such actions include, but are not
limited to in scope or degree:
++ License restriction(s) pertaining to
certain procedures or practices,
++ Required compliance appearances
before state oversight board members,
++ Required participation in
rehabilitation or mental/behavioral
health programs,
++ Required abstinence from drugs or
alcohol and random drug testing,
++ License restriction(s) regarding
the ability to treat certain types of
patients (for example, cannot be alone
with members of a different gender after
a sexual offense charge).
++ Administrative/monetary
penalties; or
++ Formal reprimand(s).
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• If applicable, the nature of the IRO
determination(s).
• The number of patients impacted by
the physician’s or other eligible
professional’s conduct and the degree of
harm thereto or impact upon.
• Any other information that CMS
deems relevant to its determination.
We currently lack the legal basis to
take administrative action against a
physician or other eligible professional
for a matter related to patient harm
based solely on an IRO determination or
an administrative action (excluding a
state medical license suspension or
revocation) imposed by a state oversight
board, a federal or state health care
program, or any other equivalent
governmental body or program that
oversees, regulates, or administers the
provision of health care. We believe,
however, that our general rulemaking
authority under sections 1102,
1866(j)(1)(A), and 1871 of the Act gives
us the ability to establish such legal
grounds. As alluded to in this proposed
rule and in previous rulemaking efforts,
we have long been concerned about
instances of physician or other eligible
professional misconduct, and we
believe our authority to take action to
stem such behavior should be expanded
to include the scenarios identified in
proposed § 424.530(a)(15) and
§ 424.535(a)(22). Indeed, state oversight
boards, such as medical boards and
other administrative bodies, have found
certain physicians and other eligible
professionals to have engaged in
professional misconduct and/or
negligent or abusive behavior involving
patient harm. IRO determinations, too,
have offered valuable, independent
analyses and findings of provider
misconduct that we should have the
opportunity to use to promote the best
interests of Medicare beneficiaries. We
believe that our proposed revocation
and denial authorities would improve
overall patient care by preventing
certain problematic physicians and
other eligible professionals from treating
Medicare patients.
We recognize that situations could
arise where a state oversight board has
chosen to impose a relatively minor
sanction on physician or other eligible
professional for conduct that we deem
more serious. We note, however, that
we, rather than state boards, is
ultimately responsible for the
administration of the Medicare program
and the protection of its beneficiaries.
State oversight of licensed physicians or
practitioners is, in short, a function
entirely different from federal oversight
of Medicare. We accordingly believe
that we should have the discretion to
review such cases to determine whether,
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40723
in the agency’s view, the physician’s or
other eligible professional’s conduct
warrants revocation or denial. Yet it
should in no way be assumed, on the
other hand, that a very modest sanction
would automatically result in
revocation or denial action. We
emphasize that we would only take
such a measure after the most careful
consideration of all of the factors
outlined above.
A number of these factors, we add, are
not altogether dissimilar from those
which we presently use for determining
whether a revocation under
§ 424.535(a)(14) is appropriate (for
example, general frequency and degree
of the behavior in question, number of
prior sanctions). We have found them to
be useful in our § 424.535(a)(14)
determinations and, for this reason,
believe they will prove likewise with
respect to § 424.530(a)(15) and
§ 424.535(a)(22). Certain of our other
proposed criteria are designed to pertain
to the unique facts addressed in these
two provisions (for example, the extent
of patient harm) and, in our view,
would help ensure a thorough review of
the case at hand.
Sections 424.530(a)(15) and
424.535(a)(22) would apply to
physicians and other eligible
professionals in OTP and non-OTP
settings. Revocation or denial action
could be taken against physicians and
other eligible professionals in solo
practice or who are part of a group or
any other provider or supplier type.
To clarify the scope of the term ‘‘state
oversight board’’ in the context of
§§ 424.530(a)(15) and 424.535(a)(22), we
propose to define this term in § 424.502.
Specifically, we would state that, for
purposes of §§ 424.530(a)(15) and
424.535(a)(22) only, ‘‘state oversight
board’’ means ‘‘any state administrative
body or organization, such as (but not
limited to) a medical board, licensing
agency, or accreditation body, that
directly or indirectly oversees or
regulates the provision of health care
within the state.’’
We welcome comment not only on
our proposed definition of ‘‘state
oversight board’’ but also on our
proposed revocation and denial
authorities. We are especially interested
in securing public feedback on
additional means of preventing fraud,
waste, and abuse in OTP setting; for
instance, we would appreciate
suggestions—based on stakeholder
experience in the OUD and OTP
arenas—from which we could develop
further regulatory authority to take
action against problematic OTPs.
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I. Deferring to State Scope of Practice
Requirements
When the Medicare program was
signed into law in 1965, most skilled
medical professional services in the
United States were provided by
physicians, with the assistance of
nurses. Over the decades, the medical
professional field has diversified and
allowed for a wider range of
certifications and specialties, including
the establishment of mid-level
practitioners such as nurse practitioners
(NPs) and physician assistants (PAs).
These practitioners are also known as
advanced practice providers (APPs) or
non-physician practitioners (NPPs).
Medicare policies and regulations have
been updated over recent years to make
changes to allow NPPs to provide
services in Medicare-certified facilities
within the extent of their scope of
practice as defined by state law. In
recognition of the qualifications of these
practitioners, we seek to continue this
effort.
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1. Ambulatory Surgical Centers
a. Background
Ambulatory surgical centers (ASCs),
as defined at 42 CFR 416.2, are distinct
entities that operate exclusively for the
purpose of providing surgical services to
patients not requiring hospitalization, in
which the expected duration of services
would not exceed 24 hours following an
admission. The surgical services
performed at ASCs are scheduled,
primarily elective, non-life-threatening
procedures that can be safely performed
in an ambulatory setting. Currently,
there are approximately 5,767 Medicare
certified ASCs in the United States.
Section 1832(a)(2)(F)(i) of the Act
specifies that ASCs must meet health,
safety, and other requirements specified
by the Secretary in order to participate
in Medicare. The Secretary is
responsible for ensuring that the ASC
Conditions for Coverage (CfCs) protect
the health and safety of all individuals
treated by ASCs, whether they are
Medicare beneficiaries or other patients.
The ASC regulations were established in
the ‘‘Medicare Program; Ambulatory
Surgical Services’’ final rule published
in the August 5, 1982 Federal Register
(47 FR 34082), and have since been
amended several times.
The regulations for Medicare and
Medicaid participating ASCs are set
forth at 42 CFR part 416. Section 416.42,
‘‘Condition for coverage—Surgical
services’’, states that surgical procedures
must be performed in a safe manner by
qualified physicians who have been
granted clinical privileges by the
governing body of the ASC in
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accordance with approved policies and
procedures of the ASC.
Currently, the ASC CfCs have two
conditions that include patient
assessment requirements for patients
having surgery in an ASC, anesthetic
risk and pre-surgery evaluation, and
pre-discharge evaluation. In the
November 18, 2008 final rule,
‘‘Medicare Program; Changes to the
Hospital Outpatient Prospective
Payment System and CY 2009 Payment
Rates final rule (73 FR 68502), which
revised some existing standards and
created some new requirements. One of
the new conditions added in 2008 was
§ 416.52, ‘‘Conditions for coverage—
Patient admission, assessment and
discharge’’. This condition sets
standards pertaining to patient presurgical assessment, post-surgical
assessment, and discharge requirements
that must be met before patients leave
the ASC. Specifically, the discharge
requirements at § 416.52(b)(1) require
that a post-surgical assessment be
completed by a physician, or other
qualified practitioner, or a registered
nurse with, at a minimum, postoperative care experience in accordance
with applicable state health and safety
laws, standards of practice, and ASC
policy. The other discharge condition, at
§ 416.42(a)(2), also finalized in the
November 18, 2008 final rule, allows
anesthetists, in addition to physicians,
to evaluate each patient for proper
anesthesia recovery. The requirement at
§ 416.42(a)(1) requires a physician to
examine the patient immediately before
surgery to evaluate the risk of anesthesia
and the procedure to be performed.
Through various inquiries from ASCs
and communication with CMS by
industry associations, we have received
many requests to align the anesthetic
risk and pre-surgery evaluation standard
at § 416.42(a)(1) with the pre-discharge
standard at § 416.42(a)(2) by allowing an
anesthetist, in addition to a physician,
to examine the patient immediately
before surgery to evaluate the risk of
anesthesia and the risk of the procedure.
For those ASCs that utilize nonphysician anesthetists, also known as
certified registered nurse anesthetists
(CRNAs), this revision would allow
them to perform the anesthetic risk and
evaluation on the patient they are
anesthetizing for the procedure to be
performed by the physician. CRNAs are
advanced practice registered nurses who
administer more than 43 million
anesthetics to patients each year in the
United States. CRNAs are Medicare Part
B providers and since 1989, have billed
Medicare directly for 100 percent of the
PFS amount for services. CRNAs
provide anesthesia for a wide variety of
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surgical cases and in some states are the
sole anesthesia providers in most rural
hospitals. A study published by Nursing
Economic$ in May/June 2010, found
that CRNAs acting as the sole anesthesia
provider are the most cost-effective
model for anesthesia delivery, and there
is no measureable difference in the
quality of care between CRNAs and
other anesthesia providers or by
anesthesia delivery model.101 We
believe this alignment provides for
continuity of care for the patient and
allows the patient’s anesthesia
professional to have familiarity with the
patient’s health characteristics and
medical history.
b. Proposed Provisions
We are proposing to revise
§ 416.42(a), Surgical services, to allow
either a physician or an anesthetist, as
defined at § 410.69(b), to examine the
patient immediately before surgery to
evaluate the risk of anesthesia and the
risk of the procedure to be performed.
By amending the CfCs to allow an
anesthetist or a physician to examine
and evaluate the patient before surgery
for anesthesia risk and the planned
procedure risk, we would be making
ASC patient evaluations more consistent
by allowing the option for the same
clinician to complete both pre- and
post-procedure anesthesia evaluations.
This proposed change is a
continuation of our efforts to reduce
regulatory burden. This change would
increase supplier flexibility and reduce
burden, while allowing qualified
clinicians to focus on providing highquality healthcare to their patients. We
are also requesting comments and
suggestions for other ASC requirements
that could be revised to allow greater
flexibility in the use of NPPs, and
reduce burden while maintaining high
quality health care.
2. Hospice
a. Background
Hospice care is a comprehensive,
holistic approach to treatment that
recognizes the impending death of a
terminally ill individual, and warrants a
change in the focus from curative care
to palliative care for relief of pain and
for symptom management. Medicare
regulations define ‘‘palliative care’’ as
patient and family centered care that
optimizes quality of life by anticipating,
preventing, and treating suffering.
Palliative care throughout the
continuum of illness involves
addressing physical, intellectual,
101 Paul F. Hogan et al., ‘‘Cost Effectiveness
Analysis of Anesthesia Providers.’’ Nursing
Economic$. 2010; 28:159–169.
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emotional, social, and spiritual needs
and to facilitate patient autonomy,
access to information, and choice (42
CFR 418.3). The goal of hospice care is
to help terminally ill individuals
continue life with minimal disruption to
normal activities while remaining
primarily in the home environment. A
hospice uses an interdisciplinary
approach to deliver medical, nursing,
social, psychological, emotional, and
spiritual services through a
collaboration of professionals and other
caregivers, with the goal of making the
beneficiary as physically and
emotionally comfortable as possible.
The hospice interdisciplinary group
works with the patient, family,
caregivers, and the patient’s attending
physician (if any) to develop a
coordinated, comprehensive care plan;
reduce unnecessary diagnostics or
ineffective therapies; and maintain
ongoing communication with
individuals and their families and
caregivers about changes in their
condition. The care plan will shift over
time to meet the changing needs of the
patient, family, and caregiver(s) as the
patient approaches the end of life.
The regulations for Medicare and
Medicaid participating hospices are set
forth at 42 CFR part 418. Section 418.3
defines the term ‘‘attending physician’’
as being a doctor of medicine or
osteopathy, an NP, or a PA in
accordance with the statutory definition
of an attending physician at section
1861(dd)(3)(B) of the Act. Section 51006
of the Bipartisan Budget Act of 2018
revised the statute to add PAs to the
statutory definition of the hospice
attending physician for services
furnished on or after January 1, 2019. As
a result, PAs were added to the
definition of a hospice attending
physician as part of the ‘‘Medicare
Program; FY 2019 Hospice Wage Index
and Payment Rate Update and Hospice
Quality Reporting Requirements’’ final
rule which was published in the August
6, 2018 Federal Register (83 FR 38622,
38634) (hereinafter referred to as the
‘‘FY 2019 Hospice final rule’’).
The role of the patient’s attending
physician, if the patient has one, is to
provide a longitudinal perspective on
the patient’s course of illness, care
preferences, psychosocial dynamics,
and generally assist in assuring
continuity of care as the patient moves
from the traditional curative care model
to hospice’s palliative care model. The
attending physician is not meant to be
a person offered by, selected by, or
appointed by the hospice when the
patient elects to receive hospice care.
Section 418.64(a) of the hospice
regulations requires the hospice to
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provide physician services to meet the
patient’s hospice-related needs and all
other care needs to the extent that those
needs are not met by the patient’s
attending physician. Thus, if a patient
does not have an attending physician
relationship prior to electing hospice
care, or if the patient’s attending
physician chooses to not participate in
the patient’s care after the patient elects
to receive hospice care, then the hospice
is already well-suited to provide
physician care to meet all of the
patient’s needs as part of the Medicare
hospice benefit. If the patient has an
attending physician relationship prior to
electing hospice care and that attending
physician chooses to continue to be
involved in the patient’s care during the
period of time when hospice care is
provided, the role of the attending
physician is to consult with the hospice
interdisciplinary group (also known as
the interdisciplinary team) as described
in § 418.56, and to furnish care for
conditions determined by the hospice
interdisciplinary group to be unrelated
to the terminal prognosis. The hospice
interdisciplinary group must include
the following members of the hospice’s
staff: A physician; a nurse; a social
worker; and a counselor. The
interdisciplinary group may also
include other members based on the
specific services that the patient
receives, such as hospice aides and
speech language pathologists. The
hospice interdisciplinary group, as a
whole, in consultation with the patient’s
attending physician (if any), the patient,
and the patient’s family and caregivers,
are responsible for determining the
course of the patient’s hospice care and
establishing the individualized plan of
care for the patient that is used to guide
the delivery of holistic hospice services
and interventions, both medical and
non-medical in nature.
b. Proposed Provisions
In the role of a consultant to the
hospice interdisciplinary group, the
hospice patient’s chosen attending
physician may, at times, write orders for
services and medications as they relate
to treating conditions determined to be
unrelated to the patient’s terminal
prognosis. The law allows for
circumstances in which services needed
by a hospice beneficiary would be
completely unrelated to the terminal
prognosis, but we believe that this
situation would be the rare exception
rather than the norm. Section 418.56(e)
requires hospices to coordinate care
with other providers who are also
furnishing care to the hospice patient,
including the patient’s attending
physician who is providing care for
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conditions determined by the hospice
interdisciplinary group to be unrelated
to the patient’s terminal prognosis. As
part of this coordination of care, it is
possible that hospices may receive
orders from the attending physician for
drugs that are unrelated to the patient’s
terminal prognosis.
The FY 2019 Hospice final rule
amended the regulatory definition of
attending physician, as required by the
statute, to include physician assistant.
Following publication of the FY 2019
Hospice final rule, stakeholders raised
concerns regarding the requirements of
§ 418.106(b). As currently written,
hospices may not accept orders for
drugs from attending physicians who
are PAs because § 418.106(b) specifies
that hospices may accept drug orders
from physicians and NPs only. This
regulatory requirement may impede
proper care coordination between
hospices and attending physicians who
are PAs, and we believe that it should
be revised.
Therefore, we propose to revise
§ 418.106(b)(1) to permit a hospice to
accept drug orders from a physician,
NP, or PA. We propose that the PA must
be an individual acting within his or her
state scope of practice requirements and
hospice policy. We also propose that the
PA must be the patient’s attending
physician, and that he or she may not
have an employment or contractual
arrangement with the hospice. The role
of physicians and NPs as hospice
employees and contractors is clearly
defined in the hospice CoPs; however,
the CoPs do not address the role of PAs.
Therefore, we believe that it is necessary
to limit the hospice CoPs to accepting
only those orders from PAs that are
generated outside of the hospice’s
operations.
The role of a PA is not defined in the
hospice CoPs because the statute does
not include PA services as being part of
the Medicare hospice benefit. As such,
there are no provisions in the hospice
CoPs to address specific PA issues such
as personnel requirements, descriptions
of whether such services would be
considered core or non-core, or
provisions to address issues of cosignatures. To more fully understand
the current and future role of NPPs,
including PAs, in hospice care and the
hospice CoPs, we request public
comment on the following questions:
• What is the role of a NPP in
delivering safe and effective hospice
care to patients? What duties should
they perform? What is their role within
the hospice interdisciplinary group and
how is it distinct from the role of the
physician, nurse, social work, and
counseling members of the group?
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• Nursing services are a required core
service within the Hospice benefit, as
provided in section 1861(dd)(B)(i) of the
Act, which resulted in the defined role
for NPs in the Hospice COPs. Should
other NPPs also be considered core
services on par with NP services? If not,
how should other NPP services be
classified?
• In light of diverse existing state
supervision requirements, how should
NPP services be supervised? Should this
responsibility be part of the role of the
hospice medical director or other
physicians employed by or under
contract with the hospice? What
constitutes adequate supervision,
particularly when the NPP and
supervising physician are located in
different offices, such as hospice
multiple locations?
• What requirements and time frames
currently exist at the state level for
physician co-signatures of NPP orders?
Are these existing requirements
appropriate for the hospice clinical
record? If not, what requirements are
appropriate for the hospice clinical
record?
• What are the essential personnel
requirements for PAs and other NPPs?
J. Advisory Opinions on the Application
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1. Statutory and Regulatory Background
Section 4314 of the Balanced Budget
Act of 1997 (Pub. L. 105–33, enacted
August 5, 1997), added section
1877(g)(6) to the Act. Section 1877(g)(6)
of the Act requires the Secretary to issue
written advisory opinions concerning
whether a referral relating to designated
health services (other than clinical
laboratory services) is prohibited under
section 1877 of the Act. On January 9,
1998, the Secretary issued a final rule
with comment period in the Federal
Register to implement and interpret
section 1877(g)(6) of the Act (the 1998
CMS advisory opinions rule). (See
Medicare Program; Physicians’
Referrals; Issuance of Advisory
Opinions (63 FR 1646).) The regulations
are codified in §§ 411.370 through
411.389 (the physician self-referral
advisory opinion regulations).
Section 1877(g)(6)(A) of the Act states
that each advisory opinion issued by the
Secretary shall be binding as to the
Secretary and the party or parties
requesting the opinion. Section
1877(g)(6)(B) of the Act requires the
Secretary, in issuing advisory opinions
regarding the physician self-referral law,
to apply the rules in paragraphs (b)(3)
and (4) of section 1128D of the Act, to
the extent practicable. This paragraph
also requires the Secretary to take into
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account the regulations promulgated
under paragraph (b)(5) of section 1128D
of the Act.
Section 1128D of the Act was added
to the statute by section 205 of the
Health Insurance Portability and
Accountability Act of 1996 (HIPAA)
(Pub. L. 104–191, effective August 21,
1996). Among other things, section
1128D of the Act requires the Secretary,
in consultation with the Attorney
General, to issue written advisory
opinions as to specified matters related
to the anti-kickback statute in section
1128B(b) of the Act, the safe harbor
provisions in § 1001.952, and other
provisions of the Act under the
authority of the Office of Inspector
General (OIG). To implement and
interpret section 1128D of the Act, the
Office of Inspector General (OIG) issued
an interim final rule with comment
period in the February 19, 1997 Federal
Register entitled Medicare and State
Health Care Programs: Fraud and Abuse;
Issuance of Advisory Opinions by the
OIG (62 FR 7350), revised and clarified
its regulations in the July 16, 1998
Federal Register (68 FR 38311), and
updated its regulations in a final rule
published in the July 17, 2008 Federal
Register that solely revised certain
procedural requirements for submitting
payments for advisory opinion costs (73
FR 40982) (collectively, the OIG
advisory opinion rule). The regulations
are codified in part 1008 of this title of
the Code of Federal Regulations (the
OIG advisory opinion regulations).
Section 1128D(b)(3) of the Act
prohibits the Secretary from addressing
in an advisory opinion whether: (1) Fair
market value shall be or was paid or
received for any goods, services, or
property; or (2) an individual is a bona
fide employee within the requirements
of section 3121(d)(2) of the Internal
Revenue Code of 1986. In the 1998 CMS
advisory opinions rule, we incorporated
these provisions into the physician selfreferral law regulations (63 FR 1646).
Section 1128D(b)(4)(A) of the Act states
that an advisory opinion related to OIG
authorities is binding as to the Secretary
and the party or parties requesting the
opinion. This section is redundant of
the provision in section 1877(g)(6)(A) of
the Act, and therefore, not incorporated
into the physician self-referral advisory
opinion regulations. Section
1128D(b)(4)(B) of the Act provides that
the failure of a party to seek an advisory
opinion may not be introduced into
evidence to prove that the party
intended to violate the provisions of
sections 1128, 1128A, or 1128B of the
Act. We incorporated section
1128D(b)(4)(B) of the Act in the
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physician self-referral regulations at
§ 411.388.
As discussed previously, section
1877(g)(6)(B) of the Act requires the
Secretary, to the extent practicable, to
take into account the regulations issued
under the authority of section
1128D(b)(5) of the Act (that is, the OIG
advisory opinion regulations). Section
1128D(b)(5)(A) requires that the OIG
advisory opinion regulations must
provide for: (1) The procedure to be
followed by a party applying for an
advisory opinion; (2) the procedure to
be followed by the Secretary in
responding to a request for an advisory
opinion; (3) the interval in which the
Secretary will respond; (4) the
reasonable fee to be charged to the party
requesting an advisory opinion; and (5)
the manner in which advisory opinions
will be made available to the public. We
interpret Congress’ directive to take into
account OIG regulations to mean that
we should use the OIG regulations as
our model, but that we are not bound to
follow them (63 FR 1647). Nonetheless,
in the 1998 CMS advisory opinions rule,
we largely adopted OIG’s approach to
issuing advisory opinions, stating that
we intend for physician self-referral law
advisory opinions to provide the public
with meaningful advice regarding
whether, based on specific facts, a
physician’s referral for a designated
health service (other than a clinical
laboratory service) is prohibited under
section 1877 of the Act (63 FR 1648).
2. Proposed Revisions to the CMS
Advisory Opinion Process and
Regulations
In the June 25, 2018 Federal Register,
we published a Request for Information
Regarding the Physician Self-Referral
Law (83 FR 29524) (June 2018 CMS RFI)
that sought recommendations from the
public on how to address any undue
impact and burden of the physician selfreferral statute and regulations.
Although we did not specifically
request comments on the CMS advisory
opinion regulations, we received a
number of comments urging that CMS
reconsider its approach to advisory
opinions and transform the process such
that the regulated industry may obtain
expeditious guidance on whether a
physician’s referrals to an entity with
which he or she has a financial
relationship would be prohibited under
section 1877 of the Act. These
commenters stated their belief that the
current advisory opinion process could
be improved. Some commenters stated
also that the process is too restrictive,
noting that CMS has placed what the
commenters see as unreasonable limits
on the types of questions that qualify for
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an advisory opinion (for example, CMS
will not issue an advisory opinion
where the arrangement at issue is
hypothetical and does not issue
advisory opinions on general questions
of interpretation) and CMS advisory
opinions apply only to the specific
circumstances of the requestor. These
commenters asserted that the OIG’s
advisory opinion process, upon which
the CMS advisory opinion process is
modeled, is inappropriate for a payment
statute. These commenters noted that
OIG opines on matters related to a
felony criminal statute, whereas the
physician self-referral law, by contrast,
is a payment rule. The commenters
highlighted the complexity of the
physician self-referral regulations, the
strict liability nature of the physician
self-referral law, and the need for
certainty before arrangements are
initiated and claims submitted as
reasons why an advisory opinion
process related to a felony criminal
statute is inappropriate for the
physician self-referral law. Other
commenters asserted that the process is
arduous and inefficient. These
commenters noted that the advisory
opinion process can extend beyond the
90-day timeframe provided for at
§ 411.380 and asserted that it lags
behind the OIG process in terms of
efficiency.
In designing its advisory opinion
process, OIG carefully balanced
stakeholders’ desire for an accessible
process and meaningful and informed
opinions with its need to closely
scrutinize arrangements to insure that
requesting parties are not
inappropriately granted protection from
sanctions. (63 FR 38312 through 38313).
We appreciate that there are important
differences between the physician selfreferral law, a strict liability statute
designed to prevent payment for
services where referrals are affected by
inherent financial conflicts of interest,
and the anti-kickback statute, which is
a criminal law designed to prosecute
intentional acts of fraud and abuse.
More than 20 years have passed since
the CMS advisory opinion regulations
were issued. In those 20 years, we have
issued 30 advisory opinions,102 15 of
which addressed the 18-month
moratorium on physician self-referrals
to specialty hospitals in which they
have an ownership or investment
interest. In light of the comments
received on the RFI, we have
undertaken a fresh review of the CMS
102 These advisory opinions are available on CMS’
website, at https://www.cms.gov/Medicare/Fraudand-Abuse/PhysicianSelfReferral/advisory
opinions.html. This number does not include
advisory opinion requests that were withdrawn.
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advisory opinion process. We agree that
it is important to have an accessible
process that produces meaningful
opinions on the applicability of section
1877 of the Act, especially in light of the
perceived complexity of the physician
self-referral regulations, including the
requirements of the various exceptions
and the key terminology applicable to
many of the exceptions, and we
recognize that our current advisory
opinion process has not been utilized by
stakeholders or resulted in a significant
number of issued opinions to date.
Accordingly, we have reviewed our
advisory opinion regulations in an effort
to identify limitations and restrictions
that may be unnecessarily serving as an
obstacle to a more robust advisory
opinion process.
Failure to satisfy the requirements of
an exception to the physician selfreferral law carries significant
consequences, regardless of a party’s
intent.103 The safe harbors under the
anti-kickback statute are voluntary, and
the failure of an arrangement to fit
squarely within a safe harbor does not
mean that the arrangement violates the
anti-kickback statute. By contrast, the
physician self-referral law prohibits a
physician’s referral if there is a financial
relationship that does not satisfy the
requirements of one of the enumerated
exceptions. In other words, the
physician self-referral law is a strict
liability law, and parties that act in good
faith may nonetheless face significant
financial exposure if they
misunderstand or misapply the law’s
exceptions.
Regulated parties’ desire for certainty
must be balanced with CMS’ interest in
maintaining the integrity of the advisory
opinion process, and ensuring that it is
not used to inappropriately shield
improper financial arrangements. But
we believe that the risk of such misuse
is acceptably low with respect to the
section 1877 of the Act advisory opinion
process because the advisory opinion
authority at section 1877(g) of the Act is
narrowly tailored. CMS can only issue
favorable advisory opinions for
arrangements that do not violate section
1877 of the Act—for example, because
there is no referral for designated health
services, there is no financial
relationship, or the arrangement meets
an exception. In contrast, OIG has
103 The CMS Voluntary Self-Referral Disclosure
Protocol (SRDP) allows providers of services and
suppliers to self-disclose actual or potential
violations of the physician self-referral statute.
Under the SRDP, CMS may reduce the amount due
and owing for violations of section 1877 of the Act.
Information about the SRDP can be found at https://
www.cms.gov/Medicare/Fraud-and-Abuse/
PhysicianSelfReferral/Downloads/CMS-VoluntarySelf-Referral-Disclosure-Protocol.pdf.
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issued favorable advisory opinions for
arrangements that do not fit within a
safe harbor where it has concluded,
based on a totality of the facts and
circumstances, that the arrangement
poses a sufficiently low risk of fraud
and abuse under the anti-kickback
statute. CMS cannot similarly extend
protection beyond the exceptions, so
there is a built-in safeguard against
protecting an arrangement that the law
would not otherwise protect.
Furthermore, a favorable advisory
opinion from CMS does not immunize
parties from liability under the antikickback statute.
a. Matters Subject to Advisory Opinions
(§ 411.370)
Section 1877(g)(6) of the Act requires
the Secretary to issue advisory opinions
concerning ‘‘whether a referral relating
to designated health services (other than
clinical laboratory services) is
prohibited under this section.’’ In
accordance with section 1877(g)(6)(B) of
the Act, CMS adopted in regulation the
rules in paragraphs (b)(3) and (4) of
section 1128D of the Act, which
prohibit the OIG from opining on
whether an arrangement is fair market
value and whether an individual is a
bona fide employee within the
requirements of section 3121(d)(2) of the
Internal Revenue Code. In addition to
these statutory restrictions on matters
that are not subject to advisory
opinions, our current regulation at
§ 411.370(b)(1) states that CMS does not
consider, for purposes of an advisory
opinion, requests that present a general
question of interpretation, pose a
hypothetical situation, or involve the
activities of third parties. When
explaining this regulation, we stated
that we interpret section 1877(g)(6) of
the Act to allow for opinions on specific
referrals involving physicians in
specific situations (63 FR 1649). We also
noted our reasons for avoiding opinions
on generalized arrangements, stating
that it would not be possible for an
advisory opinion to reliably identify all
the possible hypothetical factors that
might lead to different results (Id.).
Under our current regulations, CMS
accepts requests for advisory opinions
that involve existing arrangements, as
well as requests that involve
arrangements into which the requestor
plans to enter. Some commenters on the
June 2018 CMS RFI suggested that CMS
expand the scope of the requests that it
will consider for an advisory opinion to
include requests that involve
hypothetical fact patterns and general
questions of interpretation. It is our
position that some requests are not
appropriate for an advisory opinion.
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Further, although we are proposing a
number of changes to improve the
advisory opinion process for
stakeholders, we believe that expanding
the process to include questions
regarding hypothetical fact patterns or
general interpretation could overwhelm
the agency. Thus, we are not proposing
an expansion of the scope of requests at
this time; however, we are soliciting
comments on whether we should do so
in the future. We are proposing minor
clarifications to § 411.370(b) regarding
matters that qualify for advisory
opinions and the parties that may
request them. Specifically, we are
proposing to clarify that the request for
an advisory opinion must ‘‘relate to’’
(rather than ‘‘involve’’) an existing
arrangement or one into which the
requestor, in good faith, specifically
plans to enter. Requestors continue to be
obligated to disclose all facts relevant to
the arrangement for which an advisory
opinion is sought. We are also
proposing revisions to the regulation
text for grammatical purposes.
We note that CMS currently responds
to questions pertaining to the physician
self-referral law through the CMS
Physician Self-Referral Call Center.
Although we are unable to provide
formal guidance or an opinion regarding
whether a specific referral is permissible
or whether a financial relationship
satisfies the requirements of an
exception, we are able to assist parties
with identifying relevant guidance. The
CMS Physician Self-Referral Call Center
is free to the public, and inquiries may
be sent to 1877CallCenter@cms.hhs.gov.
For additional information, see https://
www.cms.gov/Medicare/Fraud-andAbuse/PhysicianSelfReferral/CallCenter.html. CMS also responds to
frequently asked questions (FAQs)
regarding the physician self-referral law
from time to time. FAQs issued to date
may be found on our website at https://
www.cms.gov/Medicare/Fraud-andAbuse/PhysicianSelfReferral/
FAQs.html.
Current § 411.370(e) states that CMS
does not accept an advisory opinion
request or issue an advisory opinion if:
(1) The request is not related to a named
individual or entity; (2) CMS is aware
that the same or substantially the same
course of action is under investigation
or is or has been the subject of a
proceeding involving HHS or another
governmental agency; or (3) CMS
believes that it cannot make an
informed opinion or could only make an
informed opinion after extensive
investigation, clinical study, testing, or
collateral inquiry. We are proposing
changes to this regulation. First, we are
proposing to add to the reasons that
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CMS will not accept an advisory
opinion request or issue an advisory
opinion. Specifically, we are proposing
that CMS will reject an advisory opinion
request or not issue an advisory opinion
with respect to a request that does not
describe the arrangement at issue with
a level of detail sufficient for CMS to
issue an opinion, and the requestor does
not timely respond to CMS requests for
additional information. We believe that
this is important to the agency’s ability
to focus its resources on complete
requests.
Second, we are proposing to amend
current § 411.370(e)(2), which states that
CMS will not issue an advisory opinion
if it is aware that the same, or
substantially the same, course of action
is under investigation or is or has been
the subject of a proceeding involving
HHS or other government entities.
Although CMS consults with other HHS
components and governmental agencies,
including OIG and DOJ, on pending
advisory opinion requests, we believe
the current regulation is too restrictive,
and unnecessarily limits CMS’
flexibility to issue timely guidance to
requestors engaged in or considering
legitimate business arrangements.
Therefore, we are proposing to ease the
restriction at § 411.370(e)(2) that
prohibits the acceptance of an advisory
opinion request or issuance of an
advisory opinion if CMS is aware of
pending or past investigations or
proceedings involving a course of action
that is ‘‘substantially the same’’ as the
arrangement or proposed arrangement
between or among the parties requesting
an advisory opinion, and instead allow
CMS more discretion to determine, in
consultation with OIG and DOJ, whether
acceptance of the advisory opinion
request or issuance of the advisory
opinion is appropriate. Specifically, we
propose at § 411.370(e)(2) that CMS may
elect not to accept an advisory opinion
request or issue an advisory opinion if,
after consultation with OIG and DOJ, it
determines that the course of action
described in the request is substantially
similar to conduct that is under
investigation or is the subject of a
proceeding involving HHS or other law
enforcement agencies, and issuing an
advisory opinion could interfere with
the investigation or proceeding. We
propose to retain at renumbered
§ 411.370(e)(1)(iii) the restriction on
accepting requests if CMS is aware that
the specific course of action (involving
the same specific parties) is under
investigation or is, or has been the
subject of a proceeding involving the
Department or another governmental
agency. We also propose to clarify that
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CMS would consult with OIG and DOJ
regarding investigations or proceedings
involving the same course of conduct
described in an advisory opinion
request. We seek comments on this
approach.
Although we are not proposing
changes to § 411.370(f) which describes
the effects of an advisory opinion on
other government authority, we note
that a determination regarding whether
a referral is prohibited by section 1877
of the Act is a determination that rests
solely and exclusively with the
Secretary (and, in this case, the
Administrator, to whom the Secretary
has delegated this authority). Under
section 1877(g)(6) of the Act, an
advisory opinion is binding on the
Secretary, and if the Secretary
determines that a particular fact pattern
does not trigger liability under section
1877 of the Act, that determination is
binding on the Secretary, as well as any
component of HHS that exercised the
authority delegated by the Secretary.
Such a determination would preclude
the imposition of sanctions under
section 1877(g) of the Act.104 A
favorable advisory opinion would not,
however, insulate parties from liability
under the anti-kickback statute or any
other laws or regulations outside of
section 1877 of the Act. It would also
not preclude OIG from exercising its
authority under the Inspector General
Act of 1978 (Pub. L. 95–452, as
amended by Pub. L. 115–254, enacted
October 05, 2018). In a physician selfreferral law advisory opinion, CMS may
opine on whether an arrangement is
‘‘commercially reasonable’’ as defined
by the physician-self-referral law
regulations. Such a determination by
CMS may not apply in the context of the
anti-kickback statute and should not be
interpreted as such. A CMS
determination that an arrangement is or
is not a ‘‘financial relationship,’’ as
defined at section 1877(a)(2) of the Act
and § 411.354(a), or that an arrangement
satisfies a specific requirement of an
exception to the physician self-referral
law (for example, whether a
compensation arrangement is
‘‘commercially reasonable’’), would be a
separate and distinct inquiry from any
determination by law enforcement that
the arrangement does or does not violate
the anti-kickback statute.
b. Timeline for Issuing an Advisory
Opinion (§ 411.380)
Section 1877(g)(6) of the Act does not
impose any deadlines by which the
104 The Secretary has delegated the civil monetary
penalty authority under section 1877 of the Act to
the OIG.
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agency must respond to an advisory
opinion request, but section
1128D(b)(5)(B)(i) of the Act provides
that the Secretary shall be required to
issue an advisory opinion no later than
60 days after the request is received. In
the 1998 CMS advisory opinions rule,
we adopted a 90-day timeframe for most
requests. In addition, for requests that
we determine, in our discretion, involve
complex legal issues or highly
complicated fact patterns, we reserved
the right to issue an advisory opinion
within a reasonable timeframe. We
created this timeframe based upon our
estimates on the volume and complexity
of expected requests, and based upon
our then-current staffing situation.
We are proposing to modify this time
period and establish a 60-day timeframe
for issuing advisory opinions. The 60day period would begin on the date that
CMS formally accepts a request for an
advisory opinion. The 60 days would be
tolled during any time periods in which
the request is being revised or
additional information compiled and
presented by the requestor. We are also
considering whether CMS should
provide requestors with the option to
request expedited review. We believe
that a more efficient and expeditious
process could give stakeholders more
certainty and encourage innovative care
delivery arrangements. We seek
comment on the proposed changes to
the timeframe, whether CMS in the final
rule should include a provision on
expedited review and, if so, the
parameters for expedited review.
c. Certification Requirement (§ 411.373)
In the 1998 CMS advisory opinions
rule, we adopted a requirement
identical to OIG’s requirement that a
requestor must certify to the
truthfulness of its submissions,
including its good faith intent to enter
into proposed arrangements. CMS
finalized regulations that require a
requestor to make two certifications as
part of its request for an advisory
opinion. Under current § 411.373(a), the
requestor must certify that, to the best
of the requestor’s knowledge, all of the
information provided as part of the
request is true and correct and
constitutes a complete description of the
facts regarding which an advisory
opinion is being sought. If the request
relates to a proposed arrangement,
current § 411.373(b) states that the
request must also include a certification
that the requestor intends in good faith
to enter into the arrangement described
in the request. A requestor may make
this certification contingent upon
receiving a favorable advisory opinion
from CMS or from both CMS and OIG.
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Under current § 411.372(b)(8), if the
requestor is an individual, the
individual must sign the certification; if
the requestor is a corporation, the
certification must be signed by the Chief
Executive Officer, or a comparable
officer; if the requestor is a partnership,
the certification must be signed by a
managing partner; and, if the requestor
is a limited liability company, the
certification must be signed by a
managing member. We are proposing to
revise § 411.372(b)(8) to clarify that the
certification must be signed by an
officer that is authorized to act on behalf
of the requestor. We are also considering
whether it would be appropriate to
eliminate the certification requirement
in our regulations, given that section
1001 of Title 18 of the United States
Code prohibits material false statements
in matters within the jurisdiction of a
federal agency. We seek comment on
whether the existing certification
requirement creates undue burden for
requestors, and whether the requirement
is necessary given Section 1001.
d. Fees for the Cost of Advisory
Opinions (§ 411.375)
In the 1998 CMS advisory opinions
rule, we established a fee that is charged
to requestors to cover the actual costs
incurred by CMS in responding to a
request for an advisory opinion. Under
current § 411.375, there is an initial fee
of $250, and parties are responsible for
any additional costs incurred that
exceed the initial $250 payment. A
requestor may designate a triggering
dollar amount, and CMS will notify the
requestor if CMS estimates that the costs
of processing the request have reached
or are likely to exceed the designated
triggering amount. This fee structure
was modeled after OIG regulations that
were in effect at that time.
Since CMS issued the 1998 CMS
advisory opinions rule, OIG has updated
its regulations to eliminate the initial
fee, and instead charges requesting
parties a consolidated final payment
based on costs associated with
preparing an opinion (73 FR 15936). We
believe it is appropriate to adopt an
hourly fee of $220 for preparation of an
advisory opinion. We believe this
amount reflects the costs incurred by
the agency in processing an advisory
opinion request. We are also
considering adding a provision
establishing an expedited pathway for
requestors that seek an advisory opinion
within 30 days of the request. If we
establish such a pathway, we would
consider charging $440 an hour to
process the request, reflecting the extra
resources necessary to produce an
advisory opinion within the abbreviated
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timeframe. We request comments on
this approach. To ensure that obtaining
an advisory opinion is affordable, and to
prevent unfair surprises to requestors at
the end of the process, we are
considering promulgating a cap on the
amount of fees charged for an advisory
opinion. We solicit comments on the
amount of the cap. We also request
comments on whether CMS should
eliminate the initial $250 fee.
e. Reliance on an Advisory Opinion
(§ 411.387)
As we consider improvements to the
advisory opinion process, we are also
considering regulatory changes to clarify
current CMS policies and practices, and
make our advisory opinions more useful
compliance tools for stakeholders.
Specifically, we are soliciting comment
on proposals, described in more detail
below, to remove some of the regulatory
provisions limiting the universe of
individuals and entities that can rely on
an advisory opinion, and to add
language expressing what we believe are
permissible uses of an advisory opinion.
Section 1877(g)(6)(A) of the Act states
that an advisory opinion shall be
binding on the Secretary and on the
party or parties requesting an opinion.
Consistent with the policy adopted by
OIG, CMS took the view that an
advisory opinion may legally be relied
upon only by the requestors. While
section 1877 of the Act is silent on how
third parties may use an advisory
opinion, in regulation, CMS has
precluded legal reliance on the opinion
by non-requestor third parties. At the
time, we stated that advisory opinions
are capable of being misused by persons
not a party to the transaction in question
in order to inappropriately escape
liability (63 FR 1648). While such a
preclusion may be appropriate for
purposes of an OIG advisory opinion on
the application of a criminal statute, we
believe it may be unduly restrictive in
the context of a strict liability payment
rule that applies regardless of a party’s
intent.
In practice, CMS does anticipate that
parties to an arrangement that is subject
to a favorable advisory opinion will rely
on the opinion, even if the parties did
not join in the request. If, for instance,
CMS determines that an arrangement
does not constitute a financial
relationship because it satisfies all
requirements of an applicable
exceptions to the physician self-referral
law, that determination would
necessarily apply equally to any
individuals and entities that are parties
to the specific arrangement, for
example, the referring physician and the
entity to which he or she refers patients
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for designated health services. Thus,
even if the physician party to the
arrangement was not a requestor of the
advisory opinion, the physician party is
entitled to rely on that advisory opinion.
We are proposing changes to § 411.387
to reflect this view. Specifically, we are
proposing at § 411.387(a) that an
advisory opinion would be binding on
the Secretary and that a favorable
advisory opinion would preclude the
imposition of sanctions under section
1877(g) of the Act with respect to the
party or parties requesting the opinion
and any individuals or entities that are
parties to the specific arrangement with
respect to which the advisory opinion is
issued.
We are proposing at § 411.387(b) that
the Secretary will not pursue sanctions
under section 1877(g) of the Act against
any individuals or entities that are
parties to an arrangement that CMS
determines is indistinguishable in all
material aspects from an arrangement
that was the subject of the advisory
opinion. Even though a favorable
advisory opinion with respect to one
arrangement would not legally preclude
CMS from pursuing violations against
parties to a different arrangement, in
practice, the Secretary would not
consider using enforcement resources
for purposes of imposing sanctions
under section 1877(g) of the Act to
investigate the actions of parties to an
arrangement that CMS believes is
materially indistinguishable from an
arrangement that has received a
favorable advisory opinion. As
discussed above, such a determination
would not preclude a finding by DOJ or
OIG that the arrangement violates the
anti-kickback statute or any other law.
All facts relied on and influencing a
legal conclusion in an issued favorable
advisory opinion are material; deviation
from that set of facts would result in a
party not being able to claim the
protection proposed in § 411.387(b). If
parties to an arrangement are uncertain
as to whether CMS would view it as
materially indistinguishable from an
arrangement that has received a
favorable advisory opinion, then those
parties can submit an advisory opinion
request to query whether a referral is
prohibited under section 1877 of the Act
because the arrangement is materially
indistinguishable from an arrangement
that received a favorable advisory
opinion. We seek comment on this
approach.
Finally, we are also proposing at
§ 411.387(c) to recognize that
individuals and entities may reasonably
rely on an advisory opinion as nonbinding guidance that illustrates the
application of the self-referral law and
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regulations to specific facts and
circumstances. We believe that
stakeholders already look to advisory
opinions issued by OIG and CMS to
inform their decision-making, and these
proposed changes would make clear
that CMS acknowledges that such
reliance is permissible and reasonable.
We request comments on all aspects of
these proposals.
f. Rescission (§ 411.382)
Under current § 411.382, CMS may
rescind or revoke an advisory opinion
after it is issued. To date, CMS has not
rescinded an advisory opinion. At the
time we finalized this regulation, which
is modeled on OIG’s rescission authority
regulation, we sought comment on
whether this approach reasonably
balanced the government’s need to
ensure that advisory opinions are legally
correct and the requestor’s interest in
finality (63 FR 1653). We are again
requesting comment on this issue.
Specifically, we are soliciting comments
on whether CMS should retain a more
limited right to rescind an advisory
opinion; that is, CMS could rescind an
advisory opinion only when there is a
material regulatory change that impacts
the conclusions reached, or when a
party has received a negative advisory
opinion and wishes to have the agency
reconsider the request in light of new
facts or law.
g. Other Modifications to Procedural
Requirements
We are proposing minor
modifications to § 411.372 to improve
readability and clarity. We are also
proposing to eliminate the reference to
the provision of stock certificates as part
of the advisory opinion request
submission, as these are typically
electronic and may not necessarily list
the name of the owner. We are
requesting comments on these and other
updates to the procedure for submitting
an advisory opinion request that will
improve the efficiency of the review
process.
K. CY 2020 Updates to the Quality
Payment Program
1. Executive Summary
a. Overview
This section of the proposed rule sets
forth changes to the Quality Payment
Program starting January 1, 2020, except
as otherwise noted for specific
provisions. The 2020 performance
period of the Quality Payment Program
should build upon the foundation that
has been established in the first 3 years
of the program, which provides a
trajectory for clinicians moving to
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performance-based payments, and will
gradually prepare clinicians for the 2022
performance period of the program and
the 2024 MIPS payment year.
Participation in both tracks of the
Quality Payment Program—Advanced
Alternative Payment Models (APMs)
and Merit-based Incentive Payment
System (MIPS)—have increased from
2017 to 2018.105 The number of QPs—
Qualifying APM Participations—nearly
doubled from 2017 to 2018, from 99,076
to 183,306 clinicians. In MIPS, 98
percent of eligible clinicians
participated in 2018, up from 95 percent
in 2017. As the Quality Payment
Program continues to mature, CMS
recognizes additional long-term
improvements will need to occur.
Beginning with the 2024 MIPS payment
year, the cost performance category will
be weighted at 30 percent, which has
been gradually increased in the last few
years, and the performance threshold
will be set at the mean or median of the
final scores for all MIPS eligible
clinicians with respect to a prior period
specified by the Secretary. Beginning in
the 2022 performance period, there will
no longer be the same flexibility in
establishing the weight of the cost
performance category or in establishing
the performance threshold. Refer
readers to sections III.K.3.c.(2)(a) and
III.K.3.e.(2) of this proposed rule for
more information about the statutory
requirements related to these
provisions.
b. Summary of Major Proposals
(1) MIPS Value Pathways Request for
Information
CMS is committed to the
transformation of MIPS, which will
allow for: More streamlined and
cohesive reporting; enhanced and
timely feedback; and the creation of
MIPS Value Pathways (MVPs) of
integrated measures and activities that
are meaningful to all clinicians from
specialists to primary care clinicians
and patients. The new MVPs would
remove barriers to APM participation
and promote value by focusing on
quality, interoperability, and cost.
Additionally, MVPs would create a
cohesive and meaningful participation
experience for clinicians by moving
away from siloed activities and
measures and towards an aligned set of
measures that are more relevant to a
clinician’s scope of practice, while
further reducing reporting burden and
105 Quality Payment Program (QPP) Participation
in 2018: Results at a Glance https://qpp-cm-prodcontent.s3.amazonaws.com/uploads/586/2018%20
QPP%20Participation%20Results%20Infographic
.pdf.
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easing the transition to APMs. MVPs are
described in greater detail at section
III.K.1.b.(2) and the full Request for
Information at section III.K.3.a. of this
proposed rule.
(2) Major MIPS Proposals
The major MIPS proposals in this
year’s proposed rule include a focus on
a strategic vision to further transform
MIPS by empowering patients and
simplifying MIPS to improve value and
reduce burden. We envision a future
state of the program where patients have
the information needed to make
informed decisions about their
healthcare, clinicians improve health
outcomes and quality of care for their
patients in alignment with the
Meaningful Measures initiative,106 and
the data collection burden is limited in
alignment with the Patients over
Paperwork initiative.107 Hence, we are
proposing to apply a new MVPs
framework to future proposals
beginning with the 2021 MIPS
Performance Year. MVPs would utilize
sets of measures and activities that
incorporate a foundation of promoting
interoperability and administrative
claims-based population health
measures and layered with specialty/
condition specific clinical quality
measures to create both more uniformity
and simplicity in measure reporting.
The MVP framework will also connect
quality, cost, and improvement
activities performance categories to
drive toward value; integrate the voice
of patients; and reduce clinician barriers
to movement into Advanced APMs.
Further, the MVP framework would
reduce the number of performance
measures and activities clinicians may
select. Ultimately, we believe this
would decrease clinician burden and
improve performance data quality,
while still accounting for different types
of specialties and practices. In addition
to comments requested on the
framework, we are seeking feedback on
several implementation elements within
section III.K.3.a. of this proposed rule.
Within this section, we describe our
vision that includes the following:
• Furthering the application of the
Meaningful Measures framework.
• Implementing a measure set using
additional administrative claims-based
quality measures.
• Developing MVPs, using an
approach which connects measures and
activities from the quality, cost, and
106 https://www.cms.gov/Medicare/QualityInitiatives-Patient-Assessment-Instruments/Quality
InitiativesGenInfo/MMF/General-info-SubPage.html.
107 https://www.cms.gov/About-CMS/story-page/
patients-over-paperwork.html.
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improvement activities performance
categories; requiring completion of the
Promoting Interoperability performance
category to maintain alignment with
hospitals; and focusing on a specialty or
condition to standardize and provide
more cohesive reporting and
participation.
• Providing timely quality and cost
performance data feedback using
administrative claims, registry, and
electronically submitted data to enhance
a clinician self-tracking to facilitate care
improvements.
• Enhancing information available to
patients to inform decision making,
including increasing the patient
reported measures in MVPs.
This vision will ultimately help us to
better measure and incentivize value,
ensure participation is more meaningful
to clinicians and their patients, provide
information to patients to assist with
clinician selection, reduce clinician
reporting burden, respond to program
concerns, and increase alignment with
APMs, and increase alignment with
APMs. The RFI solicits comment on the
types of information that would be
useful to patients (Medicare
beneficiaries) and individual clinicians
reporting data for purposes of sharing
on CMS public websites. We have
assessed new opportunities, such as,
implementation of a foundational
claims-based population health core
measure set using administrative
claims-based quality measures that can
be broadly applied to communities or
populations, development of MVP
measure tracks to provide uniformity in
measure reporting and to unify
performance categories, and
enhancement of the patient voice, to
increase simplicity, reduce burden, and
increase the value of MIPS performance
data. We strongly encourage feedback
on how we can best realize our path to
value vision of MIPS Value Pathways.
In addition to this framework, we are
making two significant proposals for the
2020 MIPS performance period:
• As discussed in section III.K.3.g.(2)
of this proposed rule, we are proposing
to strengthen the Qualified Clinical Data
Registry (QCDR) measure standards for
MIPS to require measure testing,
harmonization, and clinician feedback
to improve the quality of QCDR
measures available for clinician
reporting. These policies relate to CY
2020 and CY 2021 for QCDRs.
• As discussed in section
III.K.3.c.(2)(b)(iii) of this proposed rule,
we are proposing to add new episodebased measures in the cost performance
category to more accurately reflect the
cost of care that specialists provide.
Further, we are proposing to revise the
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total per capita cost and the Medicare
Spending Per Beneficiary (MSPB)
measures in response to stakeholders’
feedback suggestions.
While we continue efforts to
strengthen the Quality Payment
Program, we remain interested in
clinician participation and engagement
in the program. Finally, as the
Bipartisan Budget Act of 2018 (BBA of
2018) (Pub. L. 115–123, enacted
February 9, 2018) extended the
flexibility and transition years within
the Quality Payment Program, we
believe these proposed policies for Year
4 and our strategic vision will assist us
in working towards a more robust
program in the future.
(3) Major APM Proposals
(a) Aligned Other Payer Medical Home
Models
We are proposing to add the defined
term, Aligned Other Payer Medical
Home Model, to § 414.1305. The
proposed definition of Aligned Other
Payer Medical Home Model includes
the same characteristics as the
definitions of Medical Home Model and
Medicaid Medical Home Model, but it
applies to other payer payment
arrangements. We believe that
structuring this proposed definition in
this manner is appropriate because we
recognize that other payers could have
payment arrangements that may be
appropriately considered medical home
models under the All-Payer
Combination Option.
Neither the current Medical Home
Model financial risk and nominal
amount standards nor the Medicaid
Medical Home Model financial risk and
nominal amount standards apply to
other payer payment arrangements.
Consistent with our proposal to define
the term Aligned Other Payer Medical
Home Model, we are proposing to
amend § 414.1420(d)(2), (d)(4), and
(d)(8) of our regulations to also apply
the Medicaid Medical Home Model
financial risk and nominal amount
standards, including the 50 eligible
clinician limit, to Aligned Other Payer
Medical Home Models.
(b) Marginal Risk for Other Payer
Advanced APMs
We are proposing to modify our
definition of marginal risk when
determining whether a payment
arrangement is an Other Payer
Advanced APM. We propose that in
event that the marginal risk rate varies
depending on the amount by which
actual expenditures exceed expected
expenditures, the average marginal risk
rate across all possible levels of actual
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expenditures would be used for
comparison to the marginal risk rate
specified in with exceptions for large
losses and small losses as described in
§ 414.1420(d). Average marginal risk
would be computed by adding the
marginal risk rate at each percentage of
level to determine to determine
participants’ losses, and dividing it by
the percentage above the benchmark to
get the average marginal risk. When
considering average marginal risk in the
context of total risk, we believe that
certain risk arrangements can create
meaningful and significant risk-based
incentives for performance and at the
same time ensure that the payment
arrangement has strong financial risk
components.
(c) Estimated APM Incentive Payments
and MIPS Payment Adjustments
As we discuss in section VI.E.10.a. of
this proposed rule, for the 2022
payment year and based on estimated
Advanced APM participation during the
2020 QP Performance Period, we
estimate that between 175,000 and
225,000 clinicians will become
Qualifying APM Participants (QPs). As
a QP for the 2022 payment year, an
eligible clinician is excluded from the
MIPS reporting requirements and
payment adjustment and qualifies for a
lump sum APM Incentive Payment
equal to 5 percent of their aggregate
payment amounts for covered
professional services for the year prior
to the payment year. We estimate that
the total lump sum APM Incentive
Payments will be approximately $500–
600 million for the 2022 Quality
Payment Program payment year.
We estimate that approximately
818,000 clinicians would be MIPS
eligible clinicians for the 2020 MIPS
performance period in section
VI.E.10.b.(1)(b) of this proposed rule.
The final number will depend on
several factors, including the number of
eligible clinicians excluded from MIPS
based on their status as QPs or Partial
QPs, the number that report as groups,
and the number that elect to opt into
MIPS. In the 2022 MIPS payment year,
MIPS payment adjustments, which only
apply to payments for covered
professional services furnished by a
MIPS eligible clinician, will be applied
based on a MIPS eligible clinician’s
performance on specified measures and
activities within four integrated
performance categories. We estimate
that MIPS payment adjustments will be
approximately equally distributed
between negative MIPS payment
adjustments ($584 million) and positive
MIPS payment adjustments ($584
million) to MIPS eligible clinicians, as
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required by the statute to ensure budget
neutrality. Up to an additional $500
million is also available for the 2022
MIPS payment year for additional
positive MIPS payment adjustments for
exceptional performance for MIPS
eligible clinicians whose final score
meets or exceeds the additional
performance threshold of 80 points that
we are proposing in section III.K.3.e.(3)
of this proposed rule. However, the
distribution will change based on the
final population of MIPS eligible
clinicians for the 2022 MIPS payment
year and the distribution of final scores
under the program.
can seek necessary feedback on the
details of implementing this
transformative approach and address
additional details of the methodology in
next year’s rulemaking cycle. We
understand that clinicians want timely
performance feedback data on quality
and cost to track their performance and
prepare to take on risk, as required in
Advanced APMs, and we intend to
provide enhanced feedback and data
analysis information to clinicians in the
future. We plan to engage with clinician
professional organizations and front-line
clinicians to develop the MVPs.
2. Definitions
At § 414.1305, we are proposing to
define the following terms:
• Aligned Other Payer Medical Home
Model.
• Hospital-based MIPS eligible
clinician.
• MIPS Value Pathway.
We are additionally proposing to
revise at § 414.1305 the following term:
• Rural area.
These terms and definitions are
discussed in detail in relevant sections
of this proposed rule.
(a) MVP Overview
3. MIPS Program Details
a. Transforming MIPS: MIPS Value
Pathways Request for Information
(1) Overview
In this proposed rule, we are
proposing to apply a new MIPS Value
Pathways (MVP) framework to future
proposals beginning with the 2021 MIPS
performance period/2023 MIPS
payment year to simplify MIPS, improve
value, reduce burden, help patients
compare clinician performance, and
better inform patient choice in selecting
clinicians. As discussed in section
III.K.3.a.(3)(a) of this proposed rule, the
MVP framework would be implemented
as early as feasible to produce a MIPS
program that more effectively meets the
7 strategic objectives described in the
CY 2018 QPP final rule (82 FR 53570)
and drives continued progress and
improvement. The MVP framework
would connect measures and activities
across the 4 MIPS performance
categories, incorporate a set of
administrative claims-based quality
measures that focus on population
health, provide data and feedback to
clinicians, and enhance information
provided to patients. As discussed in
section III.K.3.a.(3)(a) of this proposed
rule, we are proposing to apply this
MVP framework to future proposals
beginning with the 2021 MIPS
performance period rather than the 2020
MIPS performance period, so that we
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(2) MVP Framework
We believe the MVPs will reduce the
complexity of the MIPS program and the
burden to participate. We intend to
simplify MIPS while continuing to
reward high value clinicians and help
all clinicians improve care and engage
patients. While we emphasized
flexibility during the initial years of
MIPS, we believe we must balance
flexibility with a degree of
standardization to hold clinicians
accountable for the quality of care,
identify and reward high value care, and
limit clinician burden. Any solution to
improving MIPS performance
measurement data must account for the
large variation in specialty, size, and
composition of clinician practices.
MVPs allow for a more cohesive
participation experience by connecting
activities and measures from the 4 MIPS
performance categories that are relevant
to the population they are caring for, a
specialty or medical condition.
The MIPS program aims to drive
quality and value through the
collection, assessment, and public
reporting of data that informs and
rewards the delivery of high-value care.
For purposes of this discussion, we
define ‘‘value’’ as a measurement of
quality as related to cost, ‘‘value-based
care’’ as paying for health care services
in a manner that directly links
performance on cost, quality, and the
patient’s experience of care, and ‘‘high
value clinicians’’ as clinicians that
perform well on applicable measures of
quality and cost. We believe
implementing a ‘‘path to value’’
framework will transform the MIPS
program by better informing and
empowering patients to make decisions
about their healthcare and helping
clinicians to achieve better outcomes,
and also by promoting robust and
accessible healthcare data, and
interoperability.
We are targeting policies that remove
APM participation barriers as clinicians
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and practices prepare to take on and
successfully manage risk as practices
build out their quality infrastructures
with components that align with the
MIPS performance categories. Critical
practice infrastructure components that
support higher value care and readiness
to join APMs include performance
measurement tracking, performance
improvement processes,
interoperability, and data information
systems that assist clinicians and
practices in monitoring performance
and adopting new workflows and care
delivery methods. Performance measure
reporting for specific populations
encourages practices to build an
infrastructure with capabilities to
compile and analyze population health
data, a critical capability in assuming
and managing risk. For example, quality
measurement can bolster the
development of a practice infrastructure
that rapidly integrates evidence-based
best practices into the structure and
execution of care delivery, to leverage a
value-based payment, and to produce
achievement of better health outcomes.
Improvement Activities add a
continuous clinical practice
improvement component, that can help
clinicians use the experiences and
perspectives of front-line staff and
beneficiaries to constantly assess,
reconfigure, and innovate processes and
systems of care delivery to better
manage revenue and risk expenditure.
Sensitivity to cost and experience with
cost measures within a practice
infrastructure is critical to managing
value based payment and APM risk,
while awareness of and sensitivity to
cost from the beneficiary perspective
(out-of-pocket cost, cost of time off from
work for the patient and/or caregiver,
cost of disruption of normal activities/
relationships) can help support shared
decision-making. An interoperability
infrastructure component supports the
development of a practice infrastructure
that recognizes the critical role of
information exchange in supporting
safe, effective, and efficient
coordination and transitions of care
through a complex health care system,
and better management of costs and
risk. We believe that experience with
MVPs, in which there is measurement of
quality (of care and of experience of
care) and cost-efficiency, continuous
improvement/innovation within the
practice, and efficient management and
transfers of information, will remove
barriers to APM participation.
We believe it is important to
transform the MIPS program. We must
change the current program to move
along the path to value and enter a
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future state of MIPS, which includes a
more cohesive and simplified
participation experience for clinicians,
increased voice of the patient, increased
CMS provided data and feedback to
clinicians to reduce reporting burden,
and facilitated movement to Alternative
Payment Models. Please refer to the on
line MVP graphic (https://qpp-cm-prodcontent.s3.amazonaws.com/uploads/
587/MIPS%20Value%20Pathways%20
Diagrams.zip) that provides an overview
of our vision for the MIPS future state.
We have built the MIPS program
recognizing the large variation in
specialty, size, and composition of
clinician practices, providing broad
flexibility for clinician choice of
measures and activities, data
submission types, and individual or
group level participation. Although we
believe this flexibility contributed to
Year 1 participation of 95 percent of
MIPS eligible clinicians, including 94
percent of rural practices and 81 percent
of small practices,108 and the increase in
Year 2 participation to 98 percent of
MIPS eligible clinicians.109 we also
believe there is room to improve upon
the program. Specifically, we believe
this flexibility has inadvertently
resulted in a complex MIPS program
that is not producing the level of robust
clinician performance information we
envision providing to meet patient
needs and spur clinician care
improvements.
Although we have been reducing the
numbers of MIPS quality measures in
accordance with the Meaningful
Measures initiative (see 83 FR 59763
through 59765), we have heard concerns
from some stakeholders that MIPS
presents clinicians with too much
complexity and choice (for example, of
several hundred MIPS and QCDR
quality measures), causing unnecessary
burden. As noted in the CY 2019 PFS
final rule (83 FR 59720), we have
received feedback that some clinicians
find the performance requirements
confusing, and that it is difficult for
them to choose measures that are
meaningful to their practices and have
a direct benefit to beneficiaries.
We have also heard concerns from
stakeholders that MIPS does not allow
for sufficient differentiation of
performance across practices due to
clinician quality measures selection
108 2017 Quality Payment Program Reporting
Experience, March 20, 2019 (https://qpp-cm-prodcontent.s3.amazonaws.com/uploads/491/
2017%20QPP%20Experience%20Report.pdf).
109 Quality Payment Program (QPP) Participation
in 2018: Results at a Glance, https://qpp-cm-prodcontent.s3.amazonaws.com/uploads/586/
2018%20QPP%20Participation%20
Results%20Infographic.pdf.
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bias. This detracts from the program’s
ability to effectively measure and
compare performance, provide
meaningful feedback, and incentivize
quality. For example, in its June 2017
Report to Congress, MedPAC
documented the need for changes to the
MIPS program to increase clarity,
reduce complexity, and make the
burden of data submission worthwhile
through higher impact. MedPAC
recommended in their March 2018
Report to Congress using a uniform set
of population-based measures for
clinicians paid by Medicare who are not
participating in an advanced APM, and
provided an illustrative voluntary value
model that used administrative claims
and patient experience surveys. The
MedPAC model did not include any
specific clinical specialty or practice
level measures.
We believe a hybrid approach is
warranted—where clinicians are
measured on a unified set of measures
and activities around a clinician
condition or specialty, layered on top of
a base of population health measures,
which would be included in virtually
all of the MVPs. Over time, the
information clinicians and groups are
required to submit will be less
burdensome and more meaningful to
clinicians and patients. At the same
time, we intend to analyze Medicare
information to provide to clinicians and
patients more information to improve
the health of the Medicare beneficiaries.
Finally, we anticipate capturing
additional information important to
patients. We envision applying this
framework to future proposals
beginning with the 2021 MIPS
performance period/2023 MIPS
payment year as we integrate new
MVPs, so that eventually, all MIPS
eligible clinicians would have to
participate through an MVP or a MIPS
APM. We seek feedback on numerous
elements related to the MVPs in sections
III.K.3.a.(3)(a)(i) through
III.K.3.a.(3)(a)(iv) of this proposed rule.
(b) Clinician Data Feedback
Clinicians have expressed an interest
in leveraging data, such as timely claims
data, to track performance and inform
care improvements. We understand that
performance data feedback on
administrative claims-based quality and
cost measures would potentially assist
clinicians in understanding their
performance and preparing to take on
risk as required in Advanced APMs. We
see the critical need for data feedback
and intend to provide enhanced
clinician driven data feedback and
analysis information under the future
MVP approach. We are interested in
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whether clinicians would like to see
outlier analysis or other types of
actionable data feedback and are seeking
comments on clinician data feedback
content and timing needs in section
III.K.3.a.(6) of this proposed rule.
(c) Enhancing Information for Patients
The MIPS program aims to drive
quality and value through the
collection, assessment, and public
reporting of data that informs and
rewards the delivery of high-value care.
We believe that our performance
measurement should focus more on
patient reported measures, including
patient experience and satisfaction
measures and clinical outcomes
measures, as we believe that clinicians
can use feedback from the patient
perspective to inform care improvement
efforts. We believe that MVPs should
include patient reported measures when
feasible. We believe implementing an
MVP framework will transform the
MIPS program by better informing and
empowering patients to make decisions
about their healthcare and helping
clinicians achieve better outcomes, and
also by promoting robust and accessible
healthcare data and interoperability.
We are dedicated to putting patients
first and providing the information they
need to be engaged and active decisionmakers in their care. We believe that
whenever feasible the MIPS program
should provide meaningful information
at the individual clinician level. We
believe we need specific specialty
information from multispecialty groups
and are considering approaches to use
the MVPs to require reporting relevant
to multiple specialty types within a
group to provide more comprehensive
information for patients. We seek
comment, as discussed in section
III.K.3.a.(3)(b) of this proposed rule, on
the best ways to identify which MVPs
should be reported by multispecialty
groups and how we should balance the
need for information at the individual
clinician level with the burden of
reporting.
We are also looking at ways that we
can gather and display information that
is useful to patients. We are considering
approaches, as discussed in section
III.K.3.a.(6) of this proposed rule, to
developing and reporting on Physician
Compare a ‘‘value indicator’’
representing each clinician’s
performance on cost, quality, and the
patient’s experience of care. We are
committed to learning more about the
types of information patients use in
making decisions and determining what
information can be derived from the
data reported or gathered as part of
MIPS.
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(3) Implementing MVPs
(a) MVP Definition, Development,
Specification, Assignment, and
Examples
We are seeking comments on the
development and structure of MVPs,
which would connect measures and
activities across the quality, cost, and
improvement activities performance
categories. We believe that
interoperability is a foundational
element and thus would generally apply
to all clinicians, regardless of the
specific MVP, for whom the Promoting
Interoperability performance category is
required. MVPs would support our
vision to measure value, reduce burden,
simplify the MIPS performance
measurement and scoring approaches,
and ensure strong alignment of quality
and cost measures. The four guiding
principles we would use to define MVPs
are:
1. MVPs should consist of limited sets
of measures and activities that are
meaningful to clinicians, which will
reduce or eliminate clinician burden
related to selection of measures and
activities, simplify scoring, and lead to
sufficient comparative data.
2. MVPs should include measures and
activities that would result in providing
comparative performance data that is
valuable to patients and caregivers in
evaluating clinician performance and
making choices about their care.
3. MVPs should include measures that
encourage performance improvements
in high priority areas.
4. MVPs should reduce barriers to
APM participation by including
measures that are part of APMs where
feasible, and by linking cost and quality
measurement.
We request public comments on the
MVP guiding principles noted above.
We also request public comments on
how to best develop MVPs to allow for
the development of better comparative
data, reduce burden, and provide
valuable information to patients and
clinicians.
MVPs would be organized around
clinician specialty or health condition
and encompass a set of related measures
and activities. We intend to ensure
equity in MVPs so that clinicians are not
advantaged by reporting one MVP over
another (for example, in terms of
reporting burden and scoring), but also
want to include measures that have
opportunities for improvement.
Bundling quality and cost measures and
improvement activities that are highly
correlated in addition to the measures
from the Promoting Interoperability
performance category will strengthen
clinical improvement and streamline
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reporting. As an initial step, we are
proposing to require that beginning with
the 2020 Call for measures process,
MIPS quality measure stewards must
link their MIPS quality measures to
existing and related cost measures and
improvement activities, as applicable
and feasible. We refer readers to section
III.K.3.c.(1)(d)(i) of this proposed rule
for further discussion of our proposal.
We believe that MVPs can be created
with significant input from clinicians
and specialty societies, to ensure that
measures and activities within MVPs
are relevant and important to clinician
practices. The most significant change
with MVPs is that eventually all MIPS
eligible clinicians would no longer be
able to select quality measures or
improvement activities from a single
inventory. Instead, measures and
activities in an MVP would be
connected around a clinician specialty
or condition (see examples of potential
MVPs in section III.K.3.a.(3)(a) of this
proposed rule). We also intend that a
population health measure/
administrative claims-based measures
would be layered into measuring the
quality performance category, applied
whenever there is a sufficient case
minimum. Cost measures would be
specific to the MVP and applied only
when a clinician or group meets the
case minimum. MVPs could potentially
also allow for the use of multi-category
measures, should they be developed, as
clinician feedback has indicated there is
an interest in the development of these
performance measures that
simultaneously address two or three of
the MIPS performance categories (83 FR
35932).
As outlined in our goals for the
Promoting Interoperability performance
category in section III.K.3.c.(4)(b), we
look to continue MIPS alignment with
the Medicare Promoting Interoperability
Program for eligible hospitals and
CAHs, where appropriate. We envision
Promoting Interoperability performance
category measures, which focus on the
meaningful use of certified EHR
technology to support care coordination
and electronic health information
exchange, to be a key structural part of
any MVP. Initially, there would be a
uniform set of Promoting
Interoperability measures in each MVP,
though in future years we may consider
customizing the Promoting
Interoperability measures in each MVP.
At this time, we are not considering
making modifications to the Promoting
Interoperability performance category as
it becomes incorporated into the MVP
framework. We believe that
interoperability is a foundational
element and thus would apply to all
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clinicians, regardless of MVP, for whom
the Promoting Interoperability
performance category is required.
However, we are seeking comment on
how the Promoting Interoperability
performance category could evolve in
the future to meet our goal of greater
cohesion between the MIPS
performance categories. We believe that
eligible clinicians could benefit from
more targeted approaches to assessing
the meaningful use of health IT which
aligns with clinically relevant MVPs
cutting across the MIPS performance
categories. One approach we could
consider is exploring which measures
for the Promoting Interoperability
performance category would be directly
aligned with measures in other MIPS
performance categories. For instance,
many improvement activities are
enabled by, or could be enabled by, the
use of certified health IT including care
coordination and patient engagement
through health information exchange.
We could develop Promoting
Interoperability measures which
measure the use of health IT in
conducting these improvement
activities, while relevant quality
measures for a given MVP could assess
quality outcomes associated with these
activities. We invite comment on these
concepts, as well as other suggestions
for how the Promoting Interoperability
performance category can be better
integrated into MVPs.
We also believe that improvement
activities can be closely linked to the
quality and cost measures, to encourage
improvement on performance of those
measures. As clinicians report on a
stable set of measures, there is an
inherent incentive to change practice
patterns to increase performance on
required quality and cost measures. We
are seeking feedback in section
III.K.3.a.(3)(a)(ii) of this proposed rule
on how many improvement activities
should be included in an MVP and how
much flexibility there should be in
selecting improvement activities. We
also seek feedback on the extent to
which improvement activities in MVPs
should be specialty-specific, conditionfocused improvement activities, versus
other areas relevant to the practice such
as patient experience and engagement,
team-based care, and care coordination.
More generally, we would like to
understand how improvement activities
are used to improve quality measure
performance within clinical practices.
Our goal in using MVPs is to
standardize which measures and
activities are reported, both to reduce
clinician burden and better measure
performance among comparable
clinicians while appropriately
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recognizing the variability of clinician
practices and potentially reducing
barriers to moving into APMs, which
generally measure quality for their
respective participants using the same
quality measures. We can also look to
APMs for methods of linking quality
and value measurement as APMs are
designed around value, and address
quality, cost, and care redesign for a
specific population.
We realize that there are numerous
issues on which we need stakeholder
feedback to fully implement MVPs, but
we believe the basic approach could
start in the 2021 MIPS performance
period/2023 MIPS payment year. We are
requesting public comments on the
following issues:
• How to construct MVPs, including
approach, definition, development,
specification, and examples referenced
at III.K.3.a.(3)(a)(i) of this proposed rule;
• How to select measures and
activities for MVPs, referenced at
III.K.3.a.(3)(a)(ii) of this proposed rule;
• How to determine MVP assignment,
referenced at III.K.3.a.(3)(a)(iii) of this
proposed rule; and
• How to transition to MVPs,
referenced at III.K.3.a.(3)(a)(iv) of this
proposed rule.
To begin implementing MVPs, we are
proposing to define a MIPS Value
Pathway at § 414.1305 as a subset of
measures and activities specified by
CMS. We anticipate that MVPs may
include, but would not be limited to,
administrative claims-based population
health, care coordination, patientreported (which may include patient
reported outcomes, or patient
experience and satisfaction measures),
and/or specialty/condition specific
measures. MVPs would include a
population health quality measure set,
and measures and activities such that all
4 MIPS performance categories are
addressed, and each performance
category would be scored according to
its current methodology. Under MVPs,
the current MIPS performance measure
collection types would continue to be
used to the extent possible, but these
details need to be worked out and
would be addressed in next year’s
rulemaking cycle. We request comment
on performance measure collection
types for MVPs in section
III.K.3.a.(3)(a)(ii) of this proposed rule.
We provide 4 illustrative examples of
MVPs in Table 34. The examples
demonstrate how MVPs could be
constructed and show the types of
measures and activities that might be
assigned to each MVP. We present 2
example MVPs for primary care and
general medicine, which includes
preventive health and diabetes
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prevention and treatment, as well as two
example MVPs for procedural
specialties, which include major surgery
and general ophthalmology. Within our
sample MVPs, we present no more than
4 quality or cost measures or
improvement activities for each
performance category. However, the
exact number of measures and activities
could vary across MVPs. We envision
that we would no longer require the
same number of measures or activities
for all clinicians but focus on what is
needed to best assess the quality and
value of care within a particular
specialty or condition. To assign quality
measures in these examples, we
prioritized outcome and patient
reported measures, non-topped out
measures, and eCQMs. To assign cost
measures, we reviewed existing
measures and selected those that fit into
the MVP topic. We also included
population health measures, which are
described in section III.K.3.a.(4) of this
proposed rule. We reviewed and
selected relevant improvement activities
that align with the quality and cost
measures in the MVPs. We are
interested in feedback on whether
improvement activities should focus on
improving the quality and cost measures
within an MVP or be much broader
including any improvement activities
that are relevant to the practice. We are
interested in exploring approaches to
leverage participation in specialty
accreditation programs, such as the
American College of Surgeons’
Commission on Cancer accreditation
program. Since specialty accreditation
programs may promote the evaluation
and improvement of clinical processes
and care, we believe it may be
appropriate to incorporate attestation to
participation in such programs as an
approach to satisfy the requirements of
the improvement activities performance
category, for example, by proposing to
specify such participation as an
improvement activity for all MVPs or
specific MVPs in future rulemaking. To
align with the statutory requirement that
a practice that is certified or recognized
as a patient-centered medical home or
comparable specialty practice be given
the highest potential score for the
improvement activities performance
category, we have also included an
illustrative example under the
Preventive Health MVP to depict how
patient-centered medical homes or
comparable specialty practices would
receive credit under the improvement
activities performance category. We
anticipate that all measures in the
Promoting Interoperability performance
category would initially be applicable to
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each MVP unless an exclusion applies;
thus, we assigned all Promoting
Interoperability measures to all MVPs.
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We welcome comments on the examples
of possible MVPs and on options for
encouraging interoperability to promote
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improvements in care and performance
measurement results.
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TABLE 34: Examples of Possible MIPS Value Pathways
• Preventive Care and
Screening: Tobacco Use:
Screening and Cessation
Intervention (Quality ID:
226)
• Osteoarthritis: Function and
Pain Assessment (Quality
ID: 109) Adult
Immunization Status,
proposed (Quality ID: TED)
• Controlling High Blood
Pressure (Quality ID: 236)
• PLUS: population health
administrative claims
quality measures (e.g., allcause hospital readmission)
• Hemoglobin Ale (HbAlc)
Poor Care Control (>9%)
(Quality ID: 001)
• Diabetes: Medical Attention
for Nephropathy (Quality
ID: 119)
• Evaluation Controlling High
Blood Pressure (Quality ID:
236)
• PLUS: population health
administrative claims
quality measures
• Unplanned Reoperation
within the 30-Day
Postoperative Period
(Quality ID: 355)
• Surgical Site Infection (SST)
(Quality ID: 357)
• Patient-Centered Surgical
Risk Assessment and
Communication (Quality
ID: 358)
• PLUS: population health
administrative claims
quality measures
Diabetes
Prevention
and
Treatment
Major
Surgery
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General
Ophthalmol
ogy
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• Primary Open-Angle
Glaucoma (POAG): Optic
Nerve Evaluation (Quality
ID: 012)
• Diabetic Retinopathy:
Communication with
Physician Managing
Ongoing Diabetes Care
(Quality ID: 019)
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Cost Measures
Improvement Activities**
Promoting
lnteroperabilitv
• All measures in
Promoting
lnteroperability ***
• Total Per Capita
Cost (TPCC_1)
• Medicare
Spending Per
Beneficiary
(MSPB_l)
• Chronic Care and Preventive
Care for Empaneled Patients
(IA_PM_l3)
• Engage patients and families
to guide improvement in the
system of care (lA_BE_14)
• Collection and use of patient
experience and satisfaction
data on access (lA_EPA_ 3)
• Total Per Capita
Cost (TPCC_1)
• Medicare
Spending Per
Beneficiary
(MSPB_l)
• Glycemic Management
Services (IA_PM_4)
• Chronic Care and
Preventative Care
Management for Empaneled
Patients (lA_PM_13)
• All measures in
Promoting
Interoperability ***
• Medicare
Spending Per
Beneficiary
(MSPB_l)
• Revascularization
for Lower
Extremity Chronic
Critical Limb
Ischemia
(COST_CCLI_l)
• Knee arthroplasty
(COST_KA_l)
• Use of patient safety tools
(IA_PSPA_8)
• Implementing the use of
specialist reports back to
referring clinician or group to
close referral loop
(IA_CC_l)
• All measures in
Promoting
lnteroperability ***
• Medicare
Spending Per
Beneficiary
(MSPB_l)
• Routine Cataract
Removal with
Intraocular Lens
Implantation
(COST IOL 1)
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OR
• Completion of an Accredited
Safety or Quality
Improvement Program
(TA PSPA 28)
• Implementation of
improvements that contribute
to more timely
communication of test results
(IA_CC_2)
• Comprehensive eye exam
(IA_AHE_7)
Sfmt 4725
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• All measures in
Promoting
Interoperability ***
EP14AU19.078
Quality Measures
MVP
Example
Preventive
Health
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BILLING CODE 4120–01–C
The examples in Table 34 are
illustrative only, but we envision that
we would start building MVPs by
reviewing the existing specialty measure
sets for the quality performance
category. However, some specialty
measure sets contain multiple
conditions or concepts, so we do not
envision a one-to-one correlation
between the specialty measure sets and
MVPs.
We anticipate that eventually many
clinicians would have at least one
relevant MVP, while other clinicians
may have several. In particular, we
believe that multispecialty groups will
have more than one relevant MVP. If
technically feasible, we would like to
establish a methodology that allows us
to identify and assign in advance the
relevant MVP(s) for MIPS eligible
clinicians or groups and require the
clinician or groups to report on those
MVPs. In addition, we would consider
folding MIPS APM measures and
activities into MVPs and develop an
assignment process as described in the
CY 2018 Quality Payment Program final
rule (82 FR 53785 through 53787),
applying a hierarchy which applies
APM entity final scores over any other
final score.
We are interested in feedback on the
level of choice that should be provided
to clinicians for MVP selection or
selection of measures and activities
within an MVP. We have heard from
some clinicians that they would prefer
a clear list of what specific measures
and activities they have to perform
versus various options of measures and
activities to report. We believe a
methodology in which clinicians are
informed of the potential MVP(s) that
are available for a clinician or group to
report on would be simpler to
communicate and allow for both
clinicians and CMS to better understand
what measures and activities should be
submitted. We are considering assigning
MVPs to clinicians and groups, if
technically feasible, starting with the
2021 MIPS performance period as MVPs
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become available and would propose
the MVP assignment process in next
year’s rulemaking cycle. We are
considering the feasibility of potential
data sources or methods to use to assign
clinicians to an MVP, such as the
specialty reported on Part B claims or
use of Medicare Provider Enrollment,
Chain, and Ownership System (PECOS)
data. We seek comment on
circumstances when we should allow
clinicians and groups to select an
alternative MVP, rather than the one or
more MVP(s) assigned. Those clinicians
and groups who would not have an
applicable MVP for the 2021 MIPS
performance period would continue the
current process of reporting MIPS
measures and activities for the 4
performance categories. As an alternate
option, we could consider selfassignment of MVPs for the 2021 MIPS
performance year period with the
intention of assigning MVPs to
clinicians starting in the 2022 MIPS
performance period. Clinicians have
had flexibility in choosing MIPS quality
measures to date, and we expect
retaining a degree of choice will be
welcome by some clinicians as we
transition to MVPs. We anticipate that
the number of available MVPs would
increase in the 2022 MIPS performance
period and subsequent years, which
would allow for MVP assignment for all
clinicians and groups. We are requesting
public comments on whether clinicians
and groups should be able to self-select
an MVP or if an MVP should be
assigned. If assigned, we are requesting
comments on the best way to assign an
MVP—should it be based on place of
service codes, specialty designation on
Part B claims, or in the case of groups,
should the assigned MVP(s) be based on
the specialty designation of the majority
of clinicians in the group, specific
services, or other factors?
We are considering approaches to
assigning MVPs to multispecialty
groups to be inclusive of the different
specialties providing care to patients.
Alternatively, we are also considering
approaches that would allow for self-
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assignment of MVPs where
multispecialty groups would select one
or more MVPs that are most relevant to
the specialty mix within the group.
We believe the approach to MVPs
must find the right balance between
having a sufficient number of MVPs to
allow clinicians to report on measures
and activities relevant to their practices,
without developing so many MVPs that
reporting is diluted and developing
benchmarks is hampered. For example,
we would not want to have several
MVPs for the same specialty or
condition because then only a portion of
the MIPS eligible clinicians are
reporting on the quality measures,
which limits the ability to develop
benchmarks and to make meaningful
comparisons of clinicians.
In addition, due to differences in
collection types for many quality
measures, we can have multiple
benchmarks for each measure, which
further complicates the ability to make
meaningful comparisons. The diversity
of MVPs and collection types of quality
measures may hamper MIPS in meeting
its vision of effectively measuring and
comparing performance, providing
meaningful feedback, incentivizing
quality, and providing patients with
enhanced information for making
clinician selection choices.
We believe Electronic Clinical Quality
Measures (eCQMs) have the potential to
decrease reporting burden within MVPs.
Stakeholders have previously supported
eCQMs and the associated reduction in
information collection burden under a
variety of CMS programs and have made
recommendations for improving eCQMs
(83 FR 41593). While we support the
reporting of eCQMs through the MIPS
program, we have identified certain
eCQMs for removal. We may propose to
remove measures that are extremely
topped out, duplicative of a new
measure, or are low-adopted measures
that have been in the program for 2 or
more years. We refer readers to Table
Group C of Appendix 1 for the list of
previously finalized quality measures
proposed for removal in the 2022
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payment year. Through our Call for
Measures process, and related measure
development resources, such as the
CMS BluePrint at https://www.cms.gov/
Medicare/Quality-Initiatives-PatientAssessment-Instruments/MMS/
Downloads/Blueprint.pdf and the CMS
Measure Development Plan at https://
www.cms.gov/Medicare/QualityPayment-Program/MeasureDevelopment/2018-MDP-annualreport.PDF, we encourage stakeholders
to submit electronically specified
measures for CMS consideration. We
recognize that there are challenges
related to development of new eCQMs
and technical aspects, however, we are
interested in eCQMs and their potential
use in MVPs to reduce reporting burden.
For further discussion of strategies for
reducing burden associated with
reporting eCQMs, refer to the Office of
the National Coordinator for Health
Information Technology draft report,
Strategy of Reducing Regulatory and
Administrative Burden Relating to the
Use of Health IT and EHRs (https://
www.healthit.gov/sites/default/files/
page/2018-11/Draft%20Strategy%20
on%20Reducing%20Regulatory%20
and%20Administrative%20
Burden%20Relating.pdf).
We are interested in feedback on our
timeframe for transitioning into MVPs.
We anticipate that we will have a
number of MVPs proposed for the 2021
MIPS performance period. However, we
understand that there are many
operational considerations that should
be taken into account. We request
comment on approaches to accelerate
the development and implementation of
MVPs, as well as any comments on the
optimal timeline for transition.
Over the next year, we may consider
convening public forum listening
sessions, webinars, and office hours, or
use additional opportunities such as the
pre-rulemaking measures process to
understand what is important to
clinicians, patients, and stakeholders, as
we develop MVPs.
• In addition to gathering feedback
from this proposed rule, how do we best
engage stakeholders in the development
of MVPs?
++ How would stakeholders like to
be engaged in MVP development? What
type of outreach would be the most
effective in gathering the voice of the
patient in the MVP concept and the
selection of measures?
++ For quality measures, should we
initiate a ‘‘Call for MVPs’’ that aligns
with policies developed for the Call for
Measures and Measure Selection
Process, described in section
III.K.3.c.(1)(d)(i) of this proposed rule,
or should we use an approach similar to
the process used to solicit
recommendations for new specialty
measure sets and revisions to existing
specialty measure sets, as described in
section III.K.3.c.(1)(d)(i) of this proposed
rule?
• How should MVPs be organized, for
example, around specialties and areas of
practice? Alternatively, should MVPs be
organized to address a small number of
public health priorities, for example,
HIV care or healthcare-associated
infections? Please refer to Table 34 for
examples of specialty MVPs.
• How can we ensure the right
number of MVPs that result in
comparable and comprehensive
information that is meaningful for the
clinicians, patients, and the Medicare
program? How should we limit the
number of MVPs? Should each specialty
have a single MVP?
• How should we build on Promoting
Interoperability, a foundational
component of MVPs, as we link the 4
categories within MVPs? How could we
best promote the use of health
information technology and
interoperability in practices not yet
using electronic health records?
• How can MVPs effectively reduce
barriers to clinician movement into
APMs, such as practice inexperience
with cost measurement and lack of
readiness to take on financial risk?
(i) Request for Feedback on MVP
Approach, Definition, Development,
Specification, Assignment, and
Examples
(ii) Request for Feedback on Selection of
Measures and Activities for MVPs
We are requesting public comments
on how MVPs are developed.
• We have stated MVP guiding
principles regarding reducing burden,
providing comparative performance
data to patients and caregivers,
encouraging improvements in high
priority areas, and reducing barriers to
APM participation. Should we consider
other guiding principles as we define
and develop MVPs?
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We are requesting public comments
on the selection of measures and
activities in MVPs.
• Please provide feedback on the
Example MVPs in Table 34 that might
help us in our development of
additional MVPs. In the example, there
is a list of required quality measures and
improvement activities. Should MVPs
include only required measures and
activities, or a small list of quality
measures and activities from which
clinicians could choose what to report?
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• What criteria should be used for
determining which measures and
activities should be included in an
MVP, such as prioritizing outcome, high
priority and patient-reported measures;
limiting the number of quality measures
to 4, including only cost measures that
align with quality measures, etc.? How
should performance categories and
associated measures and activities be
linked (e.g., quality measures aligned
with cost measures)?
• For the quality measures, should
clinicians and groups be required to use
a certain collection type (eCQMs, MIPS
Clinical Quality Measures [MIPS
CQMs], CMS Web Interface, or QCDR
measures) in order to have a comparable
data set in the MVPs? What will
clinicians’ administrative burden be for
changing to a new, specific collection
type for a measure, for example,
changing from MIPS CQM to an eCQM?
• Currently we have similar measures
addressing the same clinical topic, with
different collection types (for example,
eCQMs, MIPS CQMs, QCDR measures,
etc.) that have different specifications
and separate benchmarks. What
methodology could be used to develop
a single benchmark when multiple
collection types are used? Another
solution we may consider to ensure
comparable measure data and request
feedback on is to require a single
collection type. Please also refer to
section III.K.3.a.(3)(c) of this proposed
rule for more about QCDR measures in
MVP.
• Should improvement activities in
MVPs be restricted to activities directly
related to the clinical outcomes of the
quality and cost measures in the MVP,
for example, IA_PM_4 ‘‘Glycemic
Management Services’’ for a Diabetes
MVP, or should the selection of
improvement activities include crosscutting activities, for example, IA_EPA_
1 Provide 24/7 Access to MIPS Eligible
Clinicians or Groups Who Have RealTime Access to Patient’s Medical
Record? Should attestation to
participation in a specialty accreditation
program satisfy the improvement
activities performance category
requirements for an MVP? Should this
option be available for all MVPs or
limited to specific MVPs, such as
particular specialties for which
accreditation programs are available?
What criteria should we use to identify
such programs?
(iii) Request for Feedback on MVP
Assignment
We are requesting public comments
on how we determine the most relevant
MVP for clinicians and groups.
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• How should we identify which
MVP(s) are most appropriate for a
clinician? Would it be based on the
clinician specialty as identified in
PECOS or the specialty reported on
claims? If we assign an MVP, how
would we be able to verify the
applicability of the assigned MVP?
• Should we provide clinicians and
groups more than one applicable MVP
and allow clinicians to select their
MVP(s) from those identified? What
tools would be helpful for clinicians to
understand what MVP(s) might be
applicable, for example NPI lookup,
measure shopping cart, etc.?
(iv) Request for Feedback on Transition
to MVPs
We are requesting public comments
on how we transition to MVPs
beginning with the 2021 MIPS
performance period/2023 MIPS
payment year.
• What practice level operational
considerations do we need to account
for in the timeline for implementing
MVPs?
(b) Adjusting MVPs for Different
Practice Characteristics
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(i) Small and Rural Practices
Participation in MVPs
We realize that reporting burden
associated with MIPS can vary by the
size of the practice. Under current
quality performance category
submission requirements, the same
number of measures and activities are
reported regardless of group size, which
may impose a high burden on small
practices, given their very limited
resources to address program
requirements. Another challenge for
small and rural group practices is the
lack of a sufficient case mix to report
measures that can be reliably scored,
which makes the use of a set of
administrative claims-based quality and
cost measures especially challenging.
Policies for submission of measures and
scoring for MVPs may need to account
for these challenges. As we move
towards MVPs, we will be evaluating
other policies (such as eligibility
requirements, including the low-volume
threshold (§ 414.1305), submission
requirements (§ 414.1325), scoring
(§ 414.1380), etc.) for further
modification.
We also want to adopt policies that
reduce barriers for small practices
transitioning into APMs where
available. We have seen that there are
innovative small groups including over
83,000 clinicians (in small practices
with less than 4 clinicians) that joined
the Transforming Clinical Practice
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Initiative (TCPI) Practice
Transformation Networks (PTNs), who
followed tailored, targeted and
disciplined practices, and transitioned
into advanced practices, for example,
practices that met APM readiness
milestones in their practice assessments
and considers itself ready for migrating
into an alternative based payment
arrangement. Presently, there are a total
of 60,311 clinicians that have
transitioned to APMs. Within TCPI,
these APMs, in alignment with the CMS
Healthcare Payment Learning and
Action Network APM Framework, are
Category 3 (APMs Built on Fee ForService Architecture) and Category 4
(Population-Based Payment) payment
arrangements.110 We understand that
there are certain factors that enable
clinicians to make the transition into
APMs, including the readiness to take
on additional risk, the ability to use
timely feedback to make practice
changes, willingness to engage in peerto-peer learning and community of
practices, accessing technical assistance,
and an ability to invest in infrastructure
to enable care improvement and
efficiencies. Developing MVPs in
alignment with APM measures may
assist small practices by providing
experience with some APM
requirements, and enhanced CMS
feedback data on quality and cost
performance can help clinicians make
practice improvements and increase
readiness to participate in Advanced
APMs.
(A) Request for Feedback on Small and
Rural Practices Participation in MVPs
We are requesting public comments
on policies to support small practices.
• How should we structure the MVPs
to provide flexibility for small and rural
practices and reduce participation
burden? What MVP related policies
could best assist small and/or rural
groups when submitting measures and
activities? Should we have alternate
measures and activities submission
requirements for small and/or rural
practices? For example, should small
and/or rural practices be allowed to
report fewer measures and activities
within an MVP?
• How can we mitigate challenges
small and/or rural practices have in
reporting? What types of technical
assistance would be most helpful to
help small and/or rural practices to have
successful participation in MVPs?
• How can we reduce barriers to
small and/or rural groups to
transitioning into APMs, such as lack of
110 https://hcp-lan.org/workproducts/apmframework-onepager.pdf.
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information on performance on quality
and cost measures and limited
resources? What approaches could help
small practices transition to MVPs?
(ii) Multispecialty Practices
Participation in MVPs
At § 414.1305, a group is defined as a
single TIN with two or more eligible
clinicians (including at least one MIPS
eligible clinician), as identified by their
individual NPI, who have reassigned
their billing rights to the TIN. Section
1848(q)(1)(D)(ii) of the Act requires that
the MIPS process, for assessing group
practices, must to the extent practicable
reflect the range of items and services
furnished by the MIPS eligible
clinicians in the group practice
involved. Multispecialty groups,
especially those groups with a large
number of clinicians, often provide an
array of services that may not be
captured in a single set of measures or
in a single MVP. We have also heard
similar concerns from stakeholders. In
the CY 2019 PFS proposed rule (83 FR
35891), we acknowledged one of the
overarching themes we have heard from
stakeholders is that we make an option
available to groups that would allow a
portion of a group to report as a separate
sub-group on measures and activities
that are more applicable to the subgroup and be assessed and scored
accordingly based on the performance of
the sub-group. We solicited comment on
specific options and questions for
implementation of sub-group level
reporting in future years in response to
some stakeholders who requested the
ability to report quality data for a
portion of a TIN so that they can report
measures and activities more relevant to
their practice. However, as we noted in
the CY 2019 PFS final rule (83 FR
59742), because there are numerous
operational challenges with
implementing such a sub-group option,
we did not propose any such changes to
our established reporting policies
regarding the use of a sub-group
identifier. In the CY 2018 Quality
Payment Program final rule (82 FR
53593), we stated that in future
rulemaking we intend to explore the
feasibility of establishing group-related
policies that would permit participation
in MIPS at a sub-group level and create
such functionality through a new
identifier.
As we consider this transition to
MVPs, we are seeking public comment
on whether we can use the MVP
approach as an alternative to sub-group
reporting to more comprehensively
capture the range of the items and
services furnished by the group practice.
This approach could address
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stakeholder concerns about reporting on
meaningful measures which are related
to their practice without adding undue
operational and data collection burden
associated with creating and
maintaining identifiers for sub-groups.
Under this approach, multispecialty
groups would report on multiple
assigned or selected MVPs, where
assignment or selection of MVPs would
be proposed in future rulemaking, at the
group level. Depending on how the
MVPs are then combined and scored at
the group level, this may eliminate the
need for groups to create sub-TIN
identifiers and apply eligibility criteria
at the sub-TIN level.
We are interested in developing
criteria to identify which MVPs are
applicable to multispecialty groups and
whether or not we should require the
reporting of multiple MVPs. Such an
approach would provide patients with
better information about care and
services provided by multispecialty
groups. If we require reporting on more
than one MVP, we may consider putting
a cap on the number of MVPs, measures,
and activities to ensure there is no
undue burden for multispecialty
practices. We are interested in how to
improve both large and small
multispecialty group reporting of MIPS
performance measures and activities.
(A) Request for Feedback on
Multispecialty Practices Participation in
MVPs
We are requesting public comments
on MVP policies for multispecialty
practices.
• We are considering a requirement
in future years that multiple specialty
types within a group report relevant
MVPs to provide more comprehensive
information for patients. We are seeking
comment on whether we can use the
MVP approach as an alternative to subgroup reporting to more
comprehensively capture the range of
the items and services furnished by the
group practice. For example, would it
better for multispecialty groups to report
and be scored on multiple MVPs to offer
patients a more comprehensive picture
of group practice performance or for
multispecialty groups to create subgroups which would break the overall
group into smaller units which would
independently report MVPs? How
should we balance the need for
information for patients on clinicians
within the multispecialty practice with
the clinician burden of reporting?
• What criteria should be used to
identify which MVPs are applicable to
multispecialty groups? For example,
should it be based on the number or
percentage of clinicians from the same
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specialty in the group? Should a group
be able to identify which clinicians will
report which MVP?
• Should there be a limit on the
number of MVPs that could be reported
by a multispecialty group?
• What mechanisms should be used
to assess a group’s specialty
composition to determine which MVPs
are applicable? For example, would
groups need to submit identifying
information to assure that measure
MVPs aligned with the number or
percent of clinicians of different
specialties within a group? Is there
information (such as specialty as
identified in PECOS or the specialty
reported on claims) we could leverage to
ensure the appropriateness of MVPs for
groups?
• In section III.E.1.c. of this proposed
rule, we seek public comment on
whether to align Shared Savings
Program quality reporting requirements
and quality scoring methodology with
MIPS. As MIPS transitions to MVPs and
addresses multispecialty practices,
What MVP policies should be applied to
MIPS APM participants?
(c) Incorporating QCDR Measures Into
MVPs
As part of our path to value focus, we
want participation in MIPS to become
more meaningful to patients and
clinicians. QCDR measures are not
included in our proposals for annual
rulemaking and are separate from MIPS
measures, which are finalized through
the rulemaking process. We refer
readers to section III.K.3.g.(2)(c) of this
rule for discussion of proposals to
strengthen QCDR measures.
Both QCDR and MIPS measures are
currently available for clinicians to
choose from to fulfill the requirements
under the quality performance category.
We have been encouraged by clinician
adoption of QCDRs and their measures
in the time since the Quality Payment
Program became operational. Clinicians
are interested and dedicated to quality
improvement and have worked with
QCDRs to foster an innovative and
flexible approach to quality
measurement and improvement. We
continue to believe that participation in
these QCDR quality improvement
programs is a strong sign of a
commitment to quality and
improvement.
While this environment has
encouraged a flexible approach to
quality improvement, we believe it has
also contributed to confusion and lack
of consistency in measurement as our
list of MIPS measures is greatly
outpaced by the number of QCDR
measures.
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As noted in section III.K.3.a.(3)(a) of
this rule, we are considering a major
change in the submission requirements
for MIPS eligible clinicians beginning
with the 2021 MIPS performance
period. We believe that a smaller and
more focused set of quality measures
assembled into an MVP, integrated with
cost measures and improvement
activities, will better serve the program
by reducing the complexity of
identifying how to participate in the
program for clinicians, improving our
ability to compare clinicians, and
improving beneficiaries’ ability to
identify high quality practices. A
proliferation of measures that are
different for every modest variation in
practice is contrary to such a goal.
Therefore, we need to consider the role
of QCDR measures in such an
environment.
(i) Request for Feedback on
Incorporating QCDR Measures Into
MVPs
We are requesting public comments
on policies for how QCDR measures
would be used in MVPs:
• Should QCDR measures be
integrated into MVPs along with MIPS
measures, or should they be limited to
specific MVPs consisting of only QCDR
measures? How do we continue to
encourage clinicians to use QCDRs
under MVPs?
(d) Scoring MVP Performance
As we are proposing to apply the
MVP framework to future proposals
beginning with the 2021 MIPS
performance period/2023 MIPS
payment year, we may propose scoring
changes in future rulemaking. We
anticipate that our basic approach to
scoring measures and activities would
remain stable with MVPs. In particular,
we believe that both quality and cost
performance category measures within
MVPs would be scored using a scale of
0 to 10 and performance assessed by
comparing to a benchmark, using the
current approach to calculate
benchmarks. We refer readers to
sections III.K.3.c.(1)(b) and
III.K.3.c.(2)(a) of this proposed rule for
further discussion on how the quality
and cost performance categories
respectively contribute to the final
score. For quality measures, we
anticipate, when possible, that MVPs
would use a single benchmark for each
measure and that all clinicians and
groups in the MVP would be compared
against the same standard. In addition,
we would no longer need special
scoring policies and bonuses to incent
selection of certain measures because
clinicians would be required to report
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all measures and activities in the MVP.
Finally, we could align improvement
scoring for quality and cost performance
measures, because clinicians would use
a stable set of measures, allowing for
comparison year-to-year at the measure
level. We believe the standardized sets
of measures in MVPs would enable us
to smoothly integrate new measures and
collect data to develop robust
benchmarks before scoring these
measures on performance. We believe
that scoring under the MVPs will
potentially reduce barriers to clinicians’
movement into APMs, which generally
score their respective participants using
the same quality measures and strongly
align quality and cost measures.
We believe that small practices will
continue to face challenges with
meeting case minimums that allow
reliable scoring of quality measures. Our
scoring policies will need to take into
account that not all measures reported
by small practices can be scored based
on the case mix available for reporting.
We anticipate that the underlying
scoring framework for scoring
improvement activities referenced in
III.K.3.d.(1)(d) of this proposed rule
would not change for clinicians;
however, there could be the potential to
better link cost and quality measures
and the associated improvement
activities. We do not anticipate that the
underlying framework for scoring
Promoting Interoperability measures
referenced in III.K.3.d.(1)(e) of this
proposed rule would change because of
the introduction of the MVP framework.
Promoting Interoperability is a
foundational component of MVPs.
Scoring policies may be developed as
more details of the implementation of
MVPs are developed.
We would also consider proposing
scoring policies to evaluate MVPs
holistically, making sure that scoring
across MVPs is equitable and that
clinicians are not unfairly advantaged
by reporting a specific MVP. We seek
feedback on scoring policies that will
help us create level comparability across
MVPs.
Additionally, if we propose in the
future to allow or require multispecialty
groups to submit more than a single
MVP of measures and activities, we
would need to develop scoring policies
to fairly score such groups.
(i) Request for Feedback on Scoring
MVP Performance
We are requesting comments on the
following:
• What scoring policies can be
simplified or eliminated with the
introduction of MVPs? For example, we
may consider eliminating scoring
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available for 2021 MIPS performance
period providing a 3-point floor for each
submitted measure that can be reliably
scored (83 FR 59842). Additionally, we
may consider eliminating the scoring
bonuses available for the 2021 MIPS
performance period for submitting highpriority measures and use of CEHRT to
support quality performance category
submissions (83 FR 59850 to 59852).
Are there other scoring policies that
could be simplified or eliminated?
• We seek feedback on scoring
policies that will help us create level
comparability across MVPs. Are there
approaches we should take to create
equity across MVPs and across clinician
types, for example, that regardless of the
number of measures and activity, no
single MVP would ‘‘outperform’’ others?
For example, should there be an MVP
adjustment added to the performance
category scores?
• How should we score
multispecialty groups reporting
multiple MVPs? Should scores be
consolidated for a single group score or
scored separately (and with separate
MIPS payment adjustments) for
specialists within the group?
Alternatively, should we have an
aggregate score for the multispecialty
group?
(4) MVP Population Health Quality
Measure Set
Section 1848(q)(2)(C)(iii) of the Act
provides that the Secretary may use
global measures, such as global outcome
measures, and population-based
measures, for purposes of the MIPS
quality performance category. Currently,
the MIPS program has one
administrative claims-based quality
measure, the all-cause readmission
measure, which is calculated and scored
for groups with 16 or more clinicians
that meet a 200-patient case minimum
(81 FR 77300). In the CY 2019 PFS
proposed rule (83 FR 59719), we
discussed our intent to use the
Meaningful Measures Initiative within
the Quality Payment Program to help
address clinician reporting burden and
improve patient outcomes through MIPS
performance measurement. The
Meaningful Measures Initiative
represents an approach to quality
measures that fosters operational
efficiencies, reduces costs associated
with collection and reporting burden,
and produces quality measurement
focused on meaningful outcomes. As we
apply the Meaningful Measures
framework within MIPS to reduce
reporting burden and strengthen the use
of measures that matter to patients and
clinicians, we are considering how to
implement a population health
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administrative claims-based quality
measure set.
Global or population quality measures
calculated from administrative claimsbased quality data can be used as a
foundational measure set to help
improve patient outcomes, reduce data
reporting burden and costs, better align
clinician quality improvement efforts,
and increase alignment with APMs and
other payer performance measurement.
The April 2019 Health Care Payment
Learning & Action Network’s Roadmap
for Driving High Performance in
Alternative Payment Models (https://
hcp-lan.org/workproducts/roadmapfinal.pdf), intended as a tool to begin
identifying promising practices for
implementing successful APMs, points
out that:
• Payers use HEDIS® quality
measures along with administrative
claims-based quality measures, such as
preventable admissions and
readmissions, in designing ACOs and
primary care model APMs
• Providers are more likely to
participate in APMs if the required
measures align with measures they
already track (see Roadmap page 19),
and
• There is room for improvement in
the area of quality measurement to
meaningfully assess health and qualityof-life outcomes (see Roadmap page 60).
We believe an administrative claimsbased quality measure set consisting of
a small number of quality measures
focused on outcomes and intermediate
outcomes can move MIPS towards
population health measurement.
We have heard from some
stakeholders that we should drive
quality measurement towards a set of
population-based outcome measures.
We believe increasing the number of
population health measures that utilize
administrative claims data in the MIPS
program while reducing the number of
required condition and specialty
specific measures would reduce the
burden associated with quality
reporting. However, we recognize that
the use of an administrative claimsbased quality measure set would entail
certain tradeoffs. These measures
historically have been applicable to
primary care clinicians, with less
relevance for some specialists. They
have also been limited to Medicare fee
for service patients, excluding other
payer patients, and therefore, have not
provided a picture of a clinician’s entire
practice and patient base. In addition,
administrative claims-based quality
measures require a large sample to
produce reliable results, which presents
challenges in a clinician program that
allows for participation by individuals
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and groups with relatively few patients
in a specific measure denominator.
However, given the opportunity to
reduce burden (because clinicians do
not need to report the administrative
claims-based quality measures
themselves), apply measures across
different clinician types, focus on
important public health priorities, and
reduce barriers to APM participation,
we want to find ways to effectively use
administrative claims-based population
health quality measures in MIPS.
We are working on multiple fronts to
find the best and most appropriate
measures for the MIPS program. For
example, we are working with measure
stewards on technical specifications to
ensure the measures are reliable and
broadly applicable to MIPS eligible
clinicians. We intend to have the
measures reviewed by a consensusbased entity, for example, the National
Quality Forum (NQF) Measure
Applications Partnership (MAP). We
have looked at the use of administrative
claims-based quality measures in the
Shared Savings Program and the
Comprehensive Primary Care Plus
(CPC+) model to identify examples of
measures that could be included as
MIPS measures. As one example, in
addition to an all-cause readmission
measure (similar to the one currently
used in MIPS), the Shared Savings
Program has a measure (ACO—38), the
All-Cause Unplanned Admissions for
Patients with Multiple Chronic
Conditions, that we are in the process of
adapting and testing for the MIPS
program. In section III.K.3.c.(1)(d)(ii) of
this proposed rule, we are proposing to
add All-Cause Unplanned Admissions
for Patients with Multiple Chronic
Conditions measure to MIPS for the
2021 MIPS performance period. The
Shared Savings Program also has a risk
adjusted measure, (ACO—43), the
Ambulatory Sensitive Condition Acute
Composite (AHRQ Prevention Quality
Indicator (PQI) #91), which assesses the
risk adjusted rate of hospital discharges
for acute PQI conditions with a
principal diagnosis of dehydration,
bacterial pneumonia, or urinary tract
infection among ACO assigned
Medicare fee-for-service (FFS)
beneficiaries 18 years and older. In
section III.E.1.b., we recognize that the
measure steward, AHRQ, has made
‘‘substantive’’ change to the measure
and propose to redesignate ACO—43 to
a pay-for-reporting measure for the 2020
and 2021 performance years, while
seeking comment on other approaches
including developing historic
benchmarks.
As we work to improve and develop
a foundational population health quality
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measure set, we are reviewing measures
that we could propose in future
rulemaking. We are reviewing whether
it would be appropriate to add a
measure similar to the ACO—43
Ambulatory Sensitive Condition Acute
Composite (AHRQ Prevention Quality
Indicator (PQI) #91) to MIPS. We are
also reviewing two risk adjusted
utilization measures that are included in
the CPC+ Model Quality and Utilization
Measure Set for the 2019 Performance
Period for potential inclusion in the
MIPS program: The HEDIS® Acute
Hospital Utilization (AHU) (this is the
inpatient hospital utilization measure in
CPC+ Model that was updated by NCQA
in 2018); and the HEDIS® Emergency
Department Utilization (EDU).111 These
measures assess the risk-adjusted ratio
of observed-to-expected acute inpatient
and observation stay discharges during
the measurement year reported by
surgery, medicine and total among
members 18 years of age and older.
These measures are currently specified
for health plans, but we intend to work
with the measure steward, NCQA, for
appropriateness for the MIPS program.
Clinicians raised concerns in response
to previously proposed administrative
claims-based quality measures. These
concerns included measure reliability
and applicability case size, attribution,
risk adjustment, application at the
clinician or group level, and degree of
actionable feedback for improvements
(81 FR 77130 through 77136). We
finalized use of the all-cause
readmission measure but limited its
applicability to groups of 16 or more
clinicians with a minimum of 200 cases
to mitigate some of the concerns. We
did not finalize the proposed AHRQ
Acute Conditions Composite and
Chronic Conditions Composite
measures (81 FR 28192 and 28447). Our
intention is to address the technical
challenges as we test the Ambulatory
Sensitive Condition Acute Composite
measure and present to a consensusbased entity (for example NQF) to
ensure the measure is reliable. We seek
feedback on additional steps to ensure
the measure addresses the concerns
noted above.
Clinician feedback also called for the
examination of potential
sociodemographic status risk
adjustment for administrative claimsbased quality measures. Please refer to
111 The Acute Hospital Utilization and Emergency
Department Utilization measures and specifications
were developed by the National Committee for
Quality Assurance (‘‘NCQA’’) under the
Performance Measurements contract (HHSM–500–
2006–00060C) with CMS and are included in
HEDIS® with permission of CMS. HEDIS is a
registered trademark of NCQA.
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40743
section III.K.3.d.(2)(a) of this proposed
rule for information on our approach to
accounting for risk factors in MIPS,
including the complex patient bonus
which was finalized for the 2020 MIPS
payment year (82 FR 53771 through
53776), as well as plans to take into
consideration a second report by ASPE
expected in October 2019 on accounting
for risk factors in quality, resource use
and other measures in Medicare. We are
proposing to continue the complex
patient bonus in MIPS and would
continue to assess the need for and
effectiveness of such a scoring
adjustment to ensure fair performance
comparisons between clinicians.
In summary, we plan to increase the
use of global and population based
administrative claims-based quality
measures as we develop a population
health quality measure set and are
outlining our proposal to add at least
one additional administrative claimsbased quality measure starting in the
2021 MIPS performance period in
section III.K.3.c.(1)(d)(ii) of this
proposed rule.
(a) Request for Feedback on Population
Health Quality Measure Set
We are requesting public comments
on the use of a population health quality
measure set.
• In addition to the quality measures
described above, are there specific
administrative claims-based quality
measures we should consider,
including, but not limited to, any that
assess specialty care that are specified
and/or tested at the clinician/group
practice level?
• We would like to balance the desire
for quality measures specific to a
clinical practice with a reduction in
administrative burden for submission.
Should administrative claims-based
quality measures be used to replace
some of the reporting requirements in
the quality performance category? For
example, if two additional
administrative claims-based quality
measures were added to MVPs should
we reduce the required quality measures
by 1 measure for each of the MVPs?
• In addition to testing, what other
information or methods should be used
to mitigate concerns about
administrative claims-based quality
measure reliability, applicability, and
degree of actionable feedback for
clinician performance improvement?
What concerns should be prioritized?
(5) Clinician Data Feedback
Clinicians have expressed an interest
in leveraging data to track performance
and inform care improvements. We see
the critical need for data feedback and
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intend to provide enhanced clinician
driven data feedback and analysis
information under the future MVP
approach. We understand that
performance data feedback on
administrative claims-based quality and
cost measures would potentially assist
clinicians in understanding their
performance and preparing to take on
risk as required in Advanced APMs. We
are interested in whether clinicians
would benefit from receiving feedback
on administrative data that is available
to us, such as information on the
services that their patients receive or
information on the clinician’s volume of
services in comparison to their peers to
determine if the clinician is an outlier.
Clinicians may also benefit from timely
actionable clinical data feedback from
registries, and we have proposed to
enhance data feedback requirements for
QCDRs and registries in sections
III.K.3.g.(2)(a)(iii) and III.K.3.g.(3)(a)(ii)
respectively of this proposed rule. We
also understand the need for timely data
feedback and are seeking comments on
clinician data feedback content and
timing needs.
(a) Request for Feedback on Clinician
Data Feedback
We are requesting public comments
on the Clinician Feedback.
• We would like to provide
meaningful clinician feedback on
administrative claims-based quality and
cost measures. As clinicians and groups
move towards joining APMs, is there
particular data from quality and cost
measures that would be helpful?
• Would it be useful to clinicians to
have feedback based on an analysis of
administrative claims data that includes
outlier analysis or other types of
actionable data feedback? What type of
information about practice variation,
such as the number of procedures
performed compared to other clinicians
within the same specialty or clinicians
treating the same type of patients,
would be most useful? What level of
granularity (for example, individual
clinician or group performance) would
be appropriate?
(6) Enhanced Information for Patients
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(a) Patient Reported Measures
We intend to incorporate more patient
reported outcomes and care experience
measures into MVPs. We want to learn
how patient reported information is
being effectively used in the field to
improve care to assist patients with
clinician selection and to incentivize
high value care. We believe that
feedback from the patient perspective
can inform care improvement efforts as
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clinicians assess patient reported
feedback to identify ways to elevate
quality of care.
MIPS currently includes patient
reported measures, including optimal
asthma control and measures for
functional status assessment following
hip and knee replacements, and other
patient reported measures are being
added. We recognize current limitations
with the availability of patient reported
measures. Patient reported measures are
often specific to a clinical condition or
procedure, and we do not have
measures that are available or applicable
to the majority of clinicians in the MIPS
program. The Consumer Assessments of
Healthcare Providers and Systems
(CAHPS) for MIPS survey, a patient
experience survey, is offered to group
practices as an optional quality measure
and is a high-weighted improvement
activity. Section III.K.3.c.(1)(c)(i) of this
proposed rule discusses initiatives to
expand the information collected in the
CAHPS for MIPS survey.
We have assessed additional
approaches to gathering information on
experience and satisfaction from work
both within and outside of the health
care environment. The Robert Wood
Johnson Foundation working with
Patients Like Me, a health information
sharing website for patients, has
provided guidance on what should be
measured through a publication entitled
‘‘Development of a Conceptual
Framework of ‘‘Good Healthcare’’ from
The Patient’s Perspective’’ 112 We
understand that some organizations
such as Patients Like Me are working
with patients throughout the measure
development process to enhance their
ability to capture information that is
useful to patients. Outside of healthcare,
many industries are approaching the
measurement of satisfaction as a
business priority. Service industries
have pioneered single question
‘‘surveys’’ asked at each encounter to
learn if they are meeting customer
expectations and satisfying their
customers, that could include a question
about the service provided or whether
the assistance provided addressed their
problems. We are interested in how
information from single question or
brief surveys to measure the quality of
patient experience and satisfaction with
health care delivery could be better
incorporated into MVPs.
112 https://
patientslikeme_posters.s3.amazonaws.com/
2017_Development%20of%20a%20Conceptual%20
Framework%20of%20%E2%80%9CGood%20
Healthcare%E2%80%9D%20from%20
The%20Patient%E2%80%99s%20Perspective.pdf.
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(i) Request for Feedback on Patient
Reported Measures
We are requesting public comments
on enhancing the patient voice in MVPs.
Specifically, we seek comment on:
• What patient experience/
satisfaction measurement tools or
approaches to capturing information
would be appropriate for inclusion in
MVPs? How could current commercial
approaches for measuring the customer
experience outside of the health care
sector (for example, single measures of
satisfaction or experience) be developed
and incorporated into MVPs to capture
patient experience and satisfaction
information?
• What approaches should we take to
get reliable performance information for
patients using patient reported data, in
particular at the individual clinician
level? Given the current TIN reporting
structure, are there recommendations
for ensuring clinician level specific
information in MVPs? Should clinicians
be incentivized to report patient
experience measures at the individual
clinician level to facilitate patients
making informed decisions when
selecting a clinician, and, if so, how?
• How should patient-reported
measures be included in MVPs? How
can the patient voice be better
incorporated into public reporting
under the MVP framework, in particular
at the individual clinician level?
(b) Publicly Reporting MVP
Performance Information
We believe implementing a path to
value will transform our healthcare
system by empowering well-informed
patients to make decisions about their
healthcare and helping clinicians
achieve better outcomes. As we consider
publicly reporting MVP performance
information, we want to ensure that
patients have information that is
important and useful, which we believe
includes information on clinician
performance on cost, quality, patient
experience, and satisfaction with care.
Currently, all MIPS quality measure
information is displayed on Physician
Compare clinician and group profile
pages at the individual quality measure
level. User testing with patients and
caregivers has shown that performance
on certain individual quality measures
is particularly useful for selecting
clinicians for their healthcare needs.
However, testing has also shown that
patients and caregivers are interested in
a single overall rating called a ‘‘value
indicator’’ for a clinician or group when
making comparisons across groups or
clinicians. To date, a ‘‘value indicator’’
to compare the performance of a
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clinician or group has not been possible
due to the current approach in which
clinicians can select from an inventory
of measures across a variety of
collection types and activities. Since
clinicians are not all reporting on the
same quality measures, we have been
unable to develop direct overall
comparisons under our public reporting
standards. However, we believe that
MVPs, in which clinicians of a
particular specialty are held accountable
for a uniform set of quality and cost
measures, would better allow for such
comparisons.
Related to the MVP approach, we seek
comment on the types of clinician
performance information we should
include in the display for a single
‘‘value indicator’’. As we think about
value and information that is important
to patients, we want to incorporate
measurement of cost, quality, and
patient experience and satisfaction in a
way that is meaningful to patients. We
have heard that Medicare patients and
caregivers greatly desire information
such as a value indicator, to help make
decisions about their healthcare. We
seek comment on whether displaying an
overall indicator for the MVP for a
clinician or group would be useful for
patients’ making healthcare decisions.
We refer readers to the Public Reporting
on Physician Compare at section
III.K.3.h.(4) of this proposed rule for
additional considerations for publicly
reporting these types of information
such as a value indicator, patient
narratives, and patient reported
outcome measures.
(i) Request for Feedback on Publicly
Reporting MVP Performance
Information
We seek feedback on approaches to
publicly reporting MVP performance
information:
• What considerations should be
taken into account if we publicly report
a value indicator, as well as
corresponding measures and activities
included in the MVPs?
• If we develop a value indicator,
what data elements should be included?
For example, should all reported
measures and activities be aggregated
into the value indicator?
• How would a value indicator, based
on information from MVPs, be useful for
patients making health care decisions?
• What methods of displaying MVP
performance information should we
consider other than our current
approach to using star ratings for quality
measure information on clinician profile
pages?
• What factors should be considered
to ensure publicly reported MVP
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information is comparable across
relevant clinicians and groups?
b. Group Reporting
For previous discussions of the
policies for group reporting, we refer
readers to the CY 2017 Quality Payment
Program final rule (81 FR 77070 through
77073) and the CY 2018 Quality
Payment Program final rule (82 FR
53592 through 53593). In addition, for
previous discussions of the policies for
group reporting related to the Promoting
Interoperability performance category,
we refer readers to the CY 2017 Quality
Payment Program final rule (81 FR
77214 through 77216) and the CY 2018
Quality Payment Program final rule (82
FR 53687).
It has come to our attention that the
regulation text regarding group
reporting at § 414.1310(e)(3) through (5)
contains duplicative language.
Specifically, it is duplicative of the
regulation text at § 414.1310(e)(2)(ii)
through (iv). To avoid redundancy and
potential confusion, we are proposing to
remove § 414.1310(e)(3) through (5). In
addition, we have noticed that
previously established policies for
group reporting with regard to the
Promoting Interoperability performance
category (81 FR 77214 through 77216,
82 FR 53687) are not reflected in the
regulation text for group reporting at
§§ 414.1310(e)(2)(ii) and for virtual
groups at § 414.1315(d)(2). In the CY
2017 Quality Payment Program final
rule (81 FR 77215), we stated that to
report as a group for the Promoting
Interoperability performance category,
the group will need to aggregate data for
all of the individual MIPS eligible
clinicians within the group for whom
they have data in CEHRT. In an effort to
more clearly and concisely capture our
existing policy for the Promoting
Interoperability performance category,
we are proposing to revise
§§ 414.1310(e)(2)(ii) and 414.1315(d)(2.
Specifically, we are proposing to revise
§ 414.1310(e)(2)(ii) to state that
individual eligible clinicians that elect
to participate in MIPS as a group must
aggregate their performance data across
the group’s TIN, and for the Promoting
Interoperability performance category,
must aggregate the performance data of
all of the MIPS eligible clinicians in the
group’s TIN for whom the group has
data in CEHRT.
Similarly, we are proposing to revise
§ 414.1315(d)(2) to state that solo
practitioners and groups of 10 or fewer
eligible clinicians that elect to
participate in MIPS as a virtual group
must aggregate their performance data
across the virtual group’s TINs, and for
the Promoting Interoperability
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40745
performance category, must aggregate
the performance data of all of the MIPS
eligible clinicians in the virtual group’s
TINs for whom the virtual group has
data in CEHRT.
We request comments on these
proposals.
c. MIPS Performance Category Measures
and Activities
(1) Quality Performance Category
(a) Background
We refer readers to § 414.1330
through § 414.1340 and the CY 2018
Quality Payment Program final rule (82
FR 53626 through 53641) for our
previously established policies
regarding the quality performance
category.
In the CY 2020 PFS proposed rule, we
seek to:
• Propose to weigh the quality
performance category at 40 percent for
the 2022 MIPS payment year, 35 percent
for the 2023 MIPS payment year, 30
percent for the 2024 MIPS payment year
as described in § 414.1330(b)(4), (5), and
(6); The associated increases to the
weight of the cost performance category
are discussed in section III.K.3.c.(2) of
this proposed rule;
• Seek comment on adding narratives
to the CAHPS for MIPS survey and on
whether the survey should collect data
at the individual eligible clinician level;
• Propose to increase the data
completeness criteria to 70 percent for
the 2022 MIPS payment year as
described in § 414.1340(b)(3);
• Propose to require MIPS quality
measure stewards to link their MIPS
quality measures to existing and related
cost measures and improvement
activities, as applicable and feasible;
• Seek comment as to whether we
should consider realigning the MIPS
quality measure update cycle with that
of the eCQM annual update process;
• Propose changes to the MIPS
quality measure set as described in
Appendix 1 of this proposed rule,
including: Substantive changes to
existing measures, addition of new
measures, removal of existing measures,
and updates to specialty sets.
• Seek comment on whether we
should increase the data completeness
threshold for extremely topped out
quality measures that are retained in the
program due to limited availability of
measures for a specific specialty and
potential alternative solutions in
addressing extremely topped out
measures;
• Propose to remove MIPS quality
measures that do not meet case
minimum and reporting volumes
required for benchmarking after being in
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the program for 2 consecutive CY
performance periods;
• Propose to remove quality measures
from the program in instances where the
measure steward or owner refuses to
enter into a user agreement with CMS;
and
• Request information on a Potential
Opioid Overuse Measure.
(b) Contribution to Final Score
Under § 414.1330(b)(2), we state that
performance in the quality performance
category will comprise 50 percent of a
MIPS eligible clinician’s final score for
the 2020 MIPS payment year, and under
§ 414.1330(b)(3), we state that
performance in the quality performance
category will comprise 45 percent of a
MIPS eligible clinician’s final score for
MIPS payment year 2021. Section
1848(q)(5)(E)(i)(I) of the Act, as
amended by section 51003(a)(1)(C)(i) of
the Bipartisan Budget Act of 2018,
provides that 30 percent of the final
score shall be based on performance for
the quality performance category, but
that for each of the 1st through 5th years
for which MIPS applies to payments,
the quality performance category
performance percentage shall be
increased so that the total percentage
points of the increase equals the total
number of percentage points that is
based on the cost performance category
performance is less than 30 percent for
the respective year. As discussed in
section III.K.3.c.(2) of this proposed
rule, we propose to weight the cost
performance category at 20 percent for
the 2022 MIPS payment year, 25 percent
for the 2023 MIPS payment year, and 30
percent for the 2024 MIPS payment year
and each subsequent MIPS payment
year. Accordingly, we are proposing to
add § 414.1330(b)(4) to provide that
performance in the quality performance
category will comprise 40 percent of a
MIPS eligible clinician’s final score for
the 2022 MIPS payment year. In
addition, we are proposing at
§ 414.1330(b)(5) to state that the quality
performance category comprises 35
percent of a MIPS eligible clinician’s
final score for the 2023 MIPS payment
year. Lastly, we are proposing to add
§ 414.1330(b)(6) to state that the quality
performance category comprises 30
percent of a MIPS eligible clinician’s
final score for the 2024 MIPS payment
year and future years. We believe that
being transparent in how both the
quality and cost performance category
weights will be modified over the next
few years of the program will allow
stakeholders to better plan and
anticipate how eligible clinicians and
group scores will be calculated in future
years as we incrementally make changes
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to the final score weights. We seek
comment on our proposals to
incrementally reduce the weight of the
quality performance category as we
gradually increase the weight of the cost
performance category. Specifically, the
quality performance category will
comprise 40 percent of a MIPS eligible
clinician’s final score for the 2022 MIPS
payment year, 35 percent for the 2023
MIPS payment year, and 30 percent for
the 2024 MIPS payment year and future
years.
(c) Quality Data Submission Criteria
(i) Submission Criteria for Groups
Electing To Report the Consumer
Assessment of Healthcare Providers and
Systems (CAHPS) for MIPS Survey
We are not proposing any changes to
the established submission criteria for
the CAHPS for MIPS Survey. We refer
readers to the CY 2019 PFS final rule
(83 FR 59756) for previously finalized
policies regarding the CAHPS for MIPS
survey.
Although we are not making any
proposals in regard to the CAHPS for
MIPS survey this year, we are interested
in feedback to add to the survey, in
future years, specific to a solicitation of
comments we previously requested to
expand the survey to add narratives in
the CY 2018 Quality Payment Program
final rule (82 FR 53630). Currently, the
CAHPS for MIPS survey is available for
only groups to report under the MIPS.
The patient experience survey data that
is available on Physician Compare is
highly valued by patients and their
caregivers as they evaluate their health
care options. However, in user testing
with patients and caregivers over the
last several years, the users regularly
request more information from patients
like them in their own words, and to
publicly report narrative reviews of
individual clinicians and groups. User
testing further indicates that patients
want patient-generated information
when selecting a clinician. Since the
CAHPS for MIPS survey is only at the
group level, we are also interested in
feedback related to collection of data on
patient experiences from individual
clinicians, which would be new data for
CMS and consequently new data to
publicly report to patients and
caregivers. Including data at the
individual level is of interest to CMS as
we have heard this is valuable to
patients and caregivers in making
decisions related to their health care.
See section III.K.3.h. of this proposed
rule where we are seeking comment on
public reporting considerations on the
Physician Compare website for adding
patient narratives in future rulemaking.
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Through efforts such as the Patients
Over Paperwork initiative and
MyHealthEData initiative (https://
www.cms.gov/newsroom/press-releases/
trump-administration-announcesmyhealthedata-initiative-put-patientscenter-us-healthcare-system), we are
dedicated to putting patients first and
empowering patients to have the
information they need to be engaged
and active decision-makers in their care.
We are also mindful that a patient is a
health care consumer for whom aspects
of the health care delivery experience,
such as wait times or how a clinician
interacts with patients, may factor into
a patient’s decision to select a clinician.
We believe that measuring patient
experience can help inform patient
decision-making and considered
previous government efforts to measure
experience, such as the President’s
Management Agenda—OMB Circular
No. A–11 section 280—Managing
Customer Experience and Improving
Service Delivery (https://
www.whitehouse.gov/wp-content/
uploads/2018/06/s280.pdf).
Specifically, the OMB Circular No. A–
11 section 280.7 references how should
customer experience be measured in the
federal government. At a minimum, the
federal government customer experience
should be measured in seven
domains: 113
• Overall: (1) Satisfaction; (2)
Confidence/Trust.
• Service: (3) Quality.
• Process: (4) Ease/Simplicity; (5)
Efficiency/Speed; (6) Equity/
Transparency.
• People: (7) Employee Helpfulness.
While the CAHPS for MIPS survey is
an assessment of clinicians within a
group, we are looking at ways to
enhance that feedback to ensure the
customer (patient) experience is being
measured in such a way that data from
the CAHPS for MIPS survey can be used
in healthcare decision making. We are
seeking comments on the above
referenced seven domains and if
additional elements, questions, or
context should be added to the current
CAHPS for MIPS survey (available at
https://qpp-cm-prodcontent.s3.amazonaws.com/uploads/
459/2019%20CAHPS%20for%20
MIPS%20Survey_Sample%20Copy.pdf),
or if these domains should be used to
measure individual clinicians if a new
instrument was developed to gather that
data and share the feedback with
113 President’s Management Agenda (2018)—
OMB Circular No. A–11 section 280—Managing
Customer Experience and Improving Service
Delivery (https://www.whitehouse.gov/wp-content/
uploads/2018/06/s280.pdf).
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patients to make decisions about their
healthcare.
For considerations as we prepare for
future policies and rulemaking, we are
also seeking comment on:
• Measures that would expand the
information collected in the CAHPS for
MIPS survey, including a question
regarding the patients’ overall
experience and satisfaction rating with
a recent health care encounter. Patients
value the ‘‘voice’’ of other patients and
want information that helps to choose
their clinicians, and whether they
would recommend the clinician, group,
office or facility to their family and
friends, as detailed in section III.K.3.a.
of this rule. Several versions of the
CAHPS survey, including the CAHPS
Clinician & Group Survey 3.0, do have
a question regarding the patients’ rating
of a clinician. We refer readers to the
Agency for Healthcare Research and
Quality’s website on CAHPS Clinician
and Group Survey for additional
information at https://www.ahrq.gov/
cahps/surveys-guidance/cg/.
We currently do not collect and display
information from a single question
about the patients’ satisfaction or
experience. Patient experience measures
provide a more objective assessment of
health care quality, since satisfaction
may change frequently based on
subjective expectations. The CAHPS for
MIPS survey has traditionally focused
on measures of patient experience.
• Method for collecting this type of
information from patients and
caregivers and if a web, paper, phone,
or email based survey would be
preferred? Currently the CAHPS for
MIPS survey is only administered
through paper and phone based
methods.
• Should a tool be developed to
collect information about individual
clinicians? Or should this information
be kept at the group level only?
Currently patient experience data is
only available through the CAHPS for
MIPS survey, and this survey does not
collect information on individual
clinicians.
• Should this data be collected at a
pilot level first, provided that such an
approach is consistent with our
statutory authority, so that we learn
from this data before fully implementing
broader across the program? If so, we
seek comments regarding the framework
and implementation criteria of a pilot.
In addition, we are seeking comment
on the value of using narrative
questions, inviting patients to respond
to a series of questions in free text
responding to open ended questions and
describing their experience with care.
Patients can write a response in their
own words. We would build from work
done by AHRQ to develop a Narrative
Elicitation Protocol (https://
www.ahrq.gov/cahps/surveys-guidance/
item-sets/elicitation/), which
is a set of open-ended questions that
prompt patients to tell a clear and
comprehensive story about their
experience with a clinician. Narratives
from patients about their health care
experiences can provide a valuable
complement to standardized survey
scores, both to help clinicians
understand what they can do to improve
their care and to engage and inform
patients about differences among
clinicians. Five questions underwent
initial item development for the
Clinician & Group CAHPS Survey,
focusing on the patient’s relationship
with the clinician, patient expectations,
how the expectations were met, what
went well, and what could have been
better. We believe patients will be
interested in this information to make
informed decisions about their
healthcare. In section III.K.3.c.(1), we
seek comment on how the free text
questions might be scored as part of the
Quality Payment Program. We seek
comment on the value of collecting and
displaying information from narrative
questions, and whether stakeholders
have concerns with the potential burden
involved with drafting narrative
responses. We also are interested in
understanding whether clinicians
would find this information useful in
improving the care they provide to
beneficiaries
As we continue learning about what
patient experience data and format is
most usable to patients, caregivers, and
clinicians we plan to conduct additional
item development and testing of
implementation processes at CMS.
Information gathered from these
activities, along with comments
received from this rule will be taken
into consideration as we consider future
policies for future rulemaking, using a
human-centered design approach where
applicable.
(ii) Data Completeness Criteria
We refer readers to the CY 2019 PFS
final rule (83 FR 59756 through 59758)
where we discuss and codified at
§ 414.1340 finalized data completeness
criteria.
As described in the CY 2018 Quality
Payment Program final rule (82 FR
53632 through 53634), we anticipated
on proposing increases to the data
completeness thresholds for data
submitted on quality measures (QCDR
measures, MIPS CQMs, eCQMs, and
Medicare Part B Claims measures) in
future years of the program. For MIPS
payment years 2019 and 2020, the data
completeness threshold was finalized
and retained at 50 percent. We provided
an additional year for individual MIPS
eligible clinicians and groups to gain
experience with MIPS before increasing
the data completeness threshold for
MIPS payment year 2021, for which the
data completeness threshold was
finalized at 60 percent.
We continue to believe it is important
to incorporate higher data completeness
thresholds over time to ensure a more
accurate assessment of a MIPS eligible
clinician’s performance on quality
measures. We previously noted
concerns raised about the unintended
consequences of accelerating the data
completeness thresholds too quickly,
which may jeopardize a MIPS eligible
clinicians’ ability to participate and
perform well under MIPS. We want to
ensure that an appropriate yet
achievable data completeness is applied
to all eligible clinicians participating in
MIPS. Based on our analysis of data
completeness rates from data
submission for the 2017 performance
period of MIPS, as described in Table
35, we believe that it is feasible for
eligible clinicians and groups to achieve
a higher data completeness threshold.
TABLE 35—CY 2017 DATA COMPLETENESS RATES FOR MIPS INDIVIDUAL ELIGIBLE CLINICIANS, GROUPS, AND SMALL
PRACTICES
Average data completeness rate—individual eligible clinician
76.14 ........................................................................................................................................................................
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Average data
completeness
rate—
groups
Average data
completeness
rate—
small practices
85.27
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With the support of the data in Table
35, we propose to amend § 414.1340 to
add paragraph (a)(3) to adopt a higher
data completeness threshold for the
2020 MIPS performance period, such
that MIPS eligible clinicians and groups
submitting quality measure data on
QCDR measures, MIPS CQMs, and
eCQMS must submit data on at least a
70 percent of the MIPS eligible clinician
or group’s patients that meet the
measure’s denominator criteria,
regardless of payer for the 2020 MIPS
performance period. As we observe
increased use of electronic methods of
reporting, such as EHRs and QCDRs, we
believe it is important to continue to
increase the data completeness
threshold, and are interested in
stakeholder feedback on an appropriate
incremental approach, and on how this
incremental increase should be
implemented. In crafting our proposal,
we also considered other thresholds,
such as a higher threshold of 80 percent,
but have concerns that requiring every
clinician or group to adhere to an
increased data completeness threshold
that is increased by such a large amount
may be considered burdensome to
clinicians. We are requesting comments
on other considerations or possible
thresholds we should consider, such as
whether we should increase the data
completeness threshold to 80 percent to
provide for more accurate assessments
of quality.
We have received inquiries regarding
perceived opportunities to selectively
submit MIPS data that are
unrepresentative of a clinician or
group’s performance, suggesting that
certain parties may have misunderstood
the intent of our incremental approach
to the data completeness thresholds,
and may not fully appreciate their
current regulatory obligations. As stated
in §§ 414.1390(b) and 414.1400(a)(5), all
MIPS data submitted by or on behalf of
a MIPS eligible clinician, group, or
virtual group must be certified as true,
accurate and complete. MIPS data that
are inaccurate, incomplete, unusable, or
otherwise compromised can result in
improper payment. Using data selection
criteria to misrepresent a clinician or
group’s performance for a performance
period, commonly referred to as
‘‘cherry-picking,’’ results in data that are
not true, accurate, or complete.
Accordingly, we propose to further
amend § 414.1340 to add a new
subsection (d) to clarify that if quality
data are submitted selectively such that
the data are unrepresentative of a MIPS
eligible clinician or group’s
performance, any such data would not
be true, accurate, or complete for
purposes of § 414.1390(b) or
§ 414.1400(a)(5). We believe this
clarification will emphasize to all
parties that the data submitted on each
measure is expected to be representative
of the clinician’s or group’s
performance.
We continue to strongly urge all MIPS
eligible clinicians to report on quality
measures where they have performed
the quality actions with respect to all
applicable patients.
We would like to note that we are not
proposing any changes to § 414.1340(c),
which states that groups submitting
quality measures data using the CMS
Web Interface or a CMS-approved
survey vendor to submit the CAHPS for
MIPS survey must submit data on the
sample of the Medicare Part B patients
CMS provides, as applicable. We refer
readers to the CY 2019 PFS final rule
(83 FR 59756 through 59758) for
additional discussion of this
requirement. Table 36 describes the data
completeness requirements by
collection type.
TABLE 36—SUMMARY OF DATA COMPLETENESS REQUIREMENTS AND PERFORMANCE PERIOD BY COLLECTION TYPE FOR
THE 2020 MIPS PERFORMANCE PERIOD
Collection type
Performance period
Data completeness
Medicare Part B claims measures ...........
Jan 1–Dec 31 ........
QCDR measures, MIPS CQMs, and
eCQMs.
CMS Web Interface measures .................
Jan 1–Dec 31 ........
Jan 1–Dec 31 ........
CAHPS for MIPS survey measure ...........
Jan 1–Dec 31 ........
70 percent sample of individual MIPS eligible clinician’s, or group’s Medicare
Part B patients for the performance period.
70 percent sample of individual MIPS eligible clinician’s, or group’s patients
across all payers for the performance period.
Sampling requirements for the group’s Medicare Part B patients: populate data
fields for the first 248 consecutively ranked and assigned Medicare beneficiaries in the order in which they appear in the group’s sample for each
module/measure. If the pool of eligible assigned beneficiaries is less than
248, then the group would report on 100 percent of assigned beneficiaries.
Sampling requirements for the group’s Medicare Part B patients.
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(d) Selection of MIPS Quality Measures
(i) Call for Measures and Measure
Selection Process
In the CY 2019 PFS final rule (83 FR
59758 through 59761), we discuss the
importance of classifying measures by
meaningful measure areas, and updates
to the definition of a high priority
measure. We refer readers to the CY
2019 PFS final rule for additional
details.
Furthermore, in the CY 2018 Quality
Payment Program final rule (82 FR
53635 through 53637), we state that
quality measure submissions submitted
during the timeframe provided by us
through the pre-rulemaking process of
each year will be considered for
inclusion in the annual list of MIPS
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quality measures for the performance
period beginning 2 years after the
measure is submitted. This process is
consistent with the pre-rulemaking
process and the annual Call for
Measures, which is further described
through the CMS Pre-Rulemaking
website at https://www.cms.gov/
Medicare/Quality-Initiatives-PatientAssessment-Instruments/
QualityMeasures/Pre-Rulemaking.html.
The annual Call for Measures process
allows for eligible clinician
organizations and other relevant
stakeholder organizations to identify
and submit quality measures for
consideration. Presumably, stakeholders
would not submit measures for
consideration unless they believe the
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measures are applicable to clinicians
and can be reliably and validly
measured. Through the annual
convention of the consensus-based
entity, stakeholders are given the
opportunity provide input on whether
or not they believe measures are
applicable to clinicians, feasible,
scientifically acceptable, reliable, and
valid at the clinician level. We intend to
continue to submit future MIPS quality
measures to the consensus-based entity,
as appropriate, and consider the
recommendations provided as part of
the comprehensive assessment of each
measure considered for inclusion in
MIPS. In addition, we must go through
notice and comment rulemaking to
consider stakeholder feedback prior to
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finalizing the annual list of quality
measures. Furthermore, as required by
statute, new measures must be
submitted to an applicable specialtyappropriate, peer-reviewed journal. We
refer readers to the CY 2018 Quality
Payment Program final rule (82 FR
53636) for additional details on the
peer-reviewed journal requirement.
In the CY 2018 Quality Payment
Program final rule (82 FR 53636), we
requested stakeholders apply the
following set of considerations when
submitting quality measures for possible
inclusion in MIPS:
• Measures that are not duplicative of
an existing or proposed measure.
• Measures that are beyond the
measure concept phase of development,
with a strong preference for measures
that have completed reliability,
feasibility, and validity testing.
• Measures that are outcomes-based
rather than process measures.
• Measures that address patient safety
and adverse events.
• Measures that identify appropriate
use of diagnoses and therapeutics.
• Measures that address the domain
of care coordination.
• Measures that address of patient
and caregiver experience.
• Measures that address efficiency,
cost, and resource use.
• Measures that address significant
variation in performance and are not
considered topped out.
• Measures that are specified as a
collection type other than Medicare Part
B Claims. We strongly encourage
measure stewards to keep this in mind
as they develop and submit measures
for consideration.
We also encourage stakeholders to
consider electronically specifying their
quality measures, as eCQMs, in order to
encourage clinicians and groups to
move towards the utilization of
electronic reporting, as we believe
electronic reporting will increase
timeliness and efficiency of reporting by
replacing manual data entry. In addition
to the aforementioned considerations,
when considering quality measures for
possible inclusion in MIPS, we are
proposing that beginning with the 2020
Call for Measures process, MIPS quality
measure stewards would be required to
link their MIPS quality measures to
existing and related cost measures and
improvement activities, as applicable
and feasible. MIPS quality measure
stewards will be required to provide a
rationale as to how they believe their
measure correlates to other performance
category measures and activities as a
part of the Call for Measures process.
We recognize there are instances where
costs measures are not available for all
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clinician specialties or that
improvement activities may not be
associated with a given quality measure.
However, we believe that when
possible, it is important to establish a
strong linkage between quality, cost,
and improvement activities. We seek
comments on this proposal.
Furthermore, previously finalized
MIPS quality measures can be found in
the CY 2019 PFS final rule (83 FR 60097
through 60285); CY 2018 Quality
Payment Program final rule (82 FR
53966 through 54174); and in the CY
2017 Quality Payment Program final
rule (81 FR 77558 through 77816). The
new MIPS quality measures proposed
for inclusion in MIPS for the 2020
performance period and future years are
found in Table Group A of Appendix 1
of this proposed rule.
In addition to the individual MIPS
quality measures, we also develop and
maintain specialty measure sets to assist
MIPS eligible clinicians with choosing
quality measures that are most relevant
to their scope of practice. The following
specialty measure sets have been
excluded from this proposed rule
because we did not propose any changes
to these specialty measure sets:
Pathology, Electro-Physiology Cardiac
Specialist, and Interventional
Radiology. Therefore, for the finalized
Pathology specialty measure set, we
refer readers to the CY 2019 PFS final
rule corrections notice (84 FR 566). In
addition, we refer readers to the CY
2018 Quality Payment Program final
rule for the finalized Electro-Physiology
Cardiac Specialist specialty measure set
(82 FR 53990) and the finalized
Interventional Radiology specialty
measure set (82 FR 54098 through
54099). Our proposals for modifications
to existing specialty sets and new
specialty sets can be found in Table
Group B of Appendix 1 of this proposed
rule. Specialty sets may include: New
measures, previously finalized measures
with modifications, previously finalized
measures with no modifications, the
removal of certain previously finalized
quality measures, or the addition of
existing MIPS quality measures. Please
note that the proposed specialty and
subspecialty sets are not inclusive of
every specialty or subspecialty.
On January 18, 2019,114 we
announced that we would be accepting
114 Listserv messaging was distributed through
the Quality Payment Program listserv on January
18th, 2019, titled: ‘‘CMS is Soliciting Stakeholder
Recommendations for Potential Consideration of
New Specialty Measure Sets for the Quality
Performance Category and/or Revisions to the
Existing Specialty Measure Sets for the Quality
Performance Category for the 2020 Program Year of
Merit-based Incentive Payment System (MIPS).’’
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recommendations for potential new
specialty measure sets or revisions to
existing specialty measure sets for Year
4 of MIPS under the Quality Payment
Program. These recommendations were
based on the MIPS quality measures
finalized in the CY 2019 PFS final rule,
the 2019 Measures Under Consideration
list, and provides recommendations to
add or remove the current MIPS quality
measures from existing specialty sets, or
provides recommendations for the
creation of new specialty sets. All
specialty set recommendations
submitted for consideration were
assessed and vetted, and those
recommendations that we agree with are
being proposed within this proposed
rule.
In addition, MIPS quality measures
with proposed substantive changes can
be found in Table Groups D and DD of
Appendix 1 of this proposed rule. As
discussed in Table DD of this proposed
rule, we have determined based on
extensive stakeholder feedback that the
2018 CMS Web Interface measure
numerator guidance for the Preventive
Care and Screening: Tobacco Use:
Screening and Cessation Intervention
measure is inconsistent with the intent
of the CMS Web Interface version of this
measure as modified in the CY 2018
Quality Payment Program final rule (82
FR 54164) and is unduly burdensome
on clinicians. Moreover, due to the
current guidance, we are unable to rely
on historical data to benchmark the
measure. Therefore, for the 2018 MIPS
performance period and 2020 MIPS
payment year, we are excluding the Web
Interface version of this measure from
MIPS eligible clinicians’ quality scores
in accordance with
§ 414.1380(b)(1)(i)(A)(2). Beginning with
reporting for the 2019 MIPS
performance period and 2021 MIPS
payment adjustment, we are proposing
in Table DD of this proposed rule to
update the CMS Web Interface measure
numerator guidance. To the extent that
this proposed change constitutes a
change to the MIPS scoring or payment
methodology for the 2021 MIPS
payment adjustment after the start of the
2019 MIPS performance period, we
believe that, consistent with section
1871(e)(1)(A)(ii) of the Act, it would be
contrary to the public interest not to
modify the measure as proposed in
Table DD of this proposed rule because
the current guidance is inconsistent
with the intent of the CMS Web
Interface version of this measure, as
modified in the CY 2018 QPP final rule,
and unduly burdensome on clinicians.
If this modification is finalized as
proposed, we expect that we would be
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able to benchmark and score the CMS
Web Interface version of this measure
for the 2019 MIPS performance period
and 2021 MIPS payment adjustment.
As discussed in section III.E.1.b of
this proposed rule, changes to the CMS
Web Interface measures for MIPS that
are proposed and finalized through
rulemaking would also be applicable to
ACO quality reporting under the
Medicare Shared Savings Program. As
discussed in Table Group A of
Appendix 1 of this proposed rule, we
propose to add 1 new measure to the
CMS Web Interface in MIPS.
Furthermore, as discussed in Table
Group C of Appendix 1 of this proposed
rule, we are proposing to remove 1
measure from the CMS Web Interface in
MIPS. If finalized, groups reporting
CMS Web Interface measures for MIPS
would be responsible for reporting the
finalized measure set, inclusive of any
finalized measure removals and/or
additions. We refer readers to the
Appendix 1 of this proposed rule for
additional details on the proposals
related to changes in CMS Web Interface
measures.
On an annual basis, we review the
established MIPS quality measure
inventory to consider updates to the
measures. Possible updates to measures
may be minor or substantive as
described above. We note that the
current cycle of measure updates to
MIPS quality measures is separate from
the eCQM annual update process. An
overarching timeline of milestones
related to eCQMs available at https://
ecqi.healthit.gov/ecqm-annual-timeline.
We seek stakeholder comment as to
whether we should consider realigning
the measure update cycle with that of
the eCQM annual update process. We
note if the update cycles were to align,
quality measure specifications updates
would be gathered earlier in the year,
which may pose an issue when
considerations need to be given, but not
limited to: Updates to clinical
guidelines and changes in NQF
endorsement status.
In addition, we refer readers to the CY
2019 PFS final rule (83 FR 59759) for
additional details on reporting
requirements of eCQM measures.
Furthermore, in section III.D. of this
proposed rule, we propose to generally
align the CY 2020 eCQM reporting
requirements for the eligible
professionals participating in the
Medicaid Promoting Interoperability
Program with the MIPS eCQM reporting
requirements. We refer readers to
section III.D. of this proposed rule for
additional details and criteria on the
Medicaid Promoting Interoperability
Program proposals.
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(ii) Global and Population-Based
Measures
Section 1848(q)(2)(C)(iii) of the Act
provides that the Secretary may use
global measures, such as global outcome
measures, and population-based
measures for purposes of the quality
performance category. We believe the
purpose of global and population-based
measures is to encourage systemic
health care improvement for the
populations being served by MIPS
eligible clinicians. In addition, as
described in the CY 2017 Quality
Payment Program final rule (81 FR
77130 through 77136), we believe that
all MIPS eligible clinicians, including
specialists and subspecialists, have a
meaningful responsibility to their
communities, which is why we chose to
focus on population health and
prevention measures for all MIPS
eligible clinicians. It is important to
note that an individual’s health relates
directly to population and community
health, which is an important
consideration for quality measurement
in MIPS and in general. Furthermore,
we have heard from stakeholders that
we should drive quality measurement
towards a set of population-based
outcome measures to publicly report on
quality of care.
In addition, we believe including
additional administrative claims based
measures in the program will reduce the
burden associated with quality
reporting. Quality measures that are
specified through the administrative
claims collection type do not require
separate data submission to CMS.
Administrative claims measures are
calculated based on data available from
MIPS eligible clinicians’ billings on
Medicare Part B claims. For these
reasons, in Table Group AA of
Appendix 1 of this proposed rule, we
are proposing the inclusion of a
population health based quality
measure (The All-Cause Unplanned
Admission for Patients with Multiple
Chronic Conditions measure) beginning
with the 2021 MIPS performance
period. We are proposing this measure
with a delayed implementation until the
2021 performance period of MIPS, to
allow for time to work through
operational factors of implementing the
measure. Factors include allowing for
time for the All-Cause Unplanned
Admission for Patients with Multiple
Chronic Conditions measure to go
through the Measures Under
Consideration and Measures
Application Partnership (MAP) process
that is typically applied for all MIPS
quality measures. We refer readers to
section III.K.3.a.(4) of this proposed rule
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for additional information on our
interest to include other global and
population-based measures in future
years of MIPS, which we envision
would include the modification of the
submission requirements under the
quality performance category.
(iii) Topped Out Measures
We refer readers to the CY 2018
Quality Payment Program final rule (82
FR 53637 through 53640), where we
finalized the 4-year timeline to identify
topped out measures, after which we
may propose to remove the measures
through future rulemaking. We also
refer readers to the 2019 MIPS Quality
Benchmarks’ file that is located on the
Quality Payment Program resource
library (https://www.cms.gov/Medicare/
Quality-Payment-Program/ResourceLibrary/Resource-library.html) to
determine which measure benchmarks
are topped out for 2019 and would be
subject to the scoring cap if they are also
identified as topped out in the 2020
MIPS Quality Benchmarks’ file. We note
that the final determination of which
measure benchmarks are subject to the
topped out cap would not be available
until the 2020 MIPS Quality
Benchmarks’ file is released in late
2019.
In the CY 2019 PFS final rule (83 FR
59761 through 59763), we finalized that
once a measure has reached extremely
topped out status (for example, a
measure with an average mean
performance within the 98th to 100th
percentile range), we may propose the
measure for removal in the next
rulemaking cycle, regardless of whether
or not it is in the midst of the topped
out measure lifecycle. However, we
would also consider retaining the
measure if there are compelling reasons
as to why it should not be removed (for
example, if the removal would impact
the number of measures available to a
specialist type or if the measure
addressed an area of importance to the
Agency).
As an example, four of the five quality
measures within the pathology specialty
set have been identified as extremely
topped out in the 2019 benchmarking
file. However, we believe that it is
important to retain these pathology
specific measures in the MIPS quality
measure set to ensure that pathologists
have a sufficient number of quality
measures to report. Quality measures
identified as extremely topped out are
considered to have high, unvarying
performance where no meaningful room
for improvement can be identified, and
are only identified as such through data
received during the submission period.
We have heard from stakeholders that
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some measures tend to appear topped
out or extremely topped out due to
clinicians’ ability to select measures
they expect to perform well on, and
because of this, the data we receive is
not actually representative of how
clinicians perform across the country on
these metrics. For this reason, we seek
comment on whether we should
increase the data completeness
threshold for quality measures that are
identified as extremely topped out, but
are retained in the program due to the
limited availability of quality measures
for a specific specialty. In addition, we
seek comment on potential alternative
solutions in addressing extremely
topped out measures.
We encourage stakeholders to
continue their measure development
efforts in creating new pathology
specific quality measures that can
demonstrate a meaningful performance
gap, thereby offering opportunities for
quality improvement. We also
encourage pathologists to consider
reporting on pathology specific QCDR
measures through a CMS-approved
QCDR available for the 2020
performance period. A list of CMSapproved QCDRs for the 2020
performance period will be made
available on or prior to January 1, 2020,
and will be posted on the Quality
Payment Program resource library at
https://qpp.cms.gov/about/resourcelibrary.
In addition, in the CY 2019 PFS final
rule (83 FR 59761 through 59763), we
also finalized our policy to exclude
QCDR measures from the topped out
measure timeline. When a QCDR
measure reaches topped out status, as
determined during the QCDR measure
approval process, it may not be
approved as a QCDR measure for the
applicable performance period.
(iv) Removal of Quality Measures
In the CY 2017 Quality Payment
Program final rule (81 FR 77136 through
77137), we discussed removal criteria
for quality measures, including that a
quality measure may be considered for
removal if the Secretary determines that
the measure is no longer meaningful,
such as measures that are topped out.
Furthermore, if a measure steward is no
longer able to maintain the quality
measure, it would also be considered for
removal. In addition, in the CY 2019
PFS final rule (83 FR 59763 through
59765), we communicated to
stakeholders our desire to reduce the
number of process measures within the
MIPS quality measure set, we believe
incrementally removing non-high
priority process measures through
notice and comment rulemaking is
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appropriate. We refer readers to the CY
2019 PFS final rule (83 FR 59763
through 59765) for details on the
previously established criteria to
remove measures.
In addition to previously established
measure removal criteria, we have
observed instances where MIPS quality
measures have had low reporting rates
year over year, and have made it
difficult for some MIPS quality
measures to achieve a benchmark. As a
result, these measures have resulted in
clinicians receiving no more than 3
points for each measure that is unable
to meet benchmarking criteria. For these
reasons, we are proposing to remove
MIPS quality measures that do not meet
case minimum and reporting volumes
required for benchmarking after being in
the program for 2 consecutive CY
performance periods. We believe that a
time period of 2 consecutive CY
performance periods is appropriate, as
we anticipate that any newly finalized
measure would need more than 1 CY
performance period in order to observe
measure reporting trends, and believe
that 2 consecutive CY performance
periods allows for sufficient time to
monitor reporting volumes. We will
factor in other considerations (such as,
but not limited to: The robustness of the
measure; whether it addresses a
measurement gap; if the measure is a
patient-reported outcome) prior to
determining whether to remove the
measure. Removing measures with this
methodology ensures that the MIPS
quality measures available in the
program are truly meaningful and
measureable areas, where quality
improvement is sought and that
measures that are low reported for 2
consecutive CY performance periods are
removed from the program. We believe
low reported measures can point to that
the measure concept does not provide
meaningful measurement to most
clinicians. If the measure has too few
reporting clinicians and does not meet
the case minimum and reporting
volumes, but other considerations favor
retaining the measure, we may consider
keeping the MIPS quality measure, with
the caveat that the measure steward
should have a plan in place (prior to
approval of the measure) to encourage
reporting of the measure, such as
education and communication or
potentially measure specification
changes. We seek comments on this
proposal. In addition, we refer readers
to Table Group C of Appendix 1 of this
proposed rule for a list of quality
measures and rationales for removal. We
have continuously communicated to
stakeholders our desire to reduce the
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number of process measures within the
MIPS quality measure set. We believe
our proposal to remove the quality
measures outlined in Table Group C
will lead to a more parsimonious
inventory of meaningful, robust
measures in the program, and that our
approach to remove measures should
occur through an iterative process that
will include an annual review of the
quality measures to determine whether
they meet our removal criteria.
We have heard from stakeholders
concerns on removing measures and the
need for more notice before a measure
is removed. Therefore, we are interested
in what factors should be considered in
delaying the removal of measures. For
example, we have not heard concerns
from stakeholders that selection bias
may be impacting low reporting rates,
we are interested if this is something we
should consider, and how we could
determine when low-reporting is due to
selection bias versus instances where
the measure is not a meaningful metric
to the majority of clinicians who would
have reported on the measure otherwise.
We seek comment on whether we
should delay the removal of a specific
quality measure by a year, for any of the
MIPS quality measures identified for
removal. We also request feedback on
which quality measure’s removal should
be delayed for a year, and why.
Furthermore, when we finalize
measures to be a part of the MIPS
quality measure inventory for a given
MIPS payment year, we generally intend
that the measures will be available for
reporting by or on behalf of all MIPS
eligible clinicians since MIPS is a
government quality reporting program.
It has come to our attention that certain
MIPS measure stewards have limited or
prohibited the use of their measures by
third party intermediaries such as
QCDRs and qualified registries. To the
extent that MIPS measure stewards limit
the availability of previously finalized
measures for MIPS quality reporting,
including reporting by third party
intermediaries on behalf of MIPS
eligible clinicians, these limitations may
lead to inadvertent increases in burden
both for the MIPS eligible clinicians
who rely on third party intermediaries
and for third party intermediaries
themselves. In addition, these
limitations may adversely affect our
ability to benchmark the measure or the
robustness of the benchmark. For these
reasons, we propose to adopt an
additional removal criterion,
specifically, that we may consider a
MIPS quality measure for removal if we
determine it is not available for MIPS
quality reporting by or on behalf of all
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MIPS eligible clinicians. We seek
comments on this proposal.
(v) Request for Information on Potential
Opioid Overuse Measure
To address concerns associated with
long-term, high-dose opioids, we
developed an electronic clinical quality
measure (eCQM) titled: Potential Opioid
Overuse. The Potential Opioid Overuse
measure captures the proportion of
patients aged 18 years or older who
receive opioid therapy for 90 days or
more with no more than a 7-day gap
between prescriptions with a daily
dosage of 90 morphine milligram
equivalents (MME) or higher. It is
intended to report the extent of longterm, high-dose opioid prescribing with
the goal of improving patient safety by
reducing the potential for opioid-related
harms and encouraging the use of
alternative pain management. The
measure was field tested in 2017. The
testing population included 3 test sites,
consisting of 19 practices representing
87 clinicians, for CY 2016. Initial results
from measure testing indicated that this
measure is important, feasible, reliable,
valid, and usable. Stakeholders
supported the measure concept’s
importance in addressing a quality
improvement opportunity in a priority
population.
Through interviews primarily with
EHR vendors, we have identified
potential challenges for implementing
the Potential Opioid Overuse measure.
The human readable CQL-based
specification is more than 200 pages
long in order to accommodate a library
providing more information on opioid
medications than is currently available
to export for the Value Set Authority
Center (VSAC). Vendors expressed
concerns about the feasibility of
accurately capturing some of the
medication-specific data elements
within the measure, such as medication
start and end dates and times, because
these are not consistently captured
during typical workflows.
We seek to mitigate the usability and
feasibility issues for the measure by
gathering information from a wider
audience of technical implementers to
strengthen the potential for measure
adoption. We invite public comment on
the Potential Opioid Overuse CQL-based
specifications in this section.
Specifically, we seek comment on the
following questions:
• Would you select this measure to
support your quality measure
initiatives? Why?
• Would you implement this measure
in its current state? Why?
• How can we improve the usability
of this measure?
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• This measure performs medication
calculations, to calculate MME, which
helps compare different opioids and
opioid dosages. Are there any workflow,
mapping, or other implementation
factors to consider related to the
required medication related data
elements needed to perform the MME
calculations in this measure?
Specifically related to: Use of the opioid
data library, which clearly lists the
required medication information
directly in the measure specification;
Use of medication end dates, to
calculate medication durations; Use of
coded medication frequencies, such as
‘‘3 times daily’’ or ‘‘every 6 hours,’’
required to calculate daily medication
dosages.
• Are there any other foreseeable
challenges to implementing this
measure?
(2) Cost Performance Category
For a description of the statutory basis
and our existing policies for the cost
performance category, we refer readers
to the CY 2017 and CY 2018 Quality
Payment Program final rules, and the
CY 2019 PFS final rule (81 FR 77162
through 77177, 82 FR 53641 through
53648, and 83 FR 59765 through 59776,
respectively).
In this year’s rule, we are proposing
to:
• Weight the cost performance
category at 20 percent for MIPS payment
year 2022, 25 percent for MIPS payment
year 2023, and 30 percent for MIPS
payment year 2024 and all subsequent
MIPS payment years;
• Change our approach to proposing
attribution methodologies for cost
measures by including the methodology
in the measure specifications;
• Add 10 episode-based measures;
• Modify the total per capita cost and
Medicare Spending Per Beneficiary
(MSPB) measures; and
• Seek comments on the future
inclusion of an additional episode-based
measure.
These proposals are discussed in
more detail in the following sections of
this proposed rule.
(a) Weight in the Final Score
In the CY 2019 PFS final rule, we
established at § 414.1350(d)(3) that the
weight of the cost performance category
is 15 percent of the final score for the
2021 MIPS payment year (83 FR 59765
through 59766). Section 51003(a)(1)(C)
of the Bipartisan Budget Act of 2018
(Pub. L. 115–123, February 9, 2018)
(BBA of 2018) amended section
1848(q)(5)(E)(i)(II)(bb) of the Act such
that for each of the second, third, fourth,
and fifth years for which the MIPS
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applies to payments, not less than 10
percent and not more than 30 percent of
the MIPS final score shall be based on
the cost performance category score.
Additionally, section
1848(q)(5)(E)(i)(II)(bb) of the Act as
amended states that it shall not be
construed as preventing the Secretary
from adopting a 30 percent weight if the
Secretary determines, based on
information posted under section
1848(r)(2)(I) of the Act, that sufficient
cost measures are ready for adoption for
use under the cost performance category
for the relevant performance period.
In the CY 2019 PFS proposed rule, we
solicited comments on how we should
weight the cost performance category for
the 2022 and 2023 MIPS payment years
given the changes within the BBA of
2018 (83 FR 35901). Several
commenters noted that the increased
flexibility provided by the BBA of 2018
should be used to maintain the weight
at 10 percent for MIPS payment year
2021 and in future years. A few
commenters were concerned about
increasing the weight of the cost
performance category because of the
challenges with the existing attribution
and risk-adjustment methodologies.
Some commenters recommended that
the cost performance category weight
should be increased to 30 percent as
soon as possible. We considered these
comments when we developed our
proposals for setting the weight of the
cost performance category in this
proposed rule.
We are proposing a steady increase in
the weight of the cost performance
category from the existing weight of 15
percent for the 2021 MIPS payment year
to 30 percent beginning with the 2024
MIPS payment year as required by
section 1848(q)(5)(E)(i)(II)(aa) of the Act.
We believe this gradual and predictable
increase would allow clinicians to
adequately prepare for the 30 percent
weight while gaining experience with
the new cost measures. We recognize
that cost measures are still being
developed and that clinicians may not
have the same level of familiarity or
understanding of cost measures that
they do of comparable quality measures.
We also recognize that there may be
greater understanding of the measures
in the cost performance category as
clinicians gain more experience with
them.
We are proposing at § 414.1350(d)(4)
that the cost performance category
would make up 20 percent of a MIPS
eligible clinician’s final score for the
2022 MIPS payment year. We plan to
increase the weight of the cost
performance category at standard
increments of 5 percent each year until
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MIPS payment year 2024. Therefore, we
propose at § 414.1350(d)(5) to weight
the cost performance category at 25
percent for the 2023 MIPS payment year
and propose at § 414.1350(d)(6) to
weight the cost performance category at
30 percent for the 2024 MIPS payment
year and each subsequent MIPS
payment year. This would allow us to
meet the 30 percent cost performance
category weight when required by the
statute and give clinicians adequate
time to gain experience with the cost
measures while they represent a smaller
portion of the final score. We also
believe that a predictable increase in the
weight of the cost performance category
each year would allow clinicians to
better prepare for each year going
forward. We considered maintaining the
weight of the cost performance category
at 15 percent for the 2022 and 2023
MIPS payment years as we recognize
that we are still introducing new
measures for the cost performance
category and clinicians are still gaining
familiarity and experience with these
new measures. However, recognizing
that we are required by the statute to
weight the cost performance category at
30 percent beginning with the 2024
MIPS payment year, we are concerned
about having to increase the cost
performance category’s weight
significantly for the 2024 MIPS payment
year. We invite comments on whether
we should consider an alternative
weight for the 2022 and/or 2023 MIPS
payment years.
In accordance with section
1848(q)(5)(E)(i)(II)(bb) of the Act, we
will continue to evaluate whether
sufficient cost measures are included
under the cost performance category as
we move towards the required 30
percent weight in the final score. As
described in section III.K.3.c.(2)(b)(iii) of
this proposed rule, we are proposing to
add 10 episode-based measures to the
cost performance category beginning
with the 2020 MIPS performance
period. We are continuing our efforts to
develop more robust and clinicianfocused cost measures. We will also be
continuing to work on developing
additional episode-based measures that
we may consider proposing for the cost
performance category in future years to
address additional clinical conditions.
Introducing more measures over time
would allow more clinicians to be
measured in this performance category,
with an increasing focus on costs
associated with services provided by
clinicians for specific episodes of care.
In section III.K.3.c.(2)(b)(v) of this
proposed rule, in efforts to ensure that
our existing cost measures hold
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clinicians appropriately accountable, we
propose modifications to both the total
per capita cost and MSPB measures.
(b) Cost Criteria
(i) Background
Under § 414.1350(a), we specify cost
measures for a performance period to
assess the performance of MIPS eligible
clinicians on the cost performance
category. We will continue to evaluate
cost measures that are included in MIPS
on an ongoing basis and anticipate that
measures could be added, modified, or
removed through rulemaking as
measure development continues. Any
substantive changes to a measure would
be proposed for adoption in future years
through notice and comment
rulemaking, following review by the
Measure Applications Partnership
(MAP). We would take all comments
and feedback from both the public
comment period and the MAP review
process into consideration as part of the
ongoing measure evaluation process.
For the CY 2020 performance period
and future performance periods, we
propose to add 10 newly developed
episode-based measures to the cost
performance category in section
III.K.3.c.(2)(b)(iii) of the proposed rule
and propose modifications to both the
total per capita cost and MSPB measures
in section III.K.3.c.(2)(b)(v) of this
proposed rule. In section
III.K.3.c.(2)(b)(viii) of this proposed rule,
we summarize all new and existing
measures that would be included in the
cost performance category starting with
the CY 2020 performance period. Some
modifications to measures used in the
cost performance category may
incorporate changes that would not
substantively change the measure.
Examples of such non-substantive
changes may include updated diagnosis
or procedure codes or changes to
exclusions to the patient population or
definitions. While we address such
changes on a case-by-case basis, we
generally believe these types of
maintenance changes are distinct from
substantive changes to measures that
result in what are considered new or
different measures. However, as
described in section 3 of the Blueprint
for the CMS Measures Management
System Version 14.1 (https://
www.cms.gov/Medicare/QualityInitiatives-Patient-AssessmentInstruments/MMS/Downloads/
Blueprint.pdf), if substantive changes to
these measures that are owned and
developed by CMS become necessary,
we expect to follow the pre-rulemaking
process for new measures, including
resubmission to the Measures Under
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Consideration (MUC) list and
consideration by the MAP. The MAP
provides an additional opportunity for
an interdisciplinary group of
stakeholders to provide feedback on
whether they believe the measures
under consideration are applicable to
clinicians and complement programspecific statutory and regulatory
requirements. Through its Measure
Selection Criteria, the MAP focuses on
selecting high-quality measures that
address the NQF’s three aims of better
care, healthy people/communities, and
affordable care, as well as fill critical
measure gaps and increase alignment
among programs.
In section III.K.3.c.(2)(b)(v)(A) of this
proposed rule, we have summarized the
timeline for measure development,
including stakeholder engagement
activities that are undertaken by the
measure development contractor, which
include a technical expert panel (TEP),
clinical subcommittees, field testing,
and education and outreach activities.
(ii) Attribution
In this section of the proposed rule,
we discuss our approach to the
attribution methodology for cost
measures along with revisions to our
existing cost measures. In the CY 2017
Quality Payment Program final rule (81
FR 77168 through 77169), we adopted
an attribution methodology for the total
per capita cost measure under which
beneficiaries are attributed using a
method generally consistent with the
method of assignment of beneficiaries
used in the Shared Savings Program. We
codified this policy under
§ 414.1350(b)(2) in the CY 2019 PFS
final rule (83 FR 59774). In the CY 2017
Quality Payment Program final rule (81
FR 77174 through 77176), we also
adopted an attribution methodology for
the MSPB measure under which an
episode is attributed to the MIPS
eligible clinician who submitted the
plurality of claims (as measured by
allowed charges) for Medicare Part B
services rendered during an inpatient
hospitalization that is an index
admission for the MSPB measure during
the applicable performance period. We
codified this policy under
§ 414.1350(b)(3) in the CY 2019 PFS
final rule (83 FR 59775).
In the CY 2019 PFS final rule (83 FR
59775), we established at
§ 414.1350(b)(6) that for acute inpatient
medical condition episode-based
measures, an episode is attributed to
each MIPS eligible clinician who bills
inpatient E/M claim lines during a
trigger inpatient hospitalization under a
TIN that renders at least 30 percent of
the inpatient E/M claim lines in that
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hospitalization, and at § 414.1350(b)(7)
that for procedural episode-based
measures, an episode is attributed to
each MIPS eligible clinician who
renders a trigger service as identified by
HCPCS/CPT procedure codes.
As discussed in section
III.K.3.c.(2)(b)(v) of this proposed rule,
we have reevaluated the total per capita
cost and MSPB measures. In the process
of evaluating these measures, the TEP
identified areas for potential refinement
within the attribution methodology, and
the revised measures that we propose
include substantial changes to the
attribution methodology. As we explain
in section III.K.3.c.(2)(b)(v), we believe
these new attribution methodologies
better establish the relationship between
the clinician and the patients. In
general, for the cost performance
category, we believe that attribution is a
fundamental element of the measures,
and we do not believe that a cost
measure can be separated from its
attribution methodology. Although in
prior rulemaking, we have discussed the
attribution methodologies for the cost
performance category measures in the
preamble and included those
methodologies in the regulation text, we
intend to take a different approach going
forward and address attribution as part
of the measure logic and specifications.
For this proposed rule and in future
rulemaking, we will include the
attribution methodology for each cost
performance category measure in the
measure specifications, which are
available for review and public
comment at https://www.cms.gov/
medicare/quality-initiatives-patientassessment-instruments/value-basedprograms/macra-mips-and-apms/
macra-feedback.html during the public
comment period for the proposed rule,
and will be available in final form at
https://qpp.cms.gov/about/resourcelibrary after the final rule is published.
We believe this approach is preferable
because it would reduce complexity for
MIPS eligible clinicians and other
stakeholders by presenting the
attribution methodology with the rest of
the cost measure specifications, ensure
non-substantive changes could be
implemented without undertaking
rulemaking, and align with the
approach taken for measures in the
quality performance category. Therefore,
we propose to revise § 414.1350(b)(2),
(3), (6), and (7) to reflect that these
previously finalized attribution methods
apply for the 2017 through 2019
performance periods. We also propose
to establish at § 414.1350(b)(8) that
beginning with the 2020 performance
period, each cost measure would be
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attributed according to the measure
specifications for the applicable
performance period.
In the CY 2017 Quality Payment
Program final rule, we established a
final policy to attribute cost measures at
the TIN/NPI level, regardless of whether
a clinician’s performance for purposes
of MIPS is assessed as an individual (the
TIN/NPI level) or as part of a group (the
TIN level) (81 FR 77175 through 77176).
We codified this policy under
§ 414.1350(b)(1) in the CY 2019 PFS
final rule (83 FR 59774 through 59775).
Similar to the attribution methodology
for cost measures, we also believe that
the level of attribution (TIN/NPI or TIN)
is best addressed as part of the measure
specifications, allowing for different
considerations for group and individual
attribution based on the underlying
measure specification. For this proposed
rule and in future rulemaking, we will
include the level of attribution for each
cost performance category measure in
the measure specifications, which will
be publicly available as described in the
preceding paragraph. The measure
specification documents will provide
the methodology for assigning
attribution to an individual clinician or
a group, which will align with whether
the participant is reporting data as an
individual clinician or a group under
the MIPS program. Therefore, we
propose to revise § 414.1350(b)(1) to
reflect that the current policy of
attributing cost measures at the TIN/NPI
level, regardless of whether a clinician’s
performance for purposes of MIPS is
assessed as an individual or a group,
applies for the 2017 through 2019
performance periods. We intend for the
new regulation text proposed at
§ 414.1350(b)(8) also to include the level
of attribution (individual clinician or
group), so we are not proposing
additional regulation text. We note that
in section III.K.3.c.(2)(b)(vi)(B) of this
proposed rule, we propose to limit the
assessment of certain cost measures to
MIPS eligible clinicians who report as a
group based on our assessment of the
reliability of the measure at the group
and individual level. Although this is
not directly related to attribution, it
does limit the assessment of certain
measures for MIPS eligible clinicians
who report as individuals.
(iii) Episode-Based Measures for the
2020 and Future Performance Periods
In this section of the proposed rule,
we discuss our proposal to add 10
newly developed episode-based
measures to the cost performance
category beginning with the 2020
performance period. We developed
episode-based measures to represent the
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cost to Medicare and beneficiaries for
the items and services furnished during
an episode of care (‘‘episode’’). Episodebased measures are developed to
compare clinicians on the basis of the
cost of the care clinically related to their
initial treatment of a patient and
provided during the episode’s
timeframe. Specifically, we define cost
based on the allowed amounts on
Medicare claims, which include both
Medicare payments and beneficiary
deductible and coinsurance amounts.
We refer our readers to the CY 2019 PFS
final rule for more detail on episodebased measures and how they are
established (83 FR 59767).
Prior to presenting our cost measures
to the MAP for consideration, the
measure development contractor has
continued to seek extensive stakeholder
feedback on the development of
episode-based measures, building on the
processes outlined in the CY 2018 PFS
final rule (82 FR 53644). These
processes included convening a TEP
and clinical subcommittees to solicit
expert and clinical input for measure
development, conducting national field
testing on the episode-based measures
developed, and seeking input from
clinicians and stakeholders through
engagement activities.
To gather input on the 10 episodebased measures that we are proposing,
the measure development contractor
convened 10 clinical subcommittees
composed of more than 260 clinicians
affiliated with 120 specialty societies
through an open call for nominations
between February 6, 2018 and March
20, 2018. Applicants who submitted
materials after the March 20, 2018
deadline were added to a standing pool
of nominees and considered for
membership in the measure-specific
workgroups. The clinical subcommittees
met during an in-person meeting in
April 2018 to select episode group(s) for
development and provide input on the
composition of measure-specific
workgroups. The smaller measurespecific workgroups were introduced as
a refinement to the measure
development process based on feedback
from members of the first set of clinical
subcommittees. The small group size
was intended to facilitate more focused
discussions. The workgroups—one for
each measure—met through in-person
meetings and webinars between June
and December 2018 to provide detailed
clinical input on each component of the
episode-based measures. These
components include episode triggers
and windows (to limit the timing of
services included in the episode), item
and service assignment, exclusions,
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attribution, and risk adjustment
variables.
In addition, the 10 episode-based
measures we are proposing were
developed with input from the Person
and Family Committee, a body of
patients and their family members and
caregivers who provide input iteratively
during the measure development
process. Discussions regarding patient
and caregiver perspectives on the types
of episodes that should be prioritized
informed the clinical subcommittees’
considerations for episode selection.
Throughout measure development, the
workgroups engaged in bidirectional
conversations with the Person and
Family Committee to inform measure
specifications. For example, patient
perspectives on services perceived as
aiding recovery or helping to avoid
unnecessary costs and complications
helped the workgroup provide
recommendations for service
assignment, and in turn, the workgroup
provided questions to the Person and
Family Committee, which helped guide
their in-depth interviews. After
considering each round of input,
clinicians had multiple opportunities to
solicit additional information and
feedback from Person and Family
Committee members. In total, the
measure developer conducted 84
interviews with 65–70 Person and
Family Committee members via one-onone interviews during development of
the 10 episode-based measures.
Finally, as with the measures
finalized in the CY 2019 PFS final rule
(83 FR 59767), the 10 episode-based
measures we are proposing underwent a
measure development process based on
high level guidance provided to the
measure development contractor by a
standing TEP. This TEP provided
oversight and cross-cutting guidance to
the measure development contractor for
development of episode-based measures
through four meetings between August
2016 and August 2017.
Further detail can be found in the
Measure Development Process
document at https://www.cms.gov/
Medicare/Quality-Initiatives-PatientAssessment-Instruments/Value-BasedPrograms/MACRA-MIPS-and-APMs/
2018-measure-development-process.pdf,
which includes a discussion of the
detailed clinical input obtained at each
step, and details about the components
of episode-based measures.
We provided an initial opportunity
for clinicians to review their
performance under the new episodebased measures via national field testing
conducted in fall of 2018. During field
testing, we sought feedback from
stakeholders on the draft measure
specifications, feedback report format,
and supplemental documentation
through an online form, and we
received 67 responses, including 25
comment letters. The measure
development contractor shared the
feedback on the draft measure
specifications with the measure-specific
workgroups, who considered it in
providing input on further refinements
after the end of field testing. A field
testing feedback summary report, which
details post-field testing refinements
added based on the input from the
measure-workgroups, is publicly
available on the MACRA feedback page
(https://www.cms.gov/medicare/qualityinitiatives-patient-assessmentinstruments/value-based-programs/
macra-mips-and-apms/macrafeedback.html).
Similar to previous years, we
continued to engage clinicians and
stakeholders, conducting extensive
outreach activities. These activities
included general informational email
blasts, targeted email outreach to
specialty societies, hosting office hours
to gather input on additional
opportunities for participation and
outreach, and hosting the MACRA Cost
Measures Field Testing Webinar to
provide information about the measure
development process and field test
reports and a forum for stakeholder
questions to ask questions.
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Following the successful field testing
and review through the MAP process,
we propose to add the 10 episode-based
measures listed in Table 37 as cost
measures for the 2020 performance
period and future performance periods.
The detailed specifications for these
10 episode-based measures are available
at https://www.cms.gov/Medicare/
Quality-Initiatives-Patient-AssessmentInstruments/Value-Based-Programs/
MACRA-MIPS-and-APMs/2019-revisedebcm-measure-specs.zip. These
specifications documents consist of (i)
methodology for constructing each
measure, and (ii) measure codes list file
with medical codes and clinical logic.
First, the methodology document
provides an overview of the measure,
including a description of the measure
numerator and denominator, the patient
cohort, and the care settings in which
the measure is assessed. In addition, the
document includes two one-page, highlevel overviews of (i) methodology and
(ii) clinical logic and service codes,
which were added in response to
stakeholder feedback regarding
provision of documentation with
varying levels of detail to ensure the
information is accessible to all
stakeholders. The methodology
document provides detailed
descriptions of each logic step involved
in constructing the episode groups and
calculating the cost measure. Second,
the measure codes list file contains the
service codes and clinical logic used in
the methodology, including the episode
triggers, exclusions, episode sub-groups,
assigned items and services, and risk
adjustors. More information about the
attribution methodology for each
measure is available in section A.2 of
the methodology documentation. In
addition, measure justification forms
containing testing results for these
measures are available at the MACRA
Feedback page at https://www.cms.gov/
Medicare/Quality-Initiatives-PatientAssessment-Instruments/Value-BasedPrograms/MACRA-MIPS-and-APMs/
MACRA-Feedback.html.
TABLE 37—EPISODE-BASED MEASURES PROPOSED FOR THE 2020 PERFORMANCE PERIOD AND FUTURE PERFORMANCE
PERIODS
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Measure topic
Episode measure type
Acute Kidney Injury Requiring New Inpatient Dialysis ....................................................................
Elective Primary Hip Arthroplasty ...................................................................................................
Femoral or Inguinal Hernia Repair ..................................................................................................
Hemodialysis Access Creation ........................................................................................................
Inpatient Chronic Obstructive Pulmonary Disease (COPD) Exacerbation .....................................
Lower Gastrointestinal Hemorrhage * .............................................................................................
Lumbar Spine Fusion for Degenerative Disease, 1–3 Levels ........................................................
Lumpectomy Partial Mastectomy, Simple Mastectomy ..................................................................
Non-Emergent Coronary Artery Bypass Graft (CABG) ..................................................................
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Procedural
Procedural.
Procedural.
Procedural.
Acute inpatient medical condition.
Acute inpatient medical condition.
Procedural.
Procedural.
Procedural.
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TABLE 37—EPISODE-BASED MEASURES PROPOSED FOR THE 2020 PERFORMANCE PERIOD AND FUTURE PERFORMANCE
PERIODS—Continued
Measure topic
Episode measure type
Renal or Ureteral Stone Surgical Treatment ..................................................................................
Procedural.
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* This measure is being proposed only for groups. Please reference section III.K.3.c.(2)(b)(vi)(B) of the proposed rule.
(iv) Proposed Revisions to the
Operational List of Care Episode and
Patient Condition Groups and Codes
Section 1848(r) of the Act specifies a
series of steps and activities for the
Secretary to undertake to involve the
physician, practitioner, and other
stakeholder communities in enhancing
the infrastructure for cost measurement,
including for purposes of MIPS and
APMs. Section 1848(r)(2) of the Act
requires the development of care
episode and patient condition groups,
and classification codes for such groups,
and provides for care episode and
patient condition groups to account for
a target of an estimated one-half of
expenditures under Parts A and B (with
this target increasing over time as
appropriate). Sections 1848(r)(2)(E)
through (G) of the Act require the
Secretary to post on the CMS website a
draft list of care episode and patient
condition groups and codes for
solicitation of input from stakeholders,
and subsequently, post an operational
list of such groups and codes. Section
1848(r)(2)(H) of the Act requires that not
later than November 1 of each year
(beginning with 2018), the Secretary
shall, through rulemaking, revise the
operational list as the Secretary
determines may be appropriate, and that
these revisions may be based on
experience, new information developed
under section 1848(n)(9)(A) of the Act,
and input from physician specialty
societies and other stakeholders.
In December 2016, we published the
Episode-Based Measure Development
for the Quality Payment Program
(https://www.cms.gov/Medicare/
Quality-Initiatives-Patient-AssessmentInstruments/Value-Based-Programs/
MACRA-MIPS-and-APMs/Draft-list-ofepisode-groups-and-trigger-codesDecember-2016.zip) and requested input
on a draft list of care episode and
patient condition groups and codes as
required by sections 1848(r)(2)(E) and
(F) of the Act. We additionally
requested feedback on our overall
approach to cost measure development,
including several pages of specific
questions on the proposed approach for
clinicians and stakeholders to provide
feedback. We used this feedback to
modify our cost measure development
and ensure that our approach is
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continually informed by stakeholder
feedback. As required by section
1848(r)(2)(G) of the Act, in January
2018, we posted an operational list of 8
care episode groups and patient
condition groups that we refined with
extensive stakeholder input, along with
the codes and logic used to define these
episode groups. This operational list is
available at https://www.cms.gov/
Medicare/Quality-Initiatives-PatientAssessment-Instruments/Value-BasedPrograms/MACRA-MIPS-and-APMs/
2018-Operational-List-of-Care-Episodeand-Patient-Condition-Codes.zip.
Under section 1848(r)(5)(A)(iii) of the
Act, to evaluate the resources used to
treat patients with respect to care
episode and patient condition groups,
the Secretary shall, as the Secretary
determines appropriate, conduct an
analysis of resources use with respect to
care episode and patient condition
groups. In accordance with this section,
we used the 8 care episode groups and
patient condition groups included in the
operational list as the basis for the eight
episode-based measures that we
developed in 2017 through early 2018
and finalized for use in MIPS in the CY
2019 PFS final rule (83 FR 59767–
59773). We did not revise this
operational list through rulemaking in
2018 as we did not receive stakeholder
feedback requesting updates to how
these episode groups are defined and
there were no new developments
requiring revisions. Under section
1848(r)(2)(H) of the Act,we propose to
revise the operational list beginning
with CY 2020 to include 10 new care
episode and patient condition groups,
based on input from clinician specialty
societies and other stakeholders. The 10
care episode and patient condition
groups were included in the draft list
that we posted in December 2016 and
refined based on extensive stakeholder
input as described in section
III.K.3.c.(2)(b)(v)(A) of this proposed
rule. Our proposed revisions to the
operational list beginning with CY 2020
are available on our MACRA feedback
page at https://www.cms.gov/Medicare/
Quality-Initiatives-Patient-AssessmentInstruments/Value-Based-Programs/
MACRA-MIPS-and-APMs/MACRAFeedback.html. These care episode and
patient condition groups serve as the
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basis for the 10 new episode-based
measures that we are proposing in
section III.K.3.c.(2)(b)(iii) of this
proposed rule for the cost performance
category.
(v) Revised Cost Measures
(A) Re-Evaluation Process for the Total
per Capita Cost and Medicare Spending
per Beneficiary Clinician Measures
For the purpose of assessing
performance of MIPS eligible clinicians
in the cost performance category, we
finalized both the total per capita cost
and MSPB measures to be included in
the MIPS program in CY 2017 Quality
Payment Program final rule (81 FR
77166). We are proposing to modify
both of these measures based on
stakeholder input from prior public
comment periods and recommendations
from the TEP. We also propose to
modify the measure title from Medicare
Spending Per Beneficiary (MSPB) to
Medicare Spending Per Beneficiary
clinician (MSPB clinician) to
distinguish it from measures with
similar names in use in other CMS
programs and to improve clarity. We
propose to change the name from MSPB
to MSPB clinician at §§ 414.1350(b)(3)
and 414.1350(c)(2).
The measure development contractor
convened the TEP for two in-person
meetings in August 2017 and May 2018
to provide input on potential
refinements to both measures and for a
webinar in November 2018 to determine
additional refinements to the measures
based on feedback received from field
testing. The TEP’s discussion from the
May 2018 meeting can be found in the
TEP Summary Report at https://
www.cms.gov/Medicare/QualityInitiatives-Patient-AssessmentInstruments/MMS/TEP-CurrentPanels.html#a0913. In addition, the
measure development contractor
convened the MSPB Service Refinement
Workgroup, an expert workgroup that
the TEP recommended to provide
detailed clinical input on service
assignment rules for the revised MSPB
clinician measure. The MSPB Service
Refinement Workgroup convened twice
during summer 2018 to develop the
service exclusion list. The service
exclusion list contains the service codes
and logic for services that are
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considered clinically unrelated to the
index admission of the revised MSPB
clinician episodes and are removed
from the episodes and measure
calculation. The revised measures
underwent field testing in fall of
October 2018 during which we sought
feedback on the refined measure
specifications and supplemental
documentation through an online form.
At the end of field testing, the measure
development contractor shared feedback
with the standing TEP, which
considered the feedback in determining
further measure refinements for the total
per capita cost measure. The TEP also
discussed the MSPB clinician measure
after field testing and had the
opportunity to provide input on further
refinements to this measure. A fieldtesting feedback summary report is
publicly available on the MACRA
feedback page (https://www.cms.gov/
medicare/quality-initiatives-patientassessment-instruments/value-basedprograms/macra-mips-and-apms/
macra-feedback.html).
(B) Total per Capita Cost Measure
We finalized the total per capita cost
measure for use in MIPS as an important
measurement of clinician cost
performance. Having been used in the
Physician Value Modifier program, it
had been tested and was reliable for
Medicare populations and was familiar
to the clinician community. When we
finalized this measure for use in MIPS,
we noted that as with all the cost
measures, we would maintain this
measure and update its specifications as
appropriate (82 FR 53643). We continue
to believe that the existing measure is
appropriate to use in MIPS and continue
to be committed to maintaining the cost
measures with consideration of
stakeholder input and testing. However,
as a part of our routine measure
maintenance, we re-evaluated the total
per capita cost measure. The reevaluation was informed by feedback
received on this measure through prior
public comment periods, as described in
the CY 2017 (81 FR 77017 through
77018) and CY 2018 (82 FR 53577
through 53578) Quality Payment
Program final rules, as well as feedback
that arose in the measure development
contractor’s discussions with the TEP
during the process of re-evaluation. This
feedback is summarized below:
• The total per capita cost measure’s
attribution methodology assigned costs
to clinicians over which the clinician
has no influence, such as costs
occurring before the start of the
clinician-patient relationship.
• The attribution methodology did
not effectively identify primary care
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relationships between a patient and a
clinician and could potentially attribute
beneficiaries to a clinician not
responsible for the beneficiaries’
primary care.
• The measure did not account for the
shared accountability of clinicians and
that attributing costs to a single
clinician or clinician group could cause
fragmentation of care.
• The beneficiary risk factors were
determined one year prior to the start of
the performance period, which would
preclude the risk adjustment
methodology from reflecting the more
expensive treatment resulting from
comorbidities and/or complications that
might arise during the performance
period.
• The feedback summarized above
informed the four modifications that we
are proposing for the total per capita
cost measure.
First, we are proposing to change the
attribution methodology to more
accurately identify a beneficiary’s
primary care relationships. This is done
by identifying a combination of services
that occur within a short period of time
and indicate the beginning of a
relationship. More specifically, a
primary care relationship is identified
by a candidate event, defined as the
occurrence of an E/M service such as an
established patient assisted living visit
or an outpatient visit (that is, the E/M
primary care service), paired with one
or more additional services indicative of
general primary care (for example,
routine chest X-ray, electrocardiogram,
or a second E/M service provided at a
later date). The candidate event initiates
a year-long risk window from the E/M
primary care service. The risk window
is the period during which a clinician
or clinician group could reasonably be
held responsible for the beneficiary’s
treatment costs, and the initiation of the
risk window at the onset of the
candidate event ensures that costs are
attributed only after the start of the
clinician-patient relationship. Only the
portion of the risk window that overlaps
with the performance period, which is
divided into 13 four-week blocks called
beneficiary-months, is attributable to a
clinician for a given performance
period. For example, if the risk window
were initiated during one MIPS
performance period and ends in the
following MIPS performance period,
only the beneficiary-months that occur
during the earlier MIPS performance
period would be attributed to the
clinician/clinician group to calculate
the measure for that particular MIPS
performance period. Dividing the
performance period into beneficiarymonths allows costs to be assigned to
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clinicians and clinician groups during
the parts of the year they are primarily
responsible for the patient’s care
management.
With this methodology, it is possible
for multiple candidate events to occur
between a clinician and beneficiary over
time, and an additional candidate event
occurring during an existing risk
window reaffirms and extends the
period of the clinician’s responsibility.
For example, if 2 candidate events for
the same clinician and the same
beneficiary occur 6 months apart, a
separate 12-month risk window initiates
from the start of each of these candidate
events, and the clinician may be
attributed beneficiary-months spanning
18 months and 2 different performance
periods. As we described above, for risk
windows that span multiple
performance periods, only the
beneficiary-months contained within a
given performance period are used to
calculate the measure for that
performance period. Beneficiary-months
that overlap between the 2 risk windows
are collapsed to ensure that costs are
only accounted for once. Furthermore, if
different clinician groups initiated these
2 risk windows for the same beneficiary,
the risk windows would occur
concurrently and would be attributed to
their respective TINs. Within an
attributed TIN, only the clinician with
the TIN/NPI combination performing
the highest number of candidate events
is attributed the beneficiary-months,
since this TIN/NPI combination is
deemed to have the most substantive
relationship with the beneficiary.
Finally, multiple TINs and TIN/NPIs
billing under different TINs may be
attributed beneficiary-months for the
same beneficiary during the
performance period. This attribution
method allows multiple clinicians to be
considered for the provision of ongoing
primary care for a patient, which
accounts for changes in primary care
relationships (for example, for
beneficiaries who move during the year)
and reflects shared clinical
responsibility for a patient’s care.
To illustrate how candidate events
identify primary care relationships, we
are providing an example of a clinical
scenario in which physicians in the
primary care medical practice see a
beneficiary as part of the beneficiary’s
routine health maintenance. A
beneficiary is feeling unwell and goes to
a medical practice. At the practice, the
beneficiary sees a family practice
clinician who provides an E/M service
(one that has been identified as related
to primary care) for routine health
maintenance. The clinician prescribes a
course of medication as part of the care
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plan. The beneficiary returns to the
same practice 2 months later when she
notices new symptoms. At this visit, she
sees a different family practice clinician
who examines her, adjusts her care
plan, and asks her to return in 3 months
for a follow-up in case diagnostic testing
or a change in medication is required.
These two E/M services that occur
within proximity (that is, the initial E/
M service and the paired event 2
months later—a second E/M service)
constitute the candidate event and
indicate that a primary care relationship
has begun from the time of the first visit
to the medical practice. The first E/M
service (identified as related to primary
care) opens a one-year period (or risk
window) from the date of the service.
This is illustrated graphically in section
2.0 of the measure specifications
available at https://www.cms.gov/
Medicare/Quality-Initiatives-PatientAssessment-Instruments/Value-BasedPrograms/MACRA-MIPS-and-APMs/
2019-revised-TPCC-measure-specs.zip.
During the risk window, the attributed
clinician/clinician group can be held
responsible for the overall costs of care
for that beneficiary. The TIN for the
medical practice would be attributed the
beneficiary and the TIN/NPI within this
practice that provides the most primary
care E/M services that initiate candidate
events would be attributed the
beneficiary. Under the current total per
capita cost measure, the TIN and TIN/
NPI would have been attributed this
beneficiary from the beginning of the
calendar year and held accountable for
services the beneficiary might have
received before her first visit to the
medical practice.
Second, we are proposing to change
the attribution methodology to more
accurately identify clinicians who
provide primary care services, by the
addition of service category exclusions
and specialty exclusions. Specifically,
candidate events are excluded if they
are performed by clinicians who (i)
frequently perform non-primary care
services (for example, global surgery,
chemotherapy, anesthesia, radiation
therapy) or (ii) are in specialties
unlikely to be responsible for providing
primary care to a beneficiary (for
example, podiatry, dermatology,
optometry, ophthalmology). As a result
of these exclusions, clinician specialties
considered for attribution are only those
primarily responsible for providing
primary care, such as primary care
specialties and internal medicine subspecialties that frequently manage
patients with chronic conditions that
are in their area(s) of expertise. We do
not propose to change the adjustment
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for specialty; as such, the measure
would continue to adjust for specialty to
account for variation in cost across
clinician specialties and in clinician
groups with diverse specialty
compositions.
Third, we are proposing to change the
risk adjustment methodology to
determine a beneficiary’s risk score for
each beneficiary-month using diagnostic
data from the year prior to that month
rather than calculating one risk score for
the entire performance period using
diagnostic data from the previous year.
This methodology would better account
for any changes in the health status of
the beneficiary for the duration of a
primary care relationship and during
the performance period. In addition, we
are proposing to add an institutional
risk model to improve risk adjustment
for clinicians treating institutionalized
beneficiaries.
Fourth, we are proposing to change
the measure to evaluate beneficiaries’
costs on a monthly basis rather than an
annual basis. Specifically, the
performance period during which costs
are assessed is divided into 13
beneficiary-months, mentioned earlier,
allowing for the measure and the risk
adjustment model to reflect changes in
patient health characteristics at any
point throughout the performance
period. In addition, this refinement
would avoid measuring annualized
costs for beneficiaries whose death date
occurs during the performance period,
which could potentially disincentivize
care for older and sicker patients.
Further detail about these proposed
changes to the measure, as well as a
comparison to the total per capita cost
measure as currently specified, is
available in the measure specifications
documents available at https://
www.cms.gov/Medicare/QualityInitiatives-Patient-AssessmentInstruments/Value-Based-Programs/
MACRA-MIPS-and-APMs/2019-revisedTPCC-measure-specs.zip.
The revised total per capita cost
measure underwent MAP review during
the 2018–2019 cycle. In December 2018,
the MAP Clinician Workgroup gave the
preliminary recommendation of
‘conditional support for rulemaking,’
with the condition of NQF endorsement.
In January 2019, the MAP Coordinating
Committee reversed the Clinician
Workgroup’s preliminary
recommendation and provided a final
recommendation of ‘‘do not support for
rulemaking with potential for
mitigation’’. More detail on the
mitigating factors is available in the
MAP’s final report at https://
www.qualityforum.org/Publications/
2019/03/MAP_Clinicians_2019_
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Considerations_for_Implementing_
Measures_Final_Report.aspx. We
believe that the revised measure
provides a more appropriate and valid
attribution approach. We considered the
option of proposing to remove the
current version of the measure from the
program and not proposing to replace it
with a revised version. However,
because we have developed and
implemented only a handful of episodebased measures at this time, a
substantial proportion of clinicians
would be left with only MSPB clinician
measure for the cost performance
category. Because fewer than half of all
clinicians in MIPS meet the case
minimum for the MSPB clinician
measure, and no other measure
addresses the costs of primary care, we
believe it is appropriate to use the best
version of the total per capita cost
measure available to us. While we
recognize and value the MAP’s
expressed concerns regarding the
revised measure specifications, we
believe we have adequately addressed
the mitigating factors through the
information we have made publicly
available (including testing results in
the measure justification forms available
at https://www.cms.gov/medicare/
quality-initiatives-patient-assessmentinstruments/value-based-programs/
macra-mips-and-apms/macrafeedback.html), as well as our
discussions with stakeholders at the
MAP and through further education and
outreach activities. Thus, we are
proposing to include the total per capita
cost measure with these revised
specifications in the cost performance
category beginning with the CY 2020
performance period.
(C) Medicare Spending per Beneficiary
Clinician Measure
Similar to the total per capita cost
measure, we finalized the MSPB
clinician measure for use in MIPS as an
important measurement of clinician cost
performance. Having been used in the
Physician Value Modifier program, it
had been tested and was reliable for
Medicare populations and was familiar
to the clinician community. However,
when we finalized this measure for use
in MIPS, we noted that as with all the
cost measures, we would maintain this
measure and update its specifications as
appropriate (82 FR 53643). We continue
to believe that the existing measure is
appropriate to use in MIPS and continue
to be committed to maintaining this cost
measure with consideration of
stakeholder input and testing. Hence,
we re-evaluated the MSPB clinician
measure as part of our routine measure
maintenance. The re-evaluation was
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informed by feedback received on this
measure through prior public comment
periods, as described in the CY 2017
Quality Payment Program final rule (81
FR 77017 through 77018) and the CY
2018 Quality Payment Program final
rule (82 FR 53577 through 53578), as
well as feedback that arose in the
measure development contractor’s
discussions with the standing TEP
during the process of re-evaluation. This
feedback is summarized below:
• The attribution methodology did
not recognize the team-based nature of
inpatient care;
• The attribution based on the
plurality of Part B service costs during
index admission could potentially
attribute episodes to specialties
providing expensive services as
opposed to those providing the overall
care management for the patient; and
• The measure captured costs for
services that are unlikely to be
influenced by the clinician’s care
decisions.
The feedback summarized above
informed the two modifications that we
are proposing as part of the reevaluation of this measure.
First, we are proposing to change the
attribution methodology to distinguish
between medical episodes (where the
index admission has a medical MS–
DRG) and surgical episodes (where the
index admission has a surgical MS–
DRG). A medical episode is first
attributed to the TIN billing at least 30
percent of the inpatient E/M services on
Part B physician/supplier claims during
the inpatient stay. The episode is then
attributed to any clinician in the TIN
who billed at least one inpatient E/M
service that was used to determine the
episode’s attribution to the TIN. A
surgical episode is attributed to the
surgeon(s) who performed any related
surgical procedure during the inpatient
stay, as determined by clinical input, as
well as to the TIN under which the
surgeon(s) billed for the procedure. The
list of related surgical procedures MS–
DRGs may be found in the measure
codes list for the revised measure at
https://www.cms.gov/Medicare/QualityInitiatives-Patient-AssessmentInstruments/Value-Based-Programs/
MACRA-MIPS-and-APMs/mspbclinician-zip-file.zip. This revised
attribution methodology accounts for
the team-based nature of care provided
when managing medical conditions
during an inpatient stay and allows for
attribution to multiple clinicians to
ensure that all clinicians involved in a
beneficiary’s care are appropriately
attributed.
Second, to account for the more
limited influence clinicians’
performance has on costs when
compared with hospitals, we are
proposing to add service exclusions to
the measure to remove costs that are
unlikely to be influenced by the
clinician’s care decisions. Specifically,
we are proposing to exclude unrelated
services specific to groups of MS–DRGs
aggregated by major diagnostic
categories (MDCs). Some examples of
unrelated services include orthopedic
procedures for episodes triggered by
MS–DRGs under Disorders of
Gastrointestinal System (MDC 06 and
MDC 07) or valvular procedures for
episodes triggered by MS–DRGs under
Disorders of the Pulmonary System
(MDC 04).
Further detail about these proposed
changes to the measure is included in
the measure specifications documents,
which are available at https://
www.cms.gov/Medicare/QualityInitiatives-Patient-AssessmentInstruments/Value-Based-Programs/
MACRA-MIPS-and-APMs/mspbclinician-zip-file.zip. This includes a
comparison of the proposed changes
against the MSPB clinician measure as
currently specified. A measure
justification form containing testing
results for this measure with the
proposed revisions is available on the
MACRA Feedback page at https://
www.cms.gov/Medicare/QualityInitiatives-Patient-AssessmentInstruments/Value-Based-Programs/
MACRA-MIPS-and-APMs/MACRAFeedback.html. We are proposing to
include the revised MSPB clinician
measure with these specifications in the
cost performance category beginning
with the CY 2020 performance period.
(vi) Reliability
(A) Reliability for Episode-Based
Measures
In the CY 2017 QPP final rule (81 FR
77169 through 77170), we finalized a
reliability threshold of 0.4 for measures
in the cost performance category. In the
CY 2019 PFS final rule, we established
at § 414.1350(c)(4) and (5) a case
minimum of 20 episodes for acute
inpatient medical condition episodebased measures and 10 episodes for
procedural episode-based measures (83
FR 59773 through 59774). We examined
the reliability of the proposed 10
episode-based measures listed in Table
38 at our established case minimums
and found that all of these measures
meet the reliability threshold of 0.4 for
the majority of groups at a case
minimum of 10 episodes for procedural
episode-based measures and 20
episodes for acute inpatient medical
condition episode-based measures. All
of the proposed measures meet this
standard at the individual clinician
level as well, with the exception of the
Lower Gastrointestinal Hemorrhage
episode-based measure. In section
III.K.3.c.(2)(b)(vi)(B) of this proposed
rule, we discuss a proposal to limit our
assessment of certain cost measures to
groups (identified by a TIN) based on
the results of our reliability analysis.
TABLE 38—PERCENT OF TINS AND TIN/NPIS THAT MEET 0.4 RELIABILITY THRESHOLD
% TINs
meeting 0.4
reliability
threshold
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Measure name
Acute Kidney Injury Requiring New Inpatient Dialysis ....................................
Elective Primary Hip Arthroplasty ....................................................................
Femoral or Inguinal Hernia Repair ..................................................................
Hemodialysis Access Creation ........................................................................
Inpatient Chronic Obstructive Pulmonary Disease (COPD) Exacerbation ......
Lower Gastrointestinal Hemorrhage * ..............................................................
Lumbar Spine Fusion for Degenerative Disease, 1–3 Levels .........................
Lumpectomy Partial Mastectomy, Simple Mastectomy ...................................
Non-Emergent Coronary Artery Bypass Graft (CABG) ...................................
Renal or Ureteral Stone Surgical Treatment ...................................................
Mean reliability
for TINs
100.0
100.0
100.0
93.1
100.0
74.6
100.0
100.0
100.0
100.0
% TIN/NPIs
meeting 0.4
reliability
threshold
0.58
0.85
0.86
0.63
0.69
0.51
0.77
0.64
0.82
0.77
* This measure is being proposed only for groups. Please reference section III.K.3.c.(2)(b)(vi)(B) of the proposed rule.
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85.3
100.0
100.0
70.1
68.0
0.0
100.0
100.0
100.0
100.0
Mean
reliability
for TIN/NPIs
0.48
0.78
0.81
0.48
0.46
0.20
0.69
0.60
0.74
0.65
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(B) Limiting Assessment of Certain
Measures to Groups
We have assessed clinicians and
groups on cost measures when they
meet the case minimum for a measure.
As part of our efforts to ensure reliable
measurement, we have examined the
reliability of cost measures at the group
and individual level, as clinicians are
able to participate in MIPS in either
way. However, for clinicians who
participate in MIPS as individuals, we
have found the proposed Lower
Gastrointestinal Hemorrhage episodebased measure does not meet the
reliability threshold of 0.4 that we
established for measures in the cost
performance category. While we
considered not including the measure in
MIPS for this reason, we do find that
this measure meets the reliability
threshold for those who participate in
MIPS as part of a group. Therefore, we
propose to include the measure in the
cost performance category only for MIPS
eligible clinicians who report as a group
or virtual group. We will continue to
assess the reliability of cost measures for
group and individual participation as
the measures are introduced or are
revised. If we identify measures that are
similarly found to meet our reliability
threshold at the group level but not at
the individual level, we would again
consider limiting the assessment of the
measure to groups.
(C) Reliability for Revised Cost
Measures
In the CY 2017 Quality Payment
Program final rule, we finalized a
reliability threshold of 0.4 for measures
in the cost performance category (81 FR
77169 through 77170). Additionally, we
established a case minimum of 35
episodes for the MSPB clinician
measure (81 FR 77171) and a case
minimum of 20 beneficiaries for the
total per capita cost measure (81 FR
77170). We codified these case
minimums at § 414.1350(c)(1) and (2) in
the CY 2019 PFS final rule (83 FR
59774). We based these case minimums
on our interest in ensuring that the
majority of clinicians and groups that
were measured met the threshold of 0.4
reliability, which we felt best balanced
our interest in ensuring moderate
reliability without limiting
participation. Given the significant
changes to these measures that we are
proposing in section III.K.3.c.(2)(b)(v),
we again examined the reliability of the
revised MSPB clinician and total per
capita cost measures at these case
minimums and found that the measures
meet the reliability threshold of 0.4 for
the majority of clinicians and groups at
the existing case minimums, as shown
in Table 39.
TABLE 39—PERCENT OF TINS AND TIN/NPIS THAT MEET 0.4 RELIABILITY THRESHOLD FOR THE REVISED MSPB
CLINICIAN AND TOTAL PER CAPITA COST MEASURES
% TINs
meeting 0.4
reliability
threshold
Measure name
Medicare Spending Per Beneficiary Clinician .................................................
Total Per Capita Cost ......................................................................................
Based on this analysis, in this
proposed rule we are not proposing any
changes to the case minimums, which
we previously finalized as 35 for the
MSPB clinician measure, and 20 for the
total per capita cost measure.
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(vii) Request for Comments on Future
Potential Episode-Based Measure for
Mental Health
We plan to continue to develop
episode-based measures and propose to
adopt them for the cost performance
category in future rulemaking. As a part
of these efforts, we seek to expand the
range of procedures and conditions
covered to ensure that more MIPS
eligible clinicians have their cost
performance assessed under clinically
relevant episode-based measures. In
recognition of the importance of
assessing mental health care, we
developed an acute inpatient medical
condition episode-based measure for the
treatment of inpatient psychoses and
related conditions through the same
process involving extensive expert
clinician input as the measures
proposed in section III.K.3.c.(2)(b)(vii)
of this proposed rule. The specifications
for the Psychoses/Related Conditions
episode-based measure are available at
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100.0
100.0
https://www.cms.gov/Medicare/QualityInitiatives-Patient-AssessmentInstruments/Value-Based-Programs/
MACRA-MIPS-and-APMs/2019-revisedebcm-measure-specs.zip. The
Psychoses/Related Conditions episodebased measure represents an
opportunity to incentivize improvement
in the field of mental health, a CMS
priority area.
The Psychoses/Related Conditions
episode-based measure was reviewed by
the MAP Clinician Workgroup in
December 2018 as part of a group with
the 10 episode-based measures in Table
40 that we are proposing and received
a preliminary recommendation of
‘‘Conditional support for rulemaking,’’
on the condition of NQF endorsement.
In January 2019, The MAP Coordinating
Committee pulled this measure for
separate discussion from the other 10
episode-based measures and voted to
finalize a recommendation of ‘‘Do not
support for rulemaking.’’ The MAP’s
concerns with this measure related to:
(i) The attribution model and its
potential to hold clinicians responsible
for costs outside of their influence; (ii)
geographic variation in community
resource availability; (iii) effects of
physical comorbidities on measure
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Mean reliability
for TINs
0.77
0.82
% TIN/NPIs
meeting 0.4
reliability
threshold
100.0
100.0
Mean reliability
for TIN/NPIs
0.69
0.89
score; and (iv) the potential to
exacerbate access issues in mental
health care. More detail is available in
the 2019 MAP Clinician Workgroup
final report at https://
www.qualityforum.org/Publications/
2019/03/MAP_Clinicians_2019_
Considerations_for_Implementing_
Measures_Final_Report.aspx.
We appreciate the feedback from the
MAP but believe that the measure
already accounts for these concerns. The
expert workgroup convened by the
measure development contractor to
provide input on the specifications
carefully considered these and other
issues unique to mental health care
throughout the development process
and field testing. The expert workgroup,
which reconvened to consider the
MAP’s concerns, noted that they had
addressed each of the MAP’s concerns
during development activities and that
this measure could be a significant step
towards mental health parity by
including psychiatry with other
specialties in a MIPS episode-based
measure. In addition, the measure
provides opportunities for innovation in
care coordination, which the Person and
Family Committee expressed as an
improvement need. We are now seeking
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comments on the Psychoses/Related
Conditions episode-based measure. In
future years, we may propose the use of
this measure.
Regarding the MAP’s first concern
about clinician accountability, the
Psychoses/Related Conditions measure
is constructed to only capture costs
within an attributed clinician’s
influence through judicious service
assignment rules. That is, services are
only included in the cost of an episode
when they meet specific conditions
defined by procedure, diagnosis, and
timing within the episode window.
Members of the expert workgroup also
noted that the measure can incentivize
improved care coordination across care
settings by holding clinicians
accountable for certain post-discharge
care. This recognition of the potential
for measures to incentivize systems care
coordination aligns with the rationale
for quality measures currently available
for reporting in MIPS, which
acknowledge the goal of promoting
shared accountability and collaboration
with patients, families, and providers.
For example, NQF #0576/Quality #391
Follow-Up After Hospitalization for
Mental Illness (81 FR 77645) holds
clinicians accountable for certain
follow-up care.
Regarding the MAP’s second concern
about geographic variation, empirical
analyses indicate the impact of
geographic variation has limited effect
on measure score and is similar across
episode-based measures. The measure
development contractor conducted
empirical analyses to examine the effect
of adding variables to the current risk
adjustment model to account for state
differences to assess the impact of
geographic variation. The analyses
indicated that there is a high correlation
between the measure using the current
risk adjustment model and the model
accounting for state differences. At the
TIN level, the correlation between the
Psychoses/Related Conditions base
measure and state-augmented measure
is 0.838. At the TIN–NPI level, the
correlation between the Psychoses/
Related Conditions base measure and
state-augmented measure is 0.835.
Regarding the MAP’s third concern
about physical comorbidities, the
measure’s risk adjustment model
includes variables to account for patient
comorbidities, including variables for
patient history of other physical or
mental health issues that might affect
outcomes for patients captured under
this measure.
Regarding the MAP’s fourth concern
about mental healthcare access, the
large number of beneficiaries covered by
this measure mitigates the potential for
clinicians to limit access for Medicare
patients. The potential coverage of
beneficiaries is high, as there are
approximately 102,000 beneficiaries
with at least one episode (for episodes
ending between January 1, 2017 and
December 31, 2017). Additionally, the
measure is designed to account for
complex case mix to preserve access to
care: The patient cohort is divided into
sub-groups to ensure meaningful
clinical comparisons between
homogenous patient populations. We
believe that this measure has the
potential to incentivize improved care
coordination and team-based care, and
encourage the use of use community
resources, which would improve access
to care.
The Psychoses/Related Conditions
episode-based measure would bridge
the measurement gap in the MIPS cost
performance category by providing
mental health clinicians an episodebased measure as a complement to the
two broader, population cost measures
currently in MIPS. Based on episodes
ending between January 1, 2017 and
December 31, 2017, approximately 97
percent of MIPS eligible TINs and 36
percent of MIPS eligible TIN/NPIs
meeting the 20 episode-case minimum
for the Psychoses/Related Conditions
measure also meet the case minimum
for the revised MSPB clinician measure.
Similarly, approximately, 98 percent of
MIPS eligible TINs and 23 percent of
40761
MIPS eligible TIN/NPIs meeting the case
minimum for the Psychoses/Related
Conditions measure also meet the case
minimum for the revised total per capita
cost measure. We believe that this
measure accurately reflects cost
associated with inpatient psychiatrists’
care and can provide information about
cost performance that is actionable for
mental health clinical practice as they
provide clinicians with feedback on the
cost of services within their reasonable
influence.
A key goal for cost measures is to
assess provider variation due to practice
differences rather than chance, which
can be determined by the measure’s
reliability. The Psychoses/Related
Conditions measure tests well for
reliability. The measure has a mean
reliability over 0.7, generally considered
the threshold for high reliability, at both
TIN and TIN–NPI levels at the 10, 20,
and 30-episode case minima. At the 20epsiode case minimum imposed for
acute inpatient medical condition
episode-based measures, mean
reliability is 0.83 for TIN and 0.88 for
TIN–NPI level reporting, with 100.0
percent of TINs and 100.0 percent of
TIN–NPIs meeting or exceeding the 0.4
threshold for moderate reliability. A
measure justification form with
additional testing results for this
measure is available at the MACRA
Feedback page at https://www.cms.gov/
Medicare/Quality-Initiatives-PatientAssessment-Instruments/Value-BasedPrograms/MACRA-MIPS-and-APMs/
MACRA-Feedback.html.
We are seeking comments on the
potential use of this new Psychoses/
Related Conditions episode-based
measure in the cost performance
category in a future MIPS performance
period.
(viii) Summary of Previously
Established and Proposed Measures for
the Cost Performance Category for the
2020 and Future Performance Periods
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TABLE 40—SUMMARY TABLE OF COST MEASURES FOR THE 2020 PERFORMANCE PERIOD AND FUTURE PERFORMANCE
PERIODS
Measure topic
Measure type
Measure Status
Total Per Capita Cost .........................................
Population-Based .............................................
Medicare Spending Per Beneficiary Clinician ....
Population-Based .............................................
Elective Outpatient Percutaneous Coronary
Intervention (PCI).
Knee Arthroplasty ...............................................
Procedural episode-based ...............................
Revised and proposed for 2020 performance
period and beyond.
Revised and proposed for 2020 performance
period and beyond.
Currently in use for 2019 Performance Period
and Beyond.
Currently in use for 2019 Performance Period
and Beyond.
Currently in use for 2019 Performance Period
and Beyond.
Revascularization for Lower Extremity Chronic
Critical Limb Ischemia.
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Procedural episode-based ...............................
Procedural episode-based ...............................
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Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
TABLE 40—SUMMARY TABLE OF COST MEASURES FOR THE 2020 PERFORMANCE PERIOD AND FUTURE PERFORMANCE
PERIODS—Continued
Measure topic
Measure type
Routine Cataract Removal with Intraocular Lens
(IOL) Implantation.
Screening/Surveillance Colonoscopy .................
Procedural episode-based ...............................
Intracranial Hemorrhage or Cerebral Infarction
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Simple Pneumonia with Hospitalization .............
Measure Status
Procedural episode-based ...............................
Acute inpatient medical
based.
Acute inpatient medical
based.
Acute inpatient medical
based.
Procedural episode-based
condition episodecondition episode-
ST-Elevation Myocardial Infarction (STEMI) with
Percutaneous Coronary Intervention (PCI).
Acute Kidney Injury Requiring New Inpatient Dialysis.
Elective Primary Hip Arthroplasty .......................
condition episode-
Procedural episode-based ...............................
Femoral or Inguinal Hernia Repair .....................
Procedural episode-based ...............................
Hemodialysis Access Creation ...........................
Procedural episode-based ...............................
Inpatient Chronic Obstructive Pulmonary Disease (COPD) Exacerbation.
Lower Gastrointestinal Hemorrhage (at group
level only).
Lumbar Spine Fusion for Degenerative Disease, 1–3 Levels.
Lumpectomy, Partial Mastectomy, Simple Mastectomy.
Non-Emergent Coronary Artery Bypass Graft
(CABG).
Renal or Ureteral Stone Surgical Treatment ......
Acute inpatient medical condition episodebased.
Acute inpatient medical condition episodebased.
Procedural episode-based ...............................
...............................
Procedural episode-based ...............................
Procedural episode-based ...............................
Procedural episode-based ...............................
(3) Improvement Activities Performance
Category
discussed in more detail in this
proposed rule.
(a) Background
(b) Small, Rural, or Health Professional
Shortage Areas Practices
For previous discussions on the
background of the improvement
activities performance category, we refer
readers to the CY 2017 Quality Payment
Program final rule (81 FR 77177 through
77178), the CY 2018 Quality Payment
Program final rule (82 FR 53648 through
53661), and the CY 2019 PFS final rule
(83 FR 59776 through 59777).
In this proposed rule, we are
proposing to: (1) Modify the definition
of rural area; (2) update
§ 414.1380(b)(3)(ii)(A) and (C) to remove
the reference to the four listed
accreditation organizations in order to
be recognized as patient-centered
medical homes and to remove the
reference to the specific accrediting
organization for comparable specialty
practices; (3) increase the group
reporting threshold to 50 percent; (4)
establish factors to consider for removal
of improvement activities from the
Inventory; (5) remove 15, modify seven,
and add two new improvement
activities for the 2020 performance
period and future years; and (6)
conclude and remove the CMS Study on
Factors Associated with Reporting
Quality Measures. These proposals are
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For our previously established
policies regarding small, rural, or Health
Professional Shortage Areas Practices,
we refer readers to the CY 2017 Quality
Payment Program final rule (81 FR
77188), CY 2018 Quality Payment
Program final rule (82 FR 53581), and
§ 414.1305. In the CY 2018 Quality
Payment Program final rule (82 FR
53581 through 53582), we changed the
definition of rural area at § 414.1305 to
mean ZIP codes designated as rural,
using the most recent Health Resources
and Services Administration (HRSA)
Area Health Resource File data set
available.
It has come to our attention that the
rural area definition at § 414.1305
includes the incorrect file name for the
rural designation. While we used the
correct file, we just referenced it
incorrectly. Therefore, we are proposing
to update the MIPS rural area definition
by correcting the file name. In the CY
2017 Quality Payment Program final
rule (81 FR 77188), we incorrectly
referenced the file we used for rural
designation as ‘‘the most recent Health
Resources and Services Administration
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Currently in use for
and Beyond.
Currently in use for
and Beyond.
Currently in use for
and Beyond.
Currently in use for
and Beyond.
Currently in use for
and Beyond.
Proposed for 2020
Beyond.
Proposed for 2020
Beyond.
Proposed for 2020
Beyond.
Proposed for 2020
Beyond.
Proposed for 2020
Beyond.
Proposed for 2020
Beyond.
Proposed for 2020
Beyond.
Proposed for 2020
Beyond.
Proposed for 2020
Beyond.
Proposed for 2020
Beyond.
2019 Performance Period
2019 Performance Period
2019 Performance Period
2019 Performance Period
2019 Performance Period
Performance Period and
Performance Period and
Performance Period and
Performance Period and
Performance Period and
Performance Period and
Performance Period and
Performance Period and
Performance Period and
Performance Period and
(HRSA) Area Health Resource File data
set available’’ instead of the correct file
entitled ‘‘Federal Office of Rural Health
Policy (FORHP) eligible ZIP codes’’
which may currently be found at
https://www.hrsa.gov/rural-health/
about-us/definition/datafiles.html. The
HRSA Area Health Resources Files
(AHRF) include data on Health Care
Professions, Health Facilities,
Population Characteristics, Economics,
Health Professions Training, Hospital
Utilization, Hospital Expenditures, and
Environment at the county, state and
national levels, from over 50 data
sources 115 but does not contain specific
data on rurality developed by HRSA’s
FORHP. To be clear, we have been using
the more appropriate FORHP eligible
ZIP code file in all previous 3 years of
MIPS; we simply inadvertently listed
the incorrect file name in the definition.
Furthermore, the definition of rural in
MIPS is based on the rural definition
developed by HRSA’s FORHP which
may be found at https://www.hrsa.gov/
rural-health/about-us/definition/
index.html. The FORHP defines all nonMetro counties as rural and uses an
additional method of determining
rurality called the Rural-Urban
115 https://data.hrsa.gov/topics/health-workforce/
ahrf.
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Commuting Area (RUCA) codes. The
FORHP eligible ZIP codes are available
in a file located at https://www.hrsa.gov/
sites/default/files/hrsa/ruralhealth/
aboutus/definition/forhp-eligiblezips.xlsx. Therefore, we are proposing to
modify the definition of rural area at
§ 414.1305 to mean a ZIP code
designated as rural by the Federal Office
of Rural Health Policy (FORHP), using
the most recent FORHP Eligible ZIP
Code file available. We invite public
comment on our proposal as discussed
in this proposed rule.
comparable specialty practices that were
not included. Therefore, we request
comments on our proposal to update
§ 414.1380(b)(3)(ii)(A) and (C) to remove
specific entity names.
(c) Patient-Centered Medical Home and
Comparable Specialty Practice
Accreditation Organizations
In the CY 2017 Quality Payment
Program final rule (81 FR 77179 through
77180), we finalized at
§ 414.1380(b)(3)(ii) an expanded
definition of what is acceptable for
recognition as a certified-patientcentered medical home or comparable
specialty practice. Specifically, we
finalized that one of the criteria, as
stated at § 414.1380(b)(3)(ii)(A), is
whether the practice has received
accreditation from one of four
accreditation organizations that are
nationally recognized; (A)(1) through
(A)(4) lists the four organizations with
nationally recognized patient-centered
medical home accreditation programs:
(1) The Accreditation Association for
Ambulatory Health Care; (2) the
National Committee for Quality
Assurance (NCQA) Patient-Centered
Medical Home; (3) The Joint
Commission Designation; or (4) the
Utilization Review Accreditation
Commission (URAC) (81 FR 77180). In
addition, we finalized another criteria at
§ 414.1380(b)(3)(ii)(C), which states that
the practice is a comparable specialty
practice that has received the NCQA
Patient-Centered Specialty Recognition
(81 FR 77180). Further, we finalized that
the criteria for being a nationally
recognized accredited patient-centered
medical home are that it must be
national in scope and must have
evidence of being used by a large
number of medical organizations as the
model for their patient-centered medical
home (81 FR 77180).
Since finalizing these criteria, it has
come to our attention that, we do not
want to exclude other organizations. It
was and is not our intention to limit
patient-centered medical home or
comparable specialty practice
accreditation organizations to those
listed. We realize that there may be
additional accreditation organizations
that have nationally recognized
programs for accrediting patientcentered medical homes and
For our previously established
policies regarding improvement
activities performance category
submission mechanisms, we refer
readers to the CY 2018 Quality Payment
Program final rule (82 FR 53650 through
53656), the CY 2019 PFS final rule (83
FR 59777), and § 414.1360(a)(1). We are
not proposing any changes to these
policies.
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(d) Improvement Activities Data
Submission
We are proposing changes to the
improvement activities data submission
for group reporting requirements, as
discussed below.
(i) Submission Mechanisms
(ii) Submission Criteria
For our previously established
policies regarding improvement
activities performance category
submission criteria, we refer readers to
the CY 2017 Quality Payment Program
final rule (81 FR 77185), the CY 2018
Quality Payment Program final rule (82
FR 53651 through 53652), the CY 2019
PFS final rule (83 FR 59777 through
59778), and § 414.1380. We are not
proposing any changes to these policies.
(iii) Group Reporting
In this proposed rule, we are making
two proposals with respect to group
reporting: (a) Increasing the group
reporting threshold from at least one
clinician to at least 50 percent of the
group beginning with the 2020
performance year, and (b) at least 50
percent of a group’s National Provider
Identifiers (NPIs) must perform the same
activity for the same continuous 90 days
in the performance period beginning
with the 2020 performance year. These
are discussed in more detail below.
As discussed in the CY 2017 Quality
Payment Program final rule (81 FR
77181), in response to a public
comment, we stated that if at least one
clinician within the group is performing
the activity for a continuous 90 days in
the performance period, the group may
report on that activity. In addition, we
specified that all MIPS eligible
clinicians reporting as a group would
receive the same score for the
improvement activities performance
category if at least one clinician within
the group is performing the activity for
a continuous 90 days in the
performance period (81 FR 77181).
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In the CY 2018 Quality Payment
Program proposed rule (82 FR 30053),
we requested comment for future
consideration on issues related to
whether we should establish a
minimum threshold (for example, 50
percent) of the clinicians (NPIs) that
must complete an improvement activity
in order for the entire group (Taxpayer
Identification Number (TIN)) to receive
credit in the improvement activities
performance category in future years.
Some commenters expressed concerns
that setting a minimum threshold would
add complexity or burden for clinicians.
Other commenters supported the
establishment of a minimum
participation threshold in future years,
noting that a minimum threshold will
ensure scoring is reflective of care
delivered by the group as a whole rather
than one or a few high-performing
clinicians.
We believe that by Year 4 (2020
performance year) of the Quality
Payment Program, clinicians should be
familiar with the improvement activities
performance category. We believe that
increasing the minimum threshold for a
group to receive credit for the
improvement activities performance
category will not present additional
complexity and burden for a group.
With over 100 improvement activities
available for eligible clinicians to
choose from in the Improvement
Activities Inventory, which may be
found at the Quality Payment Program
website https://qpp.cms.gov/, that
provide a range of options for clinicians
seeking to improve clinical practice that
are not specific to practice size or
specialty or practice setting, we believe
that a group should be able to find
applicable and meaningful activities to
complete that would apply to at least 50
percent of individual MIPS eligible
clinicians in a group.
Therefore, we are proposing to
increase the minimum number of
clinicians in a group or virtual group
who are required to perform an
improvement activity to 50 percent for
the improvement activities performance
category beginning with the 2020
performance year and future years. We
would like to note that if finalized the
proposed changes to the group
threshold would have no impact on the
previously finalized policy that eligible
clinicians participating in an APM will
receive full points for the improvement
activities performance category as
discussed in the CY 2017 Quality
Payment Program final rule (81 FR
77258 through 77260). This is an
increase to the previously established
requirement finalized in the CY 2017
Quality Payment Program final rule (81
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FR 77181) that only one clinician within
a TIN needs to attest to the completion
of an improvement activity to get credit
towards the MIPS final score. We
believe a 50 percent threshold is
achievable and appropriate because, if a
group or virtual group has implemented
an improvement activity, the activity
should be recognized and adopted
throughout much of the practice in
order to improve clinical practice, care
delivery, and outcomes. This aligns
with our definition of an improvement
activity at § 414.1305. In crafting our
proposal, we also considered other
thresholds, such as a lower threshold of
25 percent. However, we believe that
improvement activities should be
adopted throughout much of the
practice to achieve improved outcomes.
We do not believe that 25 percent group
participation would reflect improved
outcomes. We also considered a higher
threshold of 100 percent, but have
concerns that requiring every clinician
within a group to perform improvement
activities may be premature at this time
because increasing the threshold by
such a large amount may be considered
burdensome to clinicians. However, we
believe that 50 percent provides an
appropriate balance between requiring
at least half of the NPIs reporting as part
of a group to participate in the
improvement activities performance
category and acknowledging the
challenges to requiring every NPI in a
group to perform the improvement
activity for a group to receive credit. We
also believe our proposal aligns with the
50 percent threshold for the number of
practice sites that must be recognized
for a TIN to receive full credit as a
patient-centered medical home (82 FR
53655) and is both achievable and
appropriate at this time.
Furthermore, we believe that
requiring at least 50 percent of a group
practice or TIN to perform an
improvement activity for the same
continuous 90-day performance period
would facilitate improvement in clinical
practice within a TIN. As discussed in
the CY 2017 Quality Payment Program
final rule (81 FR 77186), we considered
setting the threshold for the minimum
time required for performing an activity
to longer periods up to a full calendar
year. However, after researching several
organizations we stated that we believed
a minimum of 90 days is a reasonable
amount of time (81 FR 77186). In
addition, in response to comments we
stated that we believed that each
activity can be performed for a full 90
consecutive days by some, if not all,
MIPS eligible clinicians, and that there
are a sufficient number of activities
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included that any eligible clinician may
select and perform for a continuous 90
days that will allow them to
successfully report under this
performance category (81 FR 77186).
Therefore, we are requesting
comments on our proposal to revise
§ 414.1360(a)(2) to state that beginning
with the 2020 performance year, each
improvement activity for which groups
and virtual groups submit a yes
response in accordance with paragraph
(a)(1) of this section must be performed
by at least 50 percent of the NPIs billing
under the group’s TIN or virtual group’s
TINs, as applicable; and these NPIs
must perform the same activity for the
same continuous 90 days in the
performance period. To be clear, other
submission requirements would remain
the same. In other words, each TIN
would need to submit an attestation for
each improvement activity selected that
at least 50 percent of its NPIs performed
the same activity for the same
continuous 90 days in the performance
period. For example, TIN 1234 attests
that at least 50 percent of its NPIs
performed the improvement activity
entitled: ‘‘Participation in a QCDR that
promotes use of patient engagement
tools’’ (IA_BE_7) for the same
continuous 90-day period. Because IA_
BE_7 is medium-weighted, the example
TIN would receive 10 points toward the
total possible improvement activities
score. TIN 1234 also attests that at least
50 percent of its NPIs performed the
improvement activity entitled:
‘‘Implementation of formal quality
improvement methods, practice
changes, or other practice improvement
processes’’ (IA_PSPA_19) for the same
continuous 90-day period. Because IA_
PSPA_19 is medium-weighted, the
example TIN would receive another 10
points toward the total possible
improvement activities score. We refer
readers to the CY 2019 Quality Payment
Program final rule (83 FR 59753 through
59754) where we discuss the data
submission deadline which was
finalized at § 414.1325(e)(1) as follows:
For the direct, login and upload, login
and attest, and CMS Web Interface
submission types, March 31 following
the close of the applicable performance
period or a later date as specified by
CMS.
We invite public comments on our
proposal as discussed above, as well as
the alternatives considered.
(e) Improvement Activities Inventory
We are proposing changes to the
Improvement Activities Inventory to: (1)
Establish removal factors to consider
when proposing to remove
improvement activities from the
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Inventory; (2) remove 15 improvement
activities for the 2020 performance
period and future years contingent on
our proposed removal factors being
finalized; (3) modify seven existing
improvement activities for the 2020
performance period and future years;
and (4) add two new improvement
activities for the 2020 performance
period and future years. These
proposals are discussed in more detail
in this proposed rule.
(i) Proposed Factors for Consideration in
Removing Improvement Activities
In the CY 2017 Quality Payment
Program final rule (82 FR 53660 through
53661), we discussed that in future
years, we anticipated developing a
process and establishing factors for
identifying activities for removal from
the Improvement Activities Inventory
through the Annual Call for Activities
process. In the CY 2018 Quality
Payment Program proposed rule (82 FR
30056), we invited public comments on
what criteria should be used to identify
improvement activities for removal from
the Inventory. A few commenters did
not support the idea of establishing
removal factors for improvement
activities, believing that many practices
have made financial investments to
perform these activities and that no
activities should be removed. Some
commenters suggested that we should
remove activities that: Have become
obsolete, are topped out, do not show
demonstrated improvements over time,
or are not attested to for three
consecutive years. The commenters
recommended that their removal should
be conducted using an approach similar
to what is used for the removal of
quality measures. In our responses, we
stated that we appreciate the
commenters input. In addition, we
understand that many practices may
have made financial investments to
perform these activities, but believe that
over time, certain improvement
activities should be considered for
removal to ensure the list is robust and
relevant. We will fully examine each
activity prior to removal. In addition,
we stated that commenters would have
an opportunity to provide their input
during notice-and-comment rulemaking.
We agreed with commenters that we
should remove activities as needed and
should consider the removal criteria
already established for quality
measures. We continue to believe that
having factors to consider in removing
improvement activities would provide
transparency and alignment with the
removal of quality measures. Therefore,
we are proposing to adopt the following
factors for our consideration when
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proposing the removal of an
improvement activity:
• Factor 1: Activity is duplicative of
another activity;
• Factor 2: There is an alternative
activity with a stronger relationship to
quality care or improvements in clinical
practice;
• Factor 3: Activity does not align
with current clinical guidelines or
practice;
• Factor 4: Activity does not align
with at least one meaningful measures
area;
• Factor 5: Activity does not align
with the quality, cost, or Promoting
Interoperability performance categories;
• Factor 6: There have been no
attestations of the activity for 3
consecutive years; or
• Factor 7: Activity is obsolete.
These factors directly reflect those
already finalized for quality measures
found in the CY 2019 PFS final rule (83
FR 59765). The removal of improvement
activities from the Inventory, including
discussion of the removal factor(s)
considered, would occur through
notice-and-comment rulemaking. We
note that these removal factors are
considerations taken into account when
deciding whether or not to remove
improvement activities; but they are not
firm requirements.
Therefore, we invite public comments
on our proposal to implement factors to
consider in removing improvement
activities from the Inventory. In
conjunction with this proposal, we are
proposing a number of improvement
activity removals as discussed in the
next section and in Appendix 2 of this
proposed rule. Those removals are
contingent upon finalization of these
removal factors.
(ii) New Improvement Activities and
Modifications to and Removal of
Existing Improvement Activities
In the CY 2018 Quality Payment
Program final rule (82 FR 53660), we
finalized that we would add new
improvement activities or modifications
to existing improvement activities to the
Improvement Activities Inventory
through notice-and-comment
rulemaking. We refer readers to Table H
in the Appendix of the CY 2017 Quality
Payment Program final rule (81 FR
77177 through 77199), Tables F and G
in the Appendix of the CY 2018 Quality
Payment Program final rule (82 FR
54175 through 54229), and Tables X and
G in the Appendix 2 of the CY 2019 PFS
final rule (83 FR 60286 through 60303)
for our previously finalized
Improvement Activities Inventory. We
also refer readers to the Quality
Payment Program website at https://
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qpp.cms.gov/ for a complete list of the
most current list of improvement
activities. In this proposed rule, we
invite comments on our proposals to: (1)
Remove 15 improvement activities from
the Inventory beginning with the 2020
performance period, (2) modify seven
existing improvement activities for 2020
performance period and future years,
and (3) add two new improvement
activities for 2020 performance period
and future years. We refer readers to
Appendix 2 of this proposed rule for
further details. Our proposals to remove
improvement activities are being made
in conjunction with our proposal to
adopt removal factors and are
contingent upon finalization of that
proposal.
(f) CMS Study on Factors Associated
With Reporting Quality Measures
In this proposed rule, we are
proposing to end this study and
concurrently, remove the incentive
under the improvement activity
performance category that this study
provided for study participants.
(i) Background
In the CY 2017 Quality Payment
Program final rule (81 FR 77195), we
created the Study on Improvement
Activities and Measurement. In our
quest to create a culture of improvement
using evidence-based medicine on a
consistent basis, we believe fully
understanding the strengths and
limitations of the current processes of
collecting and submitting quality
measurement data is crucial to better
understand and improve these current
processes. We proposed to conduct a
study on clinical improvement activities
and measurement to examine clinical
quality workflows and data capture
using a simpler approach to quality
measures (81 FR 77195). In the CY 2018
Quality Payment Program final rule (82
FR 53662) and CY 2019 PFS final rule
(83 FR 59783), we finalized updates to
the study.
Starting in CY 2017, this annual study
was slated for a minimum period of 3
years, as stated in CY 2019 PFS final
rule (83 FR 59776). Study participants
were recruited every study year. The
study population started in CY 2017
with a minimum of 42 individuals (81
FR 77195), grew to a minimum of 102
individuals for CY 2018 (82 FR 53662)
and 200 individuals for CY 2019 (83 FR
59783). Each years’ study population is
comprised of the following categories:
Urban versus non-urban, groups and
individual clinicians; clinicians
reporting quality measures in groups or
reporting individually, different practice
sizes; and different specialty groups (81
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FR 77195). These changes to the study
sample size over the years provided data
for the study’s analysis. The goals of the
study are to see whether there will be
improved outcomes, reduced burden in
reporting, and enhancements in clinical
care by selected MIPS eligible clinicians
desiring: A more data driven approach
to quality measurement, measure
selection unconstrained by a CEHRT
program or system, improving data
quality submitted to CMS, enabling
CMS get data more frequently and
provide feedback more often (81 FR
77195). To encourage participation by
clinicians and counterbalance clinician
burden for anticipation of study,
participating clinicians were
incentivized with full improvement
activity credit as finalized in the CY
2017 Quality Payment Program final
rule (81 FR 77195 through 77197).
(ii) Proposal To End and Remove Study
We believe by the end of 2020 we will
have reached the minimum sample size
and have accrued the minimum data
needed for the analysis to achieve the
study goals. Therefore, we request
comments on our proposal to conclude
this study at the end of the CY 2019
performance period. In conjunction
with our proposal to end the study, we
are also proposing to remove the study
and the incentive provided towards the
improvement activity performance
category beginning with the 2020
performance period. If the study is
ended as proposed above, we are
proposing to remove this activity
because it would be obsolete (proposed
removal factor 7). As a result, the full
improvement activity credit given to
participants as finalized in the CY 2017
Quality Payment Program final rule (81
FR 77195–77197), would no longer be
available starting with the 2020
performance period.
(iii) Future Steps
After completing this data collection
phase, we next plan to analyze the data
gathered (which include lessons
learned) and to make recommendations
to improve outcomes, reduce burden,
and enhance clinical care. We plan to
finish the final data analysis by Spring
2020. This analysis would contain all
the study years. It would show the
trends and associations of all the factors
we examined. It would also show the
lessons learnt by study participants over
the 3 years of the study. At the
conclusion of this study and after
analysis of the results, we plan to shift
our focus to implementation of
recommendations. We intend for this to
include feedback to clinicians and
stakeholders and educational and
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outreach work. We plan to undertake
education and outreach to the public.
We would also include the results in
other Quality Payment Program
educational materials such as webinars.
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(4) Promoting Interoperability
(a) Background
Section 1848(q)(2)(A) of the Act
includes the meaningful use of Certified
Electronic Health Record Technology
(CEHRT) as a performance category
under the MIPS. In prior rulemaking, we
referred to this performance category as
the Advancing Care Information
performance category, and it was
reported by MIPS eligible clinicians as
part of the overall MIPS program. In
2018, we renamed the Advancing Care
Information performance category as the
Promoting Interoperability performance
category (83 FR 35912). As required by
sections 1848(q)(2) and (5) of the Act,
the four performance categories of the
MIPS shall be used in determining the
MIPS final score for each MIPS eligible
clinician. In general, MIPS eligible
clinicians will be evaluated under all
four of the MIPS performance
categories, including the Promoting
Interoperability performance category.
For the Promoting Interoperability
performance category, our proposals
include: (1) For the 2023 MIPS payment
year, establishing a performance period
of a minimum of a continuous 90-day
period within CY 2021, up to and
including the full calendar year; (2)
making the Query of Prescription Drug
Monitoring Program (PDMP) measure
optional in CY 2020, and in the event
we finalize this proposal, making the ePrescribing measure worth up to 10
points in CY 2020; (3) removing the
numerator and denominator for the
Query of PDMP measure and instead
requiring a ‘‘yes/no’’ response beginning
in CY 2019; (4) removing the Verify
Opioid Treatment Agreement measure
beginning in CY 2020; (5) redistributing
the points for the Support Electronic
Referral Loops by Sending Health
Information measure to the Provide
Patients Access to Their Health
Information measure if an exclusion is
claimed, beginning in CY 2019; (6)
revising the description of the Support
Electronic Referral Loops by Receiving
and Incorporating Health Information
measure exclusion to more clearly and
precisely capture our intended policy,
beginning in CY 2019; (7) continuing
the existing policy of reweighting the
Promoting Interoperability performance
category for certain types of nonphysician practitioner MIPS eligible
clinicians for the performance period in
2020; and (8) proposals related to
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hospital-based MIPS eligible clinicians
and non-patient facing MIPS eligible
clinicians in groups.
These proposals are discussed in
more detail in this proposed rule.
We are also seeking input through
Requests for Information as follows: (1)
Potential Opioid Measures for Future
Inclusion in the Promoting
Interoperability performance category,
(2) NQF and CDC Opioid Quality
Measures, (3) a Metric to Improve
Efficiency of Providers within EHRs, (4)
the Provider to Patient Exchange
Objective, (5) Integration of PatientGenerated Health Data into EHRs Using
CEHRT, and (6) Engaging in Activities
that Promote the Safety of the EHR.
(b) Goals of Proposed Changes to the
Promoting Interoperability Performance
Category
As we look toward the future of the
Promoting Interoperability performance
category, the general goals of our
proposals in this proposed rule center
on: (1) A priority of stability within the
performance category after the recent
changes made in the CY 2019 PFS final
rule (83 FR 59785 through 59820) while
continuing to further interoperability
through the use of CEHRT; (2) reducing
administrative burden; (3) continued
use of the 2015 Edition CEHRT; (4)
improving patient access to their EHRs
so they can make fully informed health
care decisions; and (5) continued
alignment with the Medicare Promoting
Interoperability Program for eligible
hospitals and CAHs, where appropriate.
(c) Promoting Interoperability
Performance Category Performance
Period
As finalized in the CY 2019 PFS final
rule at § 414.1320(e)(1) (83 FR 59745
through 59747), for purposes of the 2022
MIPS payment year, the performance
period for the Promoting
Interoperability performance category is
a minimum of a continuous 90-day
period within the calendar year that
occurs 2 years prior to the applicable
MIPS payment year, up to and including
the full calendar year. Thus, for the
2022 MIPS payment year, the
performance period for the Promoting
Interoperability performance category is
a minimum of a continuous 90-day
period within CY 2020, up to and
including the full CY 2020 (January 1,
2020 through December 31, 2020).
For the 2023 MIPS payment year, we
are proposing to add § 414.1320(f)(1),
which would establish a performance
period for the Promoting
Interoperability performance category of
a minimum of a continuous 90-day
period within the calendar year that
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occurs 2 years prior to the applicable
MIPS payment year, up to and including
the full calendar year (CY 2021). This
proposal aligns with the proposed EHR
reporting period in CY 2021 for the
Medicare Promoting Interoperability
Program for eligible hospitals and CAHs
(84 FR 19554). We believe this would be
an appropriate performance period
because of the maturation needed
within the performance category,
including the changes to measures and
other changes being proposed in this
rule. In addition, it would offer stability
and continuity for the Promoting
Interoperability performance category
after the performance category overhaul
that was finalized in the CY 2019 PFS
final rule (83 FR 59785 through 59820).
We are requesting comments on this
proposal.
(d) Promoting Interoperability
Performance Category Measures for
MIPS Eligible Clinicians
(i) Proposed Changes to Measures for
the e-Prescribing Objective
(A) Background
Beginning with the MIPS performance
period in 2019, we adopted two new
measures for the e-Prescribing objective
that are based on electronic
prescriptions for controlled substances:
(1) Query of Prescription Drug
Monitoring Program (PDMP) (83 FR
59800 through 59803); and (2) Verify
Opioid Treatment Agreement (83 FR
59803 through 59806). These measures
built upon the meaningful use of
CEHRT, as well as the security of
electronic prescribing of Schedule II
controlled substances while preventing
diversion. For both measures, we
defined opioids as Schedule II
controlled substances under 21 CFR
1308.12, as they are recognized as
having a high potential for abuse with
potential for severe psychological or
physical dependence. Additionally, we
noted the intent of the new measures
was not to dissuade the prescribing or
use of opioids for patients with medical
diagnoses or conditions that benefit
from their use, such as patients
diagnosed with cancer or those
receiving hospice.
During the comment period for the CY
2019 PFS proposed rule (83 FR 35921
through 35925), and subsequently
through public forums and
correspondence, we received extensive
comments from stakeholders regarding
the Query of PDMP measure and the
Verify Opioid Treatment Agreement
measure. While this feedback is the
main catalyst for our proposals, there
have also been significant legislative
changes that have the potential to
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positively impact the Promoting
Interoperability performance category,
specifically the Substance Use–Disorder
Prevention that Promotes Opioid
Recovery and Treatment for Patients
and Communities Act (SUPPORT Act)
(Pub. L. 115–271, enacted October 24,
2018). This legislation was enacted to
address the opioid crisis and affects a
wide range of HHS programs and
policies. While this legislation is not the
main reason for our proposals, we
believe it may significantly affect the
maturation, requirements, and use of
PDMPs and State networks upon which
the Query of PDMP measure is
dependent.
In this proposed rule, we are aiming
to be responsive to the comments that
we have received from stakeholders
since the CY 2019 PFS final rule was
published and to take into account
certain aspects of the SUPPORT Act that
may have implications for the policy
goals of the Promoting Interoperability
performance category.
As explained in further detail below,
we are proposing to make the Query of
PDMP measure optional in CY 2020,
remove the numerator and denominator
that we established for the Query of
PDMP measure and instead require a
‘‘yes/no’’ response beginning in CY
2019, and remove the Verify Opioid
Treatment Agreement measure
beginning in CY 2020. In section
III.K.3.c.(4)(d)(i) of this proposed rule,
we are also requesting information on
potential new opioid use disorder
(OUD) prevention and treatment-related
measures. We believe the requests for
information will help to inform future
rulemaking and not only help prevent
and treat substance use disorder, but
allow us to adopt measures that enable
flexibility without added burden for
clinicians. We value stakeholders’
continued interest in and support for
combating the nation’s opioid epidemic.
(B) Query of Prescription Drug
Monitoring Program (PDMP) Measure
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(aa) Query of PDMP Measure
As we stated in the CY 2019 PFS final
rule (83 FR 59800 through 59803), the
Query of PDMP measure is optional and
available for bonus points for the 2019
performance period, and we will
propose our policy for the Query of a
PDMP measure for the 2020
performance period in future
rulemaking. We afforded MIPS eligible
clinicians’ flexibility for implementing
this measure, including the flexibility to
query the PDMP in any manner allowed
under their State law.
However, we have received
substantial feedback from health IT
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vendors and specialty societies that this
flexibility presents unintended
challenges, such as the significant
burden associated with IT system design
and development needed to
accommodate the measure and any
future changes to it. During the CY 2019
PFS proposed rule comment period (83
FR 35922 through 35925) and after the
final rule was published, these
stakeholders stated that it is premature
to require the Query of PDMP measure
in the 2020 performance period
especially given the maturation needed
in PDMP development.
We agree with stakeholders that
PDMPs are still maturing in their
development and use. In addition there
is considerable variation among state
PDMP programs as many only operate
within a state and are not linked to
larger systems. For more information,
we refer readers to the following: The
National Alliance of Model State Drug
Laws (https://namsdl.org/topics/pdmp/)
and PDMP Training and Technical
Assistance Center (https://
www.pdmpassist.org/content/pdmpmaps-and-tables).
Stakeholders also mentioned the
challenge posed by the current lack of
integration of PDMPs into the EHR
workflow. Historically, health care
providers have had to go outside of the
EHR workflow in order to separately log
in to and access the State PDMP. In
addition, stakeholders noted the wide
variation in whether PDMP data can be
stored in the EHR. By integrating PDMP
data into the health record, health care
providers can improve clinical decision
making by utilizing this information to
identify potential opioid use disorders,
inform the development of care plans,
and develop effective interventions.
ONC is currently engaged in an
assessment to better understand the
current state of policy and technical
factors impacting PDMP integration
across States. This assessment is
exploring factors like PDMP data
integration, standards and hubs used to
facilitate interstate PMDP data
exchange, access permissions, and laws
and regulations governing PDMP data
storage.
In October 2018, the SUPPORT Act
became law, signifying an important
investment and approach for our nation
in combating the opioid epidemic. The
provisions of this law aim to provide for
opioid use disorder prevention,
recovery, and treatment and aim to
increase access to evidence-based
treatment and follow-up care included
through legislative changes specific to
the Medicare and Medicaid programs.
Specifically, with respect to PDMPs, the
SUPPORT Act includes new
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requirements and federal funding for
PDMP enhancement, integration, and
interoperability, and establishes
mandatory use of PDMPs by certain
Medicaid providers, in an effort to help
reduce opioid misuse and
overprescribing, and in an effort to help
promote the overall effective prevention
and treatment of opioid use disorder.
Section 5042(a) of the SUPPORT Act
added section 1944 to the Act, titled
‘‘Requirements relating to qualified
prescription drug monitoring programs
and prescribing certain controlled
substances.’’ This section increases
federal Medicaid matching rates during
FY 2019 and 2020 for certain state
expenditures relating to qualified
PDMPs administered by states. Under
section 1944(b)(1) of the Act, to be a
qualified PDMP, a PDMP must facilitate
access by a covered provider to, at a
minimum, the following information
with respect to a covered individual, in
as close to real-time as possible:
Information regarding the prescription
drug history of a covered individual
with respect to controlled substances;
the number and type of controlled
substances prescribed to and filled for
the covered individual during at least
the most recent 12-month period; and
the name, location, and contact
information of each covered provider
who prescribed a controlled substance
to the covered individual during at the
least the most recent 12-month period.
Under section 1944(b)(2) of the Act, a
qualified PDMP must also facilitate the
integration of the information described
in section 1944(b)(1) of the Act into the
workflow of a covered provider, which
may include the electronic system used
by the covered provider for prescribing
controlled substances.
Section 1944(f) of the Act establishes,
for FY 2019 and FY 2020, a 100 percent
federal Medicaid matching rate for state
expenditures to design, develop, or
implement a PDMP that meets the
requirements outlined in section
1944(b)(1) and (2) of the Act, and to
make connections to that PDMP. Section
1944(f)(2) of the Act specifies that, to
qualify for the 100 percent federal
matching rate, a state must have in place
agreements with all contiguous states
that, when combined, enable covered
providers in all the contiguous states to
access, through the PDMP, all
information described in 1944(b)(1) of
the Act.
Section 5042(b) of the SUPPORT Act
requires CMS, in consultation with the
Centers for Disease Control and
Prevention (CDC), to issue guidance not
later than October 1, 2019 on best
practices on the uses of PDMPs required
of prescribers and on protecting the
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privacy of Medicaid beneficiary
information maintained in and accessed
through PDMPs. Furthermore, section
5042(c) of the SUPPORT Act requires
that HHS develop and publish, not later
than October 1, 2020, model practices to
assist State Medicaid program
operations in identifying and
implementing strategies to utilize datasharing agreements described in section
1944(b) of the Act for the following
purposes: Monitoring and preventing
fraud, waste, and abuse; and improving
health care for individuals enrolled in
Medicaid who transition in and out of
Medicaid coverage, who may have
sources of health care coverage in
addition to Medicaid coverage, or who
pay for prescription drugs with cash.
We note that section 7162 of the
SUPPORT Act also supports PDMP
integration as part of the CDC’s grant
programs aimed at efficiency and
enhancement by states, including
improvement in the intrastate and
interstate interoperability of PDMPs.
In addition, the explanatory statement
that accompanied Title II of Division H
of the Consolidated Appropriations Act,
2018 (Pub. L. 115–141),116 encouraged
the CDC to work with the ONC to
enhance the integration of PDMPs and
EHRs. As part of this effort, the CDC and
ONC are collaborating to expand upon
previous and leverage input from
current federal efforts to advance and
scale PDMP integration with health IT
systems. This collaboration includes
testing and refining standard-based
approaches to enable effective
integration into clinical workflows,
exploring emerging technical solutions
to enhance access and use of PDMP
data, providing technical resources to a
variety of stakeholders to advance and
scale the interoperability of health IT
systems and PDMPs, and incorporating
policy considerations, as relevant, to
inform the implementation and success
of integration approaches.
We understand that there is wide
variation across the country in how
health care providers are implementing
and integrating PDMP queries into
health IT and clinical workflows, and
that it could be burdensome for health
care providers if we were to narrow the
measure to allow only a single
workflow. At the same time, we have
heard extensive feedback from EHR
developers that incorporating the ability
to count the number of PDMP queries in
CEHRT would require more robust
certification specifications and
standards. These stakeholders state that
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health IT developers may face
significant cost burdens under the
current flexibility allowed for health
care providers if they fully develop
numerator and denominator
calculations for all the potential use
cases and are required to change the
specification at a later date. Developers
have indicated that the costs of
additional development will likely be
passed on to health care providers
without additional benefit as this
development would be solely for the
purpose of calculating the measure
rather than furthering the clinical goal
of the measure.
Given the stakeholder concerns
discussed above regarding the lack of
integration, the recent enactment of the
SUPPORT Act (in particular, its
provisions specific to Medicaid
providers and qualified PDMPs), and
the activities funded by the CDC, we
believe that additional time is needed to
evaluate the changing PDMP landscape
prior to requiring a Query of PDMP
measure, or introducing requirements
related to EHR–PDMP integration.
Therefore, we are proposing to make
the Query of PDMP measure optional
and eligible for 5 bonus points for the
Electronic Prescribing objective in CY
2020. Making the measure optional in
CY 2020 would allow time for further
integration of PDMPs and EHRs to
minimize the burden on MIPS eligible
clinicians reporting this measure while
still giving clinicians an opportunity to
report on and earn points for the
measure. We are proposing that, in the
event we finalize this proposal for the
Query of PDMP measure, the ePrescribing measure would be worth up
to 10 points in CY 2020.
In addition, beginning with the 2019
performance period, we are proposing to
remove the numerator and denominator
that we established for the Query of
PDMP measure in the CY 2019 PFS final
rule (83 FR 59800 through 59803) and
instead require a ‘‘yes/no’’ response.
Under this proposal, the measure
description would remain the same (83
FR 59803), but instead of submitting
numerator and denominator information
for the measure, MIPS eligible clinicians
would submit a ‘‘yes/no’’ response. A
‘‘yes’’ response would indicate that for
at least one Schedule II opioid
electronically prescribed using CEHRT
during the performance period, the
MIPS eligible clinician used data from
CEHRT to conduct a query of a PDMP
for prescription drug history, except
where prohibited and in accordance
with applicable law. We are proposing
this change to give us more time to
restructure the measure and develop a
robust measure that meets the needs of
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both health care providers and other
stakeholders. Because currently there
are not standards-based interfaces
between CEHRT and PDMPs, health
care providers must manually track the
number of times that they query a PDMP
outside of CEHRT. We are proposing
this change to reduce the burden on
health care providers of having to
manually keep track of information
related to the measure and to mitigate
the burden on health IT developers who
would otherwise have to develop the
measure’s numerator and denominator
calculations when we expect to propose
changes to the measure in the near
future. Therefore, health care providers
and health IT developers have suggested
that, given the current state, there would
be a significant reduction in burden by
allowing health care providers to satisfy
the measure by submitting a ‘‘yes/no’’
response, rather than reporting a
numerator and denominator. In
addition, for the 2019 performance
period, the Query of PDMP measure is
not scored based on a clinician’s
performance as determined by a
numerator and denominator; instead, it
is an optional measure that is eligible
for a full five bonus points regardless of
how a clinician performs (83 FR 59794
through 59795). Thus, because the
measure is not scored based on
performance, requiring a ‘‘yes/no’’
response instead of a numerator and
denominator would not affect the
potential number of points that a
clinician could earn by reporting on the
measure.
We do not believe that these changes
would result in additional costs (time or
money) for health care providers, and
instead would reduce the burden of
manually tracking information needed
to report on this measure in its current
form. For CY 2019, we did not provide
exclusions for the Query of PDMP and
Verify Opioid Treatment Agreement
measures because they were optional
and eligible for bonus points, and
similarly, we do not believe exclusions
would be necessary for the Query of
PDMP measure if we finalize our
proposal to make the measure optional
and eligible for bonus points in CY
2020.
We also welcome comments on future
timing for requiring a measure that
includes EHR–PDMP integration and on
the value of the measure for advancing
the effective prevention and treatment
of opioid use disorder especially in
relation to the requirements of the
SUPPORT Act described above.
We also note that some stakeholders
have requested that we define a value
set for controlled substances for the
opioid-related measures, Query of
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PDMP and Verify Opioid Treatment
Agreement. In the CY 2019 PFS final
rule (83 FR 59803), for the Query of
PDMP and Verify Opioid Treatment
Agreement measures, we defined
opioids as Schedule II controlled
substances under 21 CFR 1308.12. We
recognize that some challenges remain
related to electronic prescribing of
controlled substances, including more
restrictive state laws and lack of
products both for health care providers
and pharmacies that include the
necessary functionalities. We anticipate
working closely with the Drug
Enforcement Administration (DEA) on
future technical requirements that can
better support measurement of adoption
and use of electronic prescribing of
controlled substances, which may
include the definition of a value set
related to such measures. As more
information on developing technical
requirements becomes available, we will
provide additional information.
As we seek comment and continue to
advance this measure, we are excited
about future innovations that may help
improve PDMPs and support the
electronic prescribing of controlled
substances. We envision a future state
where PDMP data is integrated into the
clinical workflow and where clinicians
do not have to access multiple systems
to find and reconcile the information.
While we may have a long distance to
go to get to this state, we believe that it
is an achievable goal for the future of
the Promoting Interoperability
performance category.
We are inviting comments on these
proposals.
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(C) Verify Opioid Treatment Agreement
Measure
In the CY 2019 PFS final rule (83 FR
59803 through 59806), we finalized the
Verify Opioid Treatment Agreement
measure as optional in both CYs 2019
and 2020. Since we proposed this
measure, we have received feedback
from stakeholders that this measure has
presented significant implementation
challenges and an increase in burden,
and does not further interoperability.
Below, we outline some of the ongoing
concerns we heard since the measure
was finalized in the CY 2019 PFS final
rule (83 FR 59803 through 59806).
(aa) Lack of Certification Standards and
Criteria
Stakeholders have continually
expressed concern regarding the lack of
defined data elements, structure,
standards and criteria for the electronic
exchange of opioid treatment
agreements and how this impacts
verifying whether there is an opioid
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treatment agreement to meet this
measure. We acknowledged these
concerns in the CY 2019 PFS final rule
(83 FR 59803 through 59806).
In the CY 2019 PFS final rule (83 FR
59803 through 59806), we stated that
there are a number of ways that certified
health IT may be able to support the
electronic exchange of opioid abuserelated treatment data such as the care
plan template within the ConsolidatedClinical Document Architecture (C–
CDA). We stated this information could
be considered as part of an opioid
treatment agreement, even though we
did not define the elements of one.
However, we understand that while
such standards may include relevant
information, the lack of clarity around a
specific standard to support
incorporation of an opioid treatment
agreement presents an additional source
of burden to clinicians seeking to report
on the measure.
(bb) Calculating 30 Cumulative Day
Look-Back Period
Another area where stakeholders have
expressed concern is how to calculate
30 cumulative days of opioid
prescriptions in a 6-month period. One
possible solution we offered was to
utilize the NCPDP 10.6 Medication
History query. In the CY 2019 PFS final
rule (83 FR 59803 through 59806), we
noted that the Medication History query
does not contain a discrete field for
prescription days and relies on third
party data that may not be discrete.
Since the CY 2019 PFS final rule was
published, stakeholders have continued
to express this concern and impress
upon us that the 30-cumulative day total
in a 6-month look-back period cannot be
automatically calculated, requiring
health care providers to engage in a
burdensome, manual calculation
process if they wish to report on this
measure.
In addition, we have heard concerns
over which medications should be used
to determine the 30-cumulative day
threshold. For example, stakeholders
were unsure if medications given while
a patient is admitted to the hospital
should count towards the 30 cumulative
days and also how as needed, or PRN,
medications should be addressed.
Stakeholders have also indicated that
this measure could present timing
challenges. For example, it may cause
patients being discharged on opioids to
be delayed in their discharge to account
for the possible time-consuming nature
of having to search for an opioid
treatment agreement.
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40769
(cc) Unintended Burden Caused by
Flexibility
In the CY 2019 PFS final rule (83 FR
59803 through 59806), we chose not to
define what constitutes an opioid
treatment agreement. While we believed
that this would allow flexibility for
health care providers to determine
which elements they believed were
most important to an opioid treatment
agreement, we have heard from
stakeholders that the lack of definition
and standards around what would
constitute an opioid treatment
agreement has created an unintended
burden. Specifically, some stakeholders
indicated that we should define an
opioid treatment agreement so that
MIPS eligible clinicians would have a
standardized definition of an opioid
treatment agreement and the criteria to
make up an opioid treatment agreement.
However, other stakeholders indicated
that given the lack of consensus within
the industry on what should or should
not be included in an opioid treatment
agreement and on the clinical efficacy of
various options for such agreements,
that it would be inappropriate for us to
define what should constitute an opioid
treatment agreement at this time.
We have heard from stakeholders that
the challenges described above result in
a measure that is vague, burdensome to
measure and does not necessarily offer
a clinical value to the health care
providers or support the clinical goal of
supporting OUD treatment. Therefore,
we are proposing to remove the Verify
Opioid Treatment Agreement measure
from the Promoting Interoperability
performance category beginning with
the performance period in CY 2020.
While we are proposing to remove the
Verify Opioid Treatment Agreement
measure, we believe there may be other
opioid measures that would be more
effective in combatting the opioid
epidemic, offer value for health care
providers in measuring the impacts of
health IT-enabled resources on OUD
prevention and treatment, and engage
patients in care coordination and
planning. We are seeking public
comment on a series of question in
requests for information regarding new
opioid measures in section
III.K.3.c(4)(d)(i) of this proposed rule.
We invite comments on this proposal.
(ii) Health Information Exchange
Objective
There are two measures under the
Health Information Exchange objective:
The Support Electronic Referral Loops
by Sending Health Information measure
and the Support Electronic Referral
Loops by Receiving and Incorporating
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Health Information Measure. We are
proposing minor modifications to both
measures.
(A) Proposed Modification of the
Support Electronic Referral Loops by
Sending Health Information Measure
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In the CY 2019 PFS final rule (83 FR
59807 through 59808), we renamed the
Send a Summary of Care measure to the
Support Electronic Referral Loops by
Sending Health Information measure.
Although an exclusion is available for
this measure (83 FR 59808), we
acknowledged that we did not address
in the CY 2019 PFS proposed rule how
the points for the measure would be
redistributed in the event the exclusion
is claimed, and stated that we intended
to propose a redistribution policy in
next year’s rulemaking (83 FR 59795).
Accordingly, we are proposing to
redistribute the points for the Support
Electronic Referral Loops by Sending
Health Information measure to the
Provide Patients Access to Their Health
Information measure if an exclusion is
claimed. We have chosen to redistribute
the points to the Provide Patients
Access to Their Health Information
measure because we believe that many
MIPS eligible clinicians may be eligible
to claim exclusions for both measures
under the Health Information Exchange
objective. Under our existing policy (83
FR 59788), if an exclusion is claimed for
the Support Electronic Referral Loops
by Receiving and Incorporating Health
Information measure, the 20 points
associated with it will be redistributed
to the Support Electronic Referral Loops
by Sending Health Information measure.
Under our proposal, if exclusions are
claimed for both the Support Electronic
Referral Loops by Receiving and
Incorporating Health Information
measure and the Support Electronic
Referral Loops by Sending Health
Information measure, the 40 points
associated with these measures would
be redistributed to the Provide Patients
Access to Their Health Information
measure. We are proposing that this
redistribution policy would be
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applicable beginning with the 2019
performance period/2021 MIPS
payment year.
We invite comments on this proposal.
(B) Modification of the Support
Electronic Referral Loops by Receiving
and Incorporating Health Information
Measure
In the CY 2019 PFS final rule (83 FR
59808 through 59812), we replaced the
Request/Accept Summary of Care
measure and the Clinical Information
Reconciliation measure with a new
measure called the Support Electronic
Referral Loops by Receiving and
Incorporating Health Information
measure. We established the following
exclusion for the new measure: Any
MIPS eligible clinician who receives
fewer than 100 transitions of care or
referrals or has fewer than 100
encounters with patients never before
encountered during the performance
period would be excluded from this
measure (83 FR 59812). We are
proposing to revise this description of
the exclusion to more clearly and
precisely capture our intended policy.
The Request/Accept Summary of Care
measure, which as noted previously was
replaced by the new Support Electronic
Referral Loops by Receiving and
Incorporating Health Information
measure, included the following
exclusion: Any MIPS eligible clinician
who receives transitions of care or
referrals or has patient encounters in
which the MIPS eligible clinician has
never before encountered the patient
fewer than 100 times during the
performance period (83 FR 59798, 82 FR
53679 through 53680). Our intention
was to use that same exclusion from the
Request/Accept Summary of Care
measure for the new Support Electronic
Referral Loops by Receiving and
Incorporating Health Information
measure. Instead, the description of the
exclusion that we included in the CY
2019 PFS final rule (83 FR 59812) did
not precisely track the description of the
Request/Accept Summary of Care
measure exclusion, and could be
construed in a way that would make the
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exclusion more difficult for a MIPS
eligible clinician to meet. Specifically, it
could be read to create two different sets
of exclusion criteria: Receiving fewer
than 100 transitions of care or referrals;
or having fewer than 100 encounters
with patients never before encountered.
This was not our intention. Rather, as
with the Request/Accept Summary of
Care measure exclusion, our intention
was that a combination of the two
criteria must occur fewer than 100 times
during the performance period for the
exclusion to be applicable to a MIPS
eligible clinician. Thus, we are
proposing to revise the description of
the Support Electronic Referral Loops
by Receiving and Incorporating Health
Information measure exclusion to track
the description of the Request/Accept
Summary of Care measure exclusion (83
FR 59798, 82 FR 53679 through 53680):
Any MIPS eligible clinician who
receives transitions of care or referrals
or has patient encounters in which the
MIPS eligible clinician has never before
encountered the patient fewer than 100
times during the performance period.
For example, during the performance
period, if a MIPS eligible clinician
received 50 transitions of care, 50
referrals, and 50 patient encounters in
which they have never before
encountered the patient, the total sum of
150 would be above the threshold of
fewer than 100 times, and therefore the
MIPS eligible clinician would not be
eligible for this exclusion. We are
proposing that the revised description of
the exclusion would be applicable
beginning with the 2019 performance
period/2021 MIPS payment year.
For ease of reference, Table 41 lists
the objectives and measures for the
Promoting Interoperability performance
category for the 2020 performance
period as revised to reflect the proposals
made in this proposed rule. For more
information on the 2015 Edition
certification criteria required to meet the
objectives and measures, we refer
readers to Table 43 in the CY 2019 PFS
final rule (83 FR 59817).
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TABLE 41: Objectives and Measures for the Promoting Interoperability Performance
Category in 2020
Obj~etive
·..
. ·•
])'Ieasure
.•
e-Prescribing:
Generate and
transmit
permissible
prescriptions
electronically
e-Prescribing: At
least one permissible
prescription written
by the MIPS eligible
clinician is queried
for a drug formulary
and transmitted
electronically using
CEHRT.
Number of
prescriptions in the
denominator
generated, queried for
a drug formulary, and
transmitted
electronically using
CEHRT.
e-Prescribing:
Generate and
transmit
permissible
prescriptions
electronically.
Query ofPDMP
(bonus): For at least
one Schedule II
opioid electronically
prescribed using
CEHRT during the
performance period,
the MIPS eligible
clinician uses data
from CEHRT to
conduct a query of a
PDMPfor
prescription drug
history, except where
prohibited and in
accordance with
applicable law.
Support Electronic
Referral Loops by
Sending Health
Information: For at
least one transition of
care or referral, the
MIPS eligible
clinician that
transitions or refers
their patient to
another setting of
care or health care
provider (1) creates a
summary of care
using CEHRT; and
(2) electronically
exchanges the
summary of care
record.
N/A (measure is YIN)
Health
Infonnation
Exchange: The
MIPS eligible
clinician
provides a
summary of care
record when
transitioning or
referring their
patient to
another setting
of care, receives
or retrieves a
summary of care
record upon the
receipt of a
transition or
referral or upon
the first patient
encounter with a
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·..
·.·•.
.
' .. .. l)e•u»:minatqr
·...
Number of transitions
of care and referrals in
the denominator where
the summary of care
record was created
using CEHRT and
exchanged
electronically
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···· . .
< Exclusi~n
....
..
Number of prescriptions
written for drugs
requiring a prescription
in order to be dispensed
other than controlled
substances during the
performance period; or
number of prescriptions
written for drugs
requiring a prescription
in order to be dispensed
during the performance
period.
N/A (measure is YIN)
Any MIPS eligible clinician who
writes fewer than 100
permissible prescriptions during
the performance period.
Number of transitions of
care and referrals during
the performance period
for which the MIPS
eligible clinician was the
transferring or referring
clinician
Any MIPS eligible clinician
who transfers a patient to
another setting or refers a
patient fewer than 100 times
during the performance
period.
Sfmt 4725
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.
N/A
14AUP2
EP14AU19.080
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.·'
.• . .·.
·•
Qbj~ctive
··.... ·
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new patient, and
incorporates
summary of care
information from
other health care
providers into
their EHR using
the functions of
CEHRT.
Health
Information
Exchange: The
MIPS eligible
clinician
provides a
summary of care
record when
transitioning or
referring their
patient to
another setting
of care, receives
or retrieves a
summary of care
record upon the
receipt of a
transition or
referral or upon
the first patient
encounter with a
new patient, and
incorporates
summary of care
information from
other health care
providers into
their EHR using
the functions of
CEHRT.
Provider to
Patient
Exchange: The
MIPS eligible
clinician
provides patients
(or patientauthorized
representative)
with timely
electronic access
to their health
information.
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.
. ..
..·Measure
:
'. ..
..·
'
.
.. ·. .·
I'
·..
Support Electronic
Referral Loops by
Receiving and
Incorporating Health
Information: For at
least one electronic
summary of care
record received for
patient encounters
during the
performance period
for which a MIPS
eligible clinician was
the receiving party of
a transition of care or
referral, or for patient
encounters during the
performance period in
which the MIPS
eligible clinician has
never before
encountered the
patient, the MIPS
eligible clinician
conducts clinical
information
reconciliation for
medication,
mediation allergy,
and current problem
list.
Provide Patients
Electronic Access to
Their Health
Information: For at
least one unique
patient seen by the
MIPS eligible
clinician: 1.
The patient (or the
patient-authorized
representative) is
provided timely
access to view online,
download, and
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.... ·-~··
.... ·..
NumeJ'attir
·.. ··. ·. ·.·
·
'.·.·.··..
.\
•
<
•
De~ominato.r
.. •.
Number of electronic
summary of care
records in the
denominator for which
clinical information
reconciliation is
completed using
CEHRT for the
following three clinical
information sets: (1)
Medication- Review
of the patient's
medication, including
the name, dosage,
frequency, and route of
each medication; (2)
Medication allergy Review of the patient's
known medication
allergies; and (3)
Current Problem ListReview of the patient's
current and active
diagnoses.
Number of electronic
summary of care records
received using CEHRT
for patient encounters
during the performance
period for which a MIPS
eligible clinician was the
receiving party of a
transition of care or
referral, and for patient
encounters during the
performance period in
which the MIPS eligible
clinician has never before
encountered the patient.
Number of patients in
the denominator (or
patient authorized
representative) who are
provided timely access
to health information
to view online,
download, and transmit
to a third party and to
access using an
application of their
choice that is
configured meet the
technical specifications
Number of unique
patients seen by the
MIPS eligible clinician
during the performance
period.
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.
·
····.
......
·
Exclusion
.
Any MIPS eligible clinician
who receives transitions of
care or referrals or has patient
encounters in which the MIPS
eligible clinician has never
before encountered the patient
fewer than 100 times during
the performance period.
N/A
14AUP2
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Public Health
and Clinical
Data Exchange:
The MIPS
eligible clinician
is in active
engagement with
a public health
agency or
clinical data
registry to
submit electronic
public health
data in a
meaningful way
using CEHRT,
except where
prohibited, and
in accordance
with applicable
law and practice.
Public Health
and Clinical
Data Exchange:
The MIPS
eligible clinician
is in active
engagement with
a public health
VerDate Sep<11>2014
..... ·-~··
··.... ·
·
.... ·..
NumeJ'attir
transmit his or her
of the API in the MIPS
health information;
eligible clinician's
and
CEHRT.
2.The MIPS eligible
clinician ensures the
patient's health
information is
available for the
patient (or patientauthorized
representative) to
access using any
application of their
choice that is
configured to meet
the technical
specifications of the
Application
Programming
Interface (APT) in the
MIPS eligible
clinician's CEHRT.
Il1llllunization
N/A (measure is
Registry Reporting:
Yes/No)
The MIPS eligible
clinician is in active
engagement with a
public health agency
to submit
innnunization data
and receive
il1llllunization
forecasts and histories
from the public health
il1llllunization
registry/il1llllunization
information system
(liS).
Syndromic
Surveillance
Reporting: The MIPS
eligible clinician is in
active engagement
with a public health
agency to submit
syndromic
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N/A (measure is
Yes/No)
Frm 00293
.. •.
·.. ··. ·. ·.·
Fmt 4701
·
.·
····.
..... .
·
Exclusion
N/A (measure is Yes/No) The MIPS eligible clinician:
l.does not administer any
il1llllunizations to any of the
populations for which data is
collected by its jurisdiction's
il1llllunization registry or
il1llllunization information
system during the perfonnance
period; OR 2.operates in a
jurisdiction for which no
il1llllunization registry or
il1llllunization information
system is capable of accepting
the specific standards required to
meet the CEHRT definition at
the start of the perfonnance
period; OR 3. operates in a
jurisdiction where no
il1llllunization registry or
il1llllunization information
system has declared readiness to
receive il1llllunization data as of
6 months prior to the start of the
perfonnance period.
N/A (measure is Yes/No) The MIPS eligible clinician l.ls
not in a category of health care
providers from which
ambulatory syndromic data is
collected by their jurisdiction's
syndromic surveillance system;
OR 2.operates in a jurisdiction
for which no public health
Sfmt 4725
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14AUP2
EP14AU19.082
I
40773
40774
.·'
.• . .·.
·•
Qbj~ctive
··.... ·
agency or
clinical data
registry to
submit electronic
public health
data in a
meaningful way
using CEHRT,
except where
prohibited, and
in accordance
with applicable
law and practice.
Public Health
and Clinical
Data Exchange:
The MIPS
eligible clinician
is in active
engagement with
a public health
agency or
clinical data
registry to
submit electronic
public health
data in a
meaningful way
using CEHRT,
except where
prohibited, and
in accordance
with applicable
law and practice.
Public Health
and Clinical
Data Exchange:
The MIPS
eligible clinician
is in active
engagement with
a public health
agency or
clinical data
registry to
submit electronic
public health
data in a
meaningful way
using CEHRT,
except where
prohibited, and
in accordance
with applicable
VerDate Sep<11>2014
.
. ..
..·Measure
:
'. ..
..·
'
.
.. ·. .·
I'
·..
.... ·-~··
:·.. ·.. ·.. ··. ·. ·.·
NumeJ'attir
surveillance data
from an urgent care
setting.
Electronic Case
Reporting: The MIPS
eligible clinician is in
active engagement
with a public health
agency to
electronically submit
case reporting of
reportable conditions.
N/A (measure is
Yes/No)
Public Health
Registry Reporting:
The MIPS eligible
clinician is in active
engagement with a
public health agency
to submit data to
public health
registries.
N/A (measure is
Yes/No)
18:25 Aug 13, 2019
Jkt 247001
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Frm 00294
Fmt 4701
·
'.·.·.··..
.\
•
<
•
De~ominato.r
.. •.
.
·
····.
......
·
Exclusion
.
agency is capable of receiving
electronic syndromic
surveillance data in the specific
standards required to meet the
CEHRT definition at the start of
the performance period; OR
3.operates in a jurisdiction where
no public health agency has
declared readiness to receive
syndromic surveillance data from
MIPS eligible clinicians as of 6
months prior to the start of the
performance period.
N/A (measure is Yes/No) The MIPS eligible clinician:
l.Does not treat or diagnose any
reportable diseases for which
data is collected by their
jurisdiction's reportable disease
system during the performance
period; OR 2.operates in a
jurisdiction for which no public
health agency is capable of
receiving electronic case
reporting data in the specific
standards required to meet the
CEHRT definition at the start of
the performance period; OR 3.
operates in a jurisdiction where
no public health agency has
declared readiness to receive
electronic case reporting data as
of 6 months prior to the start of
the performance period.
N/A (measure is Yes/No) The MIPS eligible clinician:
I .Does not diagnose or directly
treat any disease or condition
associated with a public health
registry in the MIPS eligible
clinician's jurisdiction during the
performance period; OR
2.operates in a jurisdiction for
which no public health agency is
capable of accepting electronic
registry transactions in the
specific standards required to
meet the CEHRT definition at
the start of the performance
period; OR 3.operates in a
jurisdiction where no public
health registry for which the
MIPS eligible clinician is
eligible has declared readiness to
receive electronic registry
Sfmt 4725
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BILLING CODE 4120–01–C
(e) Scoring Methodology
(i) Proposed Changes to the Scoring
Methodology for the 2020 Performance
Period
EP14AU19.085
proposal for the Query of PDMP
measure; and (3) remove the Verify
Opioid Treatment Agreement measure
beginning in 2020. Table 42 reflects
these proposals, although the maximum
points available do not include points
that would be redistributed in the event
that an exclusion is claimed.
BILLING CODE 4120–01–C
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In the CY 2019 PFS final rule (83 FR
59785 through 59796), we finalized a
new performance-based scoring
methodology for the Promoting
Interoperability performance category
beginning with the performance period
in 2019. As previously discussed in
section III.K.3.c.(4)(d)(i) of this proposed
rule, we are proposing to: (1) Make the
Query of PDMP measure optional and
eligible for five bonus points in CY
2020; (2) make the e-Prescribing
measure worth up to 10 points in CY
2020, in the event we finalize the
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(f) Additional Considerations
(i) Nurse Practitioners, Physician
Assistants, Clinical Nurse Specialists,
and Certified Registered Nurse
Anesthetists
In prior rulemaking (83 FR 59818
through 59819), we discussed our belief
that certain types of MIPS eligible
clinicians (NPs, PAs, CNSs, and CRNAs)
may lack experience with the adoption
and use of CEHRT. Because many of
these non-physician clinicians were or
are not eligible to participate in the
Medicare or Medicaid EHR Incentive
Program (now known as the Promoting
Interoperability Program), we stated that
we have little evidence as to whether
there are sufficient measures applicable
and available to these types of MIPS
eligible clinicians under the advancing
care information (now known as
Promoting Interoperability) performance
category. We established a policy at
§ 414.1380(c)(2)(i)(A)(5) for the
performance periods in 2017, 2018, and
2019 under section 1848(q)(5)(F) of the
Act to assign a weight of zero to the
Promoting Interoperability performance
category in the MIPS final score if there
are not sufficient measures applicable
and available to NPs, PAs, CRNAs, and
CNSs. We will assign a weight of zero
only in the event that an NP, PA, CRNA,
or CNS does not submit any data for any
of the measures specified for the
Promoting Interoperability performance
category, but if they choose to report,
they will be scored on the Promoting
Interoperability performance category
like all other MIPS eligible clinicians
and the performance category will be
given the weighting prescribed by
section 1848(q)(5)(E) of the Act. We
stated our intention to use data from the
first performance period (2017) to
further evaluate the participation of
these MIPS eligible clinicians in the
Promoting Interoperability performance
category and consider for subsequent
years whether the measures specified
for this category are applicable and
available to these MIPS eligible
clinicians.
We have analyzed the data submitted
for the 2017 performance period for the
Promoting Interoperability performance
category, and have discovered that the
vast majority of MIPS eligible clinicians
submitted data as part of a group. While
we are pleased that MIPS eligible
clinicians utilized the option to submit
data as a group, it does limit our ability
to analyze data at the individual NPI
level. For example, when a group of
MIPS eligible clinicians chooses to
report for MIPS as a group, the data
submitted are representative of that
entire group, as opposed to each
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19:12 Aug 13, 2019
Jkt 247001
individual MIPS eligible clinician in the
group submitting data that exclusively
reflect his/her own performance.
Approximately 4 percent of MIPS
eligible clinicians who are NPs, PAs,
CRNAs, or CNSs submitted data
individually for MIPS, and more than
two-thirds of them did not submit data
for the Promoting Interoperability
performance category. Additionally, we
are challenged because many of the
measures that were available for
submission for the 2017 performance
period are now unavailable, due to our
discontinuation of the Promoting
Interoperability transition measure set,
and the overhaul of the performance
category that further reduced the
number of available measures. For these
reasons, we are unable to determine, at
this time, whether the measures
currently specified for the Promoting
Interoperability performance category
for the 2020 performance period are
applicable and available for NPs, PAs,
CRNAs, and CNSs. However, as more
data beyond this first year become
available, we plan to reevaluate the
measures and consider how we could
ensure that there are sufficient measures
applicable and available for these types
of MIPS eligible clinicians.
Thus, we are proposing to continue
the existing policy of reweighting the
Promoting Interoperability performance
category for NPs, PAs, CRNAs, and
CNSs for the performance period in
2020, and to revise
§ 414.1380(c)(2)(i)(A)(5) to reflect this
proposal. We are requesting public
comments on this proposal.
(ii) Physical Therapists, Occupational
Therapists, Qualified Speech-Language
Pathologist, Qualified Audiologists,
Clinical Psychologists, and Registered
Dieticians or Nutrition Professionals
In the CY 2019 PFS final rule (83 FR
59819 through 59820), we adopted a
policy at § 414.1380(c)(2)(i)(A)(4) to
apply the same policy we adopted for
NPs, PAs, CNSs, and CRNAs for the
performance periods in 2017–2019 to
these new types of MIPS eligible
clinicians (physical therapists,
occupational therapists, qualified
speech-language pathologist, qualified
audiologists, clinical psychologists, and
registered dieticians or nutrition
professionals) for the performance
period in 2019. Because many of these
clinician types were or are not eligible
to participate in the Medicare or
Medicaid Promoting Interoperability
Program, we have little evidence as to
whether there are sufficient measures
applicable and available to them under
the Promoting Interoperability
performance category.
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For the reasons discussed in section
III.K.3.c.(4)(f)(i), for the performance
period in 2020, we are proposing to
continue the existing policy of
reweighting the Promoting
Interoperability performance category
for physical therapists, occupational
therapists, qualified speech-language
pathologist, qualified audiologists,
clinical psychologists, and registered
dieticians or nutrition professionals,
and to revise § 414.1380(c)(2)(i)(A)(4) to
reflect this proposal. We invite
comments on this proposal.
(iii) Hospital-Based MIPS Eligible
Clinicians in Groups
We define a hospital-based MIPS
eligible clinician under § 414.1305 as a
MIPS eligible clinician who furnishes
75 percent or more of his or her covered
professional services in sites of services
identified by the Place of Service (POS)
codes used in the HIPAA standard
transaction as an inpatient hospital
(POS 21), on campus outpatient hospital
(POS 22), off campus outpatient hospital
(POS 19), or emergency room (POS 23)
setting, based on claims for the MIPS
determination period (81 FR 77238
through 77240, 82 FR 53686 through
53687, 83 FR 59727 through 59730). We
established under
§ 414.1380(c)(2)(i)(C)(6) that a MIPS
eligible clinician who is a hospitalbased MIPS eligible clinician as defined
in § 414.1305 will be assigned a zero
percent weight for the Promoting
Interoperability performance category,
and the points associated with the
Promoting Interoperability performance
category will be redistributed to another
performance category or categories (81
FR 77238 through 77240, 82 FR 53684,
83 FR 59871). However, if a hospitalbased MIPS eligible clinician chooses to
report on the Promoting Interoperability
performance category measures, they
will be scored on the Promoting
Interoperability performance category
like all other MIPS eligible clinicians,
and the performance category will be
given the weighting prescribed by
section 1848(q)(5)(E) of the Act
regardless of their Promoting
Interoperability performance category
score. We stated that this policy
includes MIPS eligible clinicians
choosing to report as part of a group or
part of a virtual group (82 FR 53687).
Under § 414.1310(e)(2)(ii), individual
eligible clinicians that elect to
participate in MIPS as a group must
aggregate their performance data across
the group’s TIN (81 FR 77058). For
groups reporting on the Promoting
Interoperability performance category,
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we stated that group data should be
aggregated for all MIPS eligible
clinicians within the group (81 FR
77214 through 77216, 82 FR 53687). We
stated that this includes those MIPS
eligible clinicians who may qualify for
a zero percent weighting of the
Promoting Interoperability performance
category due to circumstances such as a
significant hardship or other type of
exception, hospital-based or ASC-based
status, or certain types of non-physician
practitioners (82 FR 53687). We
established at § 414.1380(c)(2)(iii) that
for MIPS eligible clinicians submitting
data as a group or virtual group, in order
for the Promoting Interoperability
performance category to be reweighted,
all of the MIPS eligible clinicians in the
group or virtual group must qualify for
reweighting (82 FR 53687, 83 FR 59871).
We have heard from several
stakeholders that our policy for groups
that include hospital-based MIPS
eligible clinicians sets a threshold that
is too restrictive for a variety of reasons.
Some stated that due to high turnover
rates for hospital medicine groups,
many such groups rely on locum tenens
clinicians who may practice in multiple
settings. They stated that if a hospital
medicine group includes only one MIPS
eligible clinician who does not meet the
definition of a hospital-based MIPS
eligible clinician, it could prevent the
group from qualifying for reweighting
because not all of the MIPS eligible
clinicians in the group would be
considered hospital-based. A few
acknowledged that while hardship
exceptions are available for MIPS
eligible clinicians who lack control over
CEHRT because they use the hospital’s
CEHRT, it is an administrative burden
to have to submit a hardship exception
application, especially if the clinician
has a locum tenens relationship. We
agree that hospital medicine groups may
face unique circumstances due to the
nature of their practice area and the
staffing practices described by
stakeholders. Thus, we are proposing to
revise the definition of a hospital-based
MIPS eligible clinician under § 414.1305
to include groups and virtual groups.
We are proposing that, beginning with
the 2022 MIPS payment year, a hospitalbased MIPS eligible clinician under
§ 414.1305 means an individual MIPS
eligible clinician who furnishes 75
percent or more of his or her covered
professional services in sites of service
identified by the POS codes used in the
HIPAA standard transaction as an
inpatient hospital, on-campus
outpatient hospital, off campus
outpatient hospital, or emergency room
setting based on claims for the MIPS
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18:25 Aug 13, 2019
Jkt 247001
determination period, and a group or
virtual group provided that more than
75 percent of the NPIs billing under the
group’s TIN or virtual group’s TINs, as
applicable, meet the definition of a
hospital-based individual MIPS eligible
clinician during the MIPS determination
period. We believe a threshold of more
than 75 percent is appropriate because
it is consistent with the thresholds for
groups in the definitions of facilitybased MIPS eligible clinician and nonpatient facing MIPS eligible clinician
under § 414.1305. We are proposing to
revise § 414.1380(c)(2)(iii) to specify
that for the Promoting Interoperability
performance category to be reweighted
for a MIPS eligible clinician who elects
to participate in MIPS as part of a group
or virtual group, all of the MIPS eligible
clinicians in the group or virtual group
must qualify for reweighting, or the
group or virtual group must meet the
proposed revised definition of a
hospital-based MIPS eligible clinician
(or the definition of a non-patient facing
MIPS eligible clinician, as proposed in
section III.K.3.c.(4)(f)(iv), as defined in
§ 414.1305.
(iv) Non-Patient Facing MIPS Eligible
Clinicians in Groups
We define a non-patient facing MIPS
eligible clinician under § 414.1305 as an
individual MIPS eligible clinician who
bills 100 or fewer patient facing
encounters (including Medicare
telehealth services defined in section
1834(m) of the Act), as described in
paragraph (3) of this definition, during
the MIPS determination period, and a
group or virtual group provided that
more than 75 percent of the NPIs billing
under the group’s TIN or virtual group’s
TINs, as applicable, meet the definition
of a non-patient facing individual MIPS
eligible clinician. We established under
§ 414.1380(c)(2)(i)(C)(5) that a MIPS
eligible clinician who is a non-patient
facing MIPS eligible clinician as defined
in § 414.1305 will be assigned a zero
percent weight for the Promoting
Interoperability performance category,
and the points associated with the
Promoting Interoperability performance
category will be redistributed to another
performance category or categories (81
FR 77240 through 77243, 82 FR 53680–
53682, 83 FR 59871). However, if a nonpatient facing MIPS eligible clinician
chooses to report on the Promoting
Interoperability performance category
measures, they will be scored on the
Promoting Interoperability performance
category like all other MIPS eligible
clinicians, and the performance category
will be given the weighting prescribed
by section 1848(q)(5)(E) of the Act
regardless of their Promoting
PO 00000
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40777
Interoperability performance category
score. We stated that this policy
includes MIPS eligible clinicians
choosing to report as part of a group or
part of a virtual group (82 FR 53687).
As noted in section III.K.3.c.(4)(f)(iii)
of the proposed rule in connection with
our discussion of hospital-based MIPS
eligible clinicians in groups, under
§ 414.1380(c)(2)(iii), for MIPS eligible
clinicians submitting data as a group or
virtual group, in order for the Promoting
Interoperability performance category to
be reweighted, all of the MIPS eligible
clinicians in the group or virtual group
must qualify for reweighting. In that
section, we are proposing to revise
§ 414.1380(c)(2)(iii) to account for
groups and virtual groups that meet the
proposed revised definition of a
hospital-based MIPS eligible clinician
under § 414.1305, which would only
require the group or virtual group to
meet a threshold of more than 75
percent instead of a threshold of all of
the MIPS eligible clinicians in the group
or virtual group. In an effort to more
clearly and concisely capture our
existing policy for non-patient facing
MIPS eligible clinicians, we are
proposing to revise § 414.1380(c)(2)(iii)
to also account for a group or virtual
group that meets the definition of a nonpatient facing MIPS eligible clinician
under § 414.1305, such that the group or
virtual group only has to meet a
threshold of more than 75 percent.
(g) Future Direction of the Promoting
Interoperability Performance Category
(i) Request for Information (RFI) on
Potential Opioid Measures for Future
Inclusion in the Promoting
Interoperability Performance Category
In the past, the Promoting
Interoperability performance category
measures focused on very general
process focused actions supported by
health IT. In the Medicare and Medicaid
Programs; Electronic Health Record
Incentive Program—Stage 3 and
Modifications to Meaningful Use in
2015 through 2017 final rule (80 FR
62766 through 62768), we sought to
expand the potential for Medicare and
Medicaid Promoting Interoperability
Program measures to include more
complex measures and closer
relationships to high priority health
outcomes.
In this RFI, we are seeking comment
on Promoting Interoperability
performance category measures that
might be relevant to specific clinical
priorities or goals related to addressing
OUD prevention and treatment. As the
Query of PDMP measure matures, we
believe it will be essential in improving
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prescribing practices. As outlined in
section III.K.3.c.(4)(d).(i) of this
proposed rule, stakeholders indicated
that the Verify Opioid Treatment
Agreement measure presented
significant implementation challenges
for MIPS eligible clinicians. Therefore,
we are seeking comment on potential
new measures for OUD prevention and
treatment that could be included in
future years of the Promoting
Interoperability performance category.
We welcome all comments, but we are
seeking comment specifically on
possible OUD prevention and treatment
measures that include the following
characteristics:
• Include evidence of positive impact
on outcome-focused improvement
activities, and the opioid crisis overall;
• Leverage the capabilities of CEHRT
where possible, including: nearautomatic calculation and reporting of
numerator, denominator, exclusions and
exceptions to minimize manual
documentation required of the provider;
and timing elements to reduce quality
measurement and reporting burdens to
the greatest extent possible;
• Are based on well-defined clinical
concepts, measure logic and timing
elements that can be captured by
CEHRT in standard clinical workflow
and/or routine business operations.
Well-defined clinical concepts include
those that can be discretely represented
by available clinical and/or claims
vocabularies such as SNOMED CT,
LOINC, RxNorm, ICD–10 or CPT;
• Align with clinical workflows in
such a way that data used in the
calculation of the measure is collected
as part of a standard workflow and does
not require any additional steps or
actions by the health care provider;
• Are applicable to all clinicians (for
example, clinicians participating as
individuals or as a group, or clinicians
located in a rural area, designated health
professional shortage area (HPSA),
designated medically-underserved area
(MUA), or urban area);
• Could potentially align with other
MIPS performance categories; and
• Are represented by a measure
description, numerator/denominator or
yes/no attestation statement, and
possible exclusions.
(ii) Request for Information (RFI) on
NQF and CDC Opioid Quality Measures
We also are specifically seeking
public comment on the development of
potential measures for consideration for
the Promoting Interoperability
performance category that are based on
existing efforts to measure clinical and
process improvements specifically
related to the opioid epidemic,
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18:25 Aug 13, 2019
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including the opioid quality measures
endorsed by the National Quality Forum
(NQF) and the CDC Quality
Improvement (QI) opioid measures
discussed below. The NQF measures
represent a reference point for
evaluating opioid prescribing behaviors
based on measures that have undergone
the rigorous NQF measure endorsement
process. The CDC guidelines ‘‘encourage
careful and selective use of opioid
therapy in the context of managing
chronic pain through . . . an evidencebased prescribing guideline.’’ 117 The
guidelines have led to the development
of CDC measures on prescribing
practices on which we are seeking
comment. We believe these measures
may help participants understand the
relationship between the measure
description and the use of health IT to
support the actions of the measures.
For example, the measures may
describe a clinical concept, such as the
CDC Measure 12: Counsel on Risks and
Benefits Annually. The actions for this
activity can be supported by CEHRT
through the use of standards to record
key health information for the patient
and to identify which patients should be
included in the denominator based on
information in the medication list,
information gained through medication
reconciliation of data received through
health information exchange with
another health provider of care, and/or
information incorporated after a query
of a PDMP is completed. The actions for
the numerator could include leveraging
CEHRT to provide patient-specific
education, to capture or record Patient
Generated Health Data (PGHD), to
engage in secure messaging with the
patient and ensure the patient is
engaging with their record through a
patient portal or an Application
Programming Interface (API).
We believe that the clinical actions
identified within both the NQF quality
measures and the CDC QI opioid
measures, can be supported by the
standards and functionalities of certified
health IT and we welcome public
comment on the specific use cases for
health IT implementation for the
potential measure actions. We recognize
that modifications to the NQF and CDC
measures may be necessary to make the
measures as applicable as possible to all
participants of the Promoting
Interoperability performance category,
and are seeking comment on any
modifications that would be necessary.
In addition, we note that there is some
overlap between some of the NQF
117 https://www.cdc.gov/drugoverdose/pdf/
prescribing/CDC–DUIP-QualityImprovement
AndCareCoordination-508.pdf.
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quality measures and the CDC QI opioid
measures and are seeking comment on
whether there are ways in which the
two sets of measures could be correlated
to support potential new measures of
the meaningful use of health IT for the
Promoting Interoperability performance
category. Finally, we are seeking
comment on which measures might best
advance the implementation and use of
interoperable health IT and encourage
information exchange between care
teams and with patients.
(A) NQF Quality Measures
Three NQF-endorsed quality
measures that were stewarded by the
Pharmacy Quality Alliance (PQA)
evaluate patients with prescriptions for
opioids in combination with
benzodiazepines, at high-dosage, or
from multiple prescribers and
pharmacies. Each measure was
evaluated and recommended for
endorsement by the NQF’s Patient
Safety Standing Committee 118 and
endorsed by the Consensus Standards
Approval Committee. These measures,
NQF #2940, #2950, and #2951, were
recommended by the NQF Measure
Application Partnership for inclusion
on the December 2018 Measures Under
Consideration List for the Medicare
Shared Savings Program.
We are seeking public comment on
the development of potential measures
for consideration for the Promoting
Interoperability performance category
that are based on existing efforts to
measure clinical and process
improvements specifically related to the
opioid epidemic, including the opioid
quality measures endorsed by the NQF
above and the CDC QI opioid measures
discussed below. The NQF measures
represent a reference point for
evaluating opioid prescribing behaviors
based on measures that have undergone
the rigorous NQF measure endorsement
process. The CDC guidelines ‘‘encourage
careful and selective use of opioid
therapy in the context of managing
chronic pain through . . . an evidencebased prescribing guideline.’’ 119 The
guidelines have led to the development
of CDC measures on prescribing
practices on which are seeking
comment. We are seeking comment on
the following three NQF measures for
possible inclusion in the Promoting
Interoperability performance category
and any modifications that may be
118 https://www.qualityforum.org/News_And_
Resources/Press_Releases/2017/NQF_Statement_
on_Endorsement_of_Opioid_Patient_Safety_
Measures.aspx.
119 https://www.cdc.gov/drugoverdose/pdf/
prescribing/CDC–DUIP-QualityImprovement
AndCareCoordination-508.pdf.
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necessary to maximize their use in the
Promoting Interoperability performance
category:
• Use of Opioids at High Dosage in
Persons Without Cancer (NQF #2940).
• Use of Opioids from Multiple
Providers in Persons Without Cancer
(NQF #2950).
• Use of Opioids from Multiple
Providers and at High Dosage in Persons
Without Cancer (NQF #2951).
We believe these measures relate to
activities that hold promise in
combatting the opioid epidemic and can
be supported using CEHRT to complete
the actions of the measures. Therefore,
we are seeking comment on how the
Promoting Interoperability performance
category can incorporate the description
of the use of technology into measure
guidance if these measures were
considered for use by MIPS eligible
clinicians. For example, the actions
related to the Use of Opioids from
Multiple Providers in Persons Without
Cancer (NQF #2950) measure could
include using health IT to electronically
prescribe the medication, to query a
PDMP, to identify other care team
members, to conduct medication
reconciliation based on information
received through health information
exchange with other providers of care,
and recording key health information in
a structured format. Additional
information regarding each measure is
available using NQF’s Quality
Positioning System at https://
www.qualityforum.org/QPS/
QPSTool.aspx.
(B) CDC Quality Improvement Opioid
Measures
We believe there may be promise in
the CDC QI opioid measures based on
the prescribing best practices found in
Appendix B in the CDC document,
‘‘Quality Improvement and Care
Coordination: Implementing the CDC
Guideline for Prescribing Opioids for
Chronic Pain’’ (Implementing the CDC
Prescribing Guideline).120 CDC
developed the ‘‘Implementing the CDC
Prescribing Guideline’’ document to
help healthcare providers and systems
integrate the CDC Prescribing
Guideline 121 and the associated QI
opioid measures found in the
Implementing the CDC Prescribing
Guideline document into their clinical
practices. The CDC developed 16 QI
opioid measures to align with the
recommendations in the CDC
Prescribing Guideline and to improve
120 https://www.cdc.gov/drugoverdose/pdf/
prescribing/CDC-DUIP-QualityImprovement
AndCareCoordination-508.pdf.
121 https://www.cdc.gov/mmwr/volumes/65/rr/
rr6501e1.htm.
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opioid prescribing. These measures are
intended to measure implementation of
the recommended practices.
Generally, we believe these guidelines
and measures are consistent with the
objective and measure concept of the
Promoting Interoperability performance
category where the recommendation in
the CDC Prescribing Guideline is the
overarching objective and an associated
QI opioid measure is a description of
the patient population focus
(denominator) and the desired action
(numerator). The ‘‘Implementing the
CDC Prescribing Guideline’’ document,
also, includes practice-level strategies to
help organize and improve the
management and coordination of longterm opioid therapy:
• Using an interdisciplinary team
approach.
• Establishing practice policies and
standards.
• Using EHR data to develop
registries and track QI opioid measures.
These following measures address
treatment guidelines for initial
treatment practices and long-term
treatment and outcomes. Examples of
measures related to short term OUD
prevention and treatment activities
include:
• CDC Measure 2: Check PDMP
Before Prescribing Opioids.
• CDC Measure 4: Evaluate Within
Four Weeks of Starting Opioids.
Examples of measures related to long
term OUD prevention and treatment
activities include:
• CDC Measure 11: Check PDMP
Quarterly.
• CDC Measure 12: Counsel On Risks
and Benefits Annually.
The data sources from these measures
include State PDMP data or the practice
EHR data field.
The CDC and the Agency for
Healthcare Research and Quality
(AHRQ) are also developing electronic
clinical decision support tools that can
provide real-time clinical decision
support for some of the best practices
included in the Implementing the CDC
Prescribing Guideline document based
on well-defined clinical concepts.122
Well-defined clinical concepts are those
that can be discretely represented by
available content standards or
vocabularies such as SNOMED CT or
LOINC. In the context of QI measures,
these well-defined clinical concepts that
are part of the clinical decision support
artifacts, including the clinical
conditions or prescribed medications
that trigger the decision support, could
also be used to develop measures for the
122 https://cds.ahrq.gov/cdsconnect/topic/
opioids-and-pain-management.
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Promoting Interoperability performance
category related to OUD prevention and
treatment. This can create a tight linkage
between the guidelines, the
recommended clinical actions based on
the guidelines, and the improved
outcomes based on the recommended
clinical actions.
Therefore, we are seeking comment
on which of the 16 CDC QI opioid
measures have value for potential
consideration for the Promoting
Interoperability performance category.
We are further seeking comment on
whether we should consider a different
type of measurement concept for OUD
prevention and treatment, such as
reporting on a set of cross-cutting
activities and measures to earn credit in
the Promoting Interoperability
performance category (for example, a set
of one clinical decision support, the
related CDC QI opioid measure, and a
potentially relevant clinical quality
measure). While the CDC quality
measures could be implemented for the
Quality category, they are highlighted as
under consideration for the PI category
as they have been linked in the CDC
work to the use of CDS artifacts through
health IT, as discussed.
We refer readers to the ‘‘Implementing
the CDC Prescribing Guideline’’
document, and the related measures, in
Appendix B of that document, which is
available at https://www.cdc.gov/
drugoverdose/pdf/prescribing/CDCDUIP-QualityImprovementAndCare
Coordination-508.pdf.
(iii) Request for Information (RFI) on a
Metric To Improve Efficiency of
Providers Within EHRs
One of the benefits of adopting EHRs
is increasing the efficiency of health
care processes and generating cost
savings by eliminating time-consuming
paper-based processes. Through the use
of EHRs, health care providers are able
to automate administrative aspects of
delivery system management, such as
coding and scheduling, easily locate
patient information in electronic charts,
and streamline communications with
other health care providers through
electronic means.
However, research, also, points to
variable results from the
implementation of health IT across
practice settings, suggesting that health
IT adoption is not a universal remedy
for inefficient practice. Stakeholders
continue to describe ways in which the
potential benefits of EHRs have not been
fully realized, and are pointing to nonoptimized electronic workflows and
poor system design that can increase,
rather than reduce, administrative
burden, which contributes to physician
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burnout.123 For instance, in many
systems, stakeholders have identified
EHR functionality associated with
clinical documentation, order entry, and
messaging as cumbersome. It is our
understanding that in order to achieve
true EHR efficiency gains in today’s
healthcare environment, the way
forward must include reductions in the
persistent sources of technology-related
burden, an increased allowance for
ancillary medical staff to assist in
medical documentation, and through
the more effective use of technology.
In November 2018, the Office of the
National Coordinator for Health
Information Technology (ONC) released
the draft report ‘‘Strategy on Reducing
Regulatory and Administrative Burden
Relating to the Use of Health IT and
EHRs,’’ 124 as required by section 4001
of the 21st Century Cures Act (Pub. L.
114–255, enacted December 13, 2016).
In the draft report, ONC described a
variety of factors that may contribute to
EHR-related burden, and provided draft
recommendations for how HHS, as well
as other stakeholders may be able to
address these factors. Specifically, the
draft report discussed processes where
adoption of improved electronic
processes could reduce the EHR-related
burden, such as processes related to
prior authorization requests. The draft
report, also, discussed EHR usability
and design challenges which may
contribute to EHR-related burden, and
identified best practices for design, as
well as a variety of emerging system
features which may improve efficiency
in health IT usage. We believe further
adoption of more efficient workflows
and technologies, such as those
identified in the draft report, will help
health care providers with overall
improvements in patient care and
interoperability, and we are seeking
comment on how such implementation
of such processes can be effectively
measured and encouraged as part of the
Promoting Interoperability performance
category.
We also are interested in how to
measure and incentivize efficiency as it
relates to the meaningful use of CEHRT
and the furthering of interoperability. In
2017, the NQF released, ‘‘A
Measurement Framework to Assess
Nationwide Progress Related to
Interoperable Health Information
Exchange to Support the National
Quality Strategy,’’ 125 which included
discussion of measure concepts of
productivity and efficiency that can
result from the use of health IT,
specifically the health information
exchange. For instance, the NQF report
identifies a measure concept for the
‘‘percentage of reduction of duplicate
labs and imaging over time,’’ which can
capture the impact of electronic
availability of imaging studies on
duplicative studies that are often
conducted when health care providers
do not have the ability to locate an
existing study. However, we recognize
that there are challenges associated with
tying such measures of economic
efficiency to a single factor, such as
electronic workflow improvements.126
Consistent with our commitment to
reducing administrative burden,
increasing efficiencies, and improving
beneficiary experience via the ‘‘Patients
over Paperwork initiative,’’ 127 we are
seeking stakeholder feedback on a
potential metric to evaluate health care
provider efficiency using EHRs.
Specifically, we are requesting
information on the following questions:
• What do stakeholders believe
would be useful ways to measure the
efficiency of health care processes due
to the use of health IT? What are
measurable outcomes demonstrating
greater efficiency in costs or resource
use that can be linked to the use of
health IT-enabled processes? This
includes measure description,
numerator/denominator or yes/no
reporting, and exclusions.
• What do stakeholders believe may
be hindering their ability to achieve
greater efficiency (for example, product,
measures, CMS regulations)? Please,
provide examples.
• What are specific technologies,
capabilities, or system features (beyond
those currently addressed in the
Promoting Interoperability performance
category) that can increase the efficiency
of provider interactions with technology
systems; for instance, alternate
authentication technologies that can
simplify provider logon? How could we
reward providers for adoption and use
of these technologies?
• What are key administrative
processes that can benefit from more
efficient electronic workflows; for
instance, conducting prior authorization
requests? How can we measure and
123 https://www.ahrq.gov/professionals/
clinicians-providers/ahrq-works/burnout/
index.html.
124 https://www.healthit.gov/sites/default/files/
page/2018-11/Draft%20Strategy%20
on%20Reducing%20Regulatory%20and%20
Administrative%20Burden%20Relating.pdf.
125 https://www.qualityforum.org/Publications/
2017/09/Interoperability_2016-2017_Final
_Report.aspx.
126 https://www.ncbi.nlm.nih.gov/pmc/articles/
PMC2699907/.
127 https://www.cms.gov/About-CMS/story-page/
patients-over-paperwork.html.
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reward providers for their uptake of
more efficient electronic workflows?
• Could CMS successfully incentivize
efficiency? What role should CMS play
in improving efficiency in the practice
of medicine? The underlying goal is to
move to a more streamlined, efficient,
easier user experience, whereby
providers can input and access a
patient’s data in a reliable, timely
manner. Having not yet reached this
point, we are seeking feedback on the
best way(s) to get there.
(iv) Request for Information (RFI) on the
Provider to Patient Exchange Objective
In March 2018, the White House
Office of American Innovation and the
CMS Administrator announced the
launch of MyHealthEData and CMS’ role
in improving patient access and
advancing interoperability. As part of
the MyHealthEData initiative, we are
taking a patient-centered approach to
health information access and moving to
a system in which patients have
immediate access to their computable
health information and can be assured
that their health information will follow
them as they move throughout the
health care system from provider to
provider, payer to payer. To accomplish
this, we have launched several
initiatives related to data sharing and
interoperability to empower patients
and encourage plan and provider
competition. One example is our
overhaul of the Advancing Care
Information performance category under
MIPS to transform it into the new
Promoting Interoperability performance
category, which put a heavy emphasis
on patient access to their health
information through the Provide
Patients Electronic Access to Their
Health Information measure.
Through the Provide Patients
Electronic Access to Their Health
Information measure, we are ensuring
that patients have access to their
information through any application of
their choice that is configured to meet
the technical specifications of the API in
the MIPS eligible clinician’s CEHRT. To
make these APIs fully useful to patients,
they should provide immediate access
to updated information whenever the
patient needs that information, should
be always available, configured using
standardized technology and contain
the information a patient needs to make
informed decisions about their care.
In the CY 2019 PFS proposed rule (83
FR 35932), we introduced a potential
future Promoting Interoperability
performance category concept that
explored creating a set of priority health
IT activities that would serve as
alternatives to the traditional Promoting
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Interoperability performance category
measures. We requested public
comment on whether MIPS eligible
clinicians should earn credit in the
Promoting Interoperability performance
category by attesting to health IT or
interoperability activities in lieu of
reporting on specific measures. We
identified specific health IT activities
and sought public comment on those
and additional activities that would add
value for patients and health care
providers, are relevant to patient care
and clinical workflows, support
alignment with existing objectives,
promote flexibility, are feasible for
implementation, are innovative in the
use of health IT, and promote
interoperability. We received feedback
in support of this future concept.
One such activity that we specifically
requested comment on was a health IT
activity in which MIPS eligible
clinicians may obtain credit in the
Promoting Interoperability performance
category if they maintain an ‘‘open
API,’’ or standards-based API, which
allows patients to access their health
information through a preferred thirdparty application. An API can be
thought of as a set of commands,
functions, protocols, or tools published
by one software developer (‘‘Developer
A’’) that enables other software
developers to create programs
(applications or ‘‘apps’’) that can
interact with developer A’s software
without needing to know the internal
workings of developer A’s software, all
while maintaining consumer privacy
data standards. This is how API
technology creates a seamless user
experience that is, typically, associated
with other applications that are used in
more common aspects of consumers’
daily lives, such as travel and personal
finance. Standardized, transparent, and
pro-competitive API technology can
enable similar benefits to consumers of
health care services.128
We received feedback from several
commenters regarding concerns that an
‘‘open’’ API may open the door to
patient data without security, leaving
MIPS eligible clinicians’ EHR systems
open for cyber-attacks. However, we
wish to note that the term ‘‘open API’’
does not imply that any and all
applications or application developers
would have unfettered access to
individuals’ personal or sensitive
information nor would it allow for any
128 ONC has made available a succinct, nontechnical overview of APIs in context of consumers’
access to their own medical information across
multiple providers’ EHR systems, which is available
at the HealthIT.gov website at https://
www.healthit.gov/api-education-module/story_
html5.html.
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reduction in the required protections for
privacy and security of patient health
information. Additionally, with respect
to patient access, a patient will need to
authenticate him/herself to a health care
organization that is the steward of their
data (for example, username and
password) and the access provided to an
app will be for that one patient. The
overall HIPAA Security Rule, HIPAA
Privacy Rule, and other cybersecurity
obligations that apply to HIPAA covered
entities remain the same and would
need to be applied to an API in the same
way they are currently applied to any
and all other interfaces a health care
organization deploys in production.
ONC’s 21st Century Cures Act
proposed rule (84 FR 7424 through
7610) includes new proposals that focus
on how certified health IT can use APIs
to allow health information to be
accessed, exchanged, and used without
special effort through the use of APIs or
successor technology or standards, as
provided for under applicable law. For
instance, ONC has proposed to adopt a
new criterion for a standards-based API
at § 170.315(g)(10). This standards-based
API criterion would replace the existing
API criterion with one that requires the
use of the HL7 Fast Healthcare
Interoperability Resources (FHIR®)
standard. ONC has also proposed a
series of requirements for the standardsbased API that would improve
interoperability by focusing on
standardized, transparent, and procompetitive API practices.
ONC has proposed to make the
standards-based API criterion part of the
2015 Edition base EHR definition (84 FR
7427), which would ensure that this
functionality is ultimately included in
the CEHRT definition required for
participation in the Promoting
Interoperability performance category. If
finalized, health IT developers would
have 24 months from the publication of
the final rule to implement these
changes to certified health IT products.
(A) Immediate Access
The existing Provide Patients
Electronic Access to Their Health
Information measure specifies that the
MIPS eligible clinicians provide the
patient timely access to view online,
download, and transmit his or her
health information, and further specifies
that patient health information must be
made available to the patient within 4
business days of its availability to the
MIPS eligible clinicians. We believe it is
critical for patients to have access to
their health information when making
decisions about their care. In the
recently published proposed rule titled,
‘‘Medicare and Medicaid Programs;
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Patient Protection and Affordable Care
Act; Interoperability and Patient Access
for Medicare Advantage Organization
and Medicaid Managed Care Plans,
State Medicaid Agencies, CHIP
Agencies and CHIP Managed Care
Entities, Issuers of Qualified Health
Plans in the Federally-facilitated
Exchanges and Health Care Providers
proposed rule’’ (84 FR 7610 through
7680) (hereinafter referred to as the
‘‘CMS Interoperability and Patient
Access proposed rule’’), we proposed
that certain health plans and payers be
required to make patient health
information available through an open,
standards-based API no later than one
business day after it is received by the
health plan or payer.
Recognizing the importance of
patients having access to their complete
health information, including clinical
information from the MIPS eligible
clinicians’ CEHRT, and appreciating the
new technical flexibility a standardsbased API would provide, we are
seeking comment on whether MIPS
eligible clinicians should make patient
health information available
immediately through an open,
standards-based API, no later than one
business day after it is available to the
MIPS eligible clinicians in their CEHRT.
We seek comment on the barriers to
more immediate access to patient
information. Additionally, we seek
comment on whether there are specific
data elements that may be more or less
feasible to share no later than one
business day. We also seek comment as
to when implementation of such a
requirement is feasible.
(B) Persistent Access and StandardsBased APIs
As discussed above, the ONC 21st
Century Cures Act proposed rule (84 FR
7479) includes a proposal for adoption
of API conditions of certification that
ensure a standards-based API is
implemented in a manner that provides
unimpeded access to technical
documentation, is non-discriminatory,
preserves rights of access, and
minimizes costs or other burdens that
could result in special effort. The ONC
21st Century Cures Act proposed rule
(84 FR 7575), also, includes
requirements for the standardized API
related to privacy and security to ensure
that patient health information is
protected.
The existing Provide Patients
Electronic Access to Their Health
Information measure does not specify
the overall operational expectations
associated with enabling patients’
access to their health information. For
instance, the measure only specifies that
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access must be ‘‘timely.’’ As a result, we
request public comment on whether we
should revise the measure to be more
specific with respect to the experience
patients should have regarding their
access. For instance, in the ONC 21st
Century Cures Act proposed rule (84 FR
7481 through 7484), there is a proposal
regarding requirements around
persistent access to APIs, which would
accommodate a patient’s routine access
to their health information without
needing to reauthorize their application
and re-authenticate themselves. We seek
comment on whether the Promoting
Interoperability performance category
measure should be updated to
accommodate this proposed technical
requirement for persistent access.
As we work to advance
interoperability and empower patients
through access to their health
information, we continue to explore the
role of APIs. We support the ONC 21st
Century Cures Act proposed rule (84 FR
7424) proposal to move to an HL7
FHIR®-based API under 2015 Edition
certification (84 FR 7479). Health care
providers committed to a standardsbased API could benefit from joining in
on the industry’s new FHIR standards
framework to reduce burden in, and
improve on, quality measurement
through automation and simplification.
Use of FHIR-based APIs could help
push forward interoperability regardless
of EHR systems used providing
standardized way to share information.
Understanding this, we are,
specifically, seeking public comments
on the following question:
• If ONC’s proposed FHIR-based API
certification criteria is finalized, would
stakeholders support a possible bonus
under the Promoting Interoperability
performance category for early adoption
of a certified FHIR-based API in the
intermediate time before ONC’s final
rule’s compliance date for
implementation of a FHIR standard for
certified APIs?
(C) Available Data
Recognizing the overall burden that
switching EHR systems places on health
care providers, ONC has introduced a
new proposal that seeks to minimize
that burden. In the ONC 21st Century
Cures Act proposed rule, ONC proposed
to adopt a new 2015 Edition
certification criterion for the EHI export
at 45 CFR 170.315(b)(10). The purpose
of this criterion is to provide patients
and health IT users the ability to
securely export the entire EHR for a
single patient, or all patients, in a
computable, electronic format, and
facilitate receiving the health IT
system’s interpretation, and use of the
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EHI, to the extent that is reasonably
practicable using the existing
technology of developers. This patientfocused export capability complements
other provisions of the proposed rule
that support patients’ access to their
EHI, including information that may
eventually be accessible via the
proposed standardized API in 45 CFR
170.215. It is also complementary to the
proposals in the CMS Interoperability
and Patient Access proposed rule,
which proposed to require certain
health plans and issuers to provide
patients access to their health data
through a standardized API.
Building on these proposals, we are
seeking comment on an alternative
measure under the Provider to Patient
Exchange objective that would require
clinicians to use technology certified to
the EHI criterion to provide the
patient(s) their complete electronic
health data contained within an EHR.
Specifically, we are seeking comment
on the following questions:
• Do stakeholders believe that
incorporating this alternative measure
into the Provider to Patient Exchange
objective will be effective in
encouraging the availability of all data
stored in health IT systems?
• In relation to the Provider to Patient
Exchange objective, as a whole, how
should a required measure focused on
using the proposed total EHI export
function in CEHRT be scored?
• If this certification criterion is
finalized and implemented, should a
measure based on the criterion be
established as a bonus measure? Should
this measure be established as an
attestation measure?
• In the long term, how do
stakeholders believe such an alternative
measure would impact burden?
• If stakeholders do not believe this
will have a positive impact on burden,
in what other way(s) might an
alternative measure be implemented
that may result in burden reduction?
Please, be specific.
• Which data elements do
stakeholders believe are of greatest
clinical value or would be of most use
to health care providers to share in a
standardized electronic format if the
complete record was not immediately
available?
In addition to the above questions, we
have some general questions that are
related to health IT activities, for which
we are, also, seeking public comment:
• Do stakeholders believe that we
should consider including a health IT
activity that promotes engagement in
the health information exchange across
the care continuum that would
encourage bi-directional exchange of
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health information with community
partners, such as post-acute care, longterm care, behavioral health, and home
and community based services to
promote better care coordination for
patients with chronic conditions and
complex care needs? If so, what criteria
should we consider when implementing
a health information exchange across
the care continuum health IT activity in
the Promoting Interoperability
performance category?
• What criteria should we employ,
such as specific goals or areas of focus,
to identify high priority health IT
activities for the future of the
performance category?
• Are there additional health IT
activities we should consider
recognizing in lieu of reporting on
existing measures and objectives that
would most effectively advance
priorities for nationwide
interoperability and spur innovation?
(D) Patient Matching
ONC has stated that patient matching
is critically important to interoperability
and the nation’s health IT infrastructure
as health care providers must be able to
share patient health information and
accurately match a patient to his or her
data from a different health care
provider in order for many anticipated
interoperability benefits to be realized.
We continue to support ONC’s work
promoting the development of patient
matching initiatives. Per Congress’
guidance, ONC is looking at innovative
ways to provide technical assistance to
private sector-led initiatives to further
develop accurate patient matching
solutions in order to promote
interoperability without requiring a
unique patient identifier (UPI). We
understand the significant health
information privacy and security
concerns raised around the
development of a UPI standard and the
current prohibition against using HHS
funds to adopt a UPI standard (84 FR
7656).
Recognizing Congress’ statement
regarding patient matching and
stakeholder comments stating that a
patient matching solution would
accomplish the goals of a UPI, we are
seeking comment for future
consideration on ways for ONC and
CMS to continue to facilitate private
sector efforts on a workable and scalable
patient matching strategy so that the
lack of a specific UPI does not impede
the free flow of information. We are also
seeking comment on how we may
leverage our authority to provide
support to those working to improve
patient matching. We note that we
intend to use comments we receive for
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the development of policy and future
rulemaking.
• Do stakeholders believe that CMS
and ONC patient matching efforts
impact burden? Please, explain.
• If stakeholders believe that patient
matching is leading to increased burden,
what suggestions might stakeholders
have to promote interoperability
securely and accurately, without the
requirement of a UPI, that may result in
burden reduction? Please, be specific.
(v) Request for Information (RFI) on
Integration of Patient-Generated Health
Data Into EHRs Using CEHRT
The Promoting Interoperability
performance category is continuously
seeking ways to prioritize the advanced
use of CEHRT functionalities, encourage
movement away from paper-based
processes that increase health care
provider burden, and empower
individual beneficiaries to take a more
impactful role in managing their health
to achieve their goals. Increased
availability of patient-generated health
data (PGHD) 129 offers providers an
opportunity to monitor and track a
patient’s health-related data from
information that is provided by the
patient and not the provider.
Increasingly affordable wearable
devices, sensors, and other technologies
capture PGHD, providing new ways to
monitor and track a patient’s healthcare
experience. Capturing important health
information through devices and other
tools between medical visits could help
improve care management and patient
outcomes, potentially resulting in
increased cost savings. Although many
types of PGHD are being used in clinical
settings today, the continuous collection
and integration of patients’ health-data
into EHRs to inform clinical care has not
been widely achieved across the health
care system.
In the 2015 Edition Health IT
Certification Criteria final rule (80 FR
62661; 45 CFR 170.315(e)(3)), ONC
finalized a criterion for patient health
information capture functionality
within certified health IT that allows a
user to identify, record, and access
information directly and electronically
shared by a patient. We finalized a
PGHD measure requiring health care
providers to incorporate PGHD or data
from a nonclinical setting into CEHRT
(80 FR 62851). However, we removed
this measure in the CY 2019 PFS final
rule (83 FR 59813), due to concerns that
the measure was not fully health ITbased and could include paper-based
129 For more information, we refer readers to
https://www.healthit.gov/topic/scientific-initiatives/
patient-generated-health-data.
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actions, an approach which did not
align with program priorities to advance
the use of CEHRT. Stakeholder
comments regarding this measure also
noted that manual processes to conduct
actions associated with the measure
could increase health care provider
reporting burden and that there was
confusion over which types of data
would be applicable and the situations
in which the patient data would apply.
At the same time, there was ample
support from the public for ONC and
CMS to continue to advance certified
health IT capabilities to capture PGHD.
However, we continue to believe that
it is important for the Promoting
Interoperability performance category to
explore new ways to incentivize health
care providers who take proactive steps
to advance the emerging use of PGHD.
As relevant technologies and standards
continue to evolve, there may be new
approaches through which we can
address challenges related to emerging
standards for PGHD capture,
appropriate clinical workflows for
receiving and reviewing PGHD, and
advance the technical architecture
needed to support PGHD use.
In 2018, ONC released the white
paper, ‘‘Conceptualizing a Data
Infrastructure for the Capture, Use, and
Sharing of Patient-Generated Health
Data in Care Delivery and Research
through 2024,’’ 130 which described key
challenges, opportunities and enabling
actions for different stakeholders,
including clinicians, to advance the use
of PGHD. For instance, the report
identified an enabling action around
supporting ‘‘clinicians to work within
and across organizations to incorporate
prioritized PGHD use cases into their
workflows.’’ This action urges clinicians
and care teams to identify priority use
cases and relevant PGHD types that
would be valuable to improving care
delivery for patient populations. It, also,
highlights the importance of developing
clinical workflows that avoid
overwhelming the care team with
extraneous data by encouraging care
teams to develop management strategies
for shared responsibilities around
collecting, verifying, and analyzing
PGHD. A second enabling action the
white paper identifies for clinicians is,
‘‘collaboration between clinicians and
developers to advance technologies
supporting PGHD interpretation and
use.’’ This enabling action highlights
feedback for developers about
prioritized use cases and application
features as critical to ensuring that the
necessary refinements are made to
130 https://www.healthit.gov/sites/default/files/
onc_pghd_final_white_paper.pdf.
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technology solutions to effectively
support the capture and use of PGHD.
Finally, the report encourages
‘‘clinicians in providing patient
education to encourage PGHD capture
and use in ways that maximize data
quality,’’ recognizing the important role
that clinicians can play in helping
patients understand how to share
PGHD, the differences between solicited
and unsolicited PGHD, and how PGHD
are relevant for the patient’s care.
Considering the enabling actions for
clinicians identified in the white paper,
we are interested in ways that the
Promoting Interoperability performance
category could adopt new elements
related to PGHD that: (1) Represent
clearly defined uses of health IT; (2) are
linked to positive outcomes for patients;
and (3) advance the capture, use, and
sharing of PGHD. In considering how
the Promoting Interoperability
performance category could continue to
advance the use of PGHD, we also note
that a future element related to PGHD
would not necessarily need to be
implemented as a traditional measure
requiring reporting of a numerator and
denominator. For instance, in the CY
2019 PFS proposed rule (83 FR 35932),
we requested comment on the concept
of ‘‘health IT’’ or ‘‘interoperability’’
activities to which a health care
provider could attest, potentially in lieu
of reporting on measures associated
with certain objectives. By addressing
the use of PGHD through such a
concept, rather than traditional measure
reporting, we could potentially reduce
the reporting burden associated with a
new PGHD-related element.
We are inviting stakeholder comment
on these concepts, and the specific
questions below:
• What specific use cases for capture
of PGHD as part of treatment and care
coordination across clinical conditions
and care settings are most promising for
improving patient outcomes? For
instance, use of PGHD for capturing
advanced directives and pre/postoperation instructions in surgery units.
• Should the Promoting
Interoperability performance category
explore ways to reward providers for
engaging in activities that pilot
promising technical solutions or
approaches for capturing PGHD and
incorporating it into CEHRT using
standards-based approaches?
• Should health care providers be
expected to collect information from
their patients outside of scheduled
appointments or procedures? What are
the benefits and concerns about doing
so?
• Should the Promoting
Interoperability performance category
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explore ways to reward health care
providers for implementing best
practices associated with optimizing
clinical workflows for obtaining,
reviewing, and analyzing PGHD?
We believe the bi-directional
availability of data, meaning that both
patients and their health care providers
have real-time access to the patient’s
electronic health record, is critical. This
includes patients being able to import
their health data into their medical
record and have it be available to health
care providers. We welcome input on
how we can encourage, enable, and
reward health care providers to advance
capture, exchange, and use of PGHD.
(vi) Request for Information (RFI) on
Engaging in Activities That Promote the
Safety of the EHR
The widespread adoption of EHRs has
transformed the way health care is
delivered, offering improved availability
of patient health information,
supporting more informed clinical
decision making, and reduce medical
errors.131 However, many stakeholders
have identified risks to patient safety as
one of the unintended consequences
that may result from the implementation
of EHRs. By disrupting established
workflows and presenting clinicians
with new challenges, EHR
implementation may increase the
incidence of certain errors, resulting in
harm to patients.
As we continue to advance the use of
CEHRT in health care, we are seeking
comment on how to further mitigate the
specific safety risks that may arise from
technology implementation.
Specifically, we are seeking comment
on ways that the Promoting
Interoperability performance category
may reward MIPS eligible clinicians for
engaging in activities that can help to
reduce the errors associated with EHR
implementation.
For instance, we are requesting
comment on a potential future change to
the performance category under which
MIPS eligible clinicians would receive
points towards their Promoting
Interoperability performance category
score for attesting to performance of an
assessment based on one of the ONC
SAFER Guides. The SAFER Guides
(available at https://www.healthit.gov/
topic/safety/safer-guides) are designed
to help healthcare organizations
conduct self-assessments to optimize
the safety and safe use of EHRs in nine
different areas: High Priority Practices,
Organizational Responsibilities,
Contingency Planning, System
131 https://www.healthit.gov/topic/health-itbasics/improved-patient-care-using-ehrs.
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Configuration, System Interfaces,
Patient Identification, Computerized
Provider Order Entry, Test Results
Reporting and Follow-Up, and Clinician
Communication.
Each of the SAFER Guides is based on
the best evidence available, including a
literature review, expert opinion, and
field testing at a wide range of
healthcare organizations, from small
ambulatory practices to large health
systems. A number of EHR developers
currently utilize the SAFER Guides as
part of their health care provider
training modules.
Specifically, we might consider
offering points towards the Promoting
Interoperability performance category
score to MIPS eligible clinicians that
attest to conducting an assessment
based on the High Priority Practices 132
and/or the Organizational
Responsibilities 133 SAFER Guides
which cover many foundational
concepts from across the guides.
Alternatively we might consider
awarding points for review of all nine of
the SAFER Guides. We are also inviting
comments on alternatives to the SAFER
Guides, including appropriate
assessments related to patient safety,
which should also be considered as part
of any future bonus option.
We are requesting comment on the
ideas above, as well as inviting
stakeholders to suggest other
approaches we may take to rewarding
activities that promote reduction of
safety risks associated with EHR
implementation as part of the Promoting
Interoperability performance category.
(5) APM Scoring Standard for MIPS
Eligible Clinicians Participating in MIPS
APMs
(a) Overview
As codified at § 414.1370(a), the APM
scoring standard is the MIPS scoring
methodology applicable for MIPS
eligible clinicians identified on the
Participation List for the of an APM
Entity participating in a MIPS APM for
the applicable MIPS performance
period.
As discussed in the CY 2017 Quality
Payment Program final rule (81 FR
77246), the APM scoring standard is
designed to reduce reporting burden for
such clinicians by reducing the need for
duplicative data submission to MIPS
and their respective APMs, and to avoid
potentially conflicting incentives
between those APMs and MIPS.
132 https://www.healthit.gov/sites/default/files/
safer/guides/safer_high_priority_practices.pdf.
133 https://www.healthit.gov/sites/default/files/
safer/guides/safer_organizational_
responsibilities.pdf.
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We established at § 414.1370(c) that
the MIPS performance period under
§ 414.1320 applies for the APM scoring
standard. We finalized under
§ 414.1370(f) that the MIPS final score
calculated for the APM Entity is applied
to each MIPS eligible clinician in the
APM Entity, and the MIPS payment
adjustment is applied at the TIN/NPI
level for each MIPS eligible clinician in
the APM Entity group. Under
§ 414.1370(f)(2), if the APM Entity group
is excluded from MIPS, all eligible
clinicians within that APM Entity group
are also excluded from MIPS.
As finalized at § 414.1370(h)(1)
through (4), the performance category
weights used to calculate the MIPS final
score for an APM Entity group for the
APM scoring standard performance
period are: Quality at 50 percent; cost at
0 percent; improvement activities at 20
percent; and Promoting Interoperability
at 30 percent.
(b) MIPS APM Criteria
We established at § 414.1370(b) that
for an APM to be considered a MIPS
APM, it must satisfy the following
criteria: (1) APM Entities must
participate in the APM under an
agreement with CMS or by law or
regulation; (2) the APM must require
that APM Entities include at least one
MIPS eligible clinician on a
Participation List; (3) the APM must
base payment on quality measures and
cost/utilization; and (4) the APM must
be neither a new APM for which the
first performance period begins after the
first day of the MIPS performance year
nor an APM in the final year of
operation for which the APM scoring
standard is impracticable. In the CY
2019 PFS final rule (59820 through
59821), we clarified that we consider
whether each distinct track of an APM
meets the criteria to be a MIPS APM and
that it is possible for an APM to have
tracks that are MIPS APMs and tracks
that are not MIPS APMs. We also
clarified that we consider the first
performance year for an APM to begin
as of the first date for which eligible
clinicians and APM entities
participating in the model must report
on quality measures under the terms of
the APM.
Based on the MIPS APM criteria, we
expect that the following 10 APMs will
satisfy the requirements to be MIPS
APMs for the 2020 MIPS performance
period:
• Comprehensive ESRD Care Model
(all Tracks).
• Comprehensive Primary Care Plus
Model (all Tracks).
• Next Generation ACO Model.
• Oncology Care Model (all Tracks).
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• Medicare Shared Savings Program
(all Tracks).
• Medicare ACO Track 1+ Model.
• Bundled Payments for Care
Improvement Advanced.
• Maryland Total Cost of Care Model
(Maryland Primary Care Program).
• Vermont All-Payer ACO Model
(Vermont Medicare ACO Initiative).
• Primary Care First (All Tracks).
Final CMS determinations of MIPS
APMs for the 2020 MIPS performance
period will be announced via the
Quality Payment Program website at
https://qpp.cms.gov/. Further, we make
these determinations based on the
established MIPS APM criteria as
specified in § 414.1370(b).
(c) Calculating MIPS APM Performance
Category Scores
found that for participants in certain
MIPS APMs (as defined in § 414.1305),
it often is not operationally possible to
collect and score performance data on
APM quality measures for purposes of
MIPS because these APMs run on
episodic or yearly timelines that do not
always align with the MIPS performance
periods and deadlines for data
submission, scoring, and performance
feedback. In addition, although we
anticipated different scenarios where
quality would need to be reweighted,
we do not believe the quality
performance category should be
reweighted regularly.
To achieve the aims of the APM
scoring standard, we believe it is
necessary to consider new approaches
to quality performance category scoring.
(i) Quality Performance Category
As noted, the APM scoring standard
is designed to reduce reporting burden
for MIPS eligible clinicians participating
in MIPS APMs by reducing the need for
duplicative data submission to MIPS
and their respective APMs, and to avoid
potentially conflicting incentives
between those APMs and MIPS. As
discussed in the CY 2017 Quality
Payment Program final rule (81 FR
77246), due to operational constraints,
we did not require MIPS eligible
clinicians participating in MIPS APMs
other than the Shared Savings Program
and the Next Generation ACO Model to
submit data on quality measures for
purposes of MIPS for the 2017 MIPS
performance period. As discussed in the
CY 2018 Quality Payment Program final
rule (82 FR 53695), we designed a
means of overcoming these operational
constraints and required MIPS eligible
clinicians participating in such MIPS
APMs to submit data on APM quality
measures for purposes of MIPS
beginning with the 2018 MIPS
performance period. We also finalized a
policy to reweight the quality
performance category to zero percent in
cases where an APM has no measures
available to score for the quality
performance category for a MIPS
performance period, such as where none
of the APM’s measures would be
available for calculating a quality
performance category score by the close
of the MIPS submission period because
measures were removed from the APM
measure set due to changes in clinical
practice guidelines. Although we
anticipated different scenarios where
quality would need to be reweighted,
we did not anticipate at that time that
the quality performance category would
need to be reweighted regularly.
After several years of implementation
of the APM scoring standard, we have
(A) Allowing MIPS Eligible Clinicians
Participating in MIPS APMs To Report
on MIPS Quality Measures
We propose to allow MIPS eligible
clinicians participating in MIPS APMs
to report on MIPS quality measures in
a manner similar to our established
policy for the Promoting Interoperability
performance category under the APM
scoring standard for purposes of the
MIPS quality performance category
beginning with the 2020 MIPS
performance period.
Similar to our approach for the
Promoting Interoperability performance
category, we would allow MIPS eligible
clinicians in MIPS APMs to receive a
score for the quality performance
category either through individual or
TIN-level reporting based on the
generally applicable MIPS reporting and
scoring rules for the quality
performance category. Under such an
approach, we would attribute one
quality score to each MIPS eligible
clinician in an APM Entity by looking
at both individual and TIN-level data
submitted for the eligible clinician and
using the highest reported score,
excepting scores reported by a virtual
group. Thus, we would use the highest
individual or TIN-level score
attributable to each MIPS eligible
clinician in an APM Entity in order to
determine the APM Entity score based
on the average of the highest scores for
each MIPS eligible clinician in the APM
Entity.
As with Promoting Interoperability
performance category scoring, each
MIPS eligible clinician in the APM
Entity group would receive one score,
weighted equally with that of the other
MIPS eligible clinicians in the APM
Entity group, and we would calculate
one quality performance category score
for the entire APM Entity group. If a
MIPS eligible clinician has no quality
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40785
performance category score—if the
individual’s TIN did not report and the
individual did not report—that MIPS
eligible clinician would contribute a
score of zero to the aggregate APM
Entity group score.
We would use only scores reported by
an individual MIPS eligible clinician or
a TIN reporting as a group; we would
not accept virtual group level reporting
because a virtual group level score is too
far removed from the eligible clinician’s
performance on quality measures for
purposes of the APM scoring standard.
We request comment on this proposal.
(B) APM Quality Reporting Credit
We are also proposing to apply a
minimum score of 50 percent, or an
‘‘APM Quality Reporting Credit’’ under
the MIPS quality performance category
for certain APM entities participating in
MIPS, where APM quality data cannot
be used for MIPS purposes as outlined
below. Several provisions of the statute
address the possibility of considerable
overlap between the requirements of
MIPS and those of an APM. Most
notably, section 1848(q)(1)(C)(ii) of the
Act excludes QPs and partial QPs that
do not elect to participate in MIPS from
the definition of a MIPS eligible
clinician. In addition, section
1848(q)(5)(C)(ii) of the Act requires that
participation by a MIPS eligible
clinician in an APM (as defined in
section 1833(z)(3)(C) of the Act) earn
such MIPS eligible clinician a minimum
score of one-half of the highest potential
score for the improvement activities
performance category.
In particular, we believe that section
1848(q)(5)(C)(ii) of the Act reflects an
understanding that APM participation
requires significant investment in
improving clinical practice, which may
be duplicative with the requirements
under the improvement activities
performance category. We believe that
MIPS APMs require an equal or greater
investment in quality, which, due to
operational constraints, cannot always
be reflected in a MIPS quality
performance category score.
Accordingly, we are proposing to apply
a similar approach to quality
performance category scoring under the
APM scoring standard. Specifically, we
are proposing that APM Entity groups
participating in MIPS APMs receive a
minimum score of one-half of the
highest potential score for the quality
performance category, beginning with
the 2020 MIPS performance period.
To the extent possible, we would
calculate the final score by adding to the
credit any additional MIPS quality score
received on behalf of the individual NPI
or the TIN. For the purposes of final
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scoring this credit would be added to
any MIPS quality measure scores we
receive. All quality category scores
would be capped at 100 percent. For
example, if the additional MIPS quality
score were 40 percent, that would be
added to the 50 percent credit for a total
of 90 percent; if the quality score were
70 percent, that would be added to the
50 percent credit and because the result
is 120 percent, the cap would be applied
for a final score of 100 percent.
We request comment on this proposal.
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(i) Exceptions From APM Quality
Reporting Credit
Under this proposal, we would not
apply the APM Quality Reporting Credit
to the APM Entity group’s quality
performance score for those APM
Entities reporting only through a MIPS
quality reporting mechanism according
to the requirements of their APM, such
as the Medicare Shared Savings
Program, which requires participating
ACOs to report through the CMS Web
Interface and the CAHPS for ACOs
survey measures. In these cases, no
burden of duplicative reporting would
exist, and there would not be any
additional unscored quality measures
for which to give credit.
In the case where an APM Entity
group is in an APM that requires
reporting through a MIPS quality
reporting mechanism under the terms of
participation in the APM, should the
APM Entity group fail to report on
required quality measures, the
individual eligible clinicians and TINs
that make up that APM Entity group
would still have the opportunity to
report quality measures to MIPS for
purposes of calculating a MIPS quality
performance category score as finalized
in they would in any Other MIPS APM
in accordance with § 414.1370(g)(1)(ii).
However, as in these cases no burden of
duplicative reporting would exist, they
would remain ineligible for the APM
Quality Reporting credit.
(C) Additional Reporting Option for
APM Entities
We recognize that some APM Entities
may have a particular interest in
ensuring that MIPS eligible clinicians in
the APM Entity group perform well in
MIPS, or in reducing the overall burden
of joining the entity. Likewise, we
recognize that some APMs, such as the
CMS Web Interface reporters already
require reporting on MIPS quality
measures as part of participation in the
APM. Therefore, we are proposing that,
in instances where an APM Entity has
reported quality measures to MIPS
through a MIPS submission type and
using MIPS collection type on behalf of
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the APM Entity group, we would use
that quality data to calculate an APM
Entity group level score for the quality
performance category. We believe this
approach best ensures that all
participants in an APM Entity group
receive the same final MIPS score while
reducing reporting burden to the
greatest extent possible.
We request comment on this proposal.
(D) Bonus Points and Caps for the
Quality Performance Category
In the 2018 Quality Payment Program
final rule (82 FR 53568, 53700), we
finalized our policies to include bonus
points in the performance category score
calculation when scoring quality at the
APM Entity group level. Because these
adjustments would, under the proposals
discussed in section[s] III.J.3.d.(1)(b) of
this proposed rule, already be factored
in when calculating an individual or
TIN-level quality performance category
score before the quality scores are
rolled-up and averaged to create the
APM Entity group level score, we
believe it would be inappropriate to
continue to calculate these adjustments
at the APM Entity group level in the
case where an APM Entity group’s
quality performance score is reported by
its composite individuals or TINs.
However, in the case of an APM Entity
group that chooses to or is required by
its APM to report on MIPS quality
measures at the APM Entity group level,
we would continue to apply any
bonuses or adjustments that are
available to MIPS groups for the
measures reported by the APM Entity
and to calculate the applicability of
these adjustments at the APM Entity
group level.
We request comment on this proposal.
(E) Special Circumstances
In prior rulemaking, with regard to
the quality performance category, we
did not include MIPS eligible clinicians
who are subject to the APM scoring
standard in the automatic extreme and
uncontrollable circumstances policy or
the application-based extreme and
uncontrollable circumstances policy
that we established for other MIPS
eligible clinicians (82 FR 53780–53783,
53895–53900; 83 FR 59874–59875).
However, in section III.J.3.c.(5)(c)(i)(c) of
this proposed rule, we are proposing to
allow MIPS eligible clinicians
participating in MIPS APMs to report on
MIPS quality measures and be scored
for the MIPS quality performance
category based on the generally
applicable MIPS reporting and scoring
rules for the quality performance
category. In light of this proposal, we
believe that the same extreme and
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uncontrollable circumstances policies
that apply to other MIPS eligible
clinicians with regard to the quality
performance category should also apply
to MIPS eligible clinicians participating
in MIPS APMs who would report on
MIPS quality measures as proposed.
Therefore, beginning with the 2020
MIPS performance period/2022 MIPS
payment year and only with regard to
the quality performance category, we
propose to apply the application-based
extreme and uncontrollable
circumstances policy (82 FR 53780–
53783) and the automatic extreme and
uncontrollable circumstances policy (83
FR 59874–59875) that we previously
established for other MIPS eligible
clinicians and codified at
§ 414.1380(c)(2)(i)(A)(6) and (8),
respectively, to MIPS eligible clinicians
participating in MIPS APMs who are
subject to the APM scoring standard and
would report on MIPS quality measures
as proposed in section III.J.3.c.(5)(c)(i).
We would limit the proposed
application of these policies to the
quality performance category because
our proposal in section III.J.3.c.(5)(c)(i)
pertains to reporting on MIPS quality
measures.
Under the previously established
policies, MIPS eligible clinicians who
are subject to extreme and
uncontrollable circumstances may
receive a zero percent weighting for the
quality performance category in the
final score (82 FR 53780–53783, 83 FR
59874–59875). Similar to the policy for
MIPS eligible clinicians who qualify for
a zero percent weighting of the
Promoting Interoperability performance
category (82 FR 53701 through 53702),
we propose that if a MIPS eligible
clinician who qualifies for a zero
percent weighting of the quality
performance category in the final score
is part of a TIN reporting at the TIN
level that includes one or more MIPS
eligible clinicians who do not qualify
for a zero percent weighting, we would
not apply the zero percent weighting to
the qualifying MIPS eligible clinician.
The TIN would still report on behalf of
the entire group, although the TIN
would not need to report data for the
qualifying MIPS eligible clinician. All
MIPS eligible clinicians in the TIN who
are participants in the MIPS APM
would count towards the TIN’s weight
when calculating the aggregated APM
Entity score for the quality performance
category.
However, in this circumstance, if the
MIPS eligible clinician was a solo
practitioner and qualified for a zero
percent weighting, if the MIPS eligible
clinician’s TIN did not report at the
group level and the MIPS eligible
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clinician was individually eligible for a
zero percent weighting, or if all MIPS
eligible clinicians in a TIN qualified for
the zero percent weighting, neither the
TIN nor the individual would be
required to report on the quality
performance category and would be
assigned a weight of zero when
calculating the APM Entity’s quality
performance category score.
If quality performance data were
reported by or on behalf of one or more
TIN/NPIs in an APM Entity group, a
quality performance category score
would be calculated for, and would be
applied to, all MIPS eligible clinicians
in the APM Entity group. If all MIPS
eligible clinicians in all TINs of an APM
Entity group qualify for a zero percent
weighting of the quality performance
category, the quality performance
category would be weighted at zero
percent of the MIPS final score.
We welcome comments from the
public in this discussion of how best to
address the technical infeasibility of
scoring quality for many of our MIPS
APMs, and whether the above described
policy or some other approach may be
an appropriate path forward for the
APM entity group scoring standard in
CY 2020.
We request comment on this proposal.
(d) Request for Comment on APM
Scoring Beyond 2020
We are also seeking comment on
potential policies to be included in next
year’s rulemaking to further address the
changing incentives for APM
participation under MACRA. We want
the design of the APM scoring standard
to continue to encourage appropriate
shifts of MIPS eligible clinicians into
MIPS APMs and eventually into
Advanced APMs while ensuring fair
treatment for all MIPS eligible
clinicians.
We note that the QP threshold will be
increasing in future years, potentially
resulting in larger proportions of
Advanced APM participants being
subject to MIPS under the APM scoring
standard. At the same time the MIPS
performance threshold will be
increasing annually, gradually reducing
the impact of the APM scoring standard
on participants’ ability to achieve a
neutral or positive payment adjustment
under MIPS.
(F) Excluding Virtual Groups From APM
Entity Group Scoring
Due to concerns that virtual groups
could be used to calculate APM Entity
group scores, we have excluded virtual
group MIPS scores when calculating
APM Entity group scores. Previously,
we have effectuated this exclusion
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through the use and application of terms
defined in § 414.1305, specifically,
‘‘APM Entity,’’ ‘‘APM Entity group,’’
‘‘group,’’ and ‘‘virtual group.’’ To
improve clarity around the exclusion of
virtual group scores in calculating APM
Entity group scores, we now are
proposing to effectuate this exclusion
more explicitly, by amending
§ 414.1370(e)(2) to state that the score
calculated for an APM Entity group, and
subsequently the APM Entity, for
purposes of the APM scoring standard
does not include MIPS scores for virtual
groups.
(i) Sunsetting the APM Quality
Reporting Credit for APM Entities
One proposal we may consider
beginning in the 2021 performance year
would be to apply the APM Quality
Reporting Credit described above, if
finalized, to specific APM Entities for a
maximum number of MIPS performance
years; this may be set for all APMs or
tied to the end of each APM’s initial
agreement period.
We believe that this proposal would
create an incentive for new APM Entity
groups to continue to form and join new
MIPS APMs while maintaining the
incentive for APM Entity groups and
MIPS eligible clinicians to continue to
strive to achieve QP status. This
proposal also would complement the
shift we are seeing within APMs, such
as the Shared Savings Program, to
require APM participants to move into
two-sided risk tracks and Advanced
APMs within 2 to 5 years of joining the
model or program.
(ii) Sunsetting the APM Quality
Reporting Credit for Non-Advanced
APMs
Similar to the first proposal, we may
consider an approach whereby we
would implement the above approach to
quality scoring and then phase out the
APM Quality Reporting Credit for MIPS
APMs that are not also Advanced APM
tracks.
We would have the option to
implement this change by removing the
APM Reporting Credit for nonAdvanced MIPS APMs entirely at the
end of a set number of years for all nonAdvanced APMs (for example, 2 years).
Alternatively we could tie this
sunsetting of the APM Quality
Reporting Credit for a non-Advanced
APM to the initial agreement period of
each APM, creating a well-timed
incentive for movement into Advanced
APM tracks of an APM after the initial
agreement period after the start of the
APM.
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(iii) Sunsetting the APM Quality
Reporting Credit for APM Entities in
One-Sided Risk Tracks
One possible way of acknowledging
the uncertainty involved with joining an
APM without extending the APM
Reporting Credit to all APM participants
would be to retain the APM Quality
Reporting Credit for all two-sided risk
APM tracks but to remove this credit for
participants in all one-sided risk tracks
except for those APM Entities in the
first 2 years—or first agreement period—
of a MIPS APM.
We believe this approach would help
ease the transition from MIPS to APM
participation and ultimately into
Advanced APM participation. However,
this proposal would continue to provide
the APM Quality Reporting Credit for
participants in two-sided risk APMs
who have not reached the QP threshold.
In this way, we could create an
incentive for APM participants to move
towards Advanced APMs, even in
situations where it is unlikely the
participant would be able to reach the
QP threshold.
(iv) Retain Different APM Quality
Reporting Credits for Advanced APMs
and MIPS APMs
Another available option would be to
apply an APM Reporting Credit, as
described above to all MIPS APM
participants but base the available credit
on the level of risk taken on by the MIPS
APM. For example, the maximum 50
percent credit may continue to be
available to APM Entities in Advanced
APM tracks while the value of the credit
may be limited to 25 percent for
participants in one-sided risk tracks. We
are soliciting comments on how we
might best divide these tracks and
address the advent of two-sided risk
MIPS APMs that do not meet the
nominal amount and financial risk
standards in order to be considered an
Advanced APM, and what an
appropriate reporting credit would be
for these tracks.
(v) Other Options
We seek comments and suggestions
on other ways in which we could
modify the APM scoring standard to
continue to encourage MIPS eligible
clinicians to join APMs, with an
emphasis on encouraging movement
toward participation in two-sided risk
APMs that may qualify as Advanced
APMs.
(e) MIPS APM Performance Feedback
As we discussed in the CY 2017 and
2018 Quality Payment Program final
rules (81 FR 77270, and 82 FR 53704
through 53705, respectively), MIPS
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eligible clinicians who are scored under
the APM scoring standard will receive
performance feedback under section
1848(q)(12) of the Act.
Regarding access to performance
feedback, whereas split-TIN APM
Entities and their participants can only
access their performance feedback at the
APM Entity group or individual MIPS
eligible clinician level, MIPS eligible
clinicians participating in the Shared
Savings Program, which is a full-TIN
APM, were able to access their
performance feedback at the ACO
participant TIN level for the 2017
performance period. However, due to
confusion caused by the policy in cases,
where not all eligible clinicians in a
Shared Savings Program participant TIN
received the APM Entity score, for
example eligible clinicians that
terminate before the first snapshot, we
intend to better align treatment of
Shared Savings Program ACOs and their
participant TINs with other APM
Entities and, where appropriate, with
other MIPS groups. We will continue to
allow ACO participant TIN level access
to the APM Entity group level final
score and performance feedback, as well
as provide the APM Entity group level
final score and performance feedback to
individual MIPS eligible clinicians who
bill through the TINs identified on the
ACO’s ACO participant list. However,
we will also provide TIN level
performance feedback to ACO
participant TINs that will include the
information that is available to all TINs
participating in MIPS, including the
applicable final scores for MIPS eligible
clinicians billing under the TIN,
regardless of their MIPS APM
participation status.
d. MIPS Final Score Methodology
(1) Performance Category Scores
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(a) Background
For the 2022 MIPS payment year, we
intend to continue to build on the
scoring methodology we finalized for
prior years, which allows for
accountability and alignment across the
performance categories and minimizes
burden on MIPS eligible clinicians. The
rationale for our scoring methodology
continues to be grounded in the
understanding that the MIPS scoring
system has many components and
various moving parts. As we transform
MIPS through the MIPS Value Pathways
(MVP) Framework as discussed in
section III.K.3.a. of this proposed rule,
we may propose modifications to our
scoring methodology in future
rulemaking as we continue to develop a
methodology that emphasizes simplicity
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and that is understandable for MIPS
eligible clinicians.
In this proposed rule, we are
proposing policies to help eligible
clinicians as they participate in the 2020
performance period/2022 MIPS
payment year, and as we move beyond
the transition years of the program.
proposals are discussed in more detail
in this section of the proposed rule.
(b) Scoring the Quality Performance
Category for the Following Collection
Types: Medicare Part B Claims
Measures, eCQMs, MIPS CQMs, QCDR
Measures, CMS Web Interface Measures,
the CAHPS for MIPS Survey Measure
and Administrative Claims Measures
(A) Scoring Measures Based on
Achievement
We established at § 414.1380(b)(1)(i) a
global 3-point floor for each scored
quality measure, as well as for the
hospital readmission measure (if
applicable). MIPS eligible clinicians
receive between 3 and 10 measure
achievement points for each submitted
measure that can be reliably scored
against a benchmark, which requires
meeting the case minimum and data
completeness requirements. In the CY
2017 Quality Payment Program final
rule (81 FR 77282), we established that
measures with a benchmark based on
the performance period (rather than on
the baseline period) would continue to
receive between 3 and 10 measure
achievement points for performance
periods after the first transition year. For
measures with benchmarks based on the
baseline period, we stated that the 3point floor was for the transition year
and that we would revisit the 3-point
floor in future years.
For the 2022 MIPS payment year, we
are proposing to again apply a 3-point
floor for each measure that can be
reliably scored against a benchmark
based on the baseline period. As we
move towards the proposed MVPs
discussed in section III.K.3.a. of this
proposed rule, we anticipate we will
revisit and possibly remove the 3-point
floor in future years. As a result, we will
wait until there is further policy
development under the proposed
framework before proposing to remove
the 3-point floor. Accordingly, we are
proposing to amend § 414.1380(b)(1)(i)
to remove the years 2019, 2020, and
2021 and adding in its place the years
2019 through 2022 to provide that for
the 2019 through 2022 MIPS payment
years, MIPS eligible clinicians receive
between 3 and 10 measure achievement
points (including partial points) for each
measure required under § 414.1335 on
which data is submitted in accordance
with § 414.1325 that has a benchmark at
paragraph (b)(1)(ii) of this section, meets
the case minimum requirement at
paragraph (b)(1)(iii) of this section, and
meets the data completeness
requirement at § 414.1340. The number
of measure achievement points received
for each measure is determined based
on the applicable benchmark decile
category and the percentile distribution.
We refer readers to § 414.1380(b)(1)
for our policies regarding quality
measure benchmarks, calculating total
measure achievement and measure
bonus points, calculating the quality
performance category percent score,
including achievement and
improvement points, and the small
practice bonus.
As we move towards the
transformation of the program through
the MVP Framework discussed in
section III.K.3.a.(2) of this proposed
rule, we anticipate we will revisit and
remove many of our scoring policies
such as the 3-point floor, bonus points,
and assigning points for measures that
cannot be scored against a benchmark
through future rulemaking. As we
propose to transform the MIPS program
through MVPs, our goal is to incorporate
ways to address these issues without
developing special scoring policies. We
refer readers to section III.K.3.a.(3)(d) of
this proposed rule, for further
discussion on scoring of MVPs.
In section III.K.3.d.(1) of this
proposed rule, we discuss the limited
proposals for our scoring policies as we
anticipate future changes as we work to
transform MIPS through MVPs.
Specifically, we are proposing to: (1)
Maintain the 3-point floor for measures
that can be scored for performance; (2)
develop benchmarks based on flat
percentages in specific cases where we
determine the measure’s otherwise
applicable benchmark could potentially
incentivize inappropriate treatment; (3)
continue the scoring policies for
measures that do not meet the caseminimum requirement, do not have a
benchmark, or do not meet the datacompleteness criteria; (4) maintain the
cap on measure bonus points for highpriority measures and end-to-end
reporting; and (5) continue the
improvement scoring policy. In
addition, we are requesting comment on
future approaches to scoring the CAHPS
for MIPS survey measure if new
questions are added to the survey. These
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(i) Assigning Quality Measure
Achievement Points
We refer readers to § 414.1380(b)(1)
for more on our policies for scoring
performance on quality measures.
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MIPS eligible clinicians receive zero
measure achievement points for each
measure required under § 414.1335 on
which no data is submitted in
accordance with § 414.1325. MIPS
eligible clinicians that submit data in
accordance with § 414.1325 on a greater
number of measures than required
under § 414.1335 are scored only on the
required measures with the greatest
number of measure achievement points.
Beginning with the 2021 MIPS payment
year, MIPS eligible clinicians that
submit data in accordance with
§ 414.1325 on a single measure via
multiple collection types are scored
only on the data submission with the
greatest number of measure
achievement points.
(B) Scoring Measures That Do Not Meet
Case Minimum, Data Completeness, and
Benchmark Requirements
We refer readers to
§ 414.1380(b)(1)(i)(A) and (B) for more
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on our scoring policies for a measure
that is submitted but is unable to be
scored because it does not meet the
required case minimum, does not have
a benchmark, or does not meet the data
completeness requirement. A summary
of the proposed policies for the CY 2020
MIPS performance period is provided in
Table 43.
TABLE 43—QUALITY PERFORMANCE CATEGORY: PROPOSED SCORING POLICIES FOR THE CY 2020 MIPS PERFORMANCE
PERIOD *
Measure
type
Description
Class 1 .....
For the 2020 MIPS performance period:
Measures that can be scored based on performance.
Measures that are submitted or calculated that meet all the following criteria:
(1) Has a benchmark;
(2) Has at least 20 cases; and
(3) Meets the data completeness standard (generally 70 percent for 2020.) **
** We refer readers to section III.K.3.c.(1)(c) for our proposal to increase data
completeness.
For the 2020 MIPS performance period:
Measures that are submitted and meet data completeness, but do not have either of the following:
(1) A benchmark
(2) At least 20 cases.
For the 2020 MIPS performance period:
Measures that are submitted, but do not meet data completeness threshold, even
if they have a measure benchmark and/or meet the case minimum
Class 2 .....
Class 3 .....
Scoring rules
For the 2020 MIPS performance period: 3 to 10 points based on performance compared to the benchmark.
For the 2020 MIPS performance period:
3 points.
Beginning with the 2020 MIPS performance period:
MIPS eligible clinicians other than
small practices will receive zero
measure achievement points. Small
practices will continue to receive 3
points.
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* The Class 2 and 3 measure scoring policies are not applicable to CMS Web Interface measures or administrative claims-based measures.
For the 2022 MIPS payment year, we
are proposing to again apply the special
scoring policies for measures that meet
the data completeness requirement but
do not have a benchmark or meet the
case minimum requirement.
Accordingly, we are proposing to amend
§ 414.1380(b)(1)(i)(A)(1) to remove the
years 2019, 2020, and 2021 and adding
in its place the years 2019 through 2022
to provide that except as provided in
paragraph (b)(1)(i)(A)(2) (which relates
to CMS Web Interface measures and
administrative claims-based measures),
for the 2019 through 2022 MIPS
payment years, MIPS eligible clinicians
receive 3 measure achievement points
for each submitted measure that meets
the data completeness requirement, but
does not have a benchmark or meet the
case minimum requirement.
(C) Modifying Benchmarks To Avoid the
Potential for Inappropriate Treatment
We established at § 414.1380(b)(1)(ii)
that benchmarks will be based on
collection type, from all available
sources, including MIPS eligible
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clinicians and APMs, to the extent
feasible, during the applicable baseline
or performance period. We also
established at § 414.1380(b)(1)(i) that the
number of measure achievement points
received for each such measure is
determined based on the applicable
benchmark decile category and the
percentile distribution.
We believe all the measures in the
MIPS program are of high standard as
they have undergone extensive review
prior to their inclusion in the program.
MIPS measures go through the
rulemaking process, and QCDR
measures have an approval process
before they are included in MIPS. We
also believe our benchmarking generally
provides an objective way to compare
performance differences across different
types of quality measures. However, we
have heard concerns from stakeholders
that for a few measures, the benchmark
methodology may incentivize the
inappropriate treatment of certain
patients, in order for a clinician to
achieve a score in the highest decile.
Our scoring system already provides
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some protection from inappropriate
treatment because all clinicians in the
top 10 percent of the distribution
receive the same 10-point score, thus a
clinician with performance in the 90th
percentile has no incentive to go higher.
However, for certain measures with
benchmarks set at very high or
maximum performance in the top
decile, we are concerned that these
levels may not be representative and
may not provide the most appropriate
incentives for clinicians. Specifically,
there are some measures that may have
the potential to encourage clinicians to
alter the clinical interaction with
patients inappropriately, regardless of
the individual patient’s circumstances,
in order to achieve that top decile
performance level, for example,
intermediate outcome measures that
may encourage clinicians to over treat
patients in order to achieve the highest
performance level. Patient safety is our
primary concern; therefore, we are
proposing to establish benchmarks
based on flat percentages in specific
cases where we determine the measure’s
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otherwise applicable benchmark could
potentially incentivize treatment that
could be inappropriate for a particular
patient type. Rather than develop
benchmarks based on the distribution of
scores we would base them on flat
percentages such that any performance
rate at or above 90 percent would be in
the top decile and any performance rate
above 80 percent would be in the
second highest decile, and this would
continue for the remaining deciles. We
believe the measures that would fall
under this methodology are highpriority or outcome measures for
clinicians to focus on. However, we
want to ensure that benchmarks are set
to incentivize the most appropriate
behavior, and ensure that our method
for scoring against a benchmark
accurately reflects performance and
does not result in clinicians receiving
low scores, despite adherence to the
most appropriate treatment.
For the measures identified, we are
proposing to use a flat percentage,
similar to how the Shared Savings
Program uses flat percentages to set
benchmarks for measures with high
performance. We selected this
methodology for the following reasons:
First, it is a straight-forward and simple
methodology that currently exists for
some MIPS measures that are collected
through the CMS Web Interface. Second,
because we are applying this
methodology to measures with very
high performance, we believe this
approach is consistent with the Shared
Saving Program approach established at
§ 425.502(b)(2)(ii) of using flat
percentages to set benchmarks when
many reporters demonstrate high
achievement on a measure. The Shared
Savings Program uses this method to
avoid penalizing high ACO
performance; however, in this case, we
would be applying the flat percentages
to ensure that the benchmark does not
result in inappropriate and potentially
harmful patient treatment. We believe
this adjustment would provide
additional protection to patients and
reduce the potential incentive for
inappropriate treatment of patients.
We propose that to determine whether
a measure benchmark may not provide
the most appropriate incentives for
treatment, thus creating the potential for
inappropriate treatment based on the
patient’s circumstances, CMS medical
officers would assess if there are
patients for whom it would be
inappropriate to achieve the outcome
targeted by the measure benchmark.
This assessment will include reviews of
factors such as whether the measure
specifications allow for clinical
judgment to adjust for inappropriate
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outcomes, if the benchmarks for any of
the impacted measure’s collection types
could put these patients at risk by
setting a potentially harmful standard
for top decile performance, or whether
the measure is topped out. The intent of
the assessment is to have CMS medical
officers determine whether certain
measure benchmarks may have
unintended consequences that put
patients at risk and the measure
benchmark should therefore move to a
flat percentage. The assessment will
take into account all available
information, including from the medical
literature, published practice guidelines,
and feedback from clinicians, groups,
specialty societies, and the measure
steward. Before applying the flat
percentage benchmarking methodology
to any recommended measure, we
would propose the modified benchmark
for the applicable MIPS payment year
through rulemaking. This policy would
be effective beginning with the CY 2020
MIPS performance period (and thus the
2022 MIPS payment adjustment year).
We also seek comment on future actions
we should take to help us in
determining which measures to apply
the flat percentage benchmarking to; for
example, convening a technical expert
panel.
We have identified two measures for
which we believe we need to apply
benchmarks based on flat percentages to
avoid potential inappropriate
treatment—MIPS #1 (NQF 0059):
Diabetes: Hemoglobin A1c (HbA1c) Poor
Control (9%) and MIPS #236 (NQF
0018): Controlling High Blood Pressure.
Although there are protections built into
both of these measures, such as the use
of less stringent requirements than
current clinical guidelines, they lack
comprehensive denominator exclusions
and risk-adjustment or riskstratification, which can lead to the
possible over treatment of patients in
order to meet numerator compliance.
Overtreatment could lead to instances
where the patient’s blood sugar or blood
pressure is lowered to a level that meets
the measure standard but is too low for
their optimum health given other
coexisting medical conditions.
Because the factors for determining if
a measure benchmark has the potential
to cause inappropriate treatment may
include both measure and benchmark
considerations, we are concerned that
all the benchmarks associated with the
different collection types of a measure
could be affected. Therefore, we are
proposing to use the flat percentage
benchmarks as an alternative to our
standard method of calculating
benchmarks by a percentile distribution
of measure performance rates under for
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all collection types where the top decile
for any measure benchmark is higher
than 90 percent under the performancebased benchmarking methodology at
§ 414.1380(b)(1)(ii). We are limiting the
application of the flat percentage
methodology to all collection types
where the top decile for any measure
benchmark is higher than 90 percent so
that our flat percentage methodology
will actually reduce or remove the
incentive for inappropriate care. If the
top decile was originally below 90
percent, using the flat percentages
would actually raise the level up to 90
percent and therefore provide a stronger
incentive to provide inappropriate care
in order to get the top score. We also
seek comment on whether we should
use a criteria different than applying it
to collection types where the top decile
would be higher than 90 percent if the
benchmark was based on a distribution.
For the two measures we are proposing
to modify, we would not know which
benchmarks and their associated
collection types are impacted until we
run our analysis; however, based on the
benchmarks for the 2019 MIPS
performance period, we would
anticipate using the modified
benchmarks for the Medicare Part B
claims and the MIPS CQM collection
types.
We considered whether we should
rerun the benchmarks excluding those
in the top decile but are concerned that
the approach would add complexity to
the program overall. We seek comment
on whether we should consider
different methodologies for the modified
benchmarks such as excluding the top
decile or increasing the required data
completeness for the measure to a very
high level (for example, 95 to 100
percent) and use performance period
benchmarks rather than historical
benchmarks.
We are proposing to add paragraph
§ 414.1380(b)(1)(ii)(C) to state that
beginning with the 2022 MIPS payment
year, for each measure that has a
benchmark that CMS determines has the
potential to result in inappropriate
treatment, CMS will set benchmarks
using a flat percentage for all collection
types where the top decile is higher
than 90 percent under the methodology
at § 414.1380(b)(1)(ii). We also propose
to revise the text at § 414.1380(b)(1)(ii)
to provide exceptions and to clarify the
requirement that benchmarks will be
based on performance by collection
type, from all available sources,
including MIPS eligible clinicians and
APMs, to the extent feasible, during the
applicable baseline or performance
period.
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(ii) Request for Feedback on Additional
Policies for Scoring the CAHPS for
MIPS Survey Measure
We refer readers to
§ 414.1380(b)(1)(vii)(B) for more on our
policy on reducing the total available
measure achievement points for the
quality performance category by 10
points for groups that submit 5 or fewer
quality measures and register for the
CAHPS for MIPS survey, but do not
meet the minimum beneficiary sampling
requirements.
In this proposed rule, we are not
proposing any changes to the scoring of
the CAHPS for MIPS survey Measure.
However, to the extent consistent with
our authority to collect such
information under section 1848(q) of the
Act, we are considering expanding the
information collected in the CAHPS for
MIPS survey measure, described in
section III.K.3.c.(1) of this proposed
rule, and seek comment on scoring. One
consideration is adding narrative
questions to the CAHPS for MIPS survey
measure, which would invite patients to
respond to a series of questions in free
text, such as responding to open ended
questions and describing their
experience with care in their own
words. We believe narratives from
patients about their health care
experiences would be helpful to other
patients when selecting a clinician and
can provide a valuable complement to
standardized survey scores, both to help
clinicians understand what they can do
to improve care and to engage and
inform patients about differences among
their experiences of care. On the other
hand, there may be concerns about the
accuracy and usefulness of narrative
information reported by patients. For
more information on the rationale for
adding narrative questions, we refer
readers to section III.K.3.c.(1)(c)(i) of
this proposed rule. In addition, we are
interested in learning from
organizations with experience scoring
narrative information, including
methodologies. We would work with
stakeholders on user testing before
proposing any such methodology in
future rulemaking. We are also
considering adding an additional
CAHPS for MIPS survey question
allowing patients to provide a score for
their overall experience and satisfaction
rating with a recent health care
encounter, to capture the patient
‘‘voice’’ and provide patients with
information useful to making a decision
on clinicians, as detailed in section
III.I.3.a.(1) of this proposed rule. We are
interested in feedback regarding how to
score this measure. The new questions
could potentially be added to the
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calculation for a score for the CAHPS for
MIPS survey measure. We would
consider any changes for future notice
and comment rulemaking.
(iii) Scoring for MIPS Eligible Clinicians
That Do Not Meet Quality Performance
Category Criteria
In the CY 2019 PFS final rule (83 FR
35950), we finalized our proposal to
modify our validation process to
provide that it only applies to MIPS
CQMs and the claims collection type,
regardless of the submitter type chosen.
In this proposed rule, we do not
propose any changes to this policy.
However, we refer readers to section
III.K.3.d.(2)(b)(ii)(A) of this proposed
rule for discussion on the rare
circumstances when we are unable to
calculate a quality performance category
score for a MIPS eligible clinician
because they do not have applicable or
available quality measures. If we are
unable to score the quality performance
category for a MIPS eligible clinician,
then we will reweigh the clinician’s
quality performance category score
according to the reweighting policies
described in sections III.K.3.d.(2)(b)(iii)
of this proposed rule.
(iv) Incentives To Report High-Priority
Measures
We refer readers to
§ 414.1380(b)(1)(v)(A) for more on the
cap on high-priority measure bonus
points for the first 3 years of MIPS at 10
percent of the denominator (total
possible measure achievement points
the MIPS eligible clinician could receive
in the quality performance category) of
the quality performance category.
In the CY 2019 PFS final rule (83 FR
59851), we finalized technical updates
to § 414.1380(b)(1) to more clearly and
concisely capture previously established
policies in the section. During this effort
we inadvertently added that a high
priority measure must have a
benchmark. This was not intended to be
a policy change. We are clarifying that
in order for a measure to qualify for high
priority bonus points it must meet case
minimum and data completeness and
not have a zero percent performance.
The measure does not need to have a
benchmark. Accordingly, we propose to
revise § 414.1380(b)(1)(v)(A)(1)(i) to
provide that each high priority measure
must meet the case minimum
requirement at (b)(1)(iii) of this section,
meet the data completeness requirement
at § 414.1340, and have a performance
rate that is greater than zero.
We also removed high priority bonus
points for CMS Web interface reporters
in the CY 2019 PFS final rule (83 FR
59850 through 59851). We refer readers
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to the CY 2019 PFS final rule for further
discussion on this policy.
In this proposed rule, we propose to
maintain the cap on measure points for
reporting high priority measures for the
2022 MIPS payment year. Accordingly,
we propose to revise
§ 414.1380(b)(1)(v)(A)(1)(ii) to remove
the years 2019, 2020, and 2021 and
adding in its place the years 2019
through 2022 to provide that for the
2019 through 2022 MIPS payment years,
the total measure bonus points for high
priority measures cannot exceed 10
percent of the total available measure
achievement points.
(v) Incentives To Use CEHRT To
Support Quality Performance Category
Submissions
We refer readers to
§ 414.1380(b)(1)(v)(B) for more on our
policy assigning one bonus point for
each quality measure submitted with
end-to-end electronic reporting, under
certain criteria.
In this proposed rule, we propose to
continue to assign and maintain the cap
on measure bonus points for end-to-end
electronic reporting for the 2022 MIPS
payment year. We believe with the
proposed framework for transforming
MIPS through the MVPs discussed in
section III.K.3.a. of this proposed rule,
we can find ways in future years to
incorporate eCQM measures without
needing to incentivize end-to-end
reporting with bonus points. As a result,
we will wait until there is further policy
development under the proposed
framework before proposing to remove
our policy of assigning bonus points for
end-to-end electronic reporting.
Accordingly, we propose to revise
§ 414.1380(b)(1)(v)(B)(1)(i) to remove the
years 2019, 2020, and 2021 and add in
its place the years 2019 through 2022 to
provide that for the 2019 through 2022
MIPS payment years, the total measure
bonus points for measures submitted
with end-to-end electronic reporting
cannot exceed 10 percent of the total
available measure achievement points.
(vi) Improvement Scoring for the MIPS
Quality Performance Category Percent
Score
We refer readers to
§ 414.1380(b)(1)(vi)(C)(4) for more on
our policy stating that for the 2020 and
2021 MIPS payment year, we will
assume a quality performance category
achievement percent score of 30 percent
if a MIPS eligible clinician earned a
quality performance category score less
than or equal to 30 percent in the
previous year.
In this proposed rule, we propose to
continue our previously established
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policy for the 2022 MIPS payment year
and to revise § 414.1380(b)(1)(vi)(C)(4)
to remove the phrase ‘‘2020 and 2021
MIPS payment year’’ and adding in its
place the phrase ‘‘2019 through 2022
MIPS payment years’’ to provide that for
the 2020 through 2022 MIPS payment
years, we will assume a quality
performance category achievement
percent score of 30 percent if a MIPS
eligible clinician earned a quality
performance category score less than or
equal to 30 percent in the previous year.
Specifically, for the 2022 MIPS payment
year, we will compare the MIPS eligible
clinician’s quality performance category
achievement percent score for the 2020
MIPS performance period to an assumed
quality performance category
achievement percent score of 30 percent
if the MIPS eligible clinician earned a
quality performance category score less
than or equal to 30 percent for the 2019
MIPS performance period.
(c) Facility-Based Measurement Scoring
Option for the Quality and Cost
Performance Categories for the 2022
MIPS Payment Year
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(i) Background
For our previously established
policies regarding the facility-based
measurement scoring option, we refer
readers to both the CY 2018 Quality
Payment Program final rule (82 FR
53752 through 53767) and the CY 2019
PFS final rule (83 FR 59856 through
59867). In the CY 2019 PFS proposed
rule (83 FR 35962 through 35963), we
requested comments on a number of
issues and topics related to whether we
should expand the facility-based scoring
option to other facilities and programs
in future years, particularly the use of
end-stage renal disease (ESRD) and postacute care (PAC) settings as the basis for
facility-based measurement and scoring.
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We appreciate the many comments we
received in response to this request. We
are not proposing an expansion to other
facility types as part of this rule but may
consider addressing this issue in future
rulemaking.
(ii) Facility-Based Measurement
Eligibility
In the CY 2019 PFS final rule (83 FR
59856 through 59860), we established
the policies that determine eligibility for
scoring for facility-based measurement
as an individual and as a group. In the
CY 2019 PFS final rule, we established
at § 414.1380(e)(2)(i)(C) that a MIPS
eligible clinician is facility-based if the
clinician can be attributed, under the
methodology specified in
§ 414.1380(e)(5), to a facility with a
value-based purchasing score for the
applicable period. While we do not
propose any changes to the eligibility of
facility-based measurement for
individuals or groups, we are proposing
to amend § 414.1380(e)(2)(i)(C) to
improve clarity. Specifically, we
propose to amend § 414.1380(e)(2)(i)(C)
to state that a MIPS eligible clinician is
facility-based if the clinician can be
assigned, under the methodology
specified in § 414.1380(e)(5), to a facility
with a value-based purchasing score for
the applicable period. We hope to avoid
any ambiguity as we have used the term
‘‘attribute’’ and ‘‘attribution’’ in two
ways. We have used the term to refer to
the use of the facility’s performance in
place of the clinician’s own
performance (83 FR 59857). We have
also used the term at
§ 414.1380(e)(2)(i)(C) to reference our
method of connecting clinicians to a
facility and indicate that the facility
score will be the clinician’s score. We
believe these are related but distinct
concepts; therefore, we are proposing to
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revise § 414.1380(e)(2)(i)(C) to use the
term ‘‘assign’’ instead of ‘‘attribute.’’ We
believe this change in language more
clearly describes how a clinician
receives a score under facility-based
measurement while avoiding making
any changes to our methods in
determining eligibility for facility-based
measurement or their score. This does
not constitute a change in policy.
(iii) Facility-Based Measures for CY
2020 MIPS Performance Period/2022
MIPS Payment Year
For informational purposes, we are
providing in Table 44 a list of the
measures included in the FY 2021
Hospital VBP Program measure set that
will be used in determining the quality
and cost performance category scores for
the CY 2020 MIPS performance period/
2022 MIPS payment year. The FY 2021
Hospital VBP Program has adopted 12
measures covering 4 domains (83 FR
20412 through 20413). The performance
period for measures in the Hospital VBP
Program varies depending on the
measure, and some measures include
multi-year performance periods. These
measures are determined through
separate rulemaking; the applicable
rulemaking is usually the Hospital
Inpatient Prospective Payment Systems
(IPPS) for Acute Care Hospitals and the
Long-Term Care Hospital (LTCH)
Prospective Payment System (PPS) rule.
We are using these measures,
benchmarks, and performance periods
for the purposes of facility-based
measurement in accordance with
§ 414.1380(e)(1). The measures for FY
2021 Hospital VBP Program were
summarized in the FY 2019 IPPS/LTCH
PPS proposed rule (83 FR 41454
through 41455).
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(d) Scoring the Improvement Activities
Performance Category
For our previously established
policies regarding scoring the
improvement activities performance
category, we refer readers to
§ 414.1380(b)(3), the CY 2018 Quality
Payment Program final rule (82 FR
53767 through 53769), and the CY 2019
PFS final rule (83 FR 59867 through
59868). We also refer readers to
§ 414.1355 and the CY 2017 Quality
Payment Program final rule (81 FR
77177 through 77199), the CY 2018
Quality Payment Program final rule (82
FR 53648 through 53662), and the CY
2019 PFS final rule (83 FR 59776
through 59785) for our previously
established policies regarding the
improvement activities performance
category generally and section
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III.K.3.c.(3) of this proposed rule, where
we discuss our proposals for the
improvement activities performance
category.
(e) Scoring the Promoting
Interoperability Performance Category
We refer readers to section III.K.3.c.(4)
of this proposed rule, where we discuss
our proposals for the Promoting
Interoperability performance category.
(2) Calculating the Final Score
For a description of the statutory basis
and our policies for calculating the final
score for MIPS eligible clinicians, we
refer readers to § 414.1380(c) and the
discussion in the CY 2017 Quality
Payment Program final rule (81 FR
77319 through 77329), CY 2018 Quality
Payment Program final rule (82 FR
53769 through 53785), and CY 2019 PFS
final rule (83 FR 59868 through 59878).
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In this proposed rule, we are proposing
to continue the complex patient bonus
for the 2022 MIPS payment year and to
establish performance category
reweighting policies for the 2022, 2023,
and 2024 MIPS payment years.
(a) Complex Patient Bonus for the 2022
MIPS Payment Year
In the CY 2019 PFS final rule (83 FR
59869 through 59870), under the
authority in section 1848(q)(1)(G) of the
Act, we finalized at § 414.1380(c)(3) to
maintain the complex patient bonus,
which we previously finalized in the CY
2018 Quality Payment Program final
rule (82 FR 53771 through 53776), of up
to five points to be added to the final
score for the 2021 MIPS payment year.
The complex patient bonus was
developed as a short-term solution to
address the impact patient complexity
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may have on MIPS scoring that we
would revisit on an annual basis while
we continue to work with stakeholders
on methods to account for patient risk
factors. Our overall goal for the complex
patient bonus was twofold: (1) To
protect access to care for complex
patients and provide them with
excellent care; and (2) to avoid placing
MIPS eligible clinicians who care for
complex patients at a potential
disadvantage while we review the
completed studies and research to
address the underlying issues. For a
detailed description of the complex
patient bonus finalized for prior MIPS
payment years, please refer to the CY
2018 Quality Payment Program final
rule (82 FR 53771 through 53776) and
CY 2019 PFS final rule (83 FR 59869
through 59870).
For the 2020 MIPS performance
period/2022 MIPS payment year, we
propose to continue the complex patient
bonus as finalized for the 2019 MIPS
performance period/2021 MIPS
payment year and to revise
§ 414.1380(c)(3) to reflect this policy.
Although we intend to maintain the
complex patient bonus as a short-term
solution, we do not believe we have
sufficient information available at this
time to develop a long-term solution to
account for patient risk factors in MIPS
such that we would be able to include
a different approach in this proposed
rule. Section 1848(q)(1)(G) of the Act
requires us to consider risk factors in
our scoring methodology for MIPS.
Specifically, it provides that the
Secretary, on an ongoing basis, shall, as
the Secretary determines appropriate
and based on individuals’ health status
and other risk factors, assess appropriate
adjustments to quality measures, cost
measures, and other measures used
under MIPS and assess and implement
appropriate adjustments to payment
adjustments, final scores, scores for
performance categories, or scores for
measures or activities under MIPS. In
doing so, the Secretary is required to
take into account the relevant studies
conducted by the Office of the Assistant
Secretary for Planning and Evaluation
(ASPE) under section 2(d) of the
Improving Medicare Post-Acute Care
Transformation Act of 2014 (IMPACT
Act) (Pub. L. 113–185, enacted October
6, 2014) and, as appropriate, other
information, including information
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collected before completion of such
studies and recommendations. ASPE
completed its first report 134 in
December 2016, which examined the
effect of individuals’ socioeconomic
status on quality, resource use, and
other measures under the Medicare
program, and included analyses of the
effects of Medicare’s current valuebased payment programs on providers
serving socially at-risk beneficiaries and
simulations of potential policy options
to address these issues. The second
ASPE report is expected in October
2019 as required by the IMPACT Act,
and will examine additional risk factors
and data. We expect the second report
will build on the analyses included in
initial report and may provide
additional insight for a long-term
solution to addressing risk factors in
MIPS. At this time, we do not believe
additional data sources are available
that would be feasible to use as the basis
for a different approach to account for
patient risk factors in MIPS. We plan to
continue working with ASPE, the
public, and other key stakeholders on
this important issue to identify policy
solutions that achieve the goals of
attaining health equity for all
beneficiaries and minimizing
unintended consequences.
With newly available data from the
Quality Payment Program, we
considered whether the data still
support the complex patient bonus at
the final score level. We have replicated
analyses similar to the ones presented in
Table 27 of the CY 2018 Quality
Payment Program final rule (82 FR
53776). However, our latest analyses use
the data submitted for the Quality
Payment Program for the 2017 MIPS
performance period and assess
eligibility and final scores based on the
proposals we are making for the 2020
MIPS performance period/2022 MIPS
payment year using the methodology
described in the Regulatory Impact
Analysis in section VI. of this proposed
rule.
134 U.S. Department of Health and Human
Services, Office of the Assistant Secretary for
Planning and Evaluation, Report to Congress: Social
Risk Factors and Performance Under Medicare’s
Value-Based Purchasing Programs (2016). Available
at https://aspe.hhs.gov/pdf-report/report-congresssocial-risk-factors-and-performance-undermedicares-value-based-purchasing-programs.
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In the CY 2018 Quality Payment
Program final rule (82 FR 53771 through
53776), when considering approaches
for a complex patient bonus, we
reviewed evidence to identify how
indicators of patient complexity have an
impact on performance under MIPS, as
well as availability of data to implement
the bonus. Specifically, we identified
two potential indicators for complexity:
Medical complexity as measured
through Hierarchical Condition
Category (HCC) risk scores; and social
risk as measured through the proportion
of patients with dual eligible status.
We identified these indicators
because they are common indicators of
patient complexity in the Medicare
program and the data is readily
available. Both of these indicators have
been used in CMS programs to account
for risk and both data elements are
already publicly available for individual
NPIs in the Medicare Physician and
Other Supplier Public Use File (referred
to as the Physician and Other Supplier
PUF).
We divided clinicians and groups into
quartiles based on average HCC risk
score and percentage of dual eligible
patients. To assess whether there was a
difference in MIPS simulated scores by
these two variables, we analyzed the
effect of average HCC risk score and
dual eligible ratio separately for groups
and individuals. When looking at
individuals, we focused on individuals
that reported 6 or more measures
(removing individuals who reported no
measures or who reported less than 6
measures). We restricted our analysis to
individuals who reported 6 or more
measures because we wanted to look at
differences in performance for those
who reported the 6 measures which are
generally required under MIPS if there
are six measures that apply to the MIPS
eligible clinician, rather than differences
in scores due to MIPS eligible clinicians
not fully reporting for MIPS.
We also ranked MIPS eligible
clinicians by proportion of patients with
dual eligibility as previously done in
Table 27 of the CY 2018 Quality
Payment Program final rule (82 FR
53776). We have updated the analysis
by using the components of the complex
patient bonus and dividing clinicians
into quartiles. The preliminary results
are shown in Table 45.
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TABLE 45—MIPS SIMULATED AVERAGE FINAL SCORE * BY HCC RISK QUARTILE AND DUAL ELIGIBLE RATIO QUARTILE
Estimated 2022 MIPS payment
year final scores using data
submitted for the quality
payment program for the 2017
MIPS performance period
HCC risk score
Individuals
with 6+
measures *
Quartile
Quartile
Quartile
Quartile
Quartile
Quartile
Quartile
Quartile
1—Lowest Average HCC ...........................................................................................................................
2 .................................................................................................................................................................
3 .................................................................................................................................................................
4—Highest Average HCC ..........................................................................................................................
Dual Eligible Ratio
1—Low Proportion of Dual Status .............................................................................................................
2 .................................................................................................................................................................
3 .................................................................................................................................................................
4—Highest Proportion of Dual Status .......................................................................................................
Groups
72.32
72.58
73.2
72.68
70.3
77.59
73.93
67.66
73.51
72.37
72.16
70.7
73.04
76.28
72.21
68.79
* We restricted our analysis to individuals who reported 6 or more measures because we wanted to look at differences in performance for
those who reported the 6 measures which are generally required under MIPS if there are six measures that apply to the MIPS eligible clinician,
rather than differences in scores due to MIPS eligible clinicians not fully reporting for MIPS.
Table 45 illustrates the average
estimated MIPS final scores for
individual MIPS eligible clinicians who
submitted at least 6 measures (generally,
those who fully report for MIPS quality)
and for group reporters, stratified by the
average HCC risk score and dual eligible
ratio quartiles. For more detail on the
original analysis, we refer readers to the
CY 2018 Quality Payment Program final
rule (82 FR 53776).135
Overall, the analysis of preliminary
data shows a consistent relationship
between the dual eligible ratio quartiles
and the average MIPS final scores only
for individuals, where the average MIPS
final score decreases as the quartile
increases. We see slight differences in
the average HCC risk score and dual
eligible ratio quartiles for groups, but
virtually no difference for average HCC
risk score for individuals. However, we
have only 1 year of data and more recent
data may bring different results. In
addition, we are awaiting a second
report from ASPE in October 2019 that
we expect will provide more direction
for our approach to accounting for risk
factors in MIPS. We are concerned that
without the information from ASPE and
without observing a clear trend that
would require a change in our
methodology, making any changes
beyond our proposal to continue this
policy would be premature at this time.
(b) Final Score Performance Category
Weights
(i) General Weights
Section 1848(q)(5)(E)(i) of the Act
specifies weights for the performance
categories included in the MIPS final
score: In general, 30 percent for the
quality performance category; 30
percent for the cost performance
category; 25 percent for the Promoting
Interoperability performance category;
and 15 percent for the improvement
activities performance category. For
more of the statutory background and
descriptions of our current policies, we
refer readers to the CY 2017 and CY
2018 Quality Payment Program final
rules (81 FR 77320 through 77329 and
82 FR 53779 through 53785,
respectively), as well as the CY 2019
PFS final rule (83 FR 59870 through
59878). Under our proposals in section
III.K.3.c.(2)(a) of this proposed rule, the
cost performance category would make
up 20 percent of a MIPS eligible
clinician’s final score for the 2022 MIPS
payment year, 25 percent for the 2023
MIPS payment year, and 30 percent for
the 2024 MIPS payment year. Under our
proposals in section III.K.3.c.(1)(b) of
this proposed rule, the quality
performance category would thus make
up 40 percent of a MIPS eligible
clinician’s final score the 2022 MIPS
payment year, 35 percent for the 2023
MIPS payment year, and 30 percent for
the 2024 MIPS payment year. Table 46
summarizes the weights proposed for
each performance category.
TABLE 46—PROPOSED WEIGHTS BY MIPS PERFORMANCE CATEGORY FOR THE 2022 THROUGH 2024 MIPS PAYMENT
YEARS
2022 MIPS
payment year
(proposed)
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Performance category
Quality ..........................................................................................................................................
Cost ..............................................................................................................................................
Improvement Activities .................................................................................................................
Promoting Interoperability ............................................................................................................
135 Data submitted for 2017 MIPS performance
period was subject to different policies than later
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years of MIPS (due to the ‘‘pick-your-pace’’
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40
20
15
25
2023 MIPS
payment year
(proposed)
(percent)
2024 MIPS
payment year
(proposed)
(percent)
35
25
15
25
approach in the first year of MIPS and the much
lower performance threshold of 3 points).
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(ii) Flexibility for Weighting
Performance Categories
Under section 1848(q)(5)(F) of the
Act, if there are not sufficient measures
and activities applicable and available
to each type of MIPS eligible clinician
involved, the Secretary shall assign
different scoring weights (including a
weight of zero) for each performance
category based on the extent to which
the category is applicable to the type of
MIPS eligible clinician involved and for
each measure and activity for each
performance category based on the
extent to which the measure or activity
is applicable and available to the type
of MIPS eligible clinician involved.
Under section 1848(q)(5)(B)(i) of the
Act, in the case of a MIPS eligible
clinician who fails to report on an
applicable measure or activity that is
required to be reported by the clinician,
the clinician must be treated as
achieving the lowest potential score
applicable to such measure or activity.
In this scenario of failing to report, the
MIPS eligible clinician would receive a
score of zero for the measure or activity,
which would contribute to the final
score for that MIPS eligible clinician.
Assigning a scoring weight of zero
percent and redistributing the weight to
the other performance categories differs
from the scenario of a MIPS eligible
clinician failing to report on an
applicable measure or activity that is
required to be reported. For a
description of our existing policies for
reweighting performance categories,
please refer to § 414.1380(c)(2) and the
CY 2019 PFS final rule (83 FR 59871
through 59876).
(A) Reweighting Performance Categories
Due to Data That Are Inaccurate,
Unusable, or Otherwise Compromised
Under current regulations at
§ 414.1380(c)(2), we assign different
weights to the performance categories
and redistribute weight from one
category to another under specified
circumstances where we have
determined reweighting is appropriate.
These circumstances do not currently
include cases where a MIPS eligible
clinician submits data that are
inaccurate, unusable, or otherwise
compromised (referred to in this section
as ‘‘compromised data’’). If we
determine a MIPS eligible clinician has
submitted compromised data, we assign
the clinician a score of zero for the
performance category. Because
compromised data is not currently a
basis for reweighting, the determination
that data are inaccurate, unusable or
otherwise compromised is likely to
reduce the clinician’s final score and
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therefore may reduce the clinician’s
payment adjustments. However, we
believe that reweighting of the
applicable performance categories may
be appropriate in rare cases.
Specifically, we believe reweighting
may be appropriate when a MIPS
eligible clinician’s data are inaccurate,
unusable or otherwise compromised
due to circumstances that are outside of
the control of the MIPS eligible clinician
or its agents.
In the CY 2018 Quality Payment
Program final rule, we discussed our
belief that extreme and uncontrollable
circumstances, such as natural disasters,
could cause the MIPS measures and
activities to be unavailable to a MIPS
eligible clinician (82 FR 53780 through
53783). For similar reasons, we believe
that the measures and activities may not
be available to a MIPS eligible clinician
for the quality, cost, and improvement
activities performance categories under
section 1848(q)(5)(F) of the Act when
data related to the measures and
activities are inaccurate, unusable or
otherwise compromised due to
circumstances that are outside of the
control of the MIPS eligible clinician or
its agents. In addition, we believe data
that are inaccurate, unusable or
otherwise compromised due to
circumstances that are outside of the
control of the MIPS eligible clinician or
its agents could constitute a significant
hardship for purposes of the Promoting
Interoperability performance category
under section 1848(o)(2)(D) of the Act.
Therefore, we are proposing a new
policy to allow reweighing for any
performance category if, based on
information we learn prior to the
beginning of a MIPS payment year, we
determine data for that performance
category are inaccurate, unusable or
otherwise compromised due to
circumstances outside of the control of
the MIPS eligible clinician or its agents.
For purposes of this reweighting
policy, we propose that reweighting take
into account both what control the
clinician had directly over the
circumstances and what control the
clinician had indirectly through its
agents. The term agent as used in this
proposal is intended to include any
individual or entity, including a third
party intermediary as described in
§ 414.1400, acting on behalf of or under
the instruction of the MIPS eligible
clinician We believe that reweighting is
not appropriate if a clinician could exert
influence over a third party
intermediary or another party to prevent
or remediate compromised data and
does not do so. However, we believe
reweighting is appropriate in certain
circumstances that may be within the
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control of the clinician’s third party
intermediary if the clinician cannot alter
that party’s conduct. Such
circumstances would exist if a
clinician’s third party intermediary
could correct the clinician’s
compromised data and despite requests
from the clinician the third party
intermediary chose not to do so. In this
example, the decision by the third party
intermediary not to make the correction
would demonstrate that the third party
intermediary was not acting as an agent
of the clinician and the third party
intermediary’s conduct would not
preclude reweighting. We solicit
comments on this approach and
possible alternatives for balancing
efforts to allow reweighting in
circumstances in which clinicians are
not culpable for compromised data
while maintaining financial incentives
for clinicians, third party intermediaries
and other parties to prevent and correct
compromised data.
We propose that our determination of
whether reweighing will be applied
under this policy can take into account
any information known to the agency
and we will consider the information
we obtain on a case-by-case basis for
reweighting. We anticipate considering
information provided to us through
routine communication channels for the
Quality Payment Program by any
submitter type as defined under
§ 414.1305, as well as other relevant
information sources of which we are
aware. We request that third party
intermediaries, to the extent feasible,
inform MIPS eligible clinicians if the
third party intermediary believes their
data may have been compromised. To
the extent third party intermediaries
believe that MIPS data may be
compromised, we encourage them to
provide us with a list of or other
identifying information for all MIPS
eligible clinicians who may have been
affected by such issues, so that we may
evaluate the circumstances in a timely
manner. We also encourage MIPS
eligible clinicians to contact us and selfidentify if they believe they have
compromised data; they should not rely
solely on a third party intermediary to
do so. We recognize that there may be
scenarios when a MIPS eligible clinician
or one or more of its agents becomes
aware of potential data issues prior to
submission of data. We solicit comment
on whether and how our proposed
reweighting policy should apply to
these circumstances. We note that
compromised data are not true, accurate
or complete for purposes of
§ 414.1390(b) or § 414.1400(a)(5) and
knowing submission of compromised
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data may result in remedial action
against the submitter. A MIPS eligible
clinician should not submit data and
should not allow the submission of his
or her data if the MIPS eligible clinician
knows that the data are inaccurate,
unusable, or otherwise compromised.
We propose to determine whether the
requirements for reweighting are met by
assessing if: (1) The MIPS eligible
clinician’s data are inaccurate,
unusable, or otherwise compromised;
and (2) the data are compromised due
to circumstances outside of the control
of the MIPS eligible clinician or agent.
We would make the determination of
whether the clinician’s data are
inaccurate, unusable or otherwise
compromised based on documentation
of the issue and its demonstrated effect
on data of the particular MIPS eligible
clinician. As noted above, we propose to
limit this policy to cases where data are
compromised outside the control of the
clinician or its agent because we do not
want to create incentives for clinicians
or third party intermediaries to
knowingly submit compromised data
and want to encourage clinicians and
their agents to take reasonable efforts to
correct data that they believe maybe not
compromised. Factors relevant to
whether the circumstances were outside
the control of the clinician and its
agents include: Whether the affected
MIPS eligible clinician or its agents
knew or had reason to know of the
issue; whether the affected MIPS
eligible clinician or its agents attempted
to correct the issue; and whether the
issue caused the data submitted to be
inaccurate or unusable for MIPS
purposes. We solicit feedback on these
factors and whether there are additional
factors we should consider to determine
if there should be reweighing based on
compromised data. If we determine that
a MIPS eligible clinician’s data were
compromised and the conditions for
reweighting are met, we propose to
notify the clinician of this
determination through the performance
feedback that we provide under section
1848(q)(12) of the Act if feasible, or
through routine communication
channels for the Quality Payment
Program. We emphasize that this
proposed reweighting policy is solely
intended to mitigate the potential
adverse financial impact of
compromised data on the MIPS eligible
clinician; a determination under this
proposed policy that data are
compromised due to circumstances
outside of the control of the MIPS
eligible clinician and its agent and
therefore that reweighting will occur for
that clinician does not indicate and
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should not be interpreted to suggest that
a third party intermediary or other
individual or entity could not be held
liable for the compromised data.
We are proposing to apply
reweighting only in cases when we
learn of the compromised data before
the beginning of the associated MIPS
payment year because we want to
encourage MIPS eligible clinicians and
their agents to inform us of these
concerns in a timely basis so we can
update our data sets timely, while
minimizing the impacts to other
stakeholders who utilize MIPS data. For
example, the Physician compare website
utilizes MIPS data to provide
information to patients, consumers and
other stakeholders when selecting a
clinician or group. We are concerned
that without the appropriate incentive
to notify us in a timely manner,
clinicians and their agents may delay
disclosures that data may be
compromised and with these delays the
MIPS data could be in an increased state
of flux which will reduce the usefulness
of the data to stakeholders. We are
interested in feedback on whether there
are other factors we should consider
when adopting a timeline for
reweighting due to compromised data
and whether the period should be
broader. We seek comment on whether
we should restrict our reweighting due
to compromised data to instances when
we learn the relevant information prior
to the beginning of the MIPS payment
year and whether there are other
incentives for MIPS eligible clinicians to
alert us to concerns about compromised
data. We emphasize that if we
determine a MIPS eligible clinician has
submitted compromised data for a
performance category during the
associated payment year or at a later
point, the MIPS eligible clinician would
not qualify for reweighting under this
proposal, instead for the performance
categories with compromised data the
clinician’s performance category score
would be zero and the scoring weight
for the category would not be
redistributed.
In sum, under the authority in
sections 1848(q)(5)(F) and 1848(o)(2)(D)
of the Act, we are proposing at
§ 414.1380(c)(2)(i)(A)(9), and
(c)(2)(i)(C)(10), beginning with the 2018
MIPS performance period and 2020
MIPS payment year, to reweight the
performance categories for a MIPS
eligible clinician who we determine has
data for a performance category that are
inaccurate, unusable or otherwise
compromised due to circumstances
outside of the control of the clinician or
its agents if we learn the relevant
information prior to the beginning of the
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40797
associated MIPS payment year. In
addition, we are proposing to amend
§ 414.1380(c)(2)(i)(C) to ensure that the
reweighting proposed at
§ 414.1380(c)(2)(i)(C)(10), would not be
voided by the submission of data for the
Promoting Interoperability performance
category as is the case with other
significant hardship exceptions. We
solicit comment in this proposal and
alternatives to potentially mitigate the
impact on MIPS eligible clinicians who
through no fault of their own have data
in a performance category that are
inaccurate, unusable or are otherwise
compromised.
We note that we previously finalized
at § 414.1380(c) that if a MIPS eligible
clinician is scored on fewer than two
performance categories, he or she will
receive a final score equal to the
performance threshold (81 FR 77326
through 77328 and 82 FR 53778 through
53779). Therefore, if a MIPS eligible
clinician is scored on fewer than two
performance categories as a result of
reweighting due to compromised data,
he or she would receive a final score
equal to the performance threshold.
(iii) Redistributing Performance
Category Weights
In the CY 2017 and CY 2018 Quality
Payment Program final rules (81 FR
77325 through 77329 and 82 FR 53783
through 53785, 53895 through 53900),
in the CY 2019 PFS final rule (83 FR
59876 through 59878), and at
§ 414.1380(c)(2)(ii) we established
policies for redistributing the weights of
performance categories for the 2019,
2020, and 2021 MIPS payment years in
the event that a scoring weight different
from the generally applicable weight is
assigned to a category or categories.
Under these policies, we generally
redistribute the weight of a performance
category or categories to the quality
performance category because of the
experience MIPS eligible clinicians have
had reporting on quality measures
under other CMS programs.
Because the cost performance
category was zero percent of a MIPS
eligible clinician’s final score for the
2017 MIPS performance period, we
stated in the CY 2019 PFS proposed rule
(83 FR 35970) that it is not appropriate
to redistribute weight to the cost
performance category for the 2019 MIPS
performance period because MIPS
eligible clinicians have limited
experience being scored on cost
measures for purposes of MIPS. In
addition, we were concerned that there
would be limited measures in the cost
performance category under our
proposals for the 2019 MIPS
performance period and stated that it
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may be appropriate to delay shifting
additional weight to the cost
performance category until additional
measures are developed. However, we
also noted that cost is a critical
component of the Quality Payment
Program and believe placing additional
emphasis on the cost performance
category in future years may be
appropriate. Therefore, we solicited
comment on redistributing weight to the
cost performance category in future
years.
Several commenters expressed the
belief that the weight of other
performance categories should not be
redistributed to the cost performance
category. One commenter stated that the
cost performance category weight
should not be increased until additional
cost measures are available and
additional results of the episode-based
cost measures are available. Another
commenter expressed the belief that the
cost performance category does not yet
accurately assess the impact of a
clinician’s care on the total cost of care
for a patient.
We do not believe it would be
appropriate to redistribute weight from
the other performance categories to the
cost performance category for the 2022
MIPS payment year, except in scenarios
in which the only other scored
performance category is the
improvement activities performance
category. As described in section
III.K.3.c.(2)(b)(v) of this proposed rule,
we are proposing substantial changes to
the MSPB and total per capital cost
measures, as well as proposing to add
10 new episode-based measures. We
believe it is appropriate to provide MIPS
eligible clinicians additional time to
adjust to these changes prior to
redistributing weight to the cost
performance category. Under the
proposals we are making in this
proposed rule, we would begin to
redistribute more weight to the cost
performance category beginning with
the 2023 MIPS payment year, because
MIPS eligible clinicians will have had
more experience being scored on cost
measures at that point, and will have
had time to adjust to the changes to
existing measures and new episodebased measures that we are proposing.
Under our existing policies, we
redistribute weight from the other
performance categories to the
improvement activities performance
category in certain scenarios. However,
we have generally redistributed
performance category weights more to
the quality performance category to
incentivize reporting on quality
measures, and because MIPS eligible
clinicians have had more experience
with quality measure reporting from
other CMS programs. Beginning with
the 2022 MIPS payment year, we
propose to not redistribute performance
category weights to the improvement
activities performance category in any
scenario. For the improvement activities
performance category, we are only
assessing whether a MIPS eligible
clinician completed certain activities
(83 FR 59876 through 59878). Because
MIPS eligible clinicians will have had
several years of experience reporting
under MIPS, we believe it is important
to prioritize performance on measures
that show a variation in performance,
rather than the activities under the
improvement activities performance
category, which are based on attestation
of completion. Therefore, we believe it
is no longer appropriate to increase the
weight of the improvement activities
performance category above 15 percent
under our redistribution policies. We
note that in situations where the
weights of both the quality and
Promoting Interoperability performance
categories are redistributed, cost would
be weighted at 85 percent and
improvement activities would be
weighted at 15 percent. We believe this
would help to reduce incentives to not
report measures for the quality
performance category in circumstances
when a clinician may be able to report
but chooses not to do so. For example,
when a clinician may be able to report
on quality measures, but chooses not to
report because they are located in an
area affected by extreme and
uncontrollable circumstances as
identified by CMS and qualify for
reweighting under
§ 414.1380(c)(2)(i)(A)(8).
For the 2022 MIPS payment year, we
propose at § 414.1380(c)(2)(ii)(D) similar
redistribution policies to our policies
finalized for the 2021 MIPS payment
year (83 FR 59876 through 59878), with
minor modifications, as shown in Table
47. First, we have adjusted our
redistribution policies to account for a
cost performance category weight of 20
percent for the 2022 MIPS payment
year. We are also proposing, in
scenarios when the cost performance
category weight is redistributed while
the Promoting Interoperability
performance category weight is not, to
redistribute a portion of the cost
performance category weight to the
Promoting Interoperability performance
category as well as to the quality
performance category. We believe this is
appropriate given our current focus on
working with the Office of the National
Coordinator for Health IT (ONC) on
implementation of the interoperability
provisions of the 21st Century Cures Act
(the Cures Act) (Pub. L. 115–233,
enacted December 13, 2016) to ensure
seamless but secure exchange of health
information for clinicians and patients.
While we have previously redistributed
all of the cost performance category
weight to the quality performance
category (83 FR 59876 through 59878),
we propose to redistribute 15 percent to
the quality performance category and 5
percent to the Promoting
Interoperability performance category
for the 2022 MIPS payment year (see
Table 47). This proposed change would
emphasize the importance of
interoperability without overwhelming
the contribution of the quality
performance category to the final score.
We also propose to weight the
improvement activities performance
category at 15 percent and to weight the
Promoting Interoperability performance
category at 85 percent for the 2022 MIPS
payment year when the quality and cost
performance categories are each
weighted at zero percent, to align with
our focus on interoperability and
pursuant to our proposal of not
redistributing weight to the
improvement activities performance
category.
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TABLE 47—PERFORMANCE CATEGORY REDISTRIBUTION POLICIES PROPOSED FOR THE 2022 MIPS PAYMENT YEAR
Quality
(percent)
Reweighting scenario
No Reweighting Needed:
—Scores for all four performance categories ..........................................
Reweight One Performance Category:
—No Cost .................................................................................................
—No Promoting Interoperability ...............................................................
—No Quality .............................................................................................
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Improvement
activities
(percent)
Cost
(percent)
Promoting
interoperability
(percent)
40
20
15
25
55
65
0
0
20
20
15
15
15
30
0
65
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TABLE 47—PERFORMANCE CATEGORY REDISTRIBUTION POLICIES PROPOSED FOR THE 2022 MIPS PAYMENT YEAR—
Continued
Quality
(percent)
Reweighting scenario
—No Improvement Activities ....................................................................
Reweight Two Performance Categories:
—No Cost and no Promoting Interoperability ..........................................
—No Cost and no Quality ........................................................................
—No Cost and no Improvement Activities ...............................................
—No Promoting Interoperability and no Quality .......................................
—No Promoting Interoperability and no Improvement Activities .............
—No Quality and no Improvement Activities ...........................................
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In section III.K.3.c.(2)(a) of this
proposed rule, we have proposed
weights for the cost performance
category of 25 and 30 percent for the
2023 and 2024 MIPS payment years,
respectively. Because MIPS eligible
clinicians will have had more
experience being scored on cost
measures, we believe it would be
appropriate to begin redistributing even
more of the performance category
weights to the cost performance
category beginning with the 2023 MIPS
payment year. While we have proposed
to redistribute weight to the cost
performance category for the 2022 MIPS
payment year in scenarios in which
only the cost and improvement
activities performance categories are
scored, we believe that we should
redistribute weight to the cost
performance category in other scenarios
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Promoting
interoperability
(percent)
55
20
0
25
85
0
70
0
80
0
0
0
0
85
20
20
15
15
0
15
0
0
0
85
30
0
0
80
beginning with the 2023 MIPS payment
year. In general, we would redistribute
performance category weights so that
the quality and cost performance
categories are almost equal. For
simplicity, we would redistribute the
weight in 5-point increments. If the
redistributed weight cannot be equally
divided between quality and cost in 5point increments, we would redistribute
slightly more weight to quality than
cost. We believe that redistributing
weight equally to quality and cost is
consistent with our goal of greater
alignment between the quality and cost
performance categories as described in
section III.K.3.c.(2) of this proposed
rule. We would also continue to
redistribute weight to the Promoting
Interoperability performance category,
but we would ensure that if the quality
and cost performance categories are
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Improvement
activities
(percent)
Cost
(percent)
scored, they would have a higher weight
than the Promoting Interoperability
performance category. For example,
beginning with the 2024 MIPS payment
year, if the improvement activities
performance category is the only
performance category to be reweighted
to zero percent, quality and cost would
be 40 and 35 percent, respectively, and
we would not increase the weight of the
Promoting Interoperability performance
category (weighted at 25 percent) so that
it would not exceed the weight of the
quality or cost performance categories.
Our proposed redistribution polices for
the 2023 and 2024 MIPS payment years,
which we propose to codify at
§§ 414.1380(c)(2)(ii)(E) and (F), are
presented in Tables 47 and 48.
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the additional performance threshold
for exceptional performance for the
2022 and 2023 MIPS payment years.
e. MIPS Payment Adjustments
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(1) Background
For our previously established
policies regarding the final score used in
MIPS payment adjustment calculations,
we refer readers to the CY 2019 PFS
final rule (83 FR 59878 through 59894),
CY 2018 Quality Payment Program final
rule (82 FR 53785 through 53799) and
CY 2017 Quality Payment Program final
rule (81 FR 77329 through 77343).
We are proposing to: (1) Set the
performance threshold for the 2022 and
2023 MIPS payment years and (2) set
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(2) Establishing the Performance
Threshold
Under section 1848(q)(6)(D)(i) of the
Act, for each year of MIPS, the Secretary
shall compute a performance threshold
with respect to which the final scores of
MIPS eligible clinicians are compared
for purposes of determining the MIPS
payment adjustment factors under
section 1848(q)(6)(A) of the Act for a
year. The performance threshold for a
year must be either the mean or median
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(as selected by the Secretary, and which
may be reassessed every 3 years) of the
final scores for all MIPS eligible
clinicians for a prior period specified by
the Secretary.
Section 1848(q)(6)(D)(iii) of the Act
includes a special rule for the initial 2
years of MIPS, which requires the
Secretary, prior to the performance
period for such years, to establish a
performance threshold for purposes of
determining the MIPS payment
adjustment factors under section
1848(q)(6)(A) of the Act and an
additional performance threshold for
purposes of determining the additional
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MIPS payment adjustment factors under
section 1848(q)(6)(C) of the Act, each of
which shall be based on a period prior
to the performance period and take into
account data available for performance
on measures and activities that may be
used under the performance categories
and other factors determined
appropriate by the Secretary. Section
51003(a)(1)(D) of the Bipartisan Budget
Act of 2018 amended section
1848(q)(6)(D)(iii) of the Act to extend
the special rule to apply for the initial
5 years of MIPS instead of only the
initial 2 years of MIPS.
In addition, section 51003(a)(1)(D) of
the Bipartisan Budget Act of 2018 added
a new clause (iv) to section
1848(q)(6)(D) of the Act, which includes
an additional special rule for the third,
fourth, and fifth years of MIPS (the 2021
through 2023 MIPS payment years).
This additional special rule provides,
for purposes of determining the MIPS
payment adjustment factors under
section 1848(q)(6)(A) of the Act, in
addition to the requirements specified
40801
in section 1848(q)(6)(D)(iii) of the Act,
the Secretary shall increase the
performance threshold for each of the
third, fourth, and fifth years to ensure a
gradual and incremental transition to
the performance threshold described in
section 1848(q)(6)(D)(i) of the Act (as
estimated by the Secretary) with respect
to the sixth year (the 2024 MIPS
payment year) to which the MIPS
applies. The performance thresholds for
the first 3 years of MIPS are presented
in Table 50.
TABLE 50—PERFORMANCE THRESHOLDS FOR THE 2019 MIPS PAYMENT YEAR, 2020 MIPS PAYMENT YEAR, AND 2021
MIPS PAYMENT YEAR
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Performance Threshold .............................................................................................
To determine a performance threshold
to propose for the fourth year of MIPS
(2020 MIPS performance period/2022
MIPS payment year) and the fifth year
of MIPS (2021 MIPS performance
period/2023 MIPS payment year), we
are again relying upon the special rule
in section 1848(q)(6)(D)(iii) of the Act,
as amended by 51003(a)(1)(D) of the
Bipartisan Budget Act of 2018.
As required by section
1848(q)(6)(D)(iii) of the Act, we
considered data available from a prior
period with respect to performance on
measures and activities that may be
used under the MIPS performance
categories. In accordance with clause
(iv) of section 1848(q)(6)(D) of the Act,
we also considered which data could be
used to estimate the performance
threshold for the 2024 MIPS payment
year to ensure a gradual and
incremental transition from the
performance threshold we would
establish for the 2022 MIPS payment
year. In accordance with section
1848(q)(6)(D)(i) of the Act, the
performance threshold for the 2024
MIPS payment year would be either the
mean or median of the final scores for
all MIPS eligible clinicians for a prior
period specified by the Secretary.
To estimate the performance
threshold for the 2024 MIPS payment
year, we considered the actual MIPS
final scores for MIPS eligible clinicians
for the 2019 MIPS payment year and the
estimated MIPS final scores for the 2020
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2019 MIPS
payment year
(points)
2020 MIPS
payment year
(points)
2021 MIPS
payment year
(points)
3
15
30
MIPS payment year and 2021 MIPS
payment year. As referenced in the CY
2019 PFS final rule, we analyzed the
actual final scores for the first year of
MIPS (the 2019 MIPS payment year) and
found the mean final score was 74.01
points and the median final score was
88.97 points (83 FR 59881). In the
Regulatory Impact Analysis (RIA) of the
CY 2019 PFS final rule, we used data
submitted for the first year of MIPS
(2017 MIPS performance period/2019
MIPS payment year) and applied the
scoring and eligibility policies for the
third year of MIPS (2019 MIPS
performance period/2021 MIPS
payment year) to estimate the potential
final scores for the 2021 MIPS payment
year. The estimated mean final score for
the 2021 MIPS payment year was 69.53
points and the median final score was
78.72 points (83 FR 60048). We also
estimated mean and median final scores
for the 2020 MIPS payment year of 80.3
points and 90.91 points, respectively,
based on information in the regulatory
impact analysis in the CY 2018 Quality
Payment Program final rule (82 FR
53926 through 53950). Specifically, we
used 2015 and 2016 PQRS data, 2014
and 2015 CAHPS for PQRS data, 2014
and 2015 VM data, 2015 and 2016
Medicare and Medicaid EHR Incentive
Program data, the data prepared to
support the 2017 performance period
initial determination of clinician and
special status eligibility, the initial QP
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determination file for the 2019 payment
year, the 2017 MIPS measure
benchmarks, and other available data to
model the final scores for clinicians
estimated to be MIPS eligible in the
2020 MIPS payment year (82 FR 53930).
We considered using the actual final
scores for the 2020 MIPS payment year;
however, the data used to calculate the
final scores was submitted through the
first quarter of 2019, and final scores for
MIPS eligible clinicians were not
available in time for us to use in our
analyses for purposes of this proposed
rule (although we intend to include
those results in the final rule if
available). We believe the data points
based on actual data from the 2017
MIPS performance period/2019 MIPS
payment year would be appropriate to
use in our analysis in projecting the
estimated performance threshold for the
2024 MIPS payment year. However,
after we analyze the actual final scores
for the 2020 MIPS payment year, if we
see the mean or median final scores
significantly increasing or decreasing,
we would consider modifying our
estimation of the performance threshold
for the 2024 MIPS payment year
accordingly.
We refer readers to Table 51 for
potential values for estimating the
performance threshold for the 2024
MIPS payment year based on the mean
or median final score from prior
periods.
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TABLE 51—POTENTIAL VALUES FOR ESTIMATED PERFORMANCE THRESHOLD FOR THE 2024 MIPS PAYMENT YEAR BASED
ON THE MEAN OR MEDIAN FINAL SCORE FOR THE 2019 MIPS PAYMENT YEAR; 2020 MIPS PAYMENT YEAR; AND
2021 MIPS PAYMENT YEAR
2019 MIPS
payment year *
(points)
Mean Final Score ......................................................................................................
Median Final Score ....................................................................................................
2020 MIPS
payment year **
(points)
74.01
88.97
80.30
90.91
2021 MIPS
payment year ***
(points)
69.53
78.72
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Source: CY 2019 PFS final rule RIA * *** (83 FR 60048); CY 2018 Quality Payment Program final rule RIA ** (82 FR 53926 through 53950).
* Mean and median final scores based on actual final scores for 2019 MIPS payment year.
** Mean and median final scores based on information available in the RIA because actual final scores for the 2020 MIPS payment year were
not available in time for this proposed rule.
*** Mean and median final scores based on estimated final scores from 2021 MIPS payment year.
We are choosing the mean final score
of 74.01 points for the 2019 MIPS
payment year as our estimate of the
performance threshold for the 2024
MIPS payment year because it
represents a mean based on actual data;
is more representative of clinician
performance because all final scores are
considered in the calculation; is more
achievable for clinicians, particularly
for those that are new to MIPS; and is
a value that falls generally in the middle
of potential values for the performance
threshold referenced in Table 51. In the
CY 2019 PFS proposed rule, we
requested comment on our approach to
estimating the performance threshold
for the 2024 MIPS payment year, which
was based on the estimated mean final
score for the 2019 MIPS payment year,
and whether we should use the median
instead of the mean (83 FR 35972). A
few commenters supported the use of
the mean rather than the median for
determining the performance threshold
because they believed this approach and
the statutory requirement of a gradual
and incremental transition to the
performance threshold for the 2024
MIPS payment year would provide a
clear path and certainty and would
allow for clinicians to budget, plan, and
develop a long-term strategy for
successful participation in MIPS.
We note that estimating the
performance threshold for the 2024
MIPS payment year based on the mean
final score for the 2019 MIPS payment
year is only an estimation that we are
providing in accordance with section
1848(q)(6)(D)(iv) of the Act. We are
proposing to use data from the 2019
MIPS payment year because it is the
only MIPS final score data available and
usable in time for the publication of this
proposed rule. We acknowledge that via
the 2020 MIPS payment year
performance feedback, we have
provided to MIPS eligible clinicians
their calculated final scores. However,
the mean and median of final scores for
the 2020 MIPS payment year are not yet
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published. We anticipate that the mean
and median data points for the 2020
MIPS payment year will be available for
consideration prior to publication of the
final rule and seek comment on whether
and how we should use this information
to update our estimates. We understand
that using final scores from the early
years of MIPS has numerous limitations
and may not be similar to the
distribution of final scores for the 2024
MIPS payment year. Eligibility and
scoring policies changed in the initial
years of the program. For example,
beginning with the 2020 MIPS payment
year, we increased the low-volume
threshold compared to the 2019 MIPS
payment year. We also added incentives
for improvement scoring for the quality
performance category and bonuses for
complex patients and small practices,
which could increase scores. Starting
with the 2021 MIPS payment year, we
modified our eligibility to include new
clinician types and an opt-in policy,
revised the small practice bonus,
significantly revised the Promoting
Interoperability performance category
scoring methodology, and added a
topped-out cap for certain topped out
quality measures. As illustrated in Table
51, we estimated that the mean and
median final scores for the 2020 MIPS
payment year will be higher than for the
2019 MIPS payment year; however, we
anticipate the final scores for the 2021
MIPS payment year will be lower.
Recognizing the limitations of data for
the 2019 MIPS payment year and the
2020 MIPS payment year, we are
requesting comments on whether we
should update or modify our estimates.
We will propose the actual performance
threshold for the 2024 MIPS payment
year in future rulemaking.
Based on these analyses, we are
proposing a performance threshold of 45
points for the 2022 MIPS payment year
and a performance threshold of 60
points for the 2023 MIPS payment year
to be codified at § 414.1405(b)(7) and
(8), respectively. A performance
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threshold of 45 points for the 2022 MIPS
payment year and 60 points for the 2023
MIPS payment year would be an
increase that is consistent with the
increase in the performance threshold
from the 2020 MIPS payment year (15
points) to the 2021 MIPS payment year
(30 points), and we believe it would
allow for a consistent increase over time
that provides a gradual and incremental
transition to the performance threshold
we will establish for the 2024 MIPS
payment year, which we have estimated
to be 74.01 points.
For example, if in future rulemaking
we were to set the performance
threshold for the 2024 MIPS payment
year at 75 points (which is close to the
mean final score for the 2019 MIPS
payment year), this would represent an
increase in the performance threshold of
approximately 45 points from the 2021
MIPS payment year (that is, the
difference from the Year 3 performance
threshold of 30 points to a Year 6
performance threshold of 75 points). We
believe an increase of approximately 15
points each year, from Year 3 through
Year 6 of the MIPS program, would
provide for a gradual and incremental
transition toward a performance
threshold that must be set at the mean
or median final score for a prior period
in Year 6 of the MIPS program.
We also believe this increase of 15
points per year could incentivize higher
performance by MIPS eligible clinicians
and that a performance threshold of 45
points for the 2022 MIPS payment year,
and a performance threshold of 60
points for the 2023 MIPS payment year,
represent a meaningful increase
compared to 30 points for the 2021
MIPS payment year, while maintaining
flexibility for MIPS eligible clinicians in
the pathways available to achieve this
performance threshold. In section
III.K.3.e.(4) of this proposed rule, we
provide examples of the ways clinicians
can meet or exceed the proposed
performance threshold for the 2022
MIPS payment year.
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We recognize that some MIPS eligible
clinicians may not exceed the proposed
performance thresholds either due to
poor performance or by failing to report
on an applicable measure or activity
that is required. We also recognize the
unique challenges for small practices
and rural clinicians that could prevent
them from meeting or exceeding the
proposed performance thresholds and
refer readers to sections III.K.3.a.(3)(b)(i)
and III.K.3.a.(3)(b)(i)(A) of this proposed
rule for a discussion of the participation
of small and rural practices in MVPs
and a request for feedback on small and
rural practices participation in MVPs,
respectively.
We invite public comment on our
proposals to set the performance
threshold for the 2022 MIPS payment
year at 45 points and to set the
performance threshold for the 2023
MIPS payment year at 60 points. We
also seek comment on whether we
should adopt a different performance
threshold in the final rule if we
determine that the actual mean or
median final scores for the 2020 MIPS
payment year are higher or lower than
our estimated performance threshold for
the 2024 MIPS payment year of 74.01
points. For example, if the actual mean
or median final score for the 2020 MIPS
payment year is closer to 85 points,
should we finalize a higher performance
threshold than currently proposed? Or if
the mean or median values are lower,
should we finalize a lower performance
threshold? We anticipate the data will
change over time and that the
distribution of final scores will differ
from one year to the next. We also seek
comment on whether the increase
should be more gradual for the 2022
MIPS payment year, which would mean
a lower performance threshold (for
example, 35 instead of 45 points), or
whether the increase should be steeper
(for example, 50 points). We also seek
comment on alternative numerical
values for the performance threshold for
the 2022 MIPS payment year. For the
2023 MIPS payment year, we
alternatively considered whether the
performance threshold should be set at
a lower or higher number, for example,
55 points or 65 points, and also seek
comment on alternative numerical
values for the performance threshold for
the 2023 MIPS payment year.
(3) Additional Performance Threshold
for Exceptional Performance
Section 1848(q)(6)(D)(ii) of the Act
requires the Secretary to compute, for
each year of the MIPS, an additional
performance threshold for purposes of
determining the additional MIPS
payment adjustment factors for
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exceptional performance under section
1848(q)(6)(C) of the Act. For each such
year, the Secretary shall apply either of
the following methods for computing
the additional performance threshold:
(1) The threshold shall be the score that
is equal to the 25th percentile of the
range of possible final scores above the
performance threshold determined
under section 1848(q)(6)(D)(i) of the Act;
or (2) the threshold shall be the score
that is equal to the 25th percentile of the
actual final scores for MIPS eligible
clinicians with final scores at or above
the performance threshold for the prior
period described in section
1848(q)(6)(D)(i) of the Act. Under
section 1848(q)(6)(C) of the Act, a MIPS
eligible clinician with a final score at or
above the additional performance
threshold will receive an additional
MIPS payment adjustment factor and
may share in the $500 million of
funding available for the year under
section 1848(q)(6)(F)(iv) of the Act.
As we discussed in section
III.K.3.e.(2) of this proposed rule, we are
relying on the special rule under section
1848(q)(6)(D)(iii) of the Act to propose
a performance threshold of 45 points for
the 2022 MIPS payment year and to
propose a performance threshold of 60
points for the 2023 MIPS payment year.
As we also discussed in section
III.K.3.e.(2) of this proposed rule, for the
initial 5 years of MIPS, the special rule
under section 1848(q)(6)(D)(iii) of the
Act also applies for purposes of
establishing an additional performance
threshold for a year. For the 2022 MIPS
payment year and the 2023 MIPS
payment year, we are relying on the
discretion afforded by the special rule
and proposing to again decouple the
additional performance threshold from
the performance threshold.
For illustrative purposes, we
considered what the numerical values
would be for the additional performance
threshold under one of the methods
described in section 1848(q)(6)(D)(ii) of
the Act: The 25th percentile of the range
of possible final scores above the
performance threshold. With a proposed
performance threshold of 45 points, the
range of total possible points above the
performance threshold is 45.01 to 100
points and the 25th percentile of that
range is 58.75, which is just more than
one-half of the possible 100 points in
the MIPS final score. We do not believe
it would be appropriate to lower the
additional performance threshold to
58.75 points because it is below the
mean and median final scores for each
of the prior performance periods that are
referenced in Table 51. Similarly, with
a proposed performance threshold for
the 2023 MIPS payment year of 60
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points, the range of possible points
above the performance threshold is
60.01 to 100 points and the 25th
percentile of that range is 69.99 points.
We do not believe it would be
appropriate to lower the additional
performance threshold to 69.99 points
because it is below or close to the mean
and median final scores for each of the
prior performance periods that are
referenced in Table 51.
We are relying on the special rule
under section 1848(q)(6)(D)(iii) of the
Act to propose at § 414.1405(d)(6) to set
the additional performance threshold
for the 2022 MIPS payment year at 80
points and to propose at
§ 414.1405(d)(7) to set the additional
performance threshold for the 2023
MIPS payment year at 85 points. These
values are higher than the 25th
percentile of the range of the possible
final scores above the proposed
performance threshold for the 2022 and
2023 MIPS payment years.
We originally proposed 80 points for
the additional performance threshold
for the 2021 MIPS payment year in the
CY 2019 PFS proposed rule (83 FR
35973) although we finalized 75 points
in the CY 2019 PFS final rule (83 FR
59886). In the CY 2019 PFS final rule,
we noted the impact that proposed
policy changes for the 2021 MIPS
payment year could have on final scores
as clinicians are becoming familiar with
these changes and noted our belief that
75 points was appropriate for Year 3 of
MIPS (83 FR 59883 through 59886). We
also signaled our intent to increase the
additional performance threshold in
future rulemaking. (83 FR 59886).
We believe that 80 points and 85
points are minimal and incremental
increases over the additional
performance threshold of 75 points for
the 2021 MIPS payment year. We also
believe it is appropriate to raise the bar
on what is rewarded as exceptional
performance for Year 4 and for Year 5
of the MIPS program and that increasing
the additional performance threshold
each year will encourage clinicians to
increase their focus on value-based care
and enhance the delivery of high quality
care for Medicare beneficiaries.
An additional performance threshold
of 80 points and 85 points would each
require a MIPS eligible clinician to
participate and perform well in multiple
performance categories. Generally,
under the proposed performance
category weights for the 2022 MIPS
payment year discussed as section
III.K.3.d.(2)(b) of this proposed rule, a
MIPS eligible clinician who is scored on
all four performance categories could
receive a maximum of 40 points towards
the final score for the quality
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performance category or a maximum
score of 65 points for participating in
the quality performance category and
Promoting Interoperability performance
category, which are both below the
proposed 80-point and 85-point
additional performance thresholds. In
addition, 80 points and 85 points are at
a high enough level that MIPS eligible
clinicians must submit data for the
quality performance category to achieve
this target.
For example, if a MIPS eligible
clinician gets a perfect score for the
improvement activities (15 percent),
cost (20 percent), and Promoting
Interoperability (25 percent)
performance categories, but does not
submit quality measures data, then the
MIPS eligible clinician would only
receive 60 points (0 points for quality
performance category + 20 points for the
cost performance category + 15 points
for improvement activities performance
category + 25 points for Promoting
Interoperability performance category),
which is below the proposed additional
performance thresholds. We believe
setting the additional performance
threshold at 80 points and 85 points
could increase the incentive for
exceptional performance while keeping
the focus on quality performance.
We note that under section
1848(q)(6)(F)(iv) of the Act, funding is
available for additional MIPS payment
adjustment factors under section
1848(q)(6)(C) of the Act only through
the 2024 MIPS payment year, which is
the sixth year of the MIPS program. We
believe it is appropriate to further
incentivize clinicians whose
performance meets or exceeds the
additional performance threshold for
the fourth and fifth years of the MIPS
program. We recognize that setting a
higher additional performance threshold
may result in fewer clinicians receiving
additional MIPS payment adjustments.
We also note that a higher additional
performance threshold could increase
the maximum additional MIPS payment
adjustment that a MIPS eligible
clinician potentially receives if the
funds available (up to $500 million for
each year) are distributed over fewer
clinicians that have final scores at or
above the higher additional performance
threshold.
We invite public comment on our
proposals to set the additional
performance threshold at 80 points for
the 2022 MIPS payment year and at 85
points for the 2023 MIPS payment year.
Alternatively, for the 2022 MIPS
payment year, we considered whether
the additional performance threshold
should remain at 75 points or be set at
a higher number, for example, 85 points,
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and also seek comment on alternative
numerical values for the additional
performance threshold for the 2022
MIPS payment year. We refer readers to
sections VI.E.10.c.(3) and VI.F.2. of the
RIA for the estimated maximum
payment adjustments when the
additional performance threshold is set
at 80 points and at 85 points,
respectively, for the 2022 MIPS payment
year.
Alternatively, for the 2023 MIPS
payment year, we also considered
whether the additional performance
threshold should remain at 80 points as
proposed for the 2022 MIPS payment
year or whether a different numerical
value should be adopted for the 2023
MIPS payment year, and also seek
comment on alternative numerical
values for the additional performance
threshold for the 2023 MIPS payment
year. Additionally, in the event that we
adopt different numerical values for the
performance threshold in the final rule
than proposed in section III.K.3.e.(2) of
this proposed rule, we seek comment on
whether we should adopt different
numerical values for the additional
performance threshold and how we
should set those values. We also seek
comment on how the distribution of the
additional MIPS payment adjustments
across MIPS eligible clinicians may
impact exceptional performance by
clinicians participating in MIPS. For
example, the distribution of the
additional MIPS payment adjustments
could result in a higher additional MIPS
payment adjustment available to fewer
clinicians or could result in a lower
additional MIPS payment adjustment
available to a larger number of
clinicians. We also remind readers that
we anticipate the data will change over
time and that the distribution of final
scores will differ from one year to the
next.
(4) Example of Adjustment Factors
In the CY 2019 PFS proposed rule (83
FR 35978 through 35981) and the CY
2019 PFS final rule (83 FR 59891
through 59894), we provided a figure
and several tables as illustrative
examples of how various final scores
would be converted to a MIPS payment
adjustment factor, and potentially an
additional MIPS payment adjustment
factor, using the statutory formula and
based on our proposed policies for the
2021 MIPS payment year. We are
updating the figure and tables based on
the policies we are proposing in this
proposed rule.
Figure 1 provides an example of how
various final scores would be converted
to a MIPS payment adjustment factor,
and potentially an additional MIPS
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payment adjustment factor, using the
statutory formula and based on the
policies proposed for the 2022 MIPS
payment year in this proposed rule. In
Figure 1, the performance threshold is
45 points. The applicable percentage is
9 percent for the 2022 MIPS payment
year. The MIPS payment adjustment
factor is determined on a linear sliding
scale from zero to 100, with zero being
the lowest possible score which receives
the negative applicable percentage
(negative 9 percent for the 2022 MIPS
payment year) and resulting in the
lowest payment adjustment, and 100
being the highest possible score which
receives the highest positive applicable
percentage and resulting in the highest
payment adjustment. However, there are
two modifications to this linear sliding
scale. First, there is an exception for a
final score between zero and one-fourth
of the performance threshold (zero and
11.25 points based on the performance
threshold of 45 points for the 2022 MIPS
payment year). All MIPS eligible
clinicians with a final score in this
range would receive the lowest negative
applicable percentage (negative 9
percent for the 2022 MIPS payment
year). Second, the linear sliding scale
line for the positive MIPS payment
adjustment factor is adjusted by the
scaling factor, which cannot be higher
than 3.0.
If the scaling factor is greater than
zero and less than or equal to 1.0, then
the MIPS payment adjustment factor for
a final score of 100 would be less than
or equal to 9 percent. If the scaling
factor is above 1.0, but less than or equal
to 3.0, then the MIPS payment
adjustment factor for a final score of 100
would be higher than 9 percent.
Only those MIPS eligible clinicians
with a final score equal to 45 points
(which is the performance threshold in
this example) would receive a neutral
MIPS payment adjustment. Because the
performance threshold is 45 points, we
anticipate that more clinicians will
receive a positive adjustment than a
negative adjustment and that the scaling
factor would be less than 1 and the
MIPS payment adjustment factor for
each MIPS eligible clinician with a final
score of 100 points would be less than
9 percent.
Figure 1 illustrates an example of the
slope of the line for the linear
adjustments for the 2022 MIPS payment
year, but it could change considerably
as new information becomes available.
In this example, the scaling factor for
the MIPS payment adjustment factor is
0.203. In this example, MIPS eligible
clinicians with a final score equal to 100
would have a MIPS payment adjustment
factor of 1.823 percent (9 percent ×
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0.2026). (Note that this is prior to
adding the additional payment
adjustment for exceptional performance,
which is explained below.)
The proposed additional performance
threshold for the 2022 MIPS payment
year is 80 points. An additional MIPS
payment adjustment factor of 0.5
percent starts at the additional
performance threshold and increases on
a linear sliding scale up to 10 percent.
This linear sliding scale line is also
multiplied by a scaling factor that is
greater than zero and less than or equal
to 1.0. The scaling factor will be
determined so that the estimated
aggregate increase in payments
associated with the application of the
additional MIPS payment adjustment
factors is equal to $500 million. In
Figure 1, the example scaling factor for
the additional MIPS payment
The final MIPS payment adjustments
will be determined by the distribution
of final scores across MIPS eligible
clinicians and the performance
threshold. More MIPS eligible clinicians
above the performance threshold means
the scaling factors would decrease
because more MIPS eligible clinicians
receive a positive MIPS payment
adjustment factor. More MIPS eligible
clinicians below the performance
threshold means the scaling factors
would increase because more MIPS
eligible clinicians would receive a
negative MIPS payment adjustment
factor and relatively fewer MIPS eligible
clinicians would receive a positive
MIPS payment adjustment factor.
Table 52 illustrates the changes in
payment adjustments based on the final
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adjustment factor is 0.395. Therefore,
MIPS eligible clinicians with a final
score of 100 would have an additional
MIPS payment adjustment factor of 3.95
percent (10 percent × 0.395). The total
adjustment for a MIPS eligible clinician
with a final score equal to 100 would be
1 + 0.0182 + 0.0395 = 0.0578, for a total
positive MIPS payment adjustment of
5.78 percent.
BILLING CODE 4120–01–P
policies for the 2020 and 2021 MIPS
payment years, and the proposed
policies for the 2022 and 2023 MIPS
payment years discussed in this
proposed rule, as well as the statutorily
required increase in the applicable
percent as required by section
1848(q)(6)(B) of the Act.
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TABLE 52: Illustration of Point System and Associated Adjustments Comparison
between the 2020 MIPS Payment Year, the 2021 MIPS Payment Year, and the Proposed
Policies for the 2022 MIPS Payment Year and the 2023 MIPS Payment Year
FinaiS~.;ote .·.....
:
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Poill.ts'
0.0-3.75
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15.0
2021 MIPS payment
year
··.
;
.Fjnal .,
..~ . . ...
~s
year
•.$::1)te. · ·•·
Pnmts ···.
. • ··Adjn~Jilent •
Negative 5%
Negative MIPS
payment adjustment
greater than negative
5% and less than 0%
on a linear sliding
scale
0.0-7.5
7.51-29.99
0% adjustment
30.0
MIPS
2022 MIPS payment
year (I roposed)
.···
Adjustment .· ..
.....
·
l.{ina1
S4;o~
fl)int!l.
2023 MIPS payment
Year (proposed)
..·••. MIPS :
Finale< ..... . .;MlPS
•. Adjustment 1• . Sctlre .•·. ·Adjustment
·. ·• · .. ; Pilititl! I ·. · · ·.:··• .
Negative 7%
Negative MIPS
payment adjustment
greater than negative
7% and less than 0%
on a linear sliding
scale
0.0-11.25
11.26-44.99
Negative 9%
Negative MIPS
payment
adjustment
greater than
negative 9%
and less than
0% on a linear
sliding scale
0.0-15.0
15 01-59.99
0% adjustment
45.0
0% adjustment
60.0
15.01-69.99
Positive MlPS
payment adjustment
greater than 0% on a
linear sliding scale.
The linear sliding
scale ranges from 0
to 5% for scores from
15.00 to 100.00.
This sliding scale is
multiplied by a
scaling factor greater
than zero hut not
exceeding 3.0 to
preserve budget
neutrality
30.0174.99
Positive MlPS
payment adjustment
greater than 0% on a
linear sliding scale.
The linear sliding
scale ranges from 0
to 7% for scores from
30.00 to 100.00.
This sliding scale is
multiplied by a
scaling factor greater
than zero hut not
exceeding 3.0 to
preserve budget
neutrality
45.01-79.99
Positive MlPS
payment
adjustment
greater than 0%
on a linear
sliding scale.
The linear
sliding scale
ranges ti·om 0
to 9% for
scores from
45.00 to
100.00.
This sliding
scale is
multiplied by a
scaling factor
greater than
zero but not
exceeding 3.0
to preserve
budget
neutrality
60.01-84.99
70.0-100
Positive MIPS
payment adjustment
greater than 0% on a
linear sliding scale.
The linear sliding
scale ranges from 0
to 5% for final scores
from 15.00 to 100.00.
This sliding scale is
multiplied bv a
75.0-100
Positive MIPS
payment adjustment
greater than 0% on a
linear sliding scale.
The linear sliding
scale ranges from 0
to 7% for final scores
from 30.00 to 100.00.
This sliding scale is
multiplied bv a
80.0-100
Positive MIPS
payment
adjustment
greater than 0%
on a linear
sliding scale.
The linear
sliding scale
ranges from 0
to 9% for final
85.0-100
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Negative 9%
Negative
MIPS
payment
adjustment
greater than
negative 9%
and less than
O%ona
linear sliding
scale
0%
adjustment
Positive
MIPS
payment
adjustment
greater than
O%ona
linear sliding
scale. The
linear sliding
scale ranges
fromO to 9%
for scores
from 60.00 to
100.00.
This sliding
scale is
multiplied by
a scaling
factor greater
than zero but
not exceeding
3.0 to
preserve
budget
neutrality
Positive
MlPS
payment
adjustment
greater than
0% on a
linear sliding
scale. The
linear sliding
scale ranges
EP14AU19.089
2020 MIPS payment
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..
.
. Final score
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.•·. MIPS.·
'. ••••••
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I
khammond on DSKBBV9HB2PROD with PROPOSALS2
scaling factor greater
than zero but not
exceeding 3.0 to
preserve budget
neutrality,
PUJS
An additional MIPS
payment adjustment
for exceptional
performance. The
additional MIPS
payment adjustment
starts at 0.5% and
increases on a linear
sliding scale. The
linear sliding scale
ranges fi·om 0. 5 to
10% for scores from
70.00 to 100.00. This
sliding scale is
multiplied by a
scaling factor not
greater than 1, 0 in
order to
proportionately
distribute the
available funds for
exceptional
performance.
Filla\
Jkt 247001
·,
'.
scaling factor greater
than zero but not
exceeding 3.0 to
preserve budget
neutrality,
PUJS
An additional MIPS
payment adjustment
for exceptional
performance. The
additional MIPS
payment adjustment
starts at 0.5% and
increases on a linear
sliding scale. The
linear sliding scale
ranges tiom 0.5 to
10% for scores from
75.00 to 100.00. This
sliding scale is
multiplied by a
scaling factor not
greater than 1.0 in
order to
proportionately
distribute the
available funds for
exceptional
performance.
We have provided updated examples
below with the policies proposed for the
2022 MIPS payment year to demonstrate
scenarios in which MIPS eligible
clinicians can achieve a final score
above the proposed performance
threshold of 45 points based on our final
policies.
18:25 Aug 13, 2019
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2022 MIPS payment
year (I roposed)
.··,······
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. . · Adjust'IPent
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scores from
45.00 to
100.00.
This sliding
scale is
multiplied hy a
scaling factor
greater than
zero but not
exceeding 3.0
to preserve
budget
neutrality,
PLUS
An additional
MIPS payment
adjustment for
exceptional
performance.
The additional
MIPS payment
adjustment
starts at 0.5%
and increases
on a linear
sliding scale.
The linear
sliding scale
ranges from 0. 5
to 10% for
scores ±i'om
80.00 to
100.00. This
sliding scale is
multiplied by a
scaling factor
not greater than
LOin order to
proportionately
distribute the
available funds
for exceptional
performance.
Example 1: MIPS Eligible Clinician in
Small Practice Submits 5 Quality
Measures and 1 Improvement Activity
In the example illustrated in Table 53,
a MIPS eligible clinician in a small
practice reporting individually exceeds
the performance threshold by
performing at the median level for 5
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Fmt 4701
Sfmt 4702
··
2023 MIPS payment
Year (proposed)
Finl;\I ~ <
scon~ ·.,· <
Points· ·•
.
MIPS
~dj~$trpent
·
fromO to 9%
for final
scores fi·om
60.00 to
100.00.
This sliding
scale is
multiplied by
a scaling
factor greater
than zero but
not exceeding
3.0 to
preserve
budget
neutrality.
PLUS
An additional
MIPS
payment
adjustment
for
exceptional
perfonnance.
The
additional
MIPS
payment
adjustment
starts at 0. 5%
and increases
on a linear
sliding scale.
The linear
sliding scale
ranges from
0.5 to 10%
for scores
from 85.00 to
100.00. This
sliding scale
is multiplied
by a scaling
factor not
p,re ater than
L 0 in order to
proportionate!
y distribute
the availahlc
funds for
exceptional
perfonnance
quality measures via Part B claims
collection type and one medium-weight
improvement activity. The practice does
not submit data for the Promoting
Interoperability performance category,
but does submit a significant hardship
exception application which is
approved; therefore, the weight for the
Promoting Interoperability performance
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'
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category is redistributed to the quality
performance category under the
proposed reweighting policies discussed
in section III.K.3.d.(2)(b)(iii) of this
proposed rule. We also assumed the
small practice has a cost performance
category percent score of 50 percent.
Finally, we assumed a complex patient
bonus of 3 points which represents the
average HCC risk score for the
beneficiaries seen by the MIPS eligible
clinician, as well as the proportion of
Medicare beneficiaries that are dual
eligible. There are special scoring rules
for the improvement activities
performance category which affect MIPS
eligible clinicians in a small practice.
• Six measure achievement points for
each of the 5 quality measures
submitted at the median level of
performance. We refer readers to
§ 414.1380(b)(1)(i) for further discussion
of the quality performance category
scoring policy. Because the measures
are submitted via Part B claims, they do
not qualify for the end-to-end electronic
reporting bonus, nor do the measures
submitted qualify for the high-priority
bonus. The small practice bonus of 6
measure bonus points apply because at
least 1 measure was submitted. Because
the MIPS eligible clinician does not
meet full participation requirements, the
MIPS eligible clinician does not qualify
for improvement scoring. We refer
readers to § 414.1380(b)(1)(vi) for the
full participation requirements for
improvement scoring. Therefore, the
quality performance category is (30
measure achievement points + 6
measure bonus points)/60 total available
measure points + zero improvement
percent score which is 60 percent.
• The Promoting Interoperability
performance category weight is
redistributed to the quality performance
category so that the quality performance
category score is worth 65 percent of the
final score. We refer readers to section
III.K.3.d.(2)(b)(iii) of this proposed rule
for a discussion of this policy.
• MIPS eligible clinicians in small
practices qualify for special scoring for
improvement activities so a medium
weighted activity is worth 20 points out
of a total 40 possible points for the
improvement activities performance
category. We refer readers to
§ 414.1380(b)(3) for further detail on
scoring policies for small practices for
the improvement activities performance
category.
• This MIPS eligible clinician
exceeds the performance threshold of 45
points (but does not exceed the
additional performance threshold). This
score is summarized in Table 53.
TABLE 53—SCORING EXAMPLE 1, MIPS ELIGIBLE CLINICIAN IN A SMALL PRACTICE
[A]
[B]
[C]
[D]
Performance category
Performance score
Category weight
Earned points
([B] * [C] * 100)
Quality ..................................................
Cost ......................................................
Improvement Activities .........................
Promoting Interoperability ....................
60% .....................................................
50% .....................................................
20 out of 40 points—50% ...................
N/A .......................................................
65% .....................................................
20% .....................................................
15% .....................................................
0% (redistributed to quality) ................
39
10
7.5
0
Subtotal (Before Bonuses) ...........
Complex Patient Bonus ................
..............................................................
..............................................................
..............................................................
..............................................................
56.5
3
Final Score (not to exceed
100).
..............................................................
..............................................................
59.5
Example 2: Group Submission Not in a
Small Practice
In the example illustrated in Table 54,
a MIPS eligible clinician in a medium
size practice participating in MIPS as a
group receives performance category
scores of 75 percent for the quality
performance category, 50 percent for the
cost performance category, and 100
percent for the Promoting
Interoperability and improvement
activities performance categories. There
are many paths for a practice to receive
a 75 percent score in the quality
performance category, so for simplicity
we are assuming the score has been
calculated at this amount. Again, for
simplicity, we assume a complex
patient bonus of 3 points. The final
score is calculated to be 83 points, and
both the performance threshold of 45
and the additional performance
threshold of 80 are exceeded. In this
example, the group practice exceeds the
additional performance threshold and
will receive the additional MIPS
payment adjustment.
khammond on DSKBBV9HB2PROD with PROPOSALS2
TABLE 54—SCORING EXAMPLE 2, MIPS ELIGIBLE CLINICIAN IN A MEDIUM PRACTICE
[A]
[B]
[C]
[D]
Performance category
Performance score
Category weight
(%)
Earned points
([B] * [C] * 100)
Quality ...............................................................
Cost ...................................................................
Improvement Activities ......................................
Promoting Interoperability .................................
75% ..................................................................
50% ..................................................................
40 out of 40 points—100% ..............................
100% ................................................................
40
20
15
25
30
10
15
25
Subtotal (Before Bonuses) ........................
Complex Patient Bonus .............................
...........................................................................
...........................................................................
....................................
....................................
80
3
Final Score (not to exceed 100) ........
...........................................................................
....................................
83
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Example 3: Non-Patient Facing MIPS
Eligible Clinician
In the example illustrated in Table 55,
an individual MIPS eligible clinician
that is non-patient facing and not in a
small practice receives performance
category scores of 50 percent for the
quality performance category, 50
percent for the cost performance
category, and 50 percent for 1 mediumweighted improvement activity. Again,
there are many paths for a practice to
receive a 50 percent score in the quality
performance category, so for simplicity
we are assuming the score has been
calculated. Because the MIPS eligible
clinician is non-patient facing, they
qualify for special scoring for
improvement activities and receive 20
points (out of 40 possible points) for the
medium weighted activity. Also, this
individual did not submit Promoting
Interoperability measures and qualifies
for the automatic redistribution of the
Promoting Interoperability performance
category weight to the quality
performance category. Again, for
simplicity, we assume a complex
patient bonus of 3 points.
In this example, the final score is 53
and the performance threshold of 45
points is exceeded while the additional
performance threshold of 80 points is
not.
TABLE 55—SCORING EXAMPLE 3, NON-PATIENT FACING MIPS ELIGIBLE CLINICIAN
[A]
[B]
[C]
[D]
Performance category
Performance score
Category weight
Earned points
([B] * [C] * 100)
Quality ..................................................
Cost ......................................................
Improvement Activities .........................
50% .....................................................
50% .....................................................
20 out of 40 points for 1 medium
weight activity—50%.
0% .......................................................
..............................................................
..............................................................
65% .....................................................
20% .....................................................
15% .....................................................
32.5
10
7.5
0% (redistributed to quality) ................
..............................................................
..............................................................
0
50
3
..............................................................
..............................................................
53
Promoting Interoperability ....................
Subtotal (Before Bonuses) ...........
Complex Patient Bonus ................
Final Score (not to exceed
100).
We note that these examples are not
intended to be exhaustive of the types
of participants in MIPS nor the
opportunities for reaching and
exceeding the performance threshold.
f. Targeted Review and Data Validation
and Auditing
For previous discussions of our
policies for targeted review, we refer
readers to the CY 2017 Quality Payment
Program final rule (81 FR 77353 through
77358).
We are proposing to: (1) Identify who
is eligible to request a targeted review;
(2) revise the timeline for submitting a
targeted review request; (3) add criteria
for denial of a targeted review request;
(4) update requirements for requesting
additional information; (5) state who
will be notified of targeted review
decisions and require retention of
documentation submitted; and (6)
codify the policy on scoring
recalculations. These proposals are
discussed in more detail in this
proposed rule.
khammond on DSKBBV9HB2PROD with PROPOSALS2
(1) Targeted Review
(a) Who Is Eligible To Request Targeted
Review
In the CY 2017 Quality Payment
Program final rule, we established at
§ 414.1385(a) that MIPS eligible
clinicians and groups may submit a
targeted review request and that these
submissions could be with or without
the assistance of a third party
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18:25 Aug 13, 2019
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intermediary (81 FR 77353). In our
efforts to minimize burden on MIPS
eligible clinicians and groups, we
believe it is important to allow
designated support staff and third party
intermediaries to submit targeted review
requests on their behalf. To expressly
acknowledge the role of designated
support staff and third party
intermediaries in the targeted review
process, we are proposing to revise
§ 414.1385(a)(1) to state that a MIPS
eligible clinician or group (including
their designated support staff), or a third
party intermediary as defined at
§ 414.1305, may submit a request for a
targeted review. MIPS eligible clinicians
and groups (including their designated
support staff) can request a targeted
review by logging into the QPP website
at qpp.cms.gov, and after reviewing
their performance feedback for the
relevant performance period and MIPS
payment year, they can submit a request
for targeted review. An authorized third
party intermediary as defined at
§ 414.1305, such as a qualified registry,
health IT vendor, or QCDR, that does
not have access to their clients’
performance feedback still would be
able to request a targeted review on
behalf of their clients. Third party
intermediaries do not have access to the
performance feedback of MIPS eligible
clinicians and groups; therefore, we will
share an URL link to the Targeted
Review Request Form with these
designated entities. In the CY 2017
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Quality Payment Program final rule, we
established at § 414.1385(a)(2) that CMS
will respond to each request for targeted
review timely submitted and determine
whether a targeted review is warranted
(81 FR 77353). We are proposing to
redesignate this provision as
§ 414.1385(a)(4).
(b) Timeline for Targeted Review
Requests
In the CY 2017 Quality Payment
Program final rule (81 FR 77358), we
finalized at § 414.1385(a)(1) that MIPS
eligible clinicians and groups have a 60day period to submit a request for
targeted review, which begins on the
day we make available the MIPS
payment adjustment factor, and if
applicable the additional MIPS payment
adjustment factor (collectively referred
to as the MIPS payment adjustment
factors), for the MIPS payment year and
ends on September 30 of the year prior
to the MIPS payment year or a later date
specified by CMS. During the first year
of targeted review for MIPS, we allowed
MIPS eligible clinicians and groups 90
days, with an additional 14-day
extension, to submit a targeted review
request. In response to user feedback, in
December 2018, we made available
revised performance feedback to MIPS
eligible clinicians and groups who had
filed a targeted review request. We
believe it is important to ensure MIPS
eligible clinicians and groups have an
opportunity to review their revised
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khammond on DSKBBV9HB2PROD with PROPOSALS2
performance feedback prior to the
application of the MIPS payment
adjustment factors. We anticipate that
by limiting the targeted review period to
60 days, we would be able to make
available the revised performance
feedback during October of the year
prior to the MIPS payment year, which
would be approximately 2 months
earlier than what we were able to do for
the first year of targeted review.
Therefore, we are proposing to revise
§ 414.1385(a)(2) to state that all requests
for targeted review must be submitted
during the targeted review request
submission period, which is a 60-day
period that begins on the day CMS
makes available the MIPS payment
adjustment factors for the MIPS
payment year, and to state that the
targeted review request submission
period may be extended as specified by
CMS. We are proposing this change
would apply beginning with the 2019
performance period.
(c) Denial of Targeted Review Requests
Each targeted review request is
carefully reviewed based upon the
information provided at the time the
request is submitted. During the first
year of targeted review, CMS received
many targeted review requests that were
duplicative. We continue to seek
opportunities to limit burden and
improve the efficiency of our processes.
Therefore, we are proposing to revise
§ 414.1385(a)(3) to state that a request
for a targeted review may be denied if:
The request is duplicative of another
request for targeted review; the request
is not submitted during the targeted
review request submission period; or
the request is outside of the scope of
targeted review, which is limited to the
calculation of the MIPS payment
adjustment factors applicable to the
MIPS eligible clinician or group for a
year. Notification will be provided to
the individual or entity that submitted
the targeted review request as follows:
• If the targeted review request is
denied; in this case, there will be no
change to the MIPS final score or
associated MIPS payment adjustment
factors for the MIPS eligible clinician or
group.
• If the targeted review request is
approved; in this case, the MIPS final
score and associated MIPS payment
adjustment factors may be revised, if
applicable, for the MIPS eligible
clinician or group.
(d) Request for Additional Information
In the CY 2017 Quality Payment
Program final rule (81 FR 77358), we
finalized at § 414.1385(a)(3) that the
MIPS eligible clinician or group may
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18:25 Aug 13, 2019
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include additional information in
support of their request for targeted
review at the time the request is
submitted, and if CMS requests
additional information from the MIPS
eligible clinician or group, it must be
provided and received by CMS within
30 days of the request, and that nonresponsiveness to the request for
additional information may result in the
closure of the targeted review request,
although the MIPS eligible clinician or
group may submit another request for
targeted review before the deadline.
Supporting documentation is a critical
component of evaluating and processing
a targeted review request. We may need
to request supporting documentation, as
each targeted review request is reviewed
individually and by category. Therefore,
we are proposing to add § 414.1385(a)(5)
to state that a request for a targeted
review may include additional
information in support of the request at
the time it is submitted. If CMS requests
additional information from the MIPS
eligible clinician or group that is the
subject of a request for a targeted
review, it must be provided and
received by CMS within 30 days of
CMS’s request. Non-responsiveness to
CMS’s request for additional
information may result in a final
decision based on the information
available, although another request for a
targeted review may be submitted before
the end of the targeted review request
submission period. Documentation can
include, but is not limited to:
• Supporting extracts from the MIPS
eligible clinician or group’s EHR.
• Copies of performance data
provided to a third party intermediary
by the MIPS eligible clinician or group.
• Copies of performance data
submitted to CMS.
• QPP Service Center ticket numbers.
• Signed contracts or agreements
between a MIPS eligible clinician/group
and a third party intermediary.
(e) Notification of Targeted Review
Decisions
In the CY 2017 Quality Payment
Program final rule (81 FR 77358), we
finalized at § 414.1385(a)(4) that
decisions based on the targeted review
are final, and there is no further review
or appeal. We are proposing to
renumber this provision as
§ 414.1385(a)(7) and to add text to
§ 414.1385(a)(7) to state that CMS will
notify the individual or entity that
submitted the request for a targeted
review of the final decision. To align
with policies finalized at § 414.1400(g)
regarding the auditing of entities
submitting MIPS data, we are also
proposing to add § 414.1385(a)(8) to
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state that documentation submitted for
a targeted review must be retained by
the submitter for 6 years from the end
of the MIPS performance period.
(f) Scoring Recalculations
In the CY 2017 Quality Payment
Program final rule (81 FR 77353), we
stated that if a request for targeted
review is approved, the outcome of such
review may vary. We stated, for
example, we may determine that the
clinician should have been excluded
from MIPS, re-distribute the weights of
certain performance categories within
the final score (for example, if a
performance category should have been
weighted at zero), or recalculate a
performance category score in
accordance with the scoring
methodology for the affected category, if
technically feasible (81 FR 77353).
Therefore, we are proposing to add
§ 414.1385(a)(6) to state that if a request
for a targeted review is approved, CMS
may recalculate, to the extent feasible
and applicable, the scores of a MIPS
eligible clinician or group with regard to
the measures, activities, performance
categories, and final score, as well as the
MIPS payment adjustment factors.
(2) Data Validation and Auditing
For previous discussions of our
policies for data validation and auditing
at § 414.1390, we refer readers to the CY
2017 Quality Payment Program final
rule (81 FR 77358 through 77362).
Among other requirements,
§ 414.1390(b) establishes that all MIPS
eligible clinicians and groups that
submit data and information to CMS for
purposes of MIPS must certify to the
best of their knowledge that the data
submitted is true, accurate and
complete. MIPS data that are inaccurate,
incomplete, unusable or otherwise
compromised can result in improper
payment. Despite these existing
obligations, we have received inquiries
regarding perceived opportunities to
selectively submit data that are
unrepresentative of the MIPS
performance of the clinician or group.
Using data selection criteria to
misrepresent a clinician or group’s
performance for an applicable
performance period, commonly referred
to as ‘‘cherry-picking,’’ results in data
submissions that are not true, accurate
or complete. A clinician or group cannot
certify that data submitted to CMS are
true, accurate and complete to the best
of its knowledge if they know the data
submitted is not representative of the
clinician’s or group’s performance.
Accordingly, a clinician or group that
submits a certification under
§ 414.1390(b) in connection with the
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submission of data they know is cherrypicked has submitted a false
certification in violation of existing
regulatory requirements. If CMS
believes cherry-picking of data may be
occurring, we may subject the MIPS
eligible clinician or group to auditing in
accordance with § 414.1390(a) and in
the case of improper payment a
reopening and revision of the MIPS
payment adjustment in accordance with
§ 414.1390(c).
khammond on DSKBBV9HB2PROD with PROPOSALS2
g. Third Party Intermediaries
We refer readers to §§ 414.1305 and
414.1400, the CY 17 Quality Payment
Program final rule (81 FR 77362 through
77390), the CY 2018 Quality Payment
Program final rule (82 FR 53806 through
53819), and the CY 2019 PFS final rule
(83 FR 59894 through 59910) for our
previously established policies
regarding third party intermediaries.
In this proposed rule, we propose to
make several changes. We propose to
establish new requirements for MIPS
performance categories that must be
supported by QCDRs, qualified
registries, and Health IT vendors. We
are proposing to modify the criteria for
approval as a third party intermediary,
and establish new requirements to
promote continuity of service to
clinicians and groups that use third
party intermediaries for their MIPS
submissions. With respect to QCDRs, we
are also proposing requirements to:
Engage in activities that will foster
improvement in the quality of care; and
enhance performance feedback
requirements. These QCDR proposals
would also affect the self-nomination
process. We are also proposing to
update considerations for QCDR
measures. With respect to qualified
registries, we are also proposing to
require enhanced performance feedback
requirements. Finally, we are clarifying
the remedial action and termination
provisions applicable to all third party
intermediaries.
Because we believe that third party
intermediaries, such as QCDRs,
represent a useful path to fulfilling
MIPS requirements while reducing the
reporting burden for clinicians, we
believe the proposals discussed in this
section justify the collection of
information and regulatory impact
burden estimates discussed in sections
IV. and VI. of this proposed rule,
respectively, for additional information
on the costs and benefits.
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(1) Proposed Requirements for MIPS
Performance Categories That Must Be
Supported by Third Party
Intermediaries
We refer readers to § 414.1400(a)(2)
and the CY 2017 Quality Payment
Program final rule (81 FR 77363 through
77364) and as further revised in the CY
2019 PFS final rule at § 414.1400(a)(2)
(83 FR 60088) for our current policy
regarding the types of MIPS data thirdparty intermediaries may submit. In
sum, the current policy is that QCDRs,
qualified registries, and health IT
vendors may submit data for any of the
following MIPS performance categories:
Quality (except for data on the CAHPS
for MIPS survey); improvement
activities; and Promoting
Interoperability. Through education and
outreach, we have become aware of
stakeholders’ desires to have a more
cohesive participation experience across
all performance categories under MIPS.
Specifically, we have heard of instances
where clinicians would like to use their
QCDR or qualified registry for reporting
the improvement activities and
promoting interoperability performance
categories, but their particular third
party intermediary does not support all
categories, only quality. Based on this
feedback and additional data regarding
QCDRs and qualified registries
respectively, which are discussed
further below, we believe it is
reasonable to strengthen our policies at
§ 414.1400(a)(2), and require QCDRs and
qualified registries to support three
performance categories: Quality;
improvement activities; and Promoting
Interoperability. Accordingly, we
propose to amend § 414.1400(a)(2) to
state that beginning with the 2021
performance period and for all future
years, for the MIPS performance
categories identified in the regulation,
QCDRs and qualified registries must be
able to submit data for each category,
and Health IT vendors must be able to
submit data for at least one category. We
solicit feedback on the benefits and
burdens of this proposal, including
whether the requirement to support all
three identified categories of MIPS
performance data should extend to
health IT vendors.
However, we recognize the need to
create an exception to allow QCDRs and
qualified registries that only represent
MIPS eligible clinicians that are eligible
for reweighting under the Promoting
Interoperability performance category.
For example, as discussed in the CY
2019 PFS final rule (83 FR 59819
through 59820), physical therapists
generally are eligible for reweighting of
the Promoting Interoperability
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40811
performance category to zero percent of
the final score; therefore, under this
exception, a QCDR or qualified registry
that represents only physical therapists
that reweighted the Promoting
Interoperability performance category to
zero percent of the final score, would
not be required to support the
Promoting Interoperability performance
category. Therefore, we are proposing to
revise § 414.1400(a)(2)(iii) to state that
for the Promoting Interoperability
performance category, the requirement
applies if the eligible clinician, group,
or virtual group is using CEHRT;
however, a third party could be
excepted from this requirement if its
MIPS eligible clinicians, groups or
virtual groups fall under the reweighting
policies at § 414.1380(c)(2)(i)(A)(4) or (5)
or § 414.1380(c)(2)(i)(C)(1)–(7) or
§ 414.1380(c)(2)(i)(C)(9). We refer
readers to section III.K.3.c.(4) of this
proposed rule for additional information
on the clinician types that are eligible
for reweighting the Promoting
Interoperability performance category.
We anticipate using the self-nomination
vetting process to assess whether the
QCDR or qualified registry is subject to
our proposed requirement to support
reporting the Promoting Interoperability
performance category. We solicit
comments on this proposal, including
the scope of the proposed exception
from the Promoting Interoperability
reporting requirement for certain types
of QCDRs and qualified registries.
Specifically, we solicit comment on
whether we should more narrowly
tailor, or conversely broaden, the
proposed exceptions for when QCDRS
and qualified registries must support the
Promoting Interoperability performance
category.
(2) Approval Criteria for Third Party
Intermediaries
We refer readers to § 414.1400(a)(4)
and the CY 2019 PFS final rule (83 FR
59894 through 59895; 60088) for
previously finalized policies related to
the approval criteria for third party
intermediaries.
Based on experience with third party
intermediaries thus far, in this proposed
rule we are proposing to adopt two
additional criteria for approval at
§ 414.1400(a)(4) to ensure continuity of
services to MIPS eligible clinicians,
groups, and virtual groups that utilize
the services of third party
intermediaries. Specifically, we have
experienced instances where a third
party intermediary withdraws midperformance period, which impacts the
clinician or group’s ability to participate
in the MIPS program, through no fault
of their own. We are proposing two
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changes to help prevent these
disruptions. First, we are proposing at
§ 414.1400(a)(4) to add a new paragraph
(v) to establish that a condition of
approval for a third party intermediary
is for the entity to agree to provide
services for the entire performance
period and applicable data submission
period. In addition, we are proposing at
§ 414.1400(a)(4) to add a new paragraph
(vi) to establish that a condition of
approval is for third party intermediary
to agree that prior to discontinuing
services to any MIPS eligible clinician,
group or virtual group during a
performance period, the third party
intermediary must support the
transition of such MIPS eligible
clinician, group, or virtual group to an
alternate data submission mechanism or
third party intermediary according to a
CMS approved a transition plan. We
believe it is important to condition the
approval of a third party intermediary
on the entity agreeing to follow this
process so that in the case a third-party
intermediary fails to meet its obligation
under the proposed new
§ 414.1400(a)(4)(v) to provide services
for the entire performance period and
corresponding data submission period,
the third party intermediary and the
clinicians, groups, and virtual groups it
serves have common expectations of the
support the third party intermediary
will provide to its users in connection
with its withdrawal. We believe these
proposed conditions of approval will
help ensure that entities seeking to
become approved as third party
intermediaries are aware of the
expectations to provide continuous
service for the duration of the entire
performance period and corresponding
data submission period, will help
reduce the extent to which the
clinicians, groups, and virtual groups
are inadvertently impacted by a third
party intermediary withdrawing from
the program, and will help clinicians,
groups, and virtual groups avoid
additional reporting burden that may
result from withdrawals midperformance period. We note that under
this proposal, if CMS determines that a
third party intermediary has ceased to
meet either of these proposed new
criteria for approval, CMS may take
remedial action or terminate the third
party intermediary in accordance with
§ 414.1400(f). We also refer readers to
sections III.K.3.g.(3) and III.K.3.g.(4)
where we discuss these proposals for
QCDRs and qualified registries
specifically.
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(3) Qualified Clinical Data Registries
(QCDRs)
In this proposed rule, we propose to
update: (a) QCDR approval criteria; and
(b) various policies related to QCDR
measures. These proposals would also
affect the QCDR self-nomination
process.
(a) QCDR Approval Criteria
We generally refer readers to section
1848(m)(3)(E) of the Act, as added by
section 601(b)(1)(B) of the American
Taxpayer Relief Act of 2012, which
requires the Secretary to establish
requirements for an entity to be
considered a Qualified Clinical Data
Registry (QCDR) and a process to
determine whether or not an entity
meets such requirements. We refer
readers to section 1848(m)(3)(E)(i), (v) of
the Act, the CY 2019 PFS final rule (83
FR 60088), and § 414.1400(a)(4) through
(b) for previously finalized policies
about third party intermediaries and
QCDR approval criteria. In this
proposed rule, we are proposing to add
to those policies to require QCDRs to: (a)
Support all three performance categories
where data submission is required; (b)
engage in activities that will foster
improvement in the quality of care; and
(c) enhance performance feedback
requirements.
(i) Requirement for QCDRs To Support
All Three Performance Categories
Where Data Submission Is Required
We also refer readers to section
III.K.3.g.(1) above, where we propose to
require QCDRs and qualified registries
to support three performance categories:
Quality, improvement activities, and
Promoting Interoperability. In this
section, we discuss QCDRs specifically.
As previously stated in the CY 2017
Quality Payment Program final rule (81
FR 77363 through 77364), section
1848(q)(1)(E) of the Act encourages the
use of QCDRs in carrying out MIPS.
Although section 1848(q)(5)(B)(ii)(I) of
the Act specifically requires the
Secretary to encourage MIPS eligible
clinicians to use QCDRs to report on
applicable measures for the quality
performance category, and section
1848(q)(12)(A)(ii) of the Act requires the
Secretary to encourage the provision of
performance feedback through QCDRs,
the statute does not specifically address
use of QCDRs for the other MIPS
performance categories (81 FR 77363).
Although we previously could have
limited the use of QCDRs to assessing
only the quality performance category
under MIPS and providing performance
feedback, we believed (and still believe)
it would be less burdensome for MIPS
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eligible clinicians if we expand QCDRs’
capabilities (81 FR 77363). By allowing
QCDRs to report on quality measures,
improvement activities, and Promoting
Interoperability measures, we alleviate
the need for individual MIPS eligible
clinicians and groups to use a separate
mechanism to report data for these
performance categories (81 FR 77363). It
is important to note that QCDRs do not
need to submit data for the cost
performance category since these
measures are administrative claimsbased measures (81 FR 77363).
As noted above, based on previously
finalized policies in the CY 2017
Quality Payment Program final rule (81
FR 77363 through 77364) and as further
revised in the CY 2019 PFS final rule at
§ 414.1400(a)(2) (83 FR 60088), the
current policy is that QCDRs, qualified
registries, and health IT vendors may
submit data for any of the following
MIPS performance categories: Quality
(except for data on the CAHPS for MIPS
survey); improvement activities; and
Promoting Interoperability.
Through education and outreach, we
have become aware of stakeholders’
desires to have a more cohesive
participation experience across all
performance categories under MIPS.
Specifically, we have heard of instances
where clinicians would like to use their
QCDR for reporting the improvement
activities and promoting interoperability
performance categories, but their
particular QCDR does not support all
categories, only quality. This results in
the clinician needing to enter into a
business relationship with another third
party to complete their MIPS reporting
or leverage a different submitter type or
submission type, which can create
additional burden to the clinician. We
believe that requiring QCDRs to be able
to support these performance categories
will be a step towards addressing
stakeholders concerns on having a more
cohesive participation experience across
all performance categories under MIPS.
In addition, we believe this proposal
will help to reduce the reporting burden
MIPS eligible clinicians and groups face
when having to utilize multiple
submission mechanisms to meet the
reporting requirements of the various
performance categories. Furthermore, as
we move to a more cohesive
participation experience under the
MIPS Value Pathways (MVP), as
discussed in section III.K.3.a.,
Transforming MIPS: MIPS Value
Pathways Framework, we believe this
proposal will assist clinicians in that
transition.
Based on our review of existing 2019
QCDRs through the 2019 QCDR
Qualified Posting, approximately 92
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QCDRs, or about 72 percent of the
QCDRs currently participating in the
program are supporting all three
performance categories. The 2019 QCDR
qualified posting is available in the QPP
Resource Library at https://qpp-cmprod-content.s3.amazonaws.com/
uploads/347/2019%20QCDR%20
Qualified%20Posting_Final_v3.xlsx. In
addition, in our review of prior data
through previous qualified postings for
the 2017 and 2018 performance periods,
we have observed that a majority of the
QCDRs participating in the program
supported the three performance
categories that require data submission.
In 2017, 73 percent (approximately 83
QCDRs) and in 2018, 73 percent
(approximately 110 QCDRs) have
supported all three performance
categories. Based on this data, we
believe it is reasonable to want to
continue to strengthen our policies at
§ 414.1400(a)(2), to require that QCDRs
have the capacity to support the
reporting requirements of the quality,
improvement activities, and promoting
interoperability performance categories.
Therefore, beginning with the 2021
performance period and for future years,
we propose to require QCDRs to support
three performance categories: Quality,
improvement activities, and Promoting
Interoperability. Additionally, for
reasons, as discussed above, we propose
to amend § 414.1400(a)(2) to state
beginning with the 2021 performance
period and for all future years, for the
following MIPS performance categories,
QCDRs must be able to submit data for
all categories, and Health IT vendors
must be able to submit data for at least
one category: Quality (except for data on
the CAHPS for MIPS survey);
improvement activities; and Promoting
Interoperability with an exception. As
discussed in section III.K.3.g.(1) of this
proposed rule, we are proposing that
based on the proposed amendment to
§ 414.1400(a)(2)(iii), for the Promoting
Interoperability performance category,
the requirement applies if the eligible
clinician, group, or virtual group is
using CEHRT; however, a third party
could be excepted from this requirement
if its MIPS eligible clinicians, groups or
virtual groups fall under the reweighting
policies at § 414.1380(c)(2)(i)(A)(4),
(c)(2)(i)(A)(5), (c)(2)(i)(C)(1) through
(c)(2)(i)(C)(7), or (c)(2)(i)(C)(9). As part
of this proposal, we would require
QCDRs to attest to the ability to submit
data for these performance categories, as
applicable, at time of self-nomination.
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(ii) Requirement for QCDRs To Engage
in Activities That Will Foster
Improvement in the Quality of Care
We generally refer readers to section
1848(m)(3)(E)(i) and (v) of the Act,
which requires the Secretary to establish
requirements for an entity to be
considered a qualified clinical data
registry and a process to determine
whether or not an entity meets such
requirements. Section
1848(m)(3)(E)(ii)(IV) of the Act provides
that in establishing such requirements,
the Secretary must consider whether an
entity, among other things, supports
quality improvement initiatives for
participants.
As detailed at § 414.1305(1) a QCDR
means: For the 2019, 2020 and 2021
MIPS payment year, a CMS-approved
entity that has self-nominated and
successfully completed a qualification
process to determine whether the entity
may collect medical or clinical data for
the purpose of patient and disease
tracking to foster improvement in the
quality of care provided to patients.
Although ‘‘improvement in the
quality of care’’ is broadly included
under paragraph (2) of the definition of
a QCDR at § 414.1305 in the 2019 PFS
final rule (83 FR 59897), we want to
further clarify how a QCDR can be
successful in fostering improvement in
the quality of care provided to patients
by clinicians and groups. We
understand putting parameters around
exactly what improvement in the
quality of care may be can be difficult
due to the varying nature of QCDRs
organizational structures. For example,
we have QCDRs that are founded by
both large and small specialty societies,
and healthcare systems where the
volumes of services, available resources,
and volume of members may vary.
However, we believe QCDRs should
enhance education and outreach to
clinicians and groups to improve patient
care.
The definition of qualified clinical
data registry (QCDR) at § 414.1305(2)
currently states that beginning with the
2022 MIPS payment year, an entity that
demonstrates clinical expertise in
medicine and quality measurement
development experience and collects
medical or clinical data on behalf of a
MIPS eligible clinician for the purpose
of patient and disease tracking to foster
improvement in the quality of care
provided to patients. In this proposed
rule, we are proposing policies with
regards to ‘‘foster improvement in the
quality of care.’’
Therefore, we are proposing to add
§ 414.1400(b)(2)(iii) that beginning with
the 2023 MIPS payment year, the
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40813
QCDRs must foster services to clinicians
and groups to improve the quality of
care provided to patients by providing
educational services in quality
improvement and leading quality
improvement initiatives. Quality
improvement services may be broad,
and do not necessarily have to be
specific towards an individual clinical
process. An example of a broad quality
improvement service would be for the
QCDR to provide reports and educating
clinicians on areas of improvement for
patient populations by clinical
condition for specific clinical care
criteria. Furthermore, an example of an
individual clinical process specific
quality improvement service would be if
the QCDR supports a metric that
measures blood pressure management,
the QCDR could use that data to identify
best practices used by high performers
and broadly educate other clinicians
and groups on how they can improve
the quality of care they provide. We
believe educational services in quality
improvement for eligible clinicians and
groups would encourage meaningful
and actionable feedback for clinicians to
make improvements in patient care. To
be clear, these QCDR quality
improvement services would be
separate and apart from any activities
that are reported on under the
improvement activities performance
category. We believe improvement
activities can be distinguished from
quality improvement services, because
they are actions taken by MIPS eligible
clinicians under the improvement
activities performance category.
Improvement activities means an
activity that relevant MIPS eligible
clinician, organizations and other
relevant stakeholders identify as
improving clinical practice or care
delivery and that the Secretary
determines, when effectively executed,
is likely to result in improved outcomes
(§ 414.1305). Quality improvement
services, on the other hand, would be
actions taken by the QCDR. While these
QCDR quality improvement services
could potentially overlap with an
improvement activity, requirements for
the improvement activities performance
category would still apply to MIPS
eligible clinicians and groups.
We are proposing to require QCDRs to
describe the quality improvement
services they intend to support in their
self-nomination for CMS review and
approval. We intend on including the
QCDR’s approved quality improvement
services in the qualified posting for each
approved QCDR.
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(iii) Enhanced Performance Feedback
Requirement
Section 1848(q)(12)(A)(ii) of the Act
requires the Secretary to encourage the
provision of performance feedback
through QCDRs. In addition, in
establishing the requirements, the
Secretary must consider, among other
things, whether an entity provides
timely performance reports to
participants at the individual
participant level (section
1848(m)(3)(E)(ii)(III) of the Act).
Currently, CMS requires QCDRs to
provide timely performance feedback at
least 4 times a year on all of the MIPS
performance categories that the QCDR
reports to CMS (82 FR 53812). Based on
our experiences thus far under the
Quality Payment Program, we agree that
providing feedback at least 4 times a
year is appropriate. However, in the
future CMS would like to see, and
therefore encourages QCDRs, to provide
timely feedback on a more frequent
basis more than 4 times a year. Receipt
of more frequent feedback will help
clinicians and groups make more timely
changes to their practice to ensure the
highest quality of care is being provided
to patients. We see value in providing
more timely feedback to meet the
objectives 136 of the Quality Payment
Program in improving the care received
by Medicare beneficiaries, lowering the
costs to the Medicare program through
improvement of care and health, and
advance the use of healthcare
information between allied providers
and patients. We also believe there is
value in this performance feedback, and
therefore, encourage QCDRs to work
with their clinicians to get the data in
earlier in the reporting period so the
QCDR can give meaningful, timely
feedback.
In the QCDR performance feedback
currently being provided to clinicians
and groups, we have heard from
stakeholders that that not all QCDRs
provide feedback the same way. We
have heard through stakeholder
comments that some QCDR feedback
contains information needed to improve
quality, whereas other QCDR feedback
does not supply such information due to
the data collection timeline.
Additionally, we believe that clinicians
would benefit from feedback on how
they compare to other clinicians who
have submitted data on a given measure
(MIPS quality measure or QCDR
measure) within the QCDR they are
reporting through, so they can identify
areas of measurement in which
136 Quality Payment Program Overview. https://
qpp.cms.gov/about/qpp-overview.
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improvement is needed, and
furthermore, they can see how they
compare to their peers based within a
QCDR, since the feedback provided by
the QCDR would be limited to those
who reported on a given measure using
that specific QCDR.
Therefore, we are proposing a change
so that QCDRs structure feedback in a
similar manner. We propose a new
paragraph at § 414.1400(b)(2)(iv),
beginning with the 2023 MIPS payment
year, to require that QCDRs provide
performance feedback to their clinicians
and groups at least 4 times a year, and
provide specific feedback to their
clinicians and groups on how they
compare to other clinicians who have
submitted data on a given measure
within the QCDR. Exceptions to this
requirement may occur if the QCDR
does not receive the data from their
clinician until the end of the
performance period. We are also
soliciting comment on other exceptions
that may be necessary under this
requirement.
We also understand that QCDRs can
only provide feedback on data they have
collected on their clinicians and groups,
and realize the comparison would be
limited to that data and not reflect the
larger sample of those that have
submitted on the measure for MIPS,
which the QCDR does not have access
to. We believe QCDR internal
comparisons can still help MIPS eligible
clinicians identify areas where further
improvement is needed. The ability for
MIPS eligible clinicians to be able to
know in real time how they are
performing against their peers, within a
QCDR, provides immediate actionable
feedback. We believe this provides
value gained for clinicians as the
majority of QCDRs are specialty specific
or regional based, therefore the clinician
can gain peer comparisons that are
specific to their peer cohort, which can
be specialty specific or locality based.
Furthermore, we are also proposing to
strengthen the QCDR self-nomination
process at § 414.1400(b)(1) to add that
beginning with the 2023 MIPS payment
year, QCDRs are required to attest
during the self-nomination process that
they can provide performance feedback
at least 4 times a year (as specified at
§ 414.1400(b)(2)(iv)).
In addition, the current performance
period begins January 1 and ends on
December 31st, and the corresponding
data submission deadline is typically
March 31st as described at
§ 414.1325(e)(1). As discussed above, we
have heard from QCDR stakeholders
that in some instances clinicians wait
until the end of the performance period
to submit data to the third party
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intermediary, who are then unable to
provide meaningful feedback to their
clinicians 4 times a year. Therefore, we
are also seeking comment for future
notice-and-comment rulemaking on
whether we should require MIPS
eligible clinicians, groups, and virtual
groups who utilize a QCDR to submit
data throughout the performance period,
and prior to the close of the
performance period (that is, December
31st). We are also seeking comment for
future notice-and-comment rulemaking,
on whether clinicians and groups can
start submitting their data starting April
1 to ensure that the QCDR is providing
feedback and the clinician or group
during the performance period. This
would allow QCDRs some time to
provide enhanced and actionable
feedback to MIPS eligible clinicians
prior to the data submission deadline.
(b) QCDR Measures
We refer readers to § 414.1400(b)(1),
the CY 2018 Quality Payment Program
final rule (82 FR 53814) and the CY
2019 PFS final rule (83 FR 59898
through 59900) for our previously
established policies for the QCDR
measure self-nomination process. In this
proposed rule, we are proposing
policies related to: (a) Considerations for
QCDR measure approval; (b)
requirements for QCDR measure
approval; (c) considerations for QCDR
measure rejections; (d) the approval
process; and (e) QCDR measures that
have failed to reach benchmarking
thresholds. These are discussed in detail
below.
(c) QCDR Measure Requirements
(i) QCDR Measure Considerations and
Requirements for Approval or Rejection
Through education and outreach, we
have heard stakeholders’ concerns about
the complexity of reporting when there
is a large inventory of QCDR measures
to choose from, and believe our
proposals will help to ensure that the
measures made available in MIPS are
meaningful to a clinician’s scope of
practice. In this proposed rule, we are
proposing to codify established QCDR
measure considerations and propose,
beginning with the CY 2021
performance period, a number of QCDR
measure specific requirements, that
would generally align with MIPS
measure policies, which can be found in
the CY 2018 Quality Payment Program
final rule (82 FR 53636), and as
described in section III.K.3.c.(1) of this
proposed rule.
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(aa) Previously Finalized QCDR
Measure Considerations
We generally refer readers to the
§ 414.1400(b)(3), CY 2017 Quality
Payment Program final rule (81 FR
77374 through 77375) and the CY 2019
PFS final rule (83 FR 59900 through
59902) for previously finalized
standards and criteria used for selecting
and approving QCDR measures. QCDR
measures are reviewed for inclusion on
an annual basis during the QCDR
measure review process that occurs
once the self-nomination period closes
(82 FR 53810). All previously approved
QCDR measures and new QCDR
measures are currently reviewed on an
annual basis to determine whether they
are appropriate for the program (82 FR
53811). The QCDR measure review
process occurs after the self-nomination
period closes on September 1st. QCDR
measures are not finalized or removed
through notice and comment
rulemaking; instead, they are currently
approved or not approved through a
subregulatory processes (82 FR 53639).
In the CY 2019 PFS final rule (83 FR
59902), we finalized our proposal to
apply the following criteria beginning
with the 2021 MIPS payment year when
considering QCDR measures for possible
inclusion in MIPS:
• Measures that are beyond the
measure concept phase of development.
• Preference given to measures that
are outcome-based rather than clinical
process measures.
• Measures that address patient safety
and adverse events.
• Measures that identify appropriate
use of diagnosis and therapeutics.
• Measures that address the domain
for care coordination.
• Measures that address the domain
for patient and caregiver experience.
• Measures that address efficiency,
cost and resource use.
• Measures that address significant
variation in performance.
In this proposed rule, we propose to
codify a number of those previously
finalized QCDR measure considerations
(83 FR 59902). We are proposing to
amend § 414.1400 by adding
§ 414.1400(b)(3)(iv) to include the
following previously finalized QCDR
measure considerations for approval:
• Preference for measures that are
outcome-based rather than clinical
process measures.
• Measures that address patient safety
and adverse events.
• Measures that identify appropriate
use of diagnosis and therapeutics.
• Measures that address the domain
of care coordination.
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• Measures that address the domain
for patient and caregiver experience.
• Measures that address efficiency,
cost, and resource use.
More information on QCDR measure
approval criteria can be found in the
QCDR/Qualified Registry SelfNomination Tool-Kit in the QPP
Resource Library. We refer readers to
section III.K.3.g.(3)(c)(i)(B) of this rule
where we are proposing to change the
following previously finalized
considerations into requirements:
• Measures that are beyond the
measure concept phase of development.
• Measures that address significant
variation in performance.
(bb) New QCDR Measure Considerations
for Approval
(AA) QCDR Measure Availability
In the CY 2018 Quality Payment
Program final rule (82 FR 53813 through
53814), we finalized a policy beginning
with the 2018 performance period, that
allowed QCDRs to seek permission from
another QCDR to use an existing and
approved QCDR measure. If a QCDR
would like to report on an existing
QCDR measure that is owned by another
QCDR, they must have permission from
the QCDR that owns the measure that
they can use the measure for the
performance period. Permission must be
granted at the time of self-nomination,
so that the QCDR that is using the QCDR
measure can include written proof of
permission for CMS review and
approval. We also finalized in the CY
2018 Quality Payment Program final
rule (82 FR 53814) that once QCDR
measures are approved, we will assign
QCDR measure IDs, and the same
measure IDs must be used by the other
QCDRs that have permission to also
report on the measure.
We generally encourage QCDR
measure owners to permit other QCDRs
to report their measures on behalf of
MIPS eligible clinicians for purposes of
MIPS. To the extent that QCDR measure
owners limit the availability of their
measures, such limitations may
adversely affect a QCDR’s ability to
benchmark the measure, the robustness
of the benchmark, or the comparability
of MIPS eligible clinicians’ performance
results on the measure. For these
reasons, we propose to amend
§ 414.1400 to add paragraph (b)(3)(iv)(H)
to state that CMS may consider the
extent to which a QCDR measure is
available to MIPS eligible clinicians
reporting through QCDRs other than the
QCDR measure owner for purposes of
MIPS. If CMS determines that a QCDR
measure is not available to MIPS eligible
clinicians, groups, and virtual groups
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40815
reporting through other QCDRs, CMS
may not approve the measure.
(BB) QCDR Measure Addresses a
Measurement Gap
As a part of the QCDR measure
development process, QCDRs should
conduct an environmental scan of
existing QCDR measures; MIPS quality
measures; quality measures retired from
the legacy program, PQRS; and review
the most recent CMS Quality Measure
Development Plan Annual Report,
which is currently available for 2019 at:
https://www.cms.gov/Medicare/QualityPayment-Program/MeasureDevelopment/2019-Quality-MDPAnnual-Report-and-Appendices.zip and
the Blueprint for the CMS Measures
Management System: https://
www.cms.gov/Medicare/QualityInitiatives-Patient-AssessmentInstruments/MMS/Downloads/
Blueprint.pdf for guidance in areas
where CMS has identified gaps in
quality measurement to reduce the
possibility of duplicative measure
development. We propose to amend
§ 414.1400 to add § 414.1400(b)(3)(iv)(I)
to state that we would give greater
consideration to measures for which
QCDRs: (a) Conducted an environmental
scan of existing QCDR measures; MIPS
quality measures; quality measures
retired from the legacy Physician
Quality Reporting System (PQRS)
program; and (b) utilized the CMS
Quality Measure Development Plan
Annual Report and the Blueprint for the
CMS Measures Management System to
identify measurement gaps prior to
measure development.
(CC) QCDRs Measures Meeting
Benchmarking Thresholds
Over the first 2 years of MIPS, we
have observed instances where QCDR
measures have been approved for
continued use in the program, but have
had low reporting volumes, below the
case minimum and reporting volume
thresholds required for a measure to be
benchmarked within the program. As
described in the CY 2017 Quality
Payment Program final rule (81 FR
77277 through 77282), for benchmarks
to be developed, a measure must have
a minimum of 20 individual clinicians
or groups who reported the measure to
meet the data completeness requirement
and the minimum case size criteria.
QCDRs should be aware of which
measures are considered low-reported,
since measures that do not meet
benchmarking thresholds result in a 3point floor, as described in the CY 2017
Quality Payment Program final rule (81
FR 77282). QCDR measures are
reviewed and approved on an annual
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basis, and as a part of the review
process, we review: The benchmarking
file from the previous year (for example,
the 2019 Quality Benchmark file, found
on the QPP Resource Library, which is
available at https://qpp-cm-prodcontent.s3.amazonaws.com/uploads/
342/2019%20MIPS%20Quality%20
Benchmarks.zip); production
submission data submitted from the
previous year’s data submission period;
and data provided to us by the QCDRs
themselves.
As discussed in our QCDR measure
rejection considerations proposal below,
we propose a QCDR measure that does
not meet case minimum and reporting
volumes required for benchmarking
after being in the program for 2
consecutive CY performance may not
continue to be approved in the future if
our proposal is finalized as proposed.
We note that this factor is parallel to
what is being proposed for MIPS quality
measures in section III.K.3.c.(1) of this
proposed rule, and is important when
considering the volume of QCDR
measures that are currently in the
program that have had low reporting
rates year-over-year. We propose to
amend § 414.1400 to add paragraph
(b)(3)(iv)(J) to state that beginning with
the 2020 performance period, we place
greater preference on QCDR measures
that meet case minimum and reporting
volumes required for benchmarking
after being in the program for 2
consecutive CY performance periods.
Those that do not, may not continue to
be approved. We refer readers to section
III.K.3.g.(3)(c)(ii) below in this proposed
rule, for discussion on how QCDRs may
create participation plans for existing
approved QCDR measures that have
failed to reach benchmarking
thresholds, in order to be reconsidered
for future use. We also refer readers to
§ 414.1330 for additional information.
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(B) QCDR Measure Requirements
(aa) Previously Finalized Requirements
Considerations Codified as
Requirements
As mentioned above, in this proposed
rule, we propose to change two
previously finalized measure
considerations into requirements and
codify those requirements. We
previously finalized that we would
apply certain criteria beginning with the
2021 MIPS payment year when
considering QCDR measures for possible
inclusion in MIPS (83 FR 59902). We
refer readers to section
III.K.3.g.(3)(c)(i)(A) where we are
proposing to codify the majority as
measure considerations. However, for
two of those previously finalized
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consideration, we are proposing them as
requirements:
• Measures that are beyond the
measure concept phase of development.
• Measures that address significant
variation in performance.
We believe the previously finalized
consideration that measures are beyond
the measure concept phase of
development should be a requirement
because measures that do not surpass
the measure concept phase will not be
able to complete another QCDR measure
requirement, measure testing. In
addition, we believe the previously
finalized consideration that measures
address significant variation in
performance should be a requirement
because QCDR measures that do not
demonstrate performance variation will
likely be identified as topped out and
will not be approved.
Therefore, beginning with the 2020
performance period, we are proposing to
change both of those considerations into
requirements and are proposing to
amend § 414.1400 by adding
§ 414.1400(b)(3)(v) to include the
following:
• Measures that are beyond the
measure concept phase of development.
• Measures that address significant
variation in performance.
(bb) Linking QCDR Measures to Cost
Measures, Improvement Activities, and
MIPS Value Pathways (MVP)
To prepare QCDR measures for selfnomination, we believe there should be
consideration of how these QCDR
measures relate to similar topics
covered through the other performance
categories. We believe (as noted in the
Transforming MIPS: MIPS Value
Pathways Framework, see section
III.K.3.a. of this proposed rule) that to
transform the MIPS program to one of
value, MIPS measures and QCDR
measures, should have an associated
cost measure, improvement activity, and
eventually a corresponding MVP. This
would strengthen the QCDR measure’s
relevance in the program. We believe
that evaluating the strength of these
linkages may decrease the frequency of
receiving extraneous QCDR measures
that are not relevant or meaningful
within the framework of the MIPS
program.
Therefore, beginning with the 2021
performance period and future years, we
propose that QCDRs must identify a
linkage between their QCDR measures
to the following, at the time of selfnomination: (a) Cost measure (as found
in section III.K.3.c.(2) of this proposed
rule); (b) Improvement Activity (as
found in Appendix 2: Improvement
Activities Tables); or (c) CMS developed
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MVPs (as described in Table C–B1 of
section III.K.3.a. of this proposed rule).
Under the pathway framework for
example, a surgery specific QCDR
should be able to correlate their surgeryrelated QCDR measure to an MVP, such
as the Major Surgery pathway.
We understand that not all measures
may have a direct link. In cases where
a QCDR measure does not have a clear
link to a cost measure, improvement
activity, or an MVP, we would consider
exceptions if the potential QCDR
measure otherwise meets the QCDR
measure requirements defined above.
However, we believe that when
possible, it is important to establish a
strong linkage between quality, cost,
and improvement activities. Therefore,
we also propose to amend § 414.1400 to
add paragraph (b)(3)(iv)(G) to require,
beginning with the 2021 performance
period, that QCDRs link their QCDR
measures to the following at the time of
self-nomination: (a) Cost measure; (b)
improvement activity; and (c) an MVP.
If the potential QCDR measure
otherwise meets the QCDR measure
requirements but does not have a clear
link to a cost measure, improvement
activity, or an MVP, we would consider
exceptions for measures that otherwise
meet the QCDR measure requirements
and considerations as discussed above.
Therefore, we also propose to amend
§ 414.1400 to add paragraph (b)(3)(iv)(G)
to require, beginning with the 2021
performance period, that QCDRs link
their QCDR measures to the following at
the time of self-nomination: (a) Cost
measure; (b) improvement activity; and
(c) an MVP. In cases where a QCDR
measure does not have a clear link to a
cost measure, improvement activity, or
an MVP, we would consider exceptions
if the potential QCDR measure
otherwise meets the QCDR measure
requirements.
(cc) Completion of QCDR Measure
Testing
We refer readers to the CY 2019 PFS
final rule, where we gave notice to the
public that we were considering
proposing to require reliability and
feasibility testing as an added criteria in
order for a QCDR measure to be
considered for MIPS in future
rulemaking (83 FR 59901 through
59902). After consideration of the public
comments received, and our priority to
ensure that all measures available in
MIPS are reliable and valid thereby
reducing reporting burden on eligible
clinicians and groups, we are moving
forward with a proposal in this
proposed rule.
Beginning with the 2021 performance
period and future years, we propose,
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that for a QCDR measure to be
considered for use in the program, all
QCDR measures submitted at the time of
self-nomination must be fully developed
with completed testing results at the
clinician level, as defined by the CMS
Blueprint for the CMS Measures
Management System (available at
https://www.cms.gov/Medicare/QualityInitiatives-Patient-AssessmentInstruments/MMS/Downloads/
Blueprint.pdf), and as used in the
testing of MIPS quality measures prior
to the submission of those measures to
the Call for Measures. We believe that
full development and testing with
completed testing results at the clinician
level helps to demonstrate whether the
QCDR measure is ready for
implementation at the time of selfnomination. We intend to include only
measures that are valid, reliable, and
feasible for use by clinicians and will be
consistent with the criteria that is
expected of MIPS quality measures. As
a result, we are also proposing to amend
§ 414.1400 to add paragraph (b)(3)(v)(C)
to reflect this proposal. At
§ 414.1400(b)(3)(v)(C), we propose
beginning with the 2021 performance
period, all QCDR measures must be
fully developed and tested, with
complete testing results at the clinician
level, prior to submitting the QCDR
measure at the time of self-nomination.
We note that the testing process for
quality measures is dependent on the
measure type (for example, a measure
that is specified as an eCQM measure
has additional steps it must undergo
when compared to other measure types).
The National Quality Forum (NQF) has
developed guides for measure testing
criteria and standards which further
illustrate these differences based on
measure type. Additionally, the costs
associated with testing vary based on
the complexity of the measure and the
developing organization. The Journal of
the American Medical Association
states that the costs associated with
quality measures are generally unknown
or unreported.137 While we understand
the proposed policy will result in
additional costs for QCDRs to develop
measures, given the uncertainty
regarding the number and types of
measures that will be proposed in future
performance periods coupled with the
lack of available cost data on measure
development and testing, we are unable
to determine the financial impact of this
proposal on QCDRs beyond the
137 Schuster, Onorato, and Meltzer. ‘‘Measuring
the Cost of Quality Measurement: A Missing Link
in Quality Strategy’’, Journal of the American
Medical Association. 2017; 318(13):1219–1220.
https://jamanetwork.com/journals/jama/fullarticle/
2653111?resultClick=1.
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likelihood of it being more than trivial.
Likewise, we understand that some
QCDRs already perform measure testing
prior to submission for approval while
others do not. This variability makes it
difficult to estimate the incremental
impact of this regulation. Please refer to
section VI the Regulatory Impact
Analysis of this rule for additional
details.
(dd) Collection of Data on QCDR
Measures
We have observed several instances in
which QCDRs have attempted to use the
MIPS Program to ‘‘test’’ out measure
concepts without concrete evidence that
there is a measurement performance
gap. We want to discourage that and
ensure QCDR measures used for the
MIPS Program are valid and reliable. In
addition, through reviews of QCDR
measure submissions, where reporting
data was provided by the QCDR or
through submission data from the 2017
performance period, we have identified
some current QCDR measures in the
program that have continuously low
reporting rates, which affects the ability
to meet benchmarking criteria. The data
submitted is insufficient in meeting the
case minimum and volume thresholds
required for benchmarking.
Therefore, we are proposing to require
QCDRs to collect data on the potential
QCDR measure. For a QCDR measure to
be considered for use in the program,
beginning with the 2021 performance
period and future years, we are
proposing to amend § 414.1400 to add
paragraph (b)(3)(v)(D) that QCDRs are
required to collect data on a QCDR
measure, appropriate to the measure
type, prior to submitting the QCDR
measure for CMS consideration during
the self-nomination period. The data
collected must demonstrate whether the
QCDR measure is valid and reflects an
important clinical concept(s) that
clinicians wish to be measured on. By
collecting data on the QCDR measure
prior to self-nomination, QCDRs would
be able to demonstrate whether the
measure is implementable and data
collection on the metric is possible. In
addition, the data collected on the
QCDR measure prior to self-nomination,
could be used to demonstrate that there
is a performance gap and need for
measurement. We suggest QCDRs to
collect data on as many months as
possible, but strongly encourage QCDRs
to collect data for 12 months prior to
submitting the QCDR measure for our
consideration at the time of selfnomination, since quality reporting
requires 12 months of data, as described
in § 414.1335, as this will also likely
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increase the chance that the measure
will be able to be benchmarked.
(ee) Duplicative QCDR Measures
As first discussed by commenters in
the CY 2018 Quality Payment Program
final rule (82 FR 53814), the topic of
‘‘shared’’ measures was discussed and
how would CMS intend to harmonize.
In the CY 2019 PFS proposed rule (83
FR 35983), and further discussed in CY
2019 PFS final rule (83 FR 59901), we
shared that we believe duplicative
measures are counterintuitive to the
Meaningful Measures initiative that
promotes more focused quality measure
development towards outcomes that are
meaningful to patients, families and
their providers. Therefore, it is our
intent to move toward measure
harmonization, which supports our
efforts to increase measure alignment
and eliminate redundancy both within
the MIPS measure set and across our
programs (83 FR 59901). Taking the
previous feedback into consideration,
we are moving forward with a proposal
in this rule.
Therefore, we propose, beginning
with the 2020 performance period, that
after the self-nomination period closes
each year, we will review newly selfnominated and previously approved
QCDR measures based on
considerations as described in the CY
2019 PFS final rule (83 FR 59900
through 59902). In instances in which
multiple, similar QCDR measures exist
that warrant approval, we may
provisionally approve the individual
QCDR measures for 1 year with the
condition that QCDRs address certain
areas of duplication with other
approved QCDR measures in order to be
considered for the program in
subsequent years. The QCDR could do
so by harmonizing its measure with, or
significantly differentiating its measure
from, other similar QCDR measures.
QCDR measure harmonization may
require two or more QCDRs to work
collaboratively to develop one cohesive
QCDR measure that is representative of
their similar yet, individual measures.
In other words, we would not approve
duplicative QCDR measures (which will
be identified as a part of our scan of
previously approved measures, and new
QCDR measure submissions) if QCDRs
choose not to address the areas of
duplication with other approved QCDR
measures identified by us during the
previous year’s QCDR measure review
period. We believe this policy would
help to reduce the number of
duplicative QCDR measures that are
submitted as a part of the selfnomination process. Adding a
structured timeframe provides
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transparency to QCDRs who will know
what next steps to expect if they do not
address the identified areas of
duplication as requested. Therefore, we
propose to amend § 414.1400 to add
paragraph (b)(3)(v)(E) to state beginning
with the 2022 MIPS payment year, CMS
may provisionally approve the
individual QCDR measures for 1 year
with the condition that QCDRs address
certain areas of duplication with other
approved QCDR measures in order to be
considered for the program in
subsequent years. If the QCDR measures
are not harmonized, CMS may reject the
duplicative QCDR measure(s) as
discussed in section III.K.3.g.(3)(c)(i)(C)
below.
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(C) QCDR Measure Rejections
We are proposing QCDR measure
rejection criteria that generally aligns
with finalized removal criteria for MIPS
quality measures in the CY 2019 PFS
final rule (83 FR 59763 through 59765).
Utilizing these considerations would
help to ensure that QCDR measures
available in the program are truly
meaningful and measurable areas where
quality improvement is sought. As part
of this proposal, all previously approved
QCDR measures and new QCDR
measures would be reviewed on an
annual basis (as a part of the QCDR
measure review process that occurs after
the self-nomination period closes on
September 1st) to determine whether
they are appropriate for the program.
We propose to amend § 414.1400 to
add paragraph (b)(3)(vii) to state that
beginning with the 2020 performance
period, we propose to reject QCDR
measures with consideration of, but not
limited to, the following factors:
• QCDR measures that are duplicative
or identical to other QCDR measures or
MIPS quality measures that are
currently in the program.
• QCDR measures that are duplicative
or identical to MIPS quality measures
that have been removed from MIPS
through rulemaking.
• QCDR measures that are duplicative
or identical to quality measures used
under the legacy Physician Quality
Reporting System (PQRS) program,
which have been retired.
• QCDR measures that meet the
‘‘topped out’’ definition as described at
§ 414.1305 and in the CY 2017 QPP final
rule (81 FR 77282 through 77283). If a
QCDR measure is topped out and
rejected, it may be reconsidered for the
program in future years if the QCDR can
provide evidence through additional
data and/or recent literature that a
performance gap exists and show that
the measure is no longer topped out
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during the next QCDR measure selfnomination process.
• QCDR measures that are processbased, with considerations to whether
the removal of the process measure
impacts the number of measures
available for a specific specialty.
• Whether the QCDR measure has
potential unintended consequences to a
patient’s care. For example, the measure
disqualifies a patient from receiving
oxygen therapy or other comfort
measures.
• Considerations and evaluation of
the measure’s performance data, to
determine whether performance
variance exists.
• Whether the previously identified
areas of duplication have been
addressed as requested. (We refer
readers to our proposal discussed in
section III.K.3.g.(3)(c)(i)(B) above.)
• QCDR measures that split a single
clinical practice or action into several
QCDR measures. For example, splitting
a measure into multiple measures based
on a particular body extremity:
Improvement in toe pain—the 5th toe,
and a separate measure for the 2nd toe.
• QCDR measures that are ‘‘checkbox’’ with no actionable quality action.
For example, a QCDR measure that
measures that a survey has been
distributed to patients.
• QCDR measures that do not meet
the case minimum and reporting
volumes required for benchmarking
after being in the program for 2
consecutive years (we also refer readers
to our proposal in section
III.K.3.g.(3)(c)(ii) below).
• Whether the existing approved
QCDR measure is no longer considered
robust, in instances where new QCDR
measures are considered to have a more
vigorous quality action, where CMS
preference is to include the new QCDR
measure rather than requesting QCDR
measure harmonization.
• QCDR measures with clinician
attribution issues, where the quality
action is not under the direct control of
the reporting clinician (that is, the
quality aspect being measured cannot be
attributed to the clinician or is not
under the direct control of the reporting
clinician).
• QCDR measures that focus on rare
events or ‘‘never events’’ in the
measurement period. An example of a
‘‘never event’’ would be a fire in the
operating room.
(ii) QCDR Measure Review Process
(A) Current QCDR Measure Approval
Process
We refer readers to the CY 2017
Quality Payment Program final rule (81
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FR 77374 through 77375), the CY 2018
Quality Payment Program final rule (82
FR 53813 through 53814), and the CY
2019 PFS final rule (83 FR 59900
through 59906), and § 414.1400(b)(3) for
our previously established policies for
the QCDR measure self-nomination
process. QCDR measures are reviewed
for inclusion on an annual basis during
the QCDR measure review process that
occurs once the self-nomination period
closes (82 FR 53810). All previously
approved QCDR measures and new
QCDR measures are currently reviewed
on an annual basis to determine
whether they are appropriate for the
program (82 FR 53811). The QCDR
measure review process occurs after the
self-nomination period closes on
September 1st. QCDR measures are not
finalized or removed through notice and
comment rulemaking; instead, they are
currently approved or not approved
through a subregulatory processes (82
FR 53639). While we would continue to
review measures on an annual basis, in
this proposed rule, we are proposing the
addition of a multi-year approval
process.
(B) Multi-Year QCDR Measure Approval
Previously in the CY 2018 Quality
Payment Program final rule (82 FR
53808), we discussed our concerns with
multi-year approval for QCDR measures
and sought comment from stakeholders
as to how to mitigate our concerns.
Based on the evolution of public
comments in the CY 2019 PFS final rule
(83 FR 59898 through 59901) and
ongoing engagement with QCDRs, we
are moving forward with a proposal in
this rule.
Currently, our QCDR measure
approvals are on a year-to-year basis (82
FR 53811), from September to December
once self-nomination occurs. In addition
to that process, to help reduce yearly
self-nomination burden and address
stakeholder feedback (83 FR 59898
through 59901), we are proposing to
amend § 414.1400 to add paragraph
(b)(3)(vi) to implement, beginning with
the 2021 performance period, 2-year
QCDR measure approvals (at our
discretion) for QCDR measures that
attain approval status by meeting the
QCDR measure considerations and
requirements described above.
However, as part of this proposal,
upon annual review, we may revoke the
second year’s approval if a QCDR
measure approved for 2 years is:
• Topped out (we refer readers to
§ 414.1305, in the CY 2017 QPP final
rule (81 FR 77282 through 77283));
• Duplicative of a more robust
measure (this proposal aligns with our
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proposal at section III.K.3.g.(3)(c)
above);
• Reflects an outdated clinical
guideline;
• Requires measure harmonization
(this proposal aligns with our proposal
at section III.K.3.g.(3)(c)(i)(B) above); or
• The QCDR self-nominating the
QCDR measure is no longer in good
standing, as described in the CY 2018
Quality Payment Program final rule (82
FR 53808).
We believe that this policy should be
an incentive for QCDRs who have
remained in good standing in the
program. Additionally, for QCDRs not in
good standing, we want to make clear
that we would not remove a measure
mid-year; rather, the measure’s 2-year
approval would be revoked during
annual review after 1 year and the
QCDR’s measures would no longer
qualify for multi-year approval in the
future. For example, if QCDR ABC is
placed on probation in July, all of the
QCDR’s measures still would be
available for reporting for that
performance period (until December
31st); however, if any of QCDR ABC’s
QCDR measures were previously
approved for 2 years, the approval
would be revoked for the second year.
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(iii) Participation Plan for Existing
QCDR Measures That Have Failed To
Reach Benchmarking Thresholds
We refer readers to section
III.K.3.g.(3)(c)(i), above in this proposed
rule for discussion of the consideration
of QCDR measures that fail to meet
benchmarking thresholds after being in
the program for 2 consecutive CY
performance may not continue to be
approved in the future.
However, we understand that there
are instances where measures that are
low-reported may still be considered
important to a respective specialty.
Therefore, beginning with the 2020
performance period, we propose to
amend § 414.1400 to add paragraph
(b)(3)(iv)(J)(aa) to state in instances
where a QCDR believes the low-reported
QCDR measure that did not meet
benchmarking thresholds is still
important and relevant to a specialist’s
practice, that the QCDR may develop
and submit a QCDR measure
participation plan for our consideration.
This QCDR measure participation plan
must include the QCDR’s detailed plans
and changes to encourage eligible
clinicians and groups to submit data on
the low-reported QCDR measure for
purposes of the MIPS program. As
examples, a QCDR measure
participation plan could include one or
more of the following:
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• Development of an education and
communication plan.
• Update the QCDR measure’s
specification with changes to encourage
broader participation, which would
require review and approval by us.
• Require reporting on the QCDR
measure as a condition of reporting
through the QCDR.
To be clear, implementation of a
participation plan would not guarantee
that a QCDR measure would be
approved for a future performance
period, as we consider many factors in
whether to approve QCDR measures. At
the following annual review of QCDR
measures, we would analyze the
measure’s data submissions to
determine whether the QCDR measure
participation plan was effective
(meaning, reporting volume increased,
thereby increasing the likelihood of the
QCDR measure being benchmarked). If
the data does not show an increase in
reporting volume, we may not approve
the QCDR measure for the subsequent
year.
(4) Qualified Registries
We refer readers to §§ 414.1305 and
414.1400, the CY 2018 Quality Payment
Program final rule (82 FR 53815 through
53818) and the CY 2019 PFS final rule
proposed rule (83 FR 59906) for our
previously finalized policies regarding
qualified registries. In this proposed
rule, we propose to update qualified
registry required services. These
proposals would also affect the qualified
registry self-nomination process.
(a) Qualified Registry Required Services
(i) Requirement for Qualified Registries
To Support All Three Performance
Categories Where Data Submission Is
Required
We refer readers to section 1848(k)(4)
of Act for statutory authority. We also
refer readers to section III.K.3.g.(3)
above, where we propose to require
QCDRs and qualified registries to
support three performance categories:
Quality, improvement activities, and
Promoting Interoperability. In addition,
we refer readers to section
III.K.3.g.(3)(a)(i) where we discuss a
parallel requirement for QCDRs. In this
section, we discuss qualified registries
specifically. Based on previously
finalized policies the CY 2017 Quality
Payment Program final rule (81 FR
77363 through 77364) and as further
revised in the CY 2019 PFS final rule at
(83 FR 60088) and § 414.1400(a)(2), the
current policy is that QCDRs, qualified
registries, and health IT vendors may
submit data for any of the following
MIPS performance categories: Quality
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(except for data on the CAHPS for MIPS
survey); improvement activities; and
Promoting Interoperability.
We want to continue to strengthen our
policies at § 414.1400(a)(2). Based on
our review of existing 2019 qualified
registries, approximately 95 qualified
registries, or about 70 percent of the
qualified registries currently
participating in the program are
supporting all three performance
categories. The qualified posting of
approved 2019 qualified registries can
be found on the QPP resource library at
https://qpp-cm-prod-content.s3.
amazonaws.com/uploads/348/2019%
20Qualified%20Registry%20Posting_
Final_v1.0.xlsx. We believe it is
reasonable that all qualified registries
have the capacity to support the
improvement activities and promoting
interoperability performance categories.
We believe that requiring qualified
registries to be able to support these
performance categories will be a step
towards addressing stakeholders
concerns on having a more cohesive
participation experience across all
performance categories under MIPS. In
addition, we believe this proposal will
help to reduce the reporting burden
MIPS eligible clinicians and groups face
when having to utilize multiple
submission mechanisms to meet the
reporting requirements of the various
performance categories. Furthermore, as
we move to a more cohesive
participation experience under the
MVPs, as discussed in section III.K.3.a.
of this proposed rule, Transforming
MIPS Path to Value, we believe this
proposal will assist clinicians in that
transition.
Therefore, as discussed above
beginning with the 2021 performance
period and for future years, we propose
at § 414.1400(a)(2) to require qualified
registries to support all three
performance categories: Quality (except
for data on the CAHPS for MIPS survey);
improvement activities; and Promoting
Interoperability with an exception. As
discussed in section III.K.3.g.(1) of this
rule, we are proposing that based on the
proposed amendment to
§ 414.1400(a)(2)(iii), to state that for the
Promoting Interoperability performance
category, the requirement applies if the
eligible clinician, group, or virtual
group is using CEHRT; however, a third
party could be be excepted from this
requirement if its MIPS eligible
clinicians, groups or virtual groups fall
under the reweighting policies at
§ 414.1380(c)(2)(i)(A)(4), (c)(2)(i)(A)(5),
(c)(2)(i)(C)(1) through (c)(2)(i)(C)(7), or
(c)(2)(i)(C)(9). As part of this proposal,
we would require qualified registries to
attest to the ability to submit data for
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these performance categories, as
applicable, at time of self-nomination.
We are also proposing this same
requirement for QCDRs in section
III.K.3.g.(3) of this proposed rule.
(ii) Enhanced Performance Feedback
Requirement
Section 1848(q)(12)(A)(ii) of the Act
requires the Secretary to encourage the
provision of performance feedback
through qualified registries. In addition,
in establishing the requirements, the
Secretary must consider, among other
things, whether an entity ‘‘provides
timely performance reports to
participants at the individual
participant level’’. Currently, CMS
requires qualified registries to provide
feedback on all of the MIPS performance
categories at least 4 times per year (81
FR 77367 through 77386). While based
on our experiences thus far during the
initial years of the Quality Payment
Program, we agree that providing
feedback at least 4 times a year is
appropriate. However, in the future
CMS would like to see, and therefore
encourages qualified registries, to
provide timely feedback on a more
frequent basis more than 4 times a year.
Receipt of more frequent feedback will
help clinicians and groups make more
timely changes to their practice to
ensure the highest quality of care is
being provided to patients. We see value
in providing more timely feedback to
meet the objectives 138 of the Quality
Payment Program in improving the care
received by Medicare beneficiaries,
lowering the costs to the Medicare
program through improvement of care
and health, and advance the use of
healthcare information between allied
providers and patients. We also believe
there is value in this performance
feedback and therefore encourage
qualified registries to work with their
clinicians to get the data in earlier in the
reporting period so the qualified registry
give that meaningful timely feedback.
Surrounding the qualified registry
performance feedback provided to
clinicians and groups, we have heard
from stakeholders that not all qualified
registries provide feedback the same
way. We have heard through
stakeholder comments some qualified
registries feedback contains information
needed to improve quality, whereas
other qualified registries feedback does
not supply such information due to the
data collection timeline. Additionally,
we believe that clinicians would benefit
from feedback on how they compare to
other clinicians who have submitted
138 Quality Payment Program Overview. https://
qpp.cms.gov/about/qpp-overview.
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data on a given MIPS quality measure
within the qualified registry they are
reporting through, so they can identify
areas of measurement in which
improvement is needed, and
furthermore they can see how they
compare to their peers based within a
qualified registry, since the feedback
provided by the qualified registry would
be limited to those who reported on a
given measure using that specific
qualified registry.
As a result, we are proposing to add
a new paragraph at § 414.1400(c)(2) to
require (i) and (ii). We are simply
proposing to revise the current
§ 414.1400(c)(2) to reclassify at
paragraph (c)(2)(i) that beginning with
the 2022 MIPS payment year, the
qualified registry must have at least 25
participants by January 1 of the year
prior to the applicable performance
period. Additionally, we are proposing
to add a new paragraph,
§ 414.1400(c)(2)(ii), beginning with the
2023 MIPS payment year, to require that
qualifed registries provide the following
as a part of the performance feedback
given at least 4 times a year: Feedback
to their clinicians and groups on how
they compare to other clinicians who
have submitted data on a given measure
within the qualified registry. We
understand that there would be
instances in which the qualified registry
cannot meet this requirement; and
therefore, we are also proposing an
exception to this requirement: If the
qualified registry does not receive the
data from their clinician until the end
of the performance period, this will
preclude the qualified registry from
providing feedback 4 times a year, and
the qualified registry could be excepted
from this requirement. We are also
soliciting comment on other exceptions
that may be necessary under this
requirement.
We also understand that qualified
registries can only provide feedback on
data they have collected on their
clinicians and groups, and realize the
comparison would be limited to that
data and not reflect the larger sample of
those that have submitted on the
measure for MIPS, which the qualified
registry does not have access to. We
believe qualified registry internal
comparisons can still help MIPS eligible
clinicians identify areas where further
improvement is needed. The ability for
MIPS eligible clinicians to be able to
know in real time how they are
performing against their peers, within a
qualified registry, provides immediate
actionable feedback.
Furthermore, we are also proposing to
strengthen the qualified registry selfnomination process at § 414.1400(c)(1)
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to add that beginning with the 2023
MIPS payment year, qualified registries
are required to attest during the selfnomination process that they can
provide performance feedback at least 4
times a year (as specified at
§ 414.1400(c)(2)(ii)). We refer readers to
section III.K.3.g.(3)(1) where we are
proposing a parallel requirement for
QCDRs; we intend to have the same
requirements for both QCDRs and
qualifies registries.
In addition, the current performance
period begins January 1 and ends on
December 31st, and the corresponding
data submission deadline is typically
March 31st as described at
§ 414.1325(e)(1). As discussed above, we
have heard from qualified registry
stakeholders that in some instances
clinicians wait until the end of the
performance period to submit data to
the third party intermediary, who are
then unable to provide meaningful
feedback to their clinicians 4 times a
year. Therefore, we are also seeking
comment for future notice-and-comment
rulemaking on whether we should
require MIPS eligible clinicians, groups,
and virtual groups who utilize a
qualfied registry to submit data
throughout the performance period, and
prior to the close of the performance
period (that is, December 31st). We are
also seeking comment for future noticeand-comment rulemaking, on whether
clinicians and groups can start
submitting their data starting April 1 to
ensure that the qualified registry is
providing feedback and the clinician or
group during the performance period.
This would allow qualified registries
some time to provide enhanced and
actionable feedback to MIPS eligible
clinicians prior to the data submission
deadline.
(5) Remedial Action and Termination of
Third Party Intermediaries
We refer readers to § 414.1400(f), the
CY 2017 Quality Payment Program final
rule (81 FR 77548) and the CY 2019 PFS
final rule (83 FR 59908 through 59910)
for previously finalized policies for
remedial action and termination of third
party intermediaries.
Based on experience with third party
intermediaries thus far, we have
concerns that certain third party
intermediaries may not fully appreciate
their existing compliance obligations or
the implications of non-compliance.
Among other provisions,
§ 414.1400(a)(5) specifically obligates
each third party intermediary to certify
that all data it submits to CMS on behalf
of a MIPS eligible clinician, group or
virtual group is true, accurate and
complete to the best of its knowledge.
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Section 414.1400(f)(1) states that, after
providing written notice, CMS may take
remedial action or terminate a third
party intermediary if CMS determines
that the third party intermediary has
ceased to meet one or more of the
applicable criteria for approval or has
submitted data that is inaccurate,
unusable or otherwise compromised.
Moreover, § 414.1400(f)(3) identifies
specific circumstances under which
CMS may determine that data submitted
by a third party intermediary meets the
standard for inaccurate, unusable or
otherwise compromised data.
Third parties intermediaries have an
affirmative obligation to certify that the
data they submit on behalf of a MIPS
eligible clinician, group or virtual group
are true, accurate and complete to the
best of its knowledge. MIPS data that are
inaccurate, incomplete, unusable or
otherwise compromised can result in
improper payment. Using data selection
criteria to misrepresent a clinician or
group’s performance for an applicable
performance period, commonly referred
to as ‘‘cherry-picking,’’ results in data
submissions that are not true, accurate
or complete. A third party intermediary
cannot certify that data submitted to
CMS by the third party intermediary are
true, accurate and complete to the best
of its knowledge if the third party
intermediary knows the data submitted
are not representative of the clinician’s
or group’s performance. As described in
section III.K.3.c.(1) of this proposed
rule, we proposed to further amend
§ 414.1340(a)(3) to clarify that the
submitted data should be reflective of a
70 percent random sample. We believe
this clarification will emphasize to all
parties that the data submitted on each
measure is expected to be representative
of the clinician’s or group’s
performance. Accordingly, a third party
intermediary that submits a certification
under § 414.1400(a)(5) in connection
with the submission of data it knows are
cherry-picked has submitted a false
certification in violation of existing
regulatory requirements. If CMS
believes cherry-picking of data may be
occurring, we may subject the third
party intermediary and its clients to
auditing in accordance with
§ 414.1400(g).
Despite these existing obligations, we
have received inquiries from third party
intermediaries regarding perceived
opportunities to selectively submit data
that are unrepresentative of the MIPS
performance of the clinician or group
for which the third party intermediary
is submitting data. These inquires
suggest that certain third party
intermediaries may not fully appreciate
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their current regulatory obligations or
their implications.
The current regulations at
§ 414.1400(f) clearly establish that CMS
enforcement authority includes the
authority to pursue remedial actions or
termination based on its determination
that a third party intermediary was noncompliant with any applicable criteria
for approval in § 414.1400(a) through (e)
or if the third party intermediary
submitted data that are inaccurate,
unusable or otherwise compromised.
Compliance within § 414.1400(a)(5) is a
criteria for approval. Using data
selection criteria to misrepresent a
clinician or group’s performance for an
applicable performance period results in
data that are inaccurate, unusable and
otherwise compromised. Accordingly, if
CMS determined that third party
intermediary knowingly submitted data
that are not representative of the
clinician’s or group’s performance and
certified that the submitted data were
true, accurate and complete, CMS
would have multiple grounds to impose
remedial action or termination under
existing regulations.
In this proposed rule, we propose two
changes to more expressly emphasize
CMS enforcement authority. First, we
propose to clarify in this proposed rule
that remedial action and termination
provisions at § 414.1400(f)(1) are
triggered if we determine that a third
party intermediary submits a false
certification under paragraph (a)(5).
Second, as discussed below, we propose
to clarify in this proposed rule that CMS
authority to bring remedial actions or
terminate a third party intermediary for
submitting data that is inaccurate,
unusable or otherwise compromise
extends beyond the specific examples
set forth in § 414.1400(f)(3). With these
revisions and a grammatical correction
described below, the proposed
§ 414.1400(f)(1) would affirm existing
CMS authority to purse remedial actions
or termination if we determine that a
third party intermediary has ceased to
meet one or more of the applicable
criteria for approval, submits a false
certification under paragraph (a)(5), or
has submitted data that are inaccurate,
incomplete, unusable, or otherwise
compromised. We anticipate that these
proposed revisions will emphasize to
third party intermediaries the sanctions
they may face from CMS if they submit
improper data to CMS. In addition, we
note that third party intermediaries may
face liability under the federal False
Claims Act if they submit or cause to
submission of false MIPS data.
As noted above, we are proposing
revisions to § 414.1400(f)(3) to clarify
the intent of this provision. We refer
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readers to CY 2019 PFS final rule (83 FR
59908 through 59910) for the discussion
of the evolution of policies regarding
remedial actions and termination of a
third party intermediary. The agency’s
enforcement authority as codified in
§ 414.1400(f) broadly extends to include
instances of willful misconduct by the
third party intermediary and well as
other instances in which a third party
intermediary inadvertently submits data
with deficiencies and errors that render
the data ‘‘inaccurate, unusable or
otherwise compromised.’’ To facilitate a
more fulsome understanding on when
inadvertent conduct could trigger an
enforcement action against a third party
intermediary, the current regulatory text
in § 414.1400(f)(3) provides that the
threshold for ‘‘inaccurate, unusable or
otherwise compromised’’ may be met if
the submitted data includes TIN/NPI
mismatches, formatting issues,
calculation errors, or data audit
discrepancies that affect more 3 percent
of the total number of MIPS eligible
clinicians or groups for which data was
submitted by the third party
intermediary. Through this proposed
rule, we propose to add the phrase
‘‘including but not limited to’’ to the
text of § 414.1400(f)(3) to emphasize that
this provision is illustrative of
circumstances that may result in
enforcement action and should not be
misinterpreted to limit the agency’s
ability to impose remedial actions or
terminate a third party intermediary that
knowingly submits inaccurate data.
Lastly, we propose grammatically
corrections related to the use of the
plural term ‘‘data.’’
h. Public Reporting on Physician
Compare
(1) Background
For previous discussions on the
background of Physician Compare, we
refer readers to the CY 2016 PFS final
rule (80 FR 71116 through 71123), the
CY 2017 Quality Payment Program final
rule (81 FR 77390 through 77399), the
CY 2018 Quality Payment Program final
rule (82 FR 53819 through 53832), the
CY 2019 PFS final rule (83 FR 59910
through 59915), and the Physician
Compare Initiative website at https://
www.cms.gov/medicare/qualityinitiatives-patient-assessmentinstruments/physician-compareinitiative/.
We are proposing to publicly report
on Physician Compare: (1) Aggregate
MIPS data, including the minimum and
maximum MIPS performance category
and final scores earned by MIPS eligible
clinicians, beginning with Year 2 (CY
2018 data, available starting in late CY
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2019), as technically feasible; and (2) an
indicator on the profile page or in the
downloadable database that displays if
a MIPS eligible clinicians is scored
using facility-based measurement, as
specified under § 414.1380(e)(6)(vi), as
technically feasible. These proposals are
discussed in more detail in this
proposed rule.
(2) Regulation Text Changes
Section 1848(q)(9)(A) and (D) of the
Act requires that we publicly report on
Physician Compare in an easily
understandable format:
• The final score for each MIPS
eligible clinician;
• Performance of each MIPS eligible
clinician for each performance category;
• Periodic aggregate information on
the MIPS, including the range of final
scores for all MIPS eligible clinicians
and the range of performance of all the
MIPS eligible clinicians for each
performance category;
• The names of eligible clinicians in
advanced APMs and, to the extent
feasible, the names of such advanced
APMs and the performance of such
APMs.
Section 1848(q)(9)(B) of the Act
requires that the information made
available under section 1848(q)(9) of the
Act must indicate, where appropriate,
that publicized information may not be
representative of the eligible clinician’s
entire patient population, the variety of
services furnished by the eligible
clinician, or the health conditions of
individuals treated.
To more completely and accurately
reference the data available for public
reporting on Physician Compare, we
propose to amend § 414.1395(a) by
adding paragraph (1) stating that CMS
posts on Physician Compare, in an
easily understandable format: (i)
Information regarding the performance
of MIPS eligible clinicians, including,
but not limited to, final scores and
performance category scores for each
MIPS eligible clinician; and (ii) the
names of eligible clinicians in
Advanced APMs and, to the extent
feasible, the names and performance of
such Advanced APMs. As discussed in
section III.K.3.h.(3) of this proposed
rule, we are also proposing to amend
§ 414.1395(a) by adding paragraph (2)
stating that CMS periodically posts on
Physician Compare aggregate
information on the MIPS, including the
range of final scores for all MIPS eligible
clinicians and the range of the
performance of all MIPS eligible
clinicians with respect to each
performance category. Finally, we
propose to amend § 414.1395(a) by
adding paragraph (3) stating that the
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information made available under
§ 414.1395 will indicate, where
appropriate, that publicized information
may not be representative of an eligible
clinician’s entire patient population, the
variety of services furnished by the
eligible clinician, or the health
conditions of individuals treated.
(3) Final Score, Performance Categories,
and Aggregate Information
Section 1848(q)(9)(D) of the Act
requires the Secretary to periodically
post on Physician Compare aggregate
information on the MIPS, including the
range of composite scores for all MIPS
eligible clinicians and the range of the
performance of all MIPS eligible
clinicians with respect to each
performance category. We refer readers
to the CY 2018 Quality Payment
Program final rule (82 FR 53823), where
we previously finalized policies to
publicly report on Physician Compare,
either on profile pages or in the
downloadable database, the final score
for each MIPS eligible clinician and the
performance of each MIPS eligible
clinician for each performance category,
and to periodically post aggregate
information on the MIPS, including the
range of final scores for all MIPS eligible
clinicians and the range of performance
of all the MIPS eligible clinicians for
each performance category, as
technically feasible, for all future years.
Although we previously finalized a
policy to periodically post aggregate
information on the MIPS, as technically
feasible, for all future years, we have not
proposed or finalized in rulemaking a
specific timeframe for doing so. As part
of our phased approach to public
reporting, we wanted to first gain
experience with the MIPS data prior to
publicly reporting it in aggregate, since
we had not publicly reported on
Physician Compare aggregate data under
legacy programs. For example, we
publicly reported the Physician Quality
Reporting System (PQRS) performance
information only at an individual
clinician and group practice level. Now
that we have experience with the MIPS
data, including the Year 1 performance
information which was not available for
analysis at the time of prior rulemaking,
we can now propose a specific
timeframe for publicly reporting
aggregate MIPS data on Physician
Compare.
Therefore, in accordance with section
1848(q)(9)(D) of the Act, we propose to
publicly report on Physician Compare
aggregate MIPS data, including the
minimum and maximum MIPS
performance category and final scores
earned by MIPS eligible clinicians,
beginning with Year 2 (CY 2018 data,
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available starting in late CY 2019), as
technically feasible, and to codify this
proposed policy at § 414.1395(a). We
wish to clarify that the aggregate data
publicly reported would be inclusive of
all MIPS eligible clinicians. We also
note that some aggregate MIPS data is
already publicly available in other
places, such as via the Quality Payment
Program Experience Report. We note
that the 2017 Quality Payment Program
Experience Report is available at https://
qpp-cm-prodcontent.s3.amazonaws.com/uploads/
491/2017%20QPP%20Experience
%20Report.pdf. As noted in the CY
2018 Quality Payment Program final
rule (82 FR 53823), we will use
statistical testing and user testing, as
well as consultation with the Physician
Compare Technical Expert Panel, to
determine how and where these data are
best reported on Physician Compare (for
example in the Physician Compare
Downloadable Database or on the
Physician Compare Initiative page). In
addition to minimum and maximum
MIPS performance category and final
scores, we also seek comment on any
other aggregate information that
stakeholders would find useful for
future public reporting on Physician
Compare.
(4) Quality
For previous discussions on publicly
reporting quality performance category
information on the Physician Compare
website, we refer readers to the CY 2018
Quality Payment Program final rule (82
FR 53824) and the CY 2019 Quality
Payment Program final rule (83 FR
59912).
Although we are not making any
proposals regarding publicly reporting
quality performance category
information, we are seeking additional
comments on adding patient narratives
to the Physician Compare website in
future rulemaking, to the extent
consistent with our authority to collect
such information under section 1848(q)
of the Act and our authority to include
an assessment of patient experience and
patient, caregiver, and family
engagement under section
10331(a)(2)(E) of the Affordable Care
Act. Physician Compare website user
testing has repeatedly shown that
Medicare patients and caregivers greatly
desire narrative reviews, quotes and
testimonials by their peers, and a single
overall ‘‘value indicator,’’ reflective for
each MIPS eligible clinician and group,
and would expect to find such
information on the Physician Compare
website already, based on their
experiences with other consumeroriented websites. We currently do not
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display any narrative patient
satisfaction information on Physician
Compare or any single overall value
indicator for MIPS eligible clinicians
and groups (except MIPS performance
category and final scores); currently all
performance information on Physician
Compare is publicly reported at the
individual measure level. Therefore, we
are seeking comment on the value of
and considerations for publicly
reporting such information to assist
patients and caregivers with making
healthcare decisions, building upon the
feedback received in response to the CY
2018 Quality Payment Program
proposed rule (82 FR 30166 through
30167), in which we specifically sought
comment on publicly reporting
responses to five open-ended questions
that are part of the Agency for
Healthcare Research and Quality
(AHRQ)’s CAHPS Patient Narrative
Elicitation Protocol (https://
www.ahrq.gov/cahps/surveys-guidance/
item-sets/elicitation/). We
refer readers to section III.K.3.c.(1)(c)(i)
of this proposed rule for an additional
solicitation for comments to add
narrative reviews into the CAHPS for
MIPS group survey in future
rulemaking.
To be publicly reported on Physician
Compare, patient narrative data would
have to meet our public reporting
standards, described at § 414.1395(b),
and reviewed in consultation with the
Physician Compare Technical Expert
Panel, to determine how and where
these data would be best reported on
Physician Compare. We seek comment
on the value of collecting and publicly
reporting information from narrative
questions and other PROMs, as well as
publishing a single ‘‘value indicator’’
reflective of cost, quality and patient
experience and satisfaction with care for
each MIPS eligible clinician and group,
on the Physician Compare website and
will consider feedback from the patient,
caregiver, and clinician communities
before proposing any policies in future
rulemaking. We also note that if we
propose to publicly report patient
narratives in future rulemaking, we will
address all related patient privacy
safeguards consistent with section
10331(c) of the Affordable Care Act,
which requires that information on
physician performance and patient
experience is not disclosed in a manner
that violates the Freedom of Information
Act (5 U.S.C. 552) or the Privacy Act of
1974 (5 U.S.C. 552a) with regard to the
privacy individually identifiable health
information, and other applicable law.
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(5) Promoting Interoperability
We refer readers to the CY 2018
Quality Payment Program final rule (82
FR 53827) and the CY 2019 Quality
Payment Program final rule (83 FR
59913) for previously finalized policies
related to the Promoting Interoperability
performance category and Physician
Compare.
Although we are not making any
proposals regarding publicly reporting
Promoting Interoperability category
information, we do want to refer readers
to the ‘‘Medicare and Medicaid
Programs; Patient Protection and
Affordable Care Act; Interoperability
and Patient Access for Medicare
Advantage Organization and Medicaid
Managed Care Plans, State Medicaid
Agencies, CHIP Agencies and CHIP
Managed Care Entities, Issuers of
Qualified Health Plans in the Federally
Facilitated Exchanges and Health Care
Providers’’ proposed rule (referred to as
the Interoperability and Patient Access
proposed rule) published in the March
4, 2019 Federal Register (84 FR 7646
through 7647), where we proposed to
include an indicator on Physician
Compare for the eligible clinicians and
groups that submit a ‘‘no’’ response to
any of the three prevention of
information blocking attestation
statements in § 414.1375(b)(3)(ii)(A)
through (C). To report successfully on
the Promoting Interoperability
performance category, in addition to
satisfying other requirements, a MIPS
eligible clinician must submit an
attestation response of ‘‘yes’’ for each of
these statements. These statements
contain specific representations about a
clinician’s implementation and use of
CEHRT and are intended to verify that
a MIPS eligible clinician has not
knowingly and willfully taken action
(such as to disable functionality) to limit
or restrict the compatibility or
interoperability of certified EHR
technology. In the event that these
statements are left blank, that is, a ‘‘yes’’
or a ‘‘no’’ response is not submitted, the
attestations would be considered
incomplete, and we would not include
an indicator on Physician Compare. We
also proposed to post this indicator on
Physician Compare, either on the profile
pages or the downloadable database, as
feasible and appropriate, starting with
the 2019 performance period data
available for public reporting starting in
late 2020. We refer readers to the CY
2017 Quality Payment Program final
rule for additional information on these
attestation statements (81 FR 77028
through 77035).
We note that addressing comments on
this proposed policy is outside of the
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scope of this proposed rule and instead
direct readers to review that proposed
rule, available at https://
www.federalregister.gov/documents/
2019/03/04/2019-02200/medicare-andmedicaid-programs-patient-protectionand-affordable-care-act-interoperabilityand, for more information.
(6) Facility-Based Clinician Indicator
As discussed in the CY 2018 Quality
Payment Program final rule (82 FR
53823), we finalized a policy to publicly
report the MIPS performance category
and final scores earned by each MIPS
eligible clinician on Physician Compare,
either on profile pages or in the
downloadable database. We also
finalized that we will make all measures
under the MIPS quality performance
category available for public reporting
on Physician Compare, either on profile
pages or in the downloadable database,
as technically feasible (82 FR 53824).
We will use statistical testing and user
testing to determine how and where
measures are reported on Physician
Compare. We established at
§ 414.1380(e) a facility-based
measurement scoring option under the
MIPS quality and cost performance
categories for clinicians that meet
certain criteria beginning with the 2019
MIPS performance period/2021 MIPS
payment year. Section 414.1380(e)(1)(ii)
provides that the scoring methodology
applicable for MIPS eligible clinicians
scored with facility-based measurement
is the Total Performance Score
methodology adopted for the Hospital
VBP Program, for the fiscal year for
which payment begins during the
applicable MIPS performance period.
With this in mind, we have
considered how to best display facilitybased MIPS eligible clinician quality
and cost information on Physician
Compare, appreciating our obligation to
publicly report certain MIPS data for
MIPS eligible clinicians and groups. As
those clinicians and groups scored
under the facility-based option are MIPS
eligible, we will publicly report their
performance category and MIPS final
scores on Physician Compare and
considered two options for publicly
reporting their facility-based measurelevel performance information on
Physician Compare: (a) Displaying
hospital-based measure-level
performance information on Physician
Compare profile pages, including scores
for specific measures and the hospital
overall rating; or (b) including an
indicator showing that the clinician or
group was scored using the facilitybased scoring option with a link from
the clinician’s Physician Compare
profile page to the relevant hospital’s
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measure-level performance information
on Hospital Compare. We believe that a
link from the clinician’s Physician
Compare profile page to the relevant
hospital’s performance information on
Hospital Compare is preferable for
several reasons including: Concerns
about duplication with Hospital
Compare, interpretability by Physician
Compare website users expecting to find
clinician-level, rather than hospitallevel, information and operational
feasibility. Additionally, we believe this
approach is consistent with our
consumer testing findings that Medicare
patients and caregivers find value in
information on the relationships
clinicians and groups may have with
facilities where they perform services.
We note that the facility-based scoring
indicator would be separate from the
hospital affiliation information for
admitting privileges currently posted on
Physician Compare profile pages.
For these reasons, we are proposing to
make available for public reporting an
indicator on the Physician Compare
profile page or downloadable database
that displays if a MIPS eligible clinician
is scored using facility-based
measurement, as specified under
§ 414.1380(e)(6)(vi), as technically
feasible. We are also proposing to
provide a link to facility-based measurelevel information, as specified under
§ 414.1380(e)(1)(i), for such MIPS
eligible clinicians on Hospital Compare,
as technically feasible. In addition, we
are proposing to post this indicator on
Physician Compare with the linkage to
Hospital Compare beginning with CY
2019 performance period data available
for public reporting starting in late CY
2020 and for all future years, as
technically feasible. We request
comment on this proposal.
4. Overview of the APM Incentive
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a. Overview
Section 1833(z) of the Act requires
that an incentive payment be made in
years 2019 through 2024 (or, in years
after 2025, a different PFS update) to
Qualifying APM Participants (QPs) for
achieving threshold levels of
participation in Advanced APMs. In the
CY 2017 Quality Payment Program final
rule (81 FR 77399 through 77491), we
finalized the following policies:
• Beginning in payment year 2019, if
an eligible clinician participated
sufficiently in an Advanced APM
during the QP Performance Period, that
eligible clinician may become a QP for
the year. Eligible clinicians who are QPs
are excluded from the MIPS reporting
requirements for the performance year
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and payment adjustment for the
payment year.
• For payment years from 2019
through 2024, QPs receive a lump sum
incentive payment equal to 5 percent of
their prior year’s estimated aggregate
payments for Part B covered
professional services. Beginning in
payment year 2026, QPs receive a higher
update under the PFS for the year than
non-QPs.
• For payment years 2019 and 2020,
eligible clinicians may become QPs only
through participation in Medicare
Advanced APMs.
• For payment years 2021 and later,
eligible clinicians may become QPs
through a combination of participation
in Medicare Advanced APMs and Other
Payer Advanced APMs (which we refer
to as the All-Payer Combination
Option).
In the CY 2018 Quality Payment
Program final rule (82 FR 53832 through
53895), we finalized clarifications,
modifications, and additional details
pertaining to Advanced APMs, QP and
Partial QP determinations, Other Payer
Advanced APMs, Determination of
Other Payer Advanced APMs,
Calculation of All-Payer Combination
Option Threshold Scores and QP
Determinations, and Physician-Focused
Payment Models (PFPMs).
In the CY 2019 PFS final rule (83 FR
59915 through 59940), we finalized
clarifications, modifications, and
additional details pertaining to use of
Certified Electronic Health Record
Technology (CEHRT), MIPS-comparable
quality measures, bearing financial risk
for monetary losses, the QP Performance
Period, Partial QP election to report to
MIPS, Other Payer Advanced APM
criteria, determination of Other Payer
Advanced APMs, calculation of AllPayer Combination Option Threshold
Scores and QP determinations under the
All-Payer Combination Option.
In this proposed rule, we discuss
proposals pertaining to Advanced APMs
and the All-Payer Combination Option.
b. Terms and Definitions
As we continue to develop the
Quality Payment Program, we have
identified the need to propose new
definitions to go along with the
previously defined terms. A list of the
previously defined terms is available in
the CY 2017 Quality Payment Program
final rule (81 FR 77537 through 77540),
the CY 2018 Quality Payment Program
final rule (82 FR 53951 through 53952),
and in the CY 2019 PFS final rule (83
FR 60075 through 60076), and reflected
in our regulation at § 414.1305.
In the CY 2017 Quality Payment
Program final rule, we defined the term
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‘‘Medical Home Model’’ and ‘‘Medicaid
Medical Home Model.’’ Since defining
these terms in the CY 2017 Quality
Payment Program final rule, we have
sought comment on whether or not to
establish a similar definition to describe
payment arrangements similar to
Medical Home Models and Medicaid
Medical Home Models that are operated
by other payers (82 FR 30180).
As discussed in section III.I.4.d.(2)(a)
of this proposed rule, we propose to add
the defined term ‘‘Aligned Other Payer
Medical Home Model’’ to § 414.1305, to
mean a payment arrangement (not
including a Medicaid payment
arrangement) operated by an other payer
that formally partners with CMS in a
CMS Multi-Payer Model that is a
Medical Home Model through a written
expression of alignment and
cooperation, such as a memorandum of
understanding (MOU), and is
determined by CMS to have the
following characteristics:
• The other payer payment
arrangement has a primary care focus
with participants that primarily include
primary care practices or multispecialty
practices that include primary care
physicians and practitioners and offer
primary care services. For the purposes
of this provision, primary care focus
means the inclusion of specific design
elements related to eligible clinicians
practicing under one or more of the
following Physician Specialty Codes: 01
General Practice; 08 Family Medicine;
11 Internal Medicine; 16 Obstetrics and
Gynecology; 37 Pediatric Medicine; 38
Geriatric Medicine; 50 Nurse
Practitioner; 89 Clinical Nurse
Specialist; and 97 Physician Assistant;
• Empanelment of each patient to a
primary clinician; and
• At least four of the following:
Planned coordination of chronic and
preventive care; Patient access and
continuity of care; Risk-stratified care
management; Coordination of care
across the medical neighborhood;
Patient and caregiver engagement;
Shared decision-making; and/or
Payment arrangements in addition to, or
substituting for, fee-for-service
payments (for example, shared savings
or population-based payments).
c. Advanced APMs
(1) Overview
In the CY 2017 Quality Payment
Program final rule (81 FR 77408), we
finalized the criteria that define an
Advanced APM based on the
requirements set forth in sections
1833(z)(3)(C) and (D) of the Act. An
Advanced APM is an APM that:
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• Requires its participants to use
certified EHR technology (CEHRT) (81
FR 77409 through 77414);
• Provides for payment for covered
professional services based on quality
measures comparable to measures under
the quality performance category under
MIPS (81 FR 77414 through 77418); and
• Either requires its participating
APM Entities to bear financial risk for
monetary losses that are in excess of a
nominal amount, or is a Medical Home
Model expanded under section
1115A(c) of the Act (81 FR 77418
through 77431). We refer to this
criterion as the financial risk criterion.
In the CY 2018 Quality Payment
Program final rule (82 FR 53832 through
53895), we finalized clarifications,
modifications, and additional details
pertaining to the Advanced APM
criteria, Qualifying APM Participant
(QP) and Partial QP determinations, the
Other Payer Advanced APM criteria,
Determination of Other Payer Advanced
APMs, Calculation of All-Payer
Combination Option Threshold Scores
and QP Determinations, and we
discussed Physician-Focused Payment
Models (PFPMs).
In the CY 2019 PFS final rule (83 FR
59915 through 59938), we finalized the
following:
Use of CEHRT:
• We revised § 414.1415(a)(i) to
specify that an Advanced APM must
require at least 75 percent of eligible
clinicians in each APM Entity, or, for
APMs in which hospitals are the APM
Entities, each hospital, use CEHRT as
defined at § 414.1305 to document and
communicate clinical care with patients
and other health care professionals.
MIPS-Comparable Quality Measures:
• We revised § 414.1415(b)(2) to
clarify, effective January 1, 2020, that at
least one of the quality measures upon
which an Advanced APM bases
payment must either be finalized on the
MIPS final list of measures, as described
in § 414.1330; endorsed by a consensusbased entity; or determined by CMS to
be evidenced-based, reliable, and valid.
• We revised § 414.1415(b)(3),
effective January 1, 2020, to provide that
at least one outcome measure, for which
measure results are included as a factor
when determining payment to
participants under the terms of the APM
must either be finalized on the MIPS
final list of measures as described in
§ 414.1330, endorsed by a consensusbased entity; or determined by CMS to
be evidence-based, reliable, and valid.
Bearing Financial Risk for Monetary
Losses:
• We revised § 414.1415(c)(3)(i)(A) to
maintain the generally applicable
revenue-based nominal amount
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standard at 8 percent of the average
estimated total Medicare Parts A and B
revenue of all providers and suppliers
in participating APM Entities for QP
Performance Periods 2021 through 2024.
In this section of the proposed rule,
we address policies regarding several
aspects of the Advanced APM criterion
on bearing financial risk for monetary
losses—specifically our proposal to
amend the definition of expected
expenditures, and our request for
comment on whether certain items and
services should be excluded from the
capitation rate for our definition of full
capitation arrangements.
(2) Bearing Financial Risk for Monetary
Losses
(a) Overview
In the CY 2017 Quality Payment
Program final rule (81 FR 77418), we
divided the discussion of this criterion
into two main topics: (1) What it means
for an APM Entity to bear financial risk
for monetary losses under an APM
(which we refer to as either the
generally applicable financial risk
standard or Medical Home Model
financial risk standard); and (2) what
levels of risk we would consider to be
in excess of a nominal amount (which
we refer to as either the generally
applicable nominal amount standard or
the Medical Home Model nominal
amount standard).
(b) Expected Expenditures
In the CY 2017 Quality Payment
Program final rule (81 FR 77550), we
established a definition of expected
expenditures at § 414.1415(c)(5) to mean
the beneficiary expenditures for which
an APM Entity is responsible under an
APM. For episode payment models,
‘expected expenditures’ means the
episode target price. We established this
definition of expected expenditures for
the purpose of applying the Advanced
APM financial risk criterion to
determine whether an APM meets the
generally applicable nominal amount
standard.
In the CY 2017 Quality Payment
Program proposed rule (81 FR 28305
through 28309), we proposed to
measure three dimensions of risk under
our generally applicable nominal
amount standards: (1) Marginal risk,
which refers to the percentage of the
amount by which actual expenditures
exceed expected expenditures for which
an APM Entity would be liable under
the APM; (2) minimum loss rate (MLR),
which is a percentage by which actual
expenditures may exceed expected
expenditures without triggering
financial risk; and (3) total potential
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40825
risk, which refers to the maximum
potential payment for which an APM
Entity could be liable under the APM.
However, based on commenters’
concerns regarding technical
complexity, we did not finalize the
marginal risk and MLR components of
the generally applicable nominal
standard under the Advanced APM
criteria (81 FR 77427), but did finalize
those additional elements of risk under
the Other Payer Advanced APM criteria.
We stated in the CY 2017 Quality
Payment Program final rule (81 FR
77426) that the marginal risk and MLR
components were not necessary to
explicitly include in the generally
applicable nominal amount standard for
Advanced APMs because we are
committed to creating Advanced APMs
with strong financial risk designs that
incorporate risk adjustment, benchmark
methodologies, sufficient stop-loss
amounts, and sufficient marginal risk;
and that all APMs involving financial
risk that we operate now or in the future
would meet or exceed the proposed
marginal risk and MLR requirements. In
the CY 2017 Quality Payment Program
proposed rule (81 FR 28306), we
explained that to determine whether an
APM satisfies the marginal risk
component of the generally applicable
nominal amount standard, we would
examine the payment required under
the APM as a percentage of the amount
by which actual expenditures exceeded
expected expenditures. We proposed
that we would require that this
percentage exceed a required marginal
risk percentage of 30 percent regardless
of the amount by which actual
expenditures exceeded expected
expenditures. We believed that any
marginal risk below 30 percent could
create scenarios in which the total risk
could be very high, but the average or
likely risk for an APM Entity would
actually be very low (81 FR 28306).
Our rationale for proposing the
marginal risk requirement was that the
inclusion of the marginal risk
requirement would contribute to
maintaining a more than nominal level
of average or likely risk under an
Advanced APM. We did not finalize the
marginal risk requirement under the
Advanced APM criteria because, as
noted above, we believed that all
Advanced APMs that we operate now or
would potentially operate in the future
would meet or exceed the previously
proposed marginal risk and MLR
requirements, and more importantly, we
believed the total risk portion of the
nominal amount standard alone was
sufficient to ensure that the level of
average or likely risk under an
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Advanced APM would actually be more
than nominal for participants.
However, based on our experience to
date, we are concerned that the total risk
portion of the benchmark-based
nominal amount standard as currently
constructed may not always be
sufficient to ensure that the level of
average or likely risk under an
Advanced APM is actually more than
nominal for participants. This is
because the benchmark-based nominal
amount standard at
§ 414.1415(c)(3)(i)(B) is dependent upon
the definition of expected expenditures
codified at § 414.1415(c)(5), where
expected expenditures are defined as
the beneficiary expenditures for which
an APM Entity is responsible under an
APM, and for episode payment models,
the episode target price.
In our experience implementing the
Quality Payment Program and
considering the diversity of model
designs, we now believe there is a need
to amend the definition of expected
expenditures to ensure there are morethan-nominal levels of average or likely
risk under an Advanced APM that
would meet the generally applicable
benchmark-based nominal amount
standard. For instance, an APM could
have a sufficient total risk to meet the
benchmark-based nominal amount
standard and a sharing rate that results
in adequate marginal risk if actual
expenditures exceed expected
expenditures. However, in that same
APM, the level of expected expenditures
reflected in the APM’s benchmark or
episode target price could be set in a
manner that would substantially reduce
the amount of loss the APM Entity
would reasonably expect to incur.
For an APM to meet the generally
applicable benchmark-based nominal
amount standard, we believe there
should be not only the potential for
financial losses based on expenditures
in excess of the benchmark as provided
in § 415.1415(c)(3)(i)(B) of our
regulations, but also a meaningful
possibility that an APM Entity might
exceed the benchmark. If the benchmark
is set in such a way that it is extremely
unlikely that participants would exceed
it, then there is little potential for
participants to incur financial losses,
and the amount of risk is essentially
illusory.
Therefore, in § 414.1415(c)(5), we are
proposing to amend the definition of
expected expenditures. Specifically, we
are proposing to define expected
expenditure as, for the purposes of this
section, the beneficiary expenditures for
which an APM Entity is responsible
under an APM. For episode payment
models, expected expenditures means
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the episode target price. For purposes of
assessing financial risk for Advanced
APM determinations, the expected
expenditures under the terms of the
APM should not exceed the expected
Medicare Parts A and B expenditures for
a participant in the absence of the APM.
If expected expenditures under the APM
exceed the Medicare Parts A and B
expenditures that an APM Entity would
be expected to incur in the absence of
the APM, such excess expenditures are
not considered when CMS assesses
financial risk under the APM for
Advanced APM determinations.
In general, expected expenditures are
expressed as a dollar amount, and may
be derived for a particular APM from
national, regional, APM Entity-specific,
and/or practice-specific historical
expenditures during a baseline period,
or other comparable expenditures.
However, we recognize expected
expenditures under an APM often are
risk-adjusted and trended forward, and
may be adjusted to account for
expenditure changes that are expected
to occur as a result of APM
participation. For the purpose of this
proposed definition of expected
expenditures, we would not consider
risk adjustments to be excess
expenditures when comparing to the
costs that an APM Entity would be
expected to incur in the absence of the
APM.
We believe that this proposed
amendment would allow us to ensure
that there are more-than-nominal
amounts of average or likely risk under
an APM that meets the generally
applicable benchmark-based nominal
amount standard. We believe that the
proposed amended definition of
expected expenditures, particularly by
our not considering excess expenditures
when determining whether an APM
meets the benchmark-based nominal
amount standard, would provide a more
definite basis for us to assess whether an
APM Entity would bear more than a
nominal amount of financial risk for
participants under the generally
applicable benchmark-based nominal
amount standard.
We are also proposing a similar
amendment to the definition of
expected expenditures applicable to the
Other Payer Advanced APM criteria in
section III.I.4.d.(2)(b)(i) of this proposed
rule.
We seek comment on this proposal.
(c) Excluded Items and Services Under
Full Capitation Arrangements
In the CY 2017 Quality Payment
Program final rule (81 FR 74431), we
finalized a capitation standard at
§ 414.1415(c)(6), which provides that a
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full capitation arrangement meets the
Advanced APM financial risk criterion.
We defined a capitation arrangement as
a payment arrangement in which a per
capita or otherwise predetermined
payment is made under the APM for all
items and services for which payment is
made through the APM furnished to a
population of beneficiaries, and no
settlement is performed to reconcile or
share losses incurred or savings earned
by the APM Entity. We clarified that
arrangements between CMS and
Medicare Advantage Organizations
under the Medicare Advantage program
are not considered capitation
arrangements for purposes of this
definition.
In the CY 2019 PFS final rule (83 FR
59939), we made technical corrections
to the Advanced APM financial risk
capitation standard at § 414.1415(c)(6).
These corrections clarified that our
financial risk capitation standard
applies only to full capitation
arrangements where a per capita or
otherwise predetermined payment is
made under the APM for all items and
services furnished to a population of
beneficiaries during a fixed period of
time, and no settlement or
reconciliation is performed.
As we have begun to collect
information on other payer payment
arrangements for purposes of making
Other Payer Advanced APM
determinations, we have noticed that
some payment arrangements that are
submitted as capitation arrangements
consistent with § 414.1420(d)(7) include
a list of services that have been
excluded from the capitation rate, such
as hospice care, organ transplants, and
out-of-network emergency services. In
reviewing these exclusion lists, we
believe that it may be appropriate for
CMS to allow certain capitation
arrangements to be considered ‘‘full’’
capitation arrangements even if they
categorically exclude certain items or
services from payment through the
capitation rate.
As such, we are seeking comment on
what categories of items and services
might be excluded from a capitation
arrangement that would still be
considered a full capitation
arrangement. Specifically, we seek
comment on whether there are common
industry practices to exclude certain
categories of items and services from
capitated payment rates and, if so,
whether there are common principles or
reasons for excluding those categories of
services. We also seek comment on what
percentage of the total cost of care such
exclusions typically account for under
what is intended to be a ‘‘full’’ global
capitation arrangement. We also seek
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comment on how non-Medicare payers
define or prescribe certain categories of
services that are excluded with regards
to global capitation payment
arrangements.
In addition, we are seeking comment
on whether a capitation arrangement
should be considered to be a full
capitation arrangement even though it
excludes certain categories of services
from the capitation rate under the full
capitation standard for Other Payer
Advanced APMs as discussed in section
III.I.4.d.(2)(c)(ii) of this proposed rule.
(3) Summary of Proposals
In this section, we are proposing the
following policy:
• Expected Expenditures: We are
proposing to amend the definition of
expected expenditures codified at
§ 414.1415(c)(5) to state, for the
purposes of this section, expected
expenditures means the beneficiary
expenditures for which an APM Entity
is responsible under an APM. For
episode payment models, expected
expenditures mean the episode target
price. In addition, for purposes of
assessing financial risk for Advanced
APM determinations, the expected
expenditures under the APM should not
exceed the expected Medicare Parts A
and B expenditures (including modelspecific risk-adjustments and trend
adjustments), for the APM Entity in the
absence of the APM. If expected
expenditures under the APM exceed the
Medicare Parts A and B expenditures
that the APM Entity would be expected
to incur in the absence of the APM, such
excess expenditures would not be
considered when CMS assesses
financial risk under the APM for
Advanced APM determinations.
d. Qualifying APM Participant (QP) and
Partial QP Determinations
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(1) Overview
We finalized policies relating to QP
and Partial QP determinations in the CY
2017 Quality Payment Program final
rule (81 FR 77433 through 77450). In the
CY 2019 PFS final rule (83 FR 59923
through 59925), we finalized additional
policies relating to QP determinations
and Partial QP election to report to
MIPS.
(2) Group Determination
(a) Overview
In the CY 2017 Quality Payment
Program final rule (81 FR 77439 through
77440), we finalized that QP
determinations would generally be
made at the APM Entity level, but for
two exceptions in which we make the
QP determination at the individual
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level: (1) Individuals participating in
multiple Advanced APM Entities, none
of which meet the QP threshold as a
group; and (2) eligible clinicians on an
Affiliated Practitioner List when that list
is used for the QP determination
because there are no eligible clinicians
on a Participation List for the APM
Entity (81 FR 77439 through 77443). As
a result, the QP determination for the
APM Entity would apply to all the
individual eligible clinicians who are
identified as part of the APM Entity
participating in an Advanced APM. If
that APM Entity’s Threshold Score
meets the relevant QP threshold, all
individual eligible clinicians in that
APM Entity would receive the same QP
determination, applied to their NPIs, for
the relevant year. The QP determination
calculations are aggregated using data
for all eligible clinicians participating in
the APM Entity on a determination date
during the QP Performance Period.
(b) Application of Partial QP Status
In the CY 2017 Quality Payment
Program final rule (81 FR 77440), we
stated that we would apply QP status at
the NPI level instead of at the TIN/NPI
level. We noted that an individual
clinician identified by an NPI may have
reassigned billing rights to multiple
TINs, resulting in multiple TIN/NPI
combinations being associated with one
individual clinician (NPI). We also
stated that if QP status was only applied
to one of an individual clinician’s
multiple TIN/NPI combinations, an
eligible clinician who is a QP for only
one TIN/NPI combination might still
have to report under MIPS for another
TIN/NPI combination. Under that
approach, the APM Incentive Payment
would be based on only a fraction of the
clinician’s covered professional services
instead of, as we believe is the most
logical reading of the statute, all those
services furnished by the individual
clinician, as represented by an NPI.
Therefore, we expressed our concern
with applying QP status only to a
specific TIN/NPI combination as it
would not effectuate the goals of the
APM incentive path of the Quality
Payment Program to reward individual
clinicians for their commitment to
Advanced APM participation.
For Partial QPs, we currently apply
Partial QP status at the NPI level across
all TIN/NPI combinations, as we have
for QP status. However, upon further
consideration, and based on our
experience implementing the Quality
Payment Program to date, we no longer
believe we should apply Partial QP
status at the individual clinician (NPI)
level across all TIN/NPI combinations,
as we have and do for QP status. Partial
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QPs are excluded from MIPS based on
an election made at the APM Entity or
individual eligible clinician level, and
this exclusion is currently applied at the
NPI level across all of their TIN/NPI
combinations. When this MIPS
exclusion is applied at the NPI level, it
does not always provide a similar net
positive outcome across an individual
clinician’s TIN/NPI combinations when
compared to the APM Incentive
Payment that QPs receive. The MIPS
exclusion is different from QP status as
Partial QPs do not receive an APM
Incentive Payment, Partial QPs are only
relieved of the MIPS reporting
requirements and not subject to a MIPS
payment adjustment. As such, while a
Partial QP might wish to be excluded
from the MIPS reporting requirements
and payment adjustment with respect to
the TIN/NPI combination that relates to
an APM Entity in an Advanced APM,
that same Partial QP might benefit from
reporting to MIPS and receiving a MIPS
payment adjustment with respect to
some or all of their other TIN/NPI
combinations because they anticipate
receiving an upward MIPS payment
adjustment.
So, while the current policy excludes
Partial QPs from MIPS reporting
requirements and allows Partial QPs to
avoid any potential downward MIPS
payment adjustment, we have heard
from stakeholders, including some
clinicians, that this policy has
prevented eligible clinicians from
receiving a positive MIPS payment
adjustment earned through a different
TIN/NPI combination not associated
with the APM Entity through which
they attained Partial QP status.
Furthermore, in many circumstances,
the election to be excluded from MIPS
for an eligible clinician is made outside
their control at the APM Entity level. In
such scenarios, an eligible clinician may
have reported to MIPS as part of a group
or as an individual under a separate
TIN/NPI combination, but would not
receive any MIPS payment adjustment
based on that reporting. If eligible
clinicians who would have received a
positive MIPS adjustment are excluded
from MIPS because of their Partial QP
status, it could potentially discourage
eligible clinicians from participating in
Advanced APMs. Additionally, in
future years of the Quality Payment
Program, we anticipate that it will
become harder to attain QP and Partial
QP status because the QP and Partial QP
payment amount and patient count
thresholds will rise, as set forth in
§ 414.1430. As a result, a greater number
of Advanced APM participants may
attain Partial QP status, which we
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believe increases the importance of
removing the potential disincentive for
Advanced APM participation based on
the way the MIPS exclusion for Partial
QPs is applied.
Therefore, we are proposing that
beginning with the 2020 QP
Performance Period, Partial QP status
would apply only to the TIN/NPI
combination(s) through which an
individual eligible clinician attains
Partial QP status, and to amend our
regulation by adding § 414.1425(d)(5) to
reflect this change. This means that any
MIPS election for a Partial QP would
only apply to the TIN/NPI combination
through which Partial QP status is
attained, so that an eligible clinician
who is a Partial QP for only one TIN/
NPI combination may still be a MIPS
eligible clinician and report under MIPS
for other TIN/NPI combinations.
We seek comment on this proposal.
(3) QP Performance Period
(a) Overview
In the CY 2017 Quality Payment
Program final rule (81 FR 77446 through
77447), we finalized for the timing of
QP determinations that a QP
Performance Period runs from January 1
through August 31 of the calendar year
that is 2 years prior to the payment year.
We finalized that during the QP
Performance Period, we will make QP
determinations at three separate
snapshot dates (March 31, June 30, and
August 31), each of which will be a final
determination for the eligible clinicians
who are determined to be QPs. The QP
Performance Period and the three
separate QP determinations apply
similarly for both the group of eligible
clinicians on a Participation List and the
individual eligible clinicians on an
Affiliated Practitioner List.
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(b) APM Entity Termination
In the CY 2017 Quality Payment
Program final rule, we finalized at
§ 414.1425(c)(5) and § 414.1425(d)(3)
that an eligible clinician is not a QP or
Partial QP for a year if the APM Entity
group voluntarily or involuntarily
terminates from an Advanced APM
before the end of the QP Performance
Period (81 FR 77446 through 77447). We
also finalized at § 414.1425(c)(6) and
§ 414.1425(d)(4) that an eligible
clinician is not a QP or Partial QP for
a year if one or more of the APM
Entities in which the eligible clinician
participates voluntarily or involuntarily
terminates from the Advanced APM
before the end of the QP Performance
Period, and the eligible clinician does
not individually achieve a Threshold
Score that meets or exceeds the QP or
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Partial QP payment amount threshold or
QP or Partial QP patient count threshold
based on participation in the remaining
non-terminating APM Entities (81 FR
77446 through 77447). We finalized
these policies in part to ensure that
APM Entities and eligible clinicians
who achieve QP or Partial QP status
during a QP Performance Period
actually assume a more than a nominal
amount of financial risk, as is necessary
for Advanced APMs, for at least the full
QP performance period from January 1
through August 31, if not the entire
performance year under the Advanced
APM.
Currently, under the terms of some
Advanced APMs, APM Entities can
terminate their participation in the
Advanced APM while bearing no
financial risk after the end of the QP
Performance Period for the year (August
31). Under our current regulation, an
APM Entity’s termination after that date
would not affect the QP or Partial QP
status of all eligible clinicians in the
APM Entity. We acknowledge that it
may be appropriate for an Advanced
APM to allow participating APM
Entities to terminate without bearing
financial risk for that performance
period under the terms of the Advanced
APM itself, including allowing such
terminations to occur after the end of
the QP Performance Period (August 31).
However, allowing those eligible
clinicians to retain their QP or Partial
QP status without having borne
financial risk under the Advanced APM
through which they attained QP or
Partial QP status is not aligned with the
structure and principles of the Quality
Payment Program, which is designed to
reward those APM Entities and eligible
clinicians for meaningfully assuming
more than a nominal amount of
financial risk, as required by the
Advanced APM criteria. A critical
aspect of Advanced APMs is that
participants must bear more than a
nominal amount of financial risk under
the model. If an APM Entity terminates
participation in the Advanced APM
without financial accountability, the
APM Entity has not yet borne more than
a nominal amount of financial risk. As
such, we do not believe it is appropriate
for eligible clinicians in an APM Entity
that terminates after QP determinations
are made, but before bearing more than
a nominal amount of financial risk, to
retain any status as QPs or Partial QPs.
Therefore, regarding QP status, we are
proposing to revise § 414.1425(c)(5) and
add §§ 414.1425(c)(5)(i) and
414.1425(c)(5)(ii) which states,
beginning in the 2020 QP Performance
Period, an eligible clinician is not a QP
for a year if: (1) The APM Entity
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voluntarily or involuntarily terminates
from an Advanced APM before the end
of the QP Performance Period; (2) or the
APM Entity voluntarily or involuntarily
terminates from an Advanced APM at a
date on which the APM Entity would
not bear financial risk under the terms
of the Advanced APM for the year in
which the QP Performance Period
occurs. In addition, we are proposing to
revise § 414.1425(c)(6) and add
§§ 414.1425(c)(6)(i) and
§ 414.1425(c)(6)(ii), which states,
beginning in the 2020 QP Performance
Period, an eligible clinician is not a QP
for a year if: (1) One or more of the APM
Entities in which the eligible clinician
participates voluntarily or involuntarily
terminates from the Advanced APM
before the end of the QP Performance
Period, and the eligible clinician does
not individually achieve a Threshold
Score that meets or exceeds the QP
payment amount threshold or QP
patient count threshold based on
participation in the remaining nonterminating APM Entities; or (2) one or
more of the APM Entities in which the
eligible clinician participates
voluntarily or involuntarily terminates
from the Advanced APM at a date on
which the APM Entity would not bear
financial risk under the terms of the
Advanced APM for the year in which
the QP Performance Period occurs, and
the eligible clinician does not
individually achieve a Threshold Score
that meets or exceeds the QP payment
amount threshold or QP patient count
threshold based on participation in the
remaining non-terminating APM
Entities.
Regarding Partial QP status, we are
also proposing to revise § 414.1425(d)(3)
and add §§ 414.1425(d)(3)(i) and
414.1425(d)(3)(ii), which states,
beginning in the 2020 QP Performance
Period, an eligible clinician is not a
Partial QP for a year if: (1) The APM
Entity voluntarily or involuntarily
terminates from an Advanced APM
before the end of the QP Performance
Period; or (2) the APM Entity
voluntarily or involuntarily terminates
from an Advanced APM at a date on
which the APM Entity would not bear
financial risk under the terms of the
Advanced APM for the year in which
the QP Performance Period occurs. We
are also proposing to revise
§ 414.1425(d)(4) and add
§§ 414.1425(d)(4)(i) and
414.1425(d)(4)(ii), which states,
beginning in the 2020 QP Performance
Period, an eligible clinician is not a
Partial QP for a year if: (1) One or more
of the APM Entities in which the
eligible clinician participates
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voluntarily or involuntarily terminates
from the Advanced APM before the end
of the QP Performance Period, and the
eligible clinician does not individually
achieve a Threshold Score that meets or
exceeds the Partial QP payment amount
threshold or Partial QP patient count
threshold based on participation in the
remaining non-terminating APM
Entities; or (2) one or more of the APM
Entities in which the eligible clinician
participates voluntarily or involuntarily
terminates from the Advanced APM at
a date on which the APM Entity would
not bear financial risk under the terms
of the Advanced APM for the year in
which the QP Performance Period
occurs, and the eligible clinician does
not individually achieve a Threshold
Score that meets or exceeds the Partial
QP payment amount threshold or Partial
QP patient count threshold based on
participation in the remaining nonterminating APM Entities. We believe
these additions account for the
scenarios in which an APM Entity
terminates from an Advanced APM at a
date on which the APM Entity would
not incur any financial accountability
under the terms of the Advanced APM.
We seek comment on this proposal.
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(4) Summary of Proposals
In this section, we are proposing the
following policies:
• Application of Partial QP Status:
We propose that beginning with the
2020 QP Performance Period, Partial QP
status will apply only to the TIN/NPI
combination(s) through which an
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individual eligible clinician attains
Partial QP status. We propose to amend
§ 414.1425(d)(5) to reflect this change.
• APM Entity Termination: We
propose to revise §§ 414.1425(c)(5),
414.1425(c)(6), 414.1425(d)(3), and
414.1425(d)(4) to state that an eligible
clinician is not a QP or a Partial QP for
the year when an APM Entity terminates
from an Advanced APM at a date on
which the APM Entity would not bear
financial risk under the terms of the
Advanced APM for the year in which
the QP Performance Period occurs.
e. All-Payer Combination Option
(1) Overview
Section 1833(z)(2)(B)(ii) of the Act
requires that beginning in payment year
2021, in addition to the Medicare
Option, eligible clinicians may become
QPs through the Combination All-Payer
and Medicare Payment Threshold
Option, which we refer to as the AllPayer Combination Option. In the CY
2017 Quality Payment Program final
rule (81 FR 77459), we finalized our
overall approach to the All-Payer
Combination Option. The Medicare
Option focuses on participation in
Advanced APMs, and we make QP
determinations under this option based
on Medicare Part B covered professional
services attributable to services
furnished through an APM Entity. The
All-Payer Combination Option does not
replace or supersede the Medicare
Option; instead, it will allow eligible
clinicians to become QPs by meeting the
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40829
QP thresholds through a pair of
calculations that assess a combination of
both Medicare Part B covered
professional services furnished through
Advanced APMs and services furnished
through payment arrangements offered
by payers other than Medicare that CMS
has determined meet the criteria to be
Other Payer Advanced APMs. We
finalized that beginning in payment year
2021, we will conduct QP
determinations sequentially so that the
Medicare Option is applied before the
All-Payer Combination Option (81 FR
77438). The All-Payer Combination
Option encourages eligible clinicians to
participate in payment arrangements
that satisfy the Other Payer Advanced
APM criteria with payers other than
Medicare. It also encourages sustained
participation in Advanced APMs across
multiple payers.
We finalized that the QP
determinations under the All-Payer
Combination Option are based on
payment amounts or patient counts as
illustrated in Tables 36 and 37, and
Figures 1 and 2 of the CY 2017 Quality
Payment Program final rule (81 FR
77460 through 77461). We also finalized
that, in making QP determinations with
respect to an eligible clinician, we will
use the Threshold Score (that is, based
on payment amount or patient count)
that is most advantageous to the eligible
clinician toward achieving QP status, or
if QP status is not achieved, Partial QP
status, for the year (81 FR 77475).
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TABLE 56: QP Payment Amount Thresholds- All-Payer Combination Option
Payment Year
2019
2020
.
.
QP PaymelltAmo~nt thresJtol({ .·:
Medicare Minimum
I
Total
I
Partial.QP·Paymenf@oullt.Thresh<}Id
Medicare Minimum
I
Total
I
N/A
N/A
I
2021
I
I
25%
50%
I
I
20%
40%
N/A
N/A
I
:
•.
..
:
2023 and
later
2022
i
I
I
25%
50%
I
I
20%
40%
.
I
I
25%
75%
I
I
20%
50%
.··.·
TABLE 57: QP Patient Count Thresholds- All-Payer Combination Option
2019
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QP P~tientO~unt Threshold
Medicare Minimum
Total
Partial QP Patient Count Tbresho.ld
Medicare Minimum
Total
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I
I
..
I
I
.
·.
N/A
·..•.
.
.
2021
N/A
I
Fmt 4701
N/A
Sfmt 4725
2023 and
later
2022
..
. ··
I
I
··.
N/A
Frm 00350
I
2020
I
I
.
20%
35%
:.
:
20%
35%
I
I
·
..
I
I
20%
50%
I
I
10%
35%
i
10%
25%
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I
I
10%
25%
14AUP2
..
.
EP14AU19.091
Payment Year
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BILLING CODE 4120–01–C
Unlike the Medicare Option, where
we have access to all of the information
necessary to determine whether an APM
meets the criteria to be an Advanced
APM, we cannot determine whether
payment arrangements offered by other
payers meet the criteria to be an Other
Payer Advanced APM without receiving
information about the payment
arrangements from an external source.
Similarly, we do not have the necessary
payment amount and patient count
information to determine under the AllPayer Combination Option whether an
eligible clinician meets the payment
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amount or patient count threshold to be
a QP without receiving certain
information from an external source.
In the CY 2018 Quality Payment
Program final rule (82 FR 53844 through
53890), we established additional
policies to implement the All-Payer
Combination Option and finalized
certain modifications to our previously
finalized policies. A detailed summary
of those policies can be found at 82 FR
53874 through 53876 and 53890 through
53891.
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40831
In the CY 2019 PFS final rule (83 FR
59926 through 59938), we finalized the
following:
Other Payer Advanced APM Criteria:
• We changed the CEHRT use
criterion so that in order to qualify as an
Other Payer Advanced APM as of
January 1, 2020, the other payer
arrangement must require at least 75
percent of participating eligible
clinicians in each participating APM
Entity group, or each hospital if
hospitals are the APM Entities, use
CEHRT to document and communicate
clinical care.
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• We allowed payers and eligible
clinicians to submit evidence as part of
their request for an Other Payer
Advanced APM determination that
CEHRT is used by the requisite
percentage of eligible clinicians
participating in the payment
arrangement (50 percent for 2019, and
75 percent for 2020 and beyond) to
document and communicate clinical
care, whether or not CEHRT use is
explicitly required under the terms of
the payment arrangement.
• We clarified § 414.1420(c)(2),
effective January 1, 2020, to provide that
at least one of the quality measures used
in the payment arrangement in
paragraph (c)(1) of this regulation must
be:
++ Finalized on the MIPS final list of
measures, as described in § 414.1330;
++ Endorsed by a consensus-based
entity; or
++ Determined by CMS to be
evidenced-based, reliable, and valid.
• We revised § 414.1420(c)(3) to
require that, effective January 1, 2020,
unless there is no applicable outcome
measure on the MIPS quality measure
list, that to be an Other Payer Advanced
APM, an other payer arrangement must
use an outcome measure, that must be:
++ Finalized on the MIPS final list of
measures, as described in § 414.1330;
++ Endorsed by a consensus-based
entity; or
++ Determined by CMS to be
evidenced-based, reliable, and valid.
• We also revised our regulation at
§ 414.1420(c)(3)(i) to provide that, for
payment arrangements determined to be
Other Payer Advanced APMs for the
2019 performance year that did not
include an outcome measure that is
evidence-based, reliable, and valid, and
that are resubmitted for an Other Payer
Advanced APM determination for the
2020 performance year (whether for a
single year, or for a multi-year
determination as finalized in CY 2019
PFS final rule (83 FR 55931 through
55932), we would continue to apply the
previous requirements for purposes of
those determinations. This revision also
applies to payment arrangements in
existence prior to the 2020 performance
year that are submitted for
determination to be Other Payer
Advanced APMs for the 2020
performance year and later.
• We revised § 414.1420(d)(3)(i) to
maintain the generally applicable
revenue-based nominal amount
standard at 8 percent of the total
combined revenues from the payer of
providers and suppliers in participating
APM Entities for QP Performance
Periods 2021 through 2024.
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Determination of Other Payer
Advanced APMs:
• We finalized details regarding the
Payer Initiated Process for Remaining
Other Payers. To the extent possible, we
aligned the Payer Initiated Process for
Remaining Other Payers with the
previously finalized Payer Initiated
Process for Medicaid, Medicare Health
Plans, and CMS Multi-Payer Models.
• We eliminated the Payer Initiated
Process that is specifically for CMS
Multi-Payer Models. These payers will
be able to submit their arrangements
through the Payer Initiated Process for
Remaining Other Payers as finalized in
the CY 2019 PFS final rule (82 FR 59933
through 59935), or through the
Medicaid or Medicare Health Plan
payment arrangement submission
processes, and no longer need a special
pathway.
Calculation of All-Payer Combination
Option Threshold Scores and QP
Determinations:
• We added a third alternative to
allow requests for QP determinations at
the TIN level in instances where all
clinicians who reassigned billing rights
under the TIN participate in a single
APM Entity. We modified our regulation
at § 414.1440(d) by adding a third
alternative to allow QP determinations
at the TIN level in instances where all
clinicians who have reassigned billing
under the TIN participate in a single
APM Entity, as well as to assess QP
status at the most advantageous level for
each eligible clinician.
• We clarified that, in making QP
determinations using the All-Payer
Combination Option, eligible clinicians
may meet the minimum Medicare
threshold using one method, and the
All-Payer threshold using the same or a
different method. We codified this
clarification by amending
§ 414.1440(d)(1).
• We extended the weighting
methodology that is used to ensure that
an eligible clinician does not receive a
lower score on the Medicare portion of
their all-payer calculation under the AllPayer Combination Option than the
Medicare Threshold Score they received
at the APM Entity level in order to
apply a similar policy to the proposed
TIN level Medicare Threshold Scores.
In this section of the proposed rule,
we address our proposal to define the
term Aligned Other Payer Medical
Home Model, and our proposals
regarding bearing financial risk for
monetary losses, specifically the
Medicaid Medical Home Model
financial risk standard and the
definition of expected expenditures. We
also discuss our request for comment on
whether certain items and services
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should be excluded from the capitation
rate for our definition of full capitation
arrangements.
(2) Aligned Other Payer Medical Home
Models
(a) Definition
As we explained when finalizing the
definitions of Medical Home Model and
Medicaid Medical Home Model in the
CY 2017 Quality Payment Program final
rule, MACRA does not define ‘medical
homes,’ but sections 1848(q)(5)(C)(i),
1833(z)(2)(B)(iii)(II)(cc)(BB),
1833(z)(2)(C)(iii)(II)(cc)(BB), and
1833(z)(3)(D)(ii)(II) of the Act make
medical homes an instrumental piece of
the law (81 FR 77403). The terms
Medical Home Model and Medicaid
Medical Home Model are limited to
Medicare and Medicaid payment
arrangements, respectively, and do not
include other payer payment
arrangements.
As we discuss in section III.I.4.b. of
this proposed rule, we are proposing to
add the defined term ‘‘Aligned Other
Payer Medical Home Model’’ to
§ 414.1305, which would mean an
aligned other payer payment
arrangement (not including a Medicaid
payment arrangement) operated by an
other payer formally partnering in a
CMS Multi-Payer Model that is a
Medical Home Model through a written
expression of alignment and
cooperation with CMS, such as a
memorandum of understanding (MOU),
and is determined by CMS to have the
following characteristics:
• The other payer payment
arrangement has a primary care focus
with participants that primarily include
primary care practices or multispecialty
practices that include primary care
physicians and practitioners and offer
primary care services. For the purposes
of this provision, primary care focus
means the inclusion of specific design
elements related to eligible clinicians
practicing under one or more of the
following Physician Specialty Codes: 01
General Practice; 08 Family Medicine;
11 Internal Medicine; 16 Obstetrics and
Gynecology; 37 Pediatric Medicine; 38
Geriatric Medicine; 50 Nurse
Practitioner; 89 Clinical Nurse
Specialist; and 97 Physician Assistant;
• Empanelment of each patient to a
primary clinician; and
• At least four of the following:
Planned coordination of chronic and
preventive care; Patient access and
continuity of care; risk-stratified care
management; coordination of care
across the medical neighborhood;
patient and caregiver engagement;
shared decision-making; and/or
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payment arrangements in addition to, or
substituting for, fee-for-service
payments (for example, shared savings
or population-based payments).
The proposed definition of Aligned
Other Payer Medical Home Model
includes the same characteristics as the
definitions of Medical Home Model and
Medicaid Medical Home Model, but it
applies to other payer payment
arrangements. We believe that
structuring this proposed definition in
this manner is appropriate because we
recognize that there may be medical
homes that are operated by other payers
that may be appropriately considered
medical home models under the AllPayer Combination Option.
We are proposing to exclude
Medicaid payment arrangements from
this proposed definition of Aligned
Other Payer Medical Home Model
because we have previously defined the
term Medicaid Medical Home Model at
§ 414.1305 and we believe it is
important to distinguish Medicaid
payment arrangements from other
payment arrangements, given the
requirements in sections
1833(z)(2)(B)(ii)(I)(bb) and
1833(z)(3)(B)(ii)(I)(bb) of the Act
requiring us to consider whether there
is a medical home or alternative
payment model under the Title XIX
state plan in each state when making QP
determinations using the All-Payer
Combination Option.
For purposes of the Aligned Other
Payer Medical Home Model definition,
for an arrangement to be aligned, we
mean through a written expression of
alignment and cooperation with CMS,
such as an MOU. CMS Multi-Payer
Models require alignment across the
different payers and a written
expression reflects the fact that each
arrangement has been reviewed by CMS
and CMS has determined that the other
payer payment arrangement is aligned
with a CMS Multi-Payer Model that is
a Medical Home Model. We are
proposing to limit this Aligned Other
Payer Medical Home Model definition
to other payer payment arrangements
that are aligned with CMS Multi-Payer
Models that are Medical Home Models
because we can be assured that the
structure of these arrangements is
similar to the Medical Home Models
and Medicaid Medical Home Models for
which we have already made a similar
determination. Based on our experience
to date, we anticipate that participants
in these arrangements may generally be
more limited in their ability to bear
financial risk than other entities because
they may be smaller and predominantly
include primary care practitioners,
whose revenues are a smaller fraction of
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the patients’ total cost of care than those
of other eligible clinicians. At the same
time, we do not believe that participants
in all medical homes, regardless of
payer, face the same limitations on their
ability to bear financial risk. We believe
that some participants may have
different organizational or financial
circumstances that allow them to bear
greater such risk. We believe that
applying the proposed Aligned Other
Payer Medical Home Model definition
to all other payer payment arrangements
would create potential new
opportunities for gaming in commercial
settings where we do not have control
over the design of such models.
However, we believe that payment
arrangements that have been aligned
and are similar to a Medicaid Home
Model, where we have already put in
place policies to control against gaming,
would be similarly constrained.
In addition, we have acquired
additional understanding of some other
payer payment arrangements after one
year of experience with the Payer
Initiated Process, which included some
arrangements that are aligned with CMS
Multi-Payer Models that are Medical
Home Models.
We seek comment on this proposal.
(b) Other Payer Advanced APM Criteria
for Aligned Other Payer Medical Home
Models
As defined in § 414.1305, an Other
Payer Advanced APM is an other payer
arrangement that meets the Other Payer
Advanced APM criteria set forth in
§ 414.1420. Accordingly, we propose
that the CEHRT criterion codified in
§ 414.1420(b) and the use of quality
measures criterion codified in
§ 414.1420(c) would apply to any
Aligned Other Payer Medical Home
Model for which we would make an
Other Payer Advanced APM
determination. Further, we propose to
revise § 414.1420(d)(8) to require
Aligned Other Payer Medical Home
Models to comply with the 50 eligible
clinician limit to align with the
requirements that apply to Medical
Home Models and Medicaid Medical
Home Models.
Regarding the applicable financial
risk and nominal amount standards,
consistent with the financial risk and
nominal amount standards applicable to
Medical Home Models and Medicaid
Medical Home Models, we propose that
the Aligned Other Payer Medical Home
Model financial risk and nominal
amount standards would be the same as
the Medicaid Medical Home Model
financial risk and nominal amount
standards. We are proposing
corresponding amendments to
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§ 414.1420(d)(2) and (4) so that those
sections note, Medicaid Medical Home
Model and Aligned Other Payer Medical
Home Model financial risk standard and
Medicaid Medical Home Model and
Aligned Other Payer Medical Home
Model nominal amount standard,
respectively. We believe that this
proposal, as described in section
III.I.3.b. of this proposed rule, is
appropriate because the same
expectation of ability to bear a more
than nominal amount of financial risk
applies to participants in these models
as Medical Home Models and Medicaid
Medical Home Models because the
arrangements are already aligned and
the participants are the same.
(c) Determination of Aligned Other
Payer Medical Home Model and Other
Payer Advanced APM Status
We propose that payers may submit
other payer arrangements for CMS
determination as Aligned Other Payer
Medical Home Models and Other Payer
Advanced APMs, as applicable, through
the Payer Initiated Process. This
proposal would be effective January 1,
2020 for the 2021 performance year. In
the CY 2019 PFS final rule, we finalized
a process for Remaining Other Payers to
submit other payer arrangements for
CMS determination of Other Payer
Advanced APM status (83 FR 59934
through 59935). Other payers would be
required to submit their other payer
arrangements for CMS determination as
Aligned Other Payer Medical Home
Models and Other Payer Advanced
APMs, as applicable, using this
Remaining Other Payer process.
We propose that APM Entities and
eligible clinicians can submit other
payer arrangements for CMS to
determine whether they are Aligned
Other Payer Medical Home Models and
Other Payer Advanced APMs, as
applicable, through the Eligible
Clinician Initiated Process.
We seek comment on these proposals.
(3) Bearing Financial Risk for Monetary
Losses
(a) Overview
In the CY 2017 Quality Payment
Program final rule (81 FR 77466), we
divided the discussion of this criterion
into two main topics: (1) What it means
for an APM Entity to bear financial risk
if actual aggregate expenditures exceed
expected aggregate expenditures under a
payment arrangement (which we refer to
as either the generally applicable
financial risk standard or Medicaid
Medical Home Model financial risk
standard); and (2) what levels of risk we
would consider to be in excess of a
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nominal amount (which we refer to as
either the generally applicable nominal
amount standard or the Medicaid
Medical Home Model nominal amount
standard).
In the CY 2017 Quality Payment
Program final rule, we finalized that for
a Medicaid Medical Home Model to be
an Other Payer Advanced APM, if the
APM Entity’s actual aggregate
expenditures exceed expected aggregate
expenditures, the Medicaid Medical
Home Model must:
• Withhold payment for services in
the APM Entity and/or the APM Entity’s
eligible clinicians;
• Reduce payment rates to the APM
Entity and/or the APM Entity’s eligible
clinicians;
• Require direct payment by the APM
Entity to the Medicaid program; or
• Require the APM Entity to lose the
right to all or part of an otherwise
guaranteed payment or payments.
We based this standard on our belief
that Medicaid Medical Home Models
are unique types of Medicaid APMs
because they are identified and treated
differently under the statute. We believe
it is appropriate to establish a unique
standard for bearing financial risk that
reflects these statutory differences and
remains consistent with the statutory
scheme, which is to provide incentives
for participation by eligible clinicians in
Advanced APMs (81 FR 77467 through
77468).
In addition, to be an Other Payer
Advanced APM, a Medicaid Medical
Home Model must require that the total
annual amount that an APM Entity
potentially owes or foregoes under the
Medicaid Medical Home Model must be
at least:
• For QP Performance Period 2019, 3
percent of the APM Entity’s total
revenue under the payer.
• For QP Performance Period 2020, 4
percent of the APM Entity’s total
revenue under the payer.
• For QP Performance Period 2021
and later, 5 percent of the APM Entity’s
total revenue under the payer.
(b) Aligned Other Payer Medical Home
Model Financial Risk and Nominal
Amount Standards
Neither the current Medical Home
Model financial risk and nominal
amount standards nor the Medicaid
Medical Home Model financial risk and
nominal amount standards do not apply
to similar arrangements with other
payers for purposes of Other Payer
Advanced APM determinations.
Consistent with our proposal to define
the term Aligned Other Payer Medical
Home Model, we are proposing to
amend § 414.1420(d)(2) and (d)(4) of our
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regulations to also include that conform
the financial risk and nominal amount
standards for Aligned Other Payer
Medical Home Models with the existing
Medicaid Medical Home Model
financial risk and nominal amount
standards for Medicaid Medical Home
Models. Consistent with recognizing the
similar characteristics of these payment
arrangements and the same participants,
we believe that the same financial risk
and nominal amount standards should
be applied to Aligned Other Payer
Medical Home Models.
Further, we are proposing a
corresponding amendment to
§ 414.1420(d)(2)(ii) to state that an
Aligned Other Payer Medical Home
Model or Medicaid Medical Home
Model require the direct payment by the
APM Entity to the payer, which
meaning either the other payer or the
Medicaid agency.
We believe that if we applied the
Medicaid Medical Home Model
financial risk and nominal amount
standards to all other payer
arrangements that would meet the
Aligned Other Payer Medical Home
Model definition but for not being
aligned with a CMS Multi-Payer Model
that is a Medical Home Model, we might
create gaming opportunities amongst
other payers where medical homes are
developed solely to take advantage of
the unique nominal amount standard,
particularly because we would have less
insight into the nature of arrangements
not aligned with CMS Multi-Payer
Models.
In addition, as the 50 eligible
clinician limit as codified in
§§ 414.1415(c)(7) and 414.1420(d)(8)
currently applies to Medical Home
Models and Medicaid Medical Home
Models, respectively, we
correspondingly propose that the 50
eligible clinician limit apply to Aligned
Other Payer Medical Home Models by
amending § 414.1420(d)(8).
We seek comment on these proposals.
(b) Generally Applicable Other Payer
Advanced APM Nominal Amount
Standard
(i) Overview
In the CY 2017 Quality Payment
Program final rule (81 FR 77471), we
finalized at § 414.1420(d)(3)(ii) that
except for risk arrangements described
under the Medicaid Medical Home
Model Standard, for a payment
arrangement to meet the nominal
amount standard the specific level of
marginal risk must be at least 30 percent
of losses in excess of the expected
expenditures and total potential risk
must be at least 4 percent of the
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expected expenditures. Furthermore, we
finalized that a payment arrangement
must require APM Entities to bear
financial risk for at least 3 percent of the
expected expenditures for which an
APM Entity is responsible under the
payment arrangement. Section
414.1420(d)(6) provides for the purposes
of this section, expected expenditures is
defined as the Other Payer Advanced
APM benchmark, except for episode
payment models, for which it is defined
as the episode target price.
(ii) Marginal Risk
As we stated in the 2017 Quality
Payment Program final rule (81 FR
77470), to determine that a payment
arrangement satisfies the marginal risk
portion of the nominal amount
standard, we would examine the
payment required under the payment
arrangement as a percentage of the
amount by which actual expenditures
exceeded expected expenditures.
Specifically for marginal risk, we
finalized that for a payment
arrangement to meet the nominal
amount standard, the specific level of
marginal risk must be at least 30 percent
of losses in excess of the expected
expenditures. We also stated that the
rate of marginal risk could vary with the
amount of losses.
To date, we have applied the marginal
risk requirement as requiring that a
payment arrangement must exceed the
marginal risk rate of 30 percent at all
levels of total losses even as the
marginal risk rate varies depending on
the amount by which actual
expenditures exceed expected
expenditures, consistent with
§ 414.1420(d)(5)(i). For example, certain
other payer arrangements where the
marginal risk met or exceeded 30
percent at lower levels of losses in
excess of expected expenditures, but fell
below 30 percent at higher levels of
losses, would not meet the marginal risk
requirement of the generally applicable
nominal amount standard.
In general, this approach has worked
well and served its intended purpose of
ensuring only other payer arrangements
with strong financial risk components
are determined to be Other Payer
Advanced APMs. At the same time, this
policy has necessitated that we
determine that certain other payer
arrangements are not Other Payer
Advanced APMs even though they
include strong financial risk
components and well exceed the 30
percent marginal risk requirement at the
most common levels of losses in excess
of expected expenditures, and employ
marginal risk rates below 30 percent
only at much higher levels of losses. We
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do not believe these other payer
arrangements include marginal risk
rates below 30 percent to avoid
subjecting participants to more than
nominal amounts of risk. Rather, we
believe that these other payer
arrangements employ the lower
marginal risk rates at higher levels of
losses in order to protect participants
from potentially catastrophic losses and
undue financial burden that might arise
because of market factors likely outside
their control.
Therefore, we propose to amend
§ 414.1420(d)(5) by amending paragraph
(d)(5)(i) to provide that in event that the
marginal risk rate varies depending on
the amount by which actual
expenditures exceed expected
expenditures, the average marginal risk
rate across all possible levels of actual
expenditures would be used for
comparison to the marginal risk rate
specified in paragraph (d)(3)(ii) of this
section, with exceptions for large losses
and small losses as described in
paragraphs (d)(5)(ii) and (d)(5)(iii) of
this section.
We would calculate the average
marginal risk rate in two steps. An
example of such a calculation is
presented in Table 58. This example
uses a model relying on a Total Cost of
Care (TCOC) benchmark. This
methodology can also be applied to
other types of other payer payment
arrangements. In this example, first, take
the sum of the marginal risk for each
percent above the Total Cost of Care
(TCOC) benchmark to determine the
participant losses. For example, at 3
percent add 50 percent (amount for 1
percent above benchmark) plus 50
percent (amount for 2 percent above
benchmark) plus 50 percent (amount for
3 percent above benchmark) equals 1.50
percent. Second, divide the participant
losses by the percentage above the
benchmark (in our example, 1.50
percent divided by 3) to get average
marginal risk. The average marginal risk
rate remains above 30 percent at all
levels of potential losses up to point
where the participant would be
responsible for losses equal to the total
potential risk requirement of 3 percent.
We note that this example presents the
calculation only up to the point where
the total potential risk requirement is
met.
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TABLE 58—EXAMPLE AVERAGE MARGINAL RISK CALCULATION
Performance
(% above TCOC benchmark)
Marginal risk
(%)
Participant losses
(%)
Average marginal risk
(%)
1
2
3
4
5
6
7
8
9
50
50
50
25
25
25
25
25
25
0.50
1.00
1.50
1.75
2.00
2.25
2.50
2.75
3.00
50
50
50
44
40
38
36
34
33
Through this amendment, significant
and meaningful financial risk would
continue to be required for Other Payer
Advanced APMs because the average
marginal risk rate would need to be or
exceed 30 percent, while recognizing
that such risk can be demonstrated with
some variation in the application of
marginal risk rates, allowing for
continued innovation in the
marketplace. This proposed policy
ensures that all Other Payer Advanced
APMs have 30 percent of marginal risk
up until the participant owes 3 percent
of losses, which is the intended effect of
the standard without excluding certain
payment arrangement that have strong
financial risk designs. When
considering average marginal risk in the
context of total risk, as we do for Other
Payer Advanced APM determinations,
certain risk arrangements can create
meaningful and significant risk-based
incentives for performance and at the
same time ensure that the payment
arrangement has strong financial risk
components.
We believe this proposed change is
consistent with the statute and the use
of guardrails to maintain financially
strong models, and note that in making
this change we are not lowering the
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standard for the applicable marginal risk
rate but rather allowing for a new
demonstration of how it can be met. We
clarify that the proposed amendment
would also continue to maintain the
allowance for large losses provision as
described in paragraph (d)(5)(ii) of
§ 414.1420, so that when calculating the
average marginal risk rate we may
disregard the marginal risk rates that
apply in cases when actual expenditures
exceed expected expenditures by an
amount sufficient to require the APM
Entity to make financial risk payments
under the payment arrangement greater
than or equal to the total risk
requirements. We also clarify that the
exception for small losses described in
paragraph (d)(5)(iii) would also be
maintained.
We seek comment on this proposal.
(iii) Expected Expenditures
In the CY 2017 Quality Payment
Program final rule (81 FR 77551), we
established the definition of ‘‘expected
expenditures’’ at § 414.1420(d)(6) to
mean the Other Payer APM benchmark,
except for episode payment models, for
which it is defined as the episode target
price. We also finalized at
§ 414.1420(d)(3)(ii) that, except for
arrangements assessed under the
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Medicaid Medical Home Model
financial risk and nominal amount
standards, in order to meet the Other
Payer Advanced APM nominal amount
standard, a payment arrangement’s level
of marginal risk must be at least 30
percent of losses in excess of the
expected expenditures and the total
potential risk must be at least 4 percent
(81 FR 77471).
In the CY 2017 Quality Payment
Program proposed rule (81 FR 28332),
we proposed to measure three
dimensions of risk under our generally
applicable nominal amount standards:
(1) Marginal risk, which refers to the
percentage of the amount by which
actual expenditures exceed expected
expenditures for which an APM Entity
would be liable under the APM; (2)
minimum loss rate (MLR), which is a
percentage by which actual
expenditures may exceed expected
expenditures without triggering
financial risk; and (3) total potential
risk, which refers to the maximum
potential payment for which an APM
Entity could be liable under the APM.
However, based on commenters’
concerns regarding technical
complexity, we finalized only the
marginal risk and MLR requirements.
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In the CY 2017 Quality Payment
Program proposed rule (81 FR 28333),
we explained that to determine whether
an APM satisfies the marginal risk
portion of the nominal risk standard, we
would examine the payment required
under the APM as a percentage of the
amount by which actual expenditures
exceeded expected expenditures. We
proposed that we would require that
this percentage exceed a required
marginal risk percentage of 30 percent
regardless of the amount by which
actual expenditures exceeded expected
expenditures.
Our rationale for proposing the
marginal risk requirement was that the
inclusion of a marginal risk requirement
would be intended to focus on
maintaining a more than nominal level
of likely risk under an Advanced APM
or an Other Payer Advanced APM.
However, even with a marginal risk
requirement, as there is under the Other
Payer Advanced APM criteria, we
believe there is a need to amend the
definition of expected expenditures to
ensure there are more than nominal
levels of average or likely risk under
Other Payer Advanced APMs that meets
the generally applicable benchmarkbased nominal amount standard. Even
with the current marginal risk
requirement, a more rigorous definition
of expected expenditures is needed to
avoid situations where the level of
expected expenditures would be set in
a manner that reduces the losses a
participant might incur. We also believe
it is important that our definition of
expected expenditures is consistent
across both the Advanced APM and
Other Payer Advanced APM criteria. We
generally try to align the Advanced
APM and Other Payer Advanced APM
criteria to the extent feasible and
appropriate.
As discussed in section III.I.4.c.(2)(c)
of this proposed rule, this proposal is
intended to account for scenarios where
a payment arrangement could have a
sufficient total risk potential to meet our
standard and a sharing rate that results
in adequate marginal risk if actual
expenditures exceed expected
expenditures; however, the level of
expected expenditures reflected in the
payment arrangements benchmark or
episode target price could be set in a
manner which substantially reduces the
amount of loss a participant in the
payment arrangement would reasonably
expect to incur.
For a payment arrangement to meet
the generally applicable benchmarkbased nominal amount standard, we
believe there should be not only the
potential for financial losses based on
expenditures in excess of the
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benchmark as provided in
§ 414.1420(d)(6), but also some
meaningful likelihood that a participant
might exceed the benchmark. If the
benchmark is set in such a way that it
is extremely unlikely that participants
would exceed it, then there is little
potential for participants to incur
financial losses, and the amount of risk
is essentially illusory.
Therefore, in § 414.1420(d)(6), we are
proposing to amend the definition of
expected expenditures. Specifically, we
would define expected expenditures as,
for the purposes of this section, as the
Other Payer APM benchmark. For
episode payment models, expected
expenditures mean the episode target
price. For purposes of assessing
financial risk for Other Payer Advanced
APM determinations, the expected
expenditures under the payment
arrangement should not exceed the
expenditures for a participant in the
absence of the payment arrangement. If
expected expenditures (that is,
benchmarks) under the payment
arrangement exceed the expenditures
that the participant would be expected
to incur in the absence of the payment
arrangement such excess expenditures
are not considered when CMS assesses
financial risk under the payment
arrangement for Other Payer Advanced
APM determinations.
We believe that this proposed change
would prevent the expected
expenditures under the other payer
payment arrangement being set in a
manner which substantially reduces the
amount of losses a participant may face
while otherwise satisfying this Other
Payer Advanced APM criterion.
We clarify that, in general, expected
expenditures are expressed as a dollar
amount, and may be derived from
national, regional, APM Entity-specific,
and/or practice-specific historical
expenditures during a baseline period,
or other comparable expenditures.
However, we recognize expected
expenditures under a payment
arrangement are often risk-adjusted and
trended forward, and may be adjusted to
account for expenditure changes that are
expected to occur as a result of payment
arrangement participation. For the
purpose of this proposed definition of
expected expenditures, we would not
consider risk adjustments to be excess
expenditures when comparing to the
costs that an APM Entity would be
expected to incur in the absence of the
payment arrangement.
We believe that this proposed
amendment would allow us to ensure
that there are more-than-nominal
amounts of average or likely risk under
an other payer payment arrangement
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that meets the generally applicable
benchmark-based nominal amount
standard. We believe that the proposed
amended definition of expected
expenditures, particularly by our not
considering excess expenditures, would
provide a more definite basis for us to
assess whether an APM Entity would
bear more than a nominal amount of
financial risk for participants under the
generally applicable benchmark-based
nominal amount standard.
We seek comment on this proposal.
(iv) Excluded Items and Services Under
Full Capitation Arrangements
In the CY 2017 Quality Payment
Program final rule (81 FR 77551), we
finalized a capitation standard at
§ 414.1420(d)(7) which provides a
capitation arrangement meets the Other
Payer Advanced APM financial risk
criterion. For purposes of
§ 414.1420(d)(3), we defined a
capitation arrangement as a payment
arrangement in which a per capita or
otherwise predetermined payment is
made under the APM for all items and
services for which payment is made
under the APM for all items and
services for which payment is made
through the APM furnished to a
population of beneficiaries, and no
settlement is performed for the purpose
of reconciling or sharing losses incurred
or savings earned by the APM Entity.
We clarified that arrangements made
directly between CMS and Medicare
Advantage Organizations under the
Medicare Advantage program are not
considered capitation arrangements for
purposes of § 414.1420(d)(7).
In the CY 2019 PFS final rule (83 FR
59939), we made technical corrections
to the Advanced APM financial risk
capitation standard at § 414.1420(d)(7).
These corrections clarified that our
financial risk capitation standard
applies only to full capitation
arrangements where a per capita or
otherwise predetermined payment is
made under the APM for all items and
services furnished to a population of
beneficiaries during a fixed period of
time, and no settlement or
reconciliation is performed.
As we have begun to collect
information on other payer payment
arrangements for purposes of making
Other Payer Advanced APM
determinations, we have noticed that
some payment arrangements that are
submitted for CMS to determine as
capitation arrangements consistent with
§ 414.1420(d)(7) include a list of
services that have been excluded from
the capitation rate, such as hospice care,
organ transplants, or out-of-network
emergency room services. In reviewing
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these exclusion lists, we believe that it
may be appropriate for CMS to allow
certain capitation arrangement to be
considered ‘‘full’’ capitation
arrangements even if they categorically
exclude certain services from payment
through the capitation rate. Therefore,
we are seeking comment on how other
payers define or determine what, if any,
exclusions are reasonable in a given
capitation arrangement. Specifically, we
seek comment on whether there are
common industry practices to exclude
certain categories of items and services
from capitated payment rates and, if so,
whether there are common principles or
reasons for excluding those categories of
services. In addition, we seek comment
on why such items or services are
excluded.
We also seek comment on how nonMedicare payers define or prescribe
certain categories of services that are
excluded with regards to global
capitation payment arrangements. We
also seek comment on whether a
capitation arrangement should be
considered to be a full capitation
arrangement even though it excludes
certain categories of services from the
capitation rate under a full capitation
arrangement.
(4) Summary of Proposals
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In this section, we are proposing the
following policies:
• Aligned Other Payer Medical Home
Model: We proposed to define the term
Aligned Other Payer Medical Home
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Model. We also propose to apply the
existing Medicaid Medical Home Model
financial risk and nominal amount
standards, including the 50 eligible
clinician limit, to Aligned Other Payer
Medical Home Models.
• Marginal Risk: We propose that
when that the marginal risk rate varies
depending on the amount by which
actual expenditures exceed expected
expenditures, the average marginal risk
rate across all possible levels of actual
expenditures would be used for
comparison to the marginal risk rate
requirement, with exceptions for large
losses and small losses as provided in
§ 414.1420(d)(5).
• Expected Expenditures: We are
proposing to amend the definition of
expected expenditures codified at
§ 414.1420(d)(6) to define expected
expenditures as the Other Payer
Advanced APM benchmark, and, for
episode payment models, expected
expenditures means the episode target
price.
5. Quality Payment Program Technical
Revisions
We are proposing certain technical
revisions to our regulations to correct
several technical errors and to reconcile
the text of several of our regulations
with the final policies we adopted
through notice and comment
rulemaking.
We are proposing a technical revision
to § 414.1405(f) of our regulations to
specify that the exception for the
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40837
application of the MIPS payment
adjustment factors to model-specific
payments is applicable starting in the
2019 MIPS payment year, not just for
the 2019 MIPS payment year. This
proposed revision would align the
regulation text with our final policy as
stated in the preamble of the CY 2019
PFS final rule with comment period (83
FR 59887 through 59888) which makes
clear that the exception begins with the
2019 MIPS payment year and continues
in subsequent years.
We are also proposing technical
revisions to Table 59 of the CY 2019
PFS final rule with comment period (83
FR 59935) to correct two dates.
Specifically we propose to change the
date for Medicare Health Plans:
Guidance made available to ECs, then
Submission Period Opens; it is currently
listed as September 2020, and we
propose to change that date to August
2020. Similarly, we propose to change
the date for Remaining Other Payers:
Guidance made available to ECs, then
Submission Period Opens; it is currently
listed as September 2020, and we
propose to change that to August 2020.
These changes align with what was
originally finalized in the CY 2018 QPP
final rule with comment period (82 FR
53864) which stated that the dates were
to be August 2020, and which we did
not intend to change in the CY 2019 PFS
final rule. Table 59 is included as the
corrected Table 59 from the CY 2019
PFS final rule.
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We are also proposing technical
revisions to §§ 414.1415(c)(6) and
414.1420(d)(7) to correct the internal
citation. The current citation, 42 U.S.C.
422, is incorrect. It should instead be 42
CFR part 422. We also are proposing
technical revisions to § 414.1420(d)(5).
We clarify that ‘‘APM’’ in
§ 414.1420(d)(5) should be ‘‘other payer
payment arrangement.’’ In the CY 2019
PFS final rule, we finalized deleting
§ 414.1420(d)(3)(ii)(B) and consolidating
§ 414.1420(d)(3)(ii)(A) into
§ 414.1420(d)(3)(ii), but that change was
not applied to the regulation. We are
proposing to revise the regulation
accordingly in this proposed rule.
Relatedly, we propose to amend
§ 414.1420(d)(i), (ii), and (iii) to state in
‘‘paragraph (d)(3)(ii)’’ of this section
instead of ‘‘paragraph (d)(3)(ii)(A)’’ of
this section. We are also proposing to
clarify that ‘‘Other Payer Advanced
APM’’ in § 414.1420(d)(5)(ii) should be
‘‘other payer payment arrangement,’’ as
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the marginal risk rate requirements are
applied to any other payer payment
arrangement that CMS assesses against
the Other Payer Advanced APM criteria.
These proposed revisions are technical
in nature and do not change any
substantive policies for the Quality
Payment Program.
IV. Collection of Information
Requirements
Under the Paperwork Reduction Act
of 1995 (PRA) (44 U.S.C. chapter 35), we
are required to publish a 60-day notice
in the Federal Register and solicit
public comment before a ‘‘collection of
information’’ requirement is submitted
to the Office of Management and Budget
(OMB) for review and approval. For the
purposes of the PRA and this section of
the preamble, collection of information
is defined under 5 CFR 1320.3(c) of the
PRA’s implementing regulations.
To fairly evaluate whether an
information collection should be
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approved by OMB, PRA section
3506(c)(2)(A) requires that we solicit
comment on the following issues:
• The need for the information
collection and its usefulness in carrying
out the proper functions of our agency.
• The accuracy of our burden
estimates.
• The quality, utility, and clarity of
the information to be collected.
• Our effort to minimize the
information collection burden on the
affected public, including the use of
automated collection techniques.
We are soliciting public comment on
each of the required issues under
section 3506(c)(2)(A) of the PRA for the
following information collection
requirements (ICRs).
A. Wage Estimates
To derive average costs, we used data
from the U.S. Bureau of Labor Statistics’
May 2018 National Occupational
Employment and Wage Estimates for all
salary estimates (https://www.bls.gov/
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oes/current/oes_nat.htm). In this regard,
Table 60 presents the mean hourly
wage, the cost of fringe benefits and
40839
overhead (calculated at 100 percent of
salary), and the adjusted hourly wage.
TABLE 60—NATIONAL OCCUPATIONAL EMPLOYMENT AND WAGE ESTIMATES
Occupation
code
Occupation title
Billing and Posting Clerks ................................................................................
Bookkeeping, Accounting, and Auditing Clerks ..............................................
Chief Executive ................................................................................................
Compliance Officer ..........................................................................................
Computer Systems Analysts ............................................................................
Health Diagnosing and Treating Practitioners .................................................
Licensed Practical Nurse (LPN) ......................................................................
Medical Secretary ............................................................................................
Physicians ........................................................................................................
Practice Administrator (Medical and Health Services Managers) ...................
As indicated, we adjusted our
employee hourly wage estimates by a
factor of 100 percent. This is necessarily
a rough adjustment, both because fringe
benefits and overhead costs vary
significantly from employer to
employer, and because methods of
estimating these costs vary widely from
study to study. Nonetheless, we believe
that doubling the hourly wage to
estimate total cost is a reasonably
accurate estimation method.
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B. Proposed Information Collection
Requirements (ICRs)
1. ICRs Regarding Medicare Coverage for
Opioid Use Disorder Treatment Services
Furnished by Opioid Treatment
Programs (OTPs) (§§ 414.800 Through
414.806)
As described in section II.G. of this
rule, section 2005 of the SUPPORT for
Patients and Communities Act
establishes a new Medicare Part B
benefit for OUD treatment services
furnished by OTPs for episodes of care
beginning on or after January 1, 2020. In
this rule, CMS proposes to use the
payment methodology in section 1847A
of the Act, which is based on Average
Sales Price (ASP), to set the payment
rates for the ‘‘incident to’’ drugs and
ASP-based payment to set the payment
rates for the oral product categories
when we receive manufacturers’
voluntarily-submitted ASP data for
these drugs.
The proposed burden consists of the
time/cost for manufacturers of oral
opioid agonist or antagonist treatment
medications (that are approved by the
Food and Drug Administration under
section 505 of the Federal Food, Drug,
and Cosmetic Act for use in the
treatment of OUD) to voluntarily
prepare and submit their ASP data to
CMS.
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43–3021
43–3031
11–1011
13–1041
15–1121
29–1000
29–2061
43–6013
29–1060
11–9111
The burden for such reporting is
currently approved by OMB under
control number 0938–0921 (CMS–
10110) and would remain unchanged
(13 hours per response, 4 responses per
year, 180 respondents, and 9,360 total
hours) since our currently approved
burden already accounts for the
voluntary reporting of ASP data. We
estimate that there are approximately 15
manufacturers of oral drugs used for
treatment of opioid use disorder (OUD).
We believe that approximately 10 of the
15 manufacturers already report ASP
data to CMS for other drugs, and thus
up to 5 manufacturers may newly report
ASP data to CMS. However, we note
that some of these new respondents may
have subsidiary or similar relationships
with manufacturers that already report
ASP data and may be able to submit
their data with a current respondent.
While this rule’s proposed requirements
may slightly increase the number of
respondents, our 180 respondent per
quarter estimate historically fluctuates
over time as new Part B drug
manufacturers are added while others
leave or consolidate. The annual
fluctuation in respondents in the past
has typically been +/¥ 5 to 10
manufacturers per year; over the past
few years, the annual fluctuation has
sometimes been greater, ranging from
¥13 to +11, but over that several year
period the overall average of the annual
fluctuation is near 0. As a result, the
potential slight increase in respondents
associated with voluntary reporting
from oral OUD drug manufacturers is
well within the range of recent
fluctuations in the number or
respondents, and the net figure, taking
into account voluntary OTP reporting,
remains unchanged from the currently
approved burden estimate at 180
respondents. In addition, we believe
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Mean hourly
wage
($/hr)
19.00
22.46
96.22
41.85
45.01
49.02
22.62
17.83
101.43
54.68
Fringe
benefits
and overhead
($/hr)
19.00
22.46
96.22
41.85
45.01
49.02
22.62
17.83
101.43
54.68
Adjusted
hourly wage
($/hr)
38.00
44.92
192.44
83.70
90.02
98.04
45.24
35.66
202.86
109.36
that additional voluntary reporting for
oral drugs used for treatment of OUD for
those manufacturers that currently
report ASP data to CMS would impose
minimal additional burden.
Consequently, we are not making any
changes under the aforementioned
control number. However, we will
continue to monitor the number of
respondents to account for various
factors such as a change in the number
of voluntary submissions from oral OUD
drug manufacturers, as well as other
issues that may not be related to the
voluntary reporting for oral drugs used
in OTPs, such as manufacturer
consolidations, and new Part B drug and
biological manufacturers. We will revise
the burden estimate as needed.
2. ICRs Regarding the Ground
Ambulance Data Collection System
Section 1834(l)(17)(A) of the Act
requires that the Secretary develop a
ground ambulance data collection
system that collects cost, revenue,
utilization, and other information
determined appropriate by the Secretary
with respect to providers of services and
suppliers of ground ambulance services
(ground ambulance organizations).
Section 1834(l)(17)(I) of the Act states
that the PRA does not apply to the
collection of information required under
section 1834(l)(17) of the Act.
Accordingly, we are not setting out the
burden of the proposed collection of
information under the data collection
system. Please refer to section VI.F.2. of
this proposed rule for a discussion of
the estimated impacts associated with
the ground ambulance data collection
system.
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3. ICRs Regarding Intensive Cardiac
Rehabilitation (§ 410.49)
Section 410.49(b)(1)(vii) and (viii) of
this proposed rule would expand the
covered conditions to chronic heart
failure and add other cardiac conditions
as specified through the national
coverage determination (NCD) process.
The proposed rule would expand
covered conditions, but, due to the
breadth of the proposed and existing
covered conditions, we do not
anticipate the need to use the NCD
process to add additional covered
conditions in the near future. In the
unlikely event an NCD request was
submitted, it would be covered by OMB
control number 0938–0776 (CMS–R–
290), which will not expire until
February 29, 2020. We are not proposing
any changes under that control number
since we are not proposing any changes
to the submission process or burden.
4. ICRs Regarding the Medicare Shared
Savings Program (42 CFR part 425)
Section 1899(e) of the Act provides
that chapter 35 of title 44 of the U.S.
Code, which includes such provisions
as the PRA, shall not apply to the
Shared Savings Program. Accordingly,
we are not setting out burden under the
authority of the PRA. Please refer to
section VI.E.6. of this proposed rule for
a discussion of the impacts associated
with the proposed changes to the
Shared Savings Program quality
reporting requirements included in this
proposed rule.
5. ICRs Regarding the Open Payments
Program
As described in section III.F. of this
rule, we propose to: (1) Expand the
definition of ‘‘covered recipient,’’ (2)
modify ‘‘nature of payment’’ categories,
and (3) standardize data on reported
covered drugs, devices, biologicals, or
medical supplies.
Expanding the Definition of ‘‘Covered
Recipient’’ (§§ 403.902, 403.904, and
403.908): In this rule we propose to
expand the definition of a ‘‘covered
recipient’’ in accordance with the
SUPPORT Act to include physician
assistants, nurse practitioners, clinical
nurse specialists, nurse anesthetists, and
certified nurse midwifes. The definition
currently includes certain physicians
and teaching hospitals. Section 6111(c)
of the SUPPORT Act provides that
chapter 35 of title 44 of the U.S. Code,
which includes such provisions as the
PRA, shall not apply to the changes to
the definition of a covered recipient
included in the SUPPORT Act. In this
regard we are not setting out burden
under the authority of the PRA. . We do,
however, provide a brief estimate in
section V.8 of this proposed rule.
Modification of the ‘‘Nature of
Payment’’ Categories (§§ 403.902 and
403.904): The following proposed
changes will be submitted to OMB for
approval under control number 0938–
1237 (CMS–10495). Subject to renewal,
the control number is currently set to
expire on March 31, 2021. It was last
approved on March 21, 2018, and
remains active.
The proposed changes would modify
the ‘‘nature of payment’’ categories and
provide more options for applicable
manufacturers and GPOs to capture the
nature of the payment made to the
covered recipient. To accommodate this
change, we project that reporting
entities would need to update their
system to incorporate the proposed
categories. We estimate, based on the
trends in the number of entities that
report every year, that there are 1,600
reporting entities and estimate, using
the number of records that these entities
report as a proxy for size of the entity.
While the total number of entities that
report fluctuates year to year, but has
been close to 1,600 for the last two
program years. We also estimate that 38
percent (or 611 entities) are small, 29
percent (or 457 entities) are medium,
and 33 percent (or 532 entities) are
large. We also estimate that 25 percent
of reporting entities (400) would need to
make minor, one-time updates to their
data collection processes because they
expect to report a transaction with one
of the new categories. Among the 400
entities, we estimate it would take
between 5 and 30 hours per entity
depending on the size of the entity (with
large companies requiring more time) at
$44.92/hr for support staff. For all of
these entities, we estimate a subtotal of
5,895 hours [(30 hrs for a large entity ×
133 entities) + (10 hrs for a medium
entity × 114 entities) + (5 hrs for a small
entity × 153 entities)] at a cost of
$264,804 (5,895 hrs × $44.92/hr).
We also expect that all entities would
need to make minor, one-time
adjustments to their submission
processes. For each entity we estimate
that this would take 2 to 5 hours at
$44.92/hr (with larger entities requiring
more time) for support staff and 1 hour
at $83.70/hr for compliance officers. For
all entities, we estimate a subtotal of
7,767 hours [(5 hrs for support staff at
a large entity × 532 entities) + (5 hrs for
support staff at a medium entity × 457
entities) + (2 hrs for support staff at a
small entity × 611 entities) + (1 hr for
compliance officer at each entity
regardless of size × 1600 entities)] at a
cost of $410,941 [(2,660 hrs for support
staff at large entities × $44.92/hr) +
(2,285 hrs for support staff at medium
entities × $44.92/hr) + (1,222 hrs for
support staff at small entities × $44.92/
hr) + (1,600 hrs for compliance officers
across all entities × $83.70/hr)].
In aggregate, we estimate a one-time
burden of 13,662 hours (5,895 hrs +
7,767 hrs) at a cost of $675,745
($264,804 + $410,941) to implement.
After these adjustments are made, we do
not anticipate any ongoing added
burden beyond what is currently
approved under the aforementioned
control number.
TABLE 61—BURDEN TO MODIFY NATURE OF PAYMENT CATEGORIES
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Description
Hours
Cost
Burden to update collection processes for entities that expect to report a transaction with a new Nature of
Payment category ................................................................................................................................................
Burden to update submission processes and systems to account for the new Nature of Payment categories ....
5,895
7,767
$264,804
410,941
Total ..................................................................................................................................................................
13,662
675,745
Standardizing Data Reporting for
Covered Drugs, Devices, Biologicals, or
Medical Supplies (§§ 403.902 and
403.904): The following proposed
changes will be submitted to OMB for
approval under control number 0938–
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1237 (CMS–10495). Subject to renewal,
the control number is currently set to
expire on March 31, 2021. It was last
approved on March 21, 2018, and
remains active.
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Applicable manufacturers and GPOs
will need to accommodate the reporting
of device identifiers. We have made
some estimates below, but we recognize
that these estimates may vary because
the information collection system
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changes that are needed will vary since
some entities may already be capturing
this information in their systems while
others may not. Nevertheless, we have
made some assumptions below, but we
welcome feedback from stakeholders
regarding the potential burden
associated with this proposal and the
extent to which device identifiers are
already tracked by reporting entities.
We estimate, based on an analysis of
currently available data, that
approximately 850 entities
(approximately 53 percent of an
assumed 1,600) would need to report at
least one record with a device identifier
and that 450 of those entities do not
already collect the device identifier. For
this analysis we assumed that 38
percent of the entities would be small,
29 percent would be medium, and 33
percent would be large. We differentiate
because we assume that larger
companies would incur more burden to
make the changes needed to begin
reporting device identifiers because they
have more complex systems and
potentially more records to report. The
number of records submissions would
not change, but this rule would add a
new data element that may need to be
reported along with some or all of an
entity’s records. The precise tasks
would vary by entity, but may include
developing processes for gathering
device identifier information or systems
for collecting the data.
For the 450 entities that would be
required to start collecting device
identifiers, we estimate that this task
would take between 20 and 100 hours
for support staff depending on the size
of the company (with larger companies
requiring more time) at $44.92/hr. For
all entities, we estimate a subtotal of
24,840 hours [(100 hrs for a large entity
× 150 entities) + (50 hrs for a medium
entity × 128 entities) + (20 hrs for a
small entity × 172 entities)] at a cost of
$1,115,813 [(15,000 hrs for support staff
at a large entity × $44.92/hr) + (6,400 hrs
for support staff at a medium entity ×
$44.92/hr) + (3,440 hrs for support staff
at a small entity × $44.92/hr)].
For the 850 entities that we expect
would be required to begin reporting a
device identifier, we estimate that this
would take support staff between 10 and
40 hours per entity (with larger
companies requiring more time) at
$44.92/hr and 2 hours at $83.70/hr for
compliance officers. For all entities, we
estimate a subtotal of 21,100 hours [(40
hrs for support staff at a large entity ×
282 entities) + (20 hrs for support staff
at a medium entity × 244 entities) + (10
hrs for support staff at a small entity ×
324 entities) + (2 hrs for compliance
officers at every entity regardless of size
× 850 entities)] at a cost of $1,013,740
[(11,280 hrs for support staff at large
entities × $44.92/hr) + (4,880 for support
staff at medium entities × $44.92/hr) +
(3,240 for support staff at small entities
× $44.92/hr) + (1,700 hrs for compliance
40841
officers across all entities regardless of
size × $83.70/hr)].
We also assume that the remaining
750 entities not planning to submit a
device identifier would have a small
amount of burden associated with
updating their submission processes.
We estimate that this would take
support staff between 2 and 10 hours
per entity (with larger entities requiring
more time) at $44.92/hr and 2 hours for
compliance officers at $83.70/hr. For all
entities, we estimate a subtotal of 5,637
hours [(10 hrs for support staff at a large
entity × 249 entities) + (5 hrs for support
staff at a medium entity × 215 entities)
+ (2 hrs for support staff at a small entity
× 286 entities) + (750 hrs for compliance
officers at all entities regardless of size
× 2 hrs)] at a cost of $311,384 [(2,490 hrs
for support staff at large entities ×
$44.92/hr) + (1,075 hrs for support staff
at medium entities × $44.92/hr) + (572
hrs for support staff at small entities ×
$44.92/hr) + (1,500 hrs for compliance
officers at all entities regardless of size
× $83.70/hr)].
In aggregate, we estimate a one-time
burden of 51,577 hours (24,840 hrs +
21,100 hrs + 5,637 hrs) at a cost of
$2,440,937 ($1,115,813 + $1,013,740 +
$311,384) to implement. After these
adjustments are made, we do not
anticipate there being any ongoing
added burden beyond what is currently
approved under the aforementioned
control number.
TABLE 62—BURDEN FOR CHANGES TO STANDARDIZE DATA ON REPORTED COVERED DRUGS, DEVICES, BIOLOGICALS, OR
MEDICAL SUPPLIES
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Description
Hours
Cost
First year data collection burden for entities that do not currently collect a device identifier ................................
First year submission burden for all entities that would be required to report a device identifier ..........................
One time submission process and system updates for entities not reporting a device identifier ..........................
24,840
21,100
5,637
$1,115,813
1,013,740
311,384
Total ..................................................................................................................................................................
51,577
2,440,937
6. ICRs Regarding Medicare Enrollment
of Opioid Treatment Programs
Except as noted otherwise, the
following proposed changes will be
submitted to OMB for approval under
control number 0938–0685 (CMS–855B;
‘‘Medicare Enrollment Application:
Clinics/Group Practices and Certain
Other Suppliers’’).
As discussed previously in this rule,
we propose that OTP providers be
required to enroll in Medicare via the
paper or internet-based version of the
Form CMS–855B (or its successor
application) and any applicable
supplement, pay the application fee,
submit fingerprints, and complete a
provider agreement.
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Based on SAMHSA statistics and our
internal data, we generally estimate that:
(1) There are about 1,700 certified and
accredited OTPs eligible for Medicare
enrollment; and (2) 200 OTPs would
become certified by SAMHSA in the
next 3 years (or roughly 67 per year),
bringing the total amount of OTPs
eligible to enroll to approximately 1,900
over the next 3 years.
Form Completion: We estimate that it
would take each OTP an average of 3
hours to obtain and furnish the
information on the Form CMS–855B
and a new supplement thereto designed
to capture information unique to OTPs.
Per our experience, we believe that the
OTP’s medical secretary would be
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responsible for securing and reporting
data on the Form CMS–855B and new
accompanying OTP supplement. We
estimate that this task would take
approximately 2.5 hours; of this
amount, roughly 30 minutes would
involve completion of the data on the
supplement, though this timeframe
could be higher or lower depending
upon the number of individuals whom
the OTP must list. Additionally, the
form would be reviewed and signed by
a health diagnosing and treating
practitioner of the OTP, a process we
estimate would take 0.5 hours. We thus
project a first-year burden of 5,301
hours (1,767 entities × 3 hr) at a cost of
$732,439 (5,301 hr × ((2.5 hr × $35.66/
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hr) + (0.5 hr × $98.04/hr)), a second-year
burden of 201 hours (67 entities × 3 hr)
at a cost of $27,772 (201 hr × ((2.5 hr
× $35.66/hr) + (0.5 hr × $98.04/hr)), and
a third-year burden of 198 hours (66
entities × 3 hr) at a cost of $27,358 (198
hr x((2.5 hr × $35.66/hr) + (0.5 hr ×
$98.04/hr)). In aggregate, we estimate a
burden of 5,700 hours (5,301 hr + 201
hr + 198 hr) at a cost of $787,569
($732,439 + $27,772 + $27,358). When
annualized over the 3-year period, we
estimate an annual burden of 1,900
hours (5,700 hours/3) at a cost of
$262,523 ($787,569/3).
A copy of the draft OTP supplement
will be available on-line, and we
welcome public comment on: (1) Its
contents; (2) the usefulness of the data
to be captured thereon; and (3) the
anticipated burden of completion.
Fingerprinting: As we are proposing
that OTPs be subject to high categorical
risk level screening under § 424.518, we
would require the submission of a set of
fingerprints for a national background
check (via FBI Applicant Fingerprint
Card FD–258) from all individuals who
maintain a 5 percent or greater direct or
indirect ownership interest in the OTP.
The burden is currently approved by
OMB under control number 1110–0046.
An analysis of the impact of this
proposed requirement can be found in
the RIA section of this rule.
Application Fee: As already discussed
in this rule, each OTP would be
required to pay an application fee at the
time of enrollment. The application fee
does not meet the definition of a
‘‘collection of information’’ and, as
such, is not subject to the requirements
of the PRA. Although we are not setting
out such burden under this section of
the preamble, the cost is scored under
the RIA section.
Provider Agreement: As mentioned in
the preamble of this proposed rule,
OTPs would have to complete a
provider agreement in order to enroll in
Medicare. The burden for reporting and
completing the Provider Agreement—
CMS Form 1561 and 1561A (OMB
control number 0938–0832) are based
on SAMHSA statistics. We generally
estimate that there are about 1,700
already certified and accredited OTPs
eligible for Medicare enrollment
initially; and approximately 200 OTPs
would become certified by SAMHSA in
the next 3 years (or roughly 67 per year).
We anticipate would take the OPT 5
minutes at $192.44/hr for a Chief
Executive to review and sign the CMS
1561 or CMS 1561A, and an additional
5 minutes at $35.66/hr for a Medical
Secretary to file the document when
fully executed.
In aggregate, we estimate a burden of
317 hours ([1,767 OPTs for year 1 + 67
OTPs for year 2 + 67 OTPs for year 3]
× 10 min/60) at a cost of $36,154 ([317
hr/2 respondents × $192.44/hr] + [317
hr/2 respondents × $35.66/hr]). This
results, roughly, in a Year 1 burden of
295 hours at $33,623, a Year 2 burden
of 11 hours at $1,272, and a Year 3
burden of 11 hours at a cost of $1,254.
Annually, over the course of OMB’s
typical 3-year approval period, we
estimate a burden of 106 hours 317 hr/
3 years) at a cost of $12,051 ($36,154/
3 years).
Total: Table 63 summarizes our
foregoing burden estimates.
TABLE 63—COMBINED BURDEN RELATED TO ENROLLMENT OF OTPS
[Completion of CMS–855B and provider agreement]
Year 1
Time (Hours) ........................................................................
Cost ($) ................................................................................
7. The Quality Payment Program (Part
414 and Section III.K. of This Proposed
Rule)
a. Background
(1) Information Collection Requirements
Associated With MIPS and Advanced
APMs
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The Quality Payment Program is
comprised of a series of ICRs associated
with MIPS and Advanced APMs.
The ICRs reflect this proposed rule’s
policies, as well as policies in the CY
2017 and 2018 Quality Payment
Program final rules (81 FR 77008 and 82
FR 53568, respectively), and the CY
2019 PFS final rule (83 FR 59452).
(2) Summary of Quality Payment
Program Changes: MIPS
As discussed in more detail in section
IV.B.7, the MIPS ICRs consist of:
Registration for virtual groups; qualified
registry self-nomination applications;
and QCDR self-nomination applications;
CAHPS survey vendor applications;
Quality Payment Program Identity
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Year 2
5,596
766,062
212
29,044
Management Application Process;
quality performance category data
submission by Medicare Part B claims
collection type, QCDR and MIPS CQM
collection type, eCQM collection type,
and CMS web interface submission
type; CAHPS for MIPS survey
beneficiary participation; group
registration for CMS web interface;
group registration for CAHPS for MIPS
survey; call for quality measures;
reweighting applications for Promoting
Interoperability and other performance
categories; Promoting Interoperability
performance category data submission;
call for Promoting Interoperability
measures; improvement activities
performance category data submission;
nomination of improvement activities;
and opt-out of Physician Compare for
voluntary participants.
Two MIPS ICRs show an increase in
burden due to proposed changes in
policies: QCDR self-nomination
applications and Call for Quality
Measures. For the QCDR selfnomination applications ICR, we have
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Sfmt 4702
Year 3
209
28,612
Total
6,017
823,718
Annualized
average
over
3-year period
2,006
274,572
increased our estimate of the time
required to submit a QCDR measure by
1.5 hour due to the proposal to require
QCDRs to identify a linkage between
their QCDR measures to related cost
measures, Improvement Activities, and
MIPS Value Pathways starting with the
2021 self-nomination period (+1 hour);
and the proposal to require QCDR
measure stewards to submit measure
testing data as part of the selfnomination process for each QCDR
measure (+0.5 hours). For this same ICR,
we have increased our estimate of the
time required for a QCDR to submit
their self-nomination by 0.25 due to the
proposal to require QCDRs to include a
description of the quality improvement
services they intend to support. For the
Call for Quality Measures, we have
increased our estimate of the time
required to nominate a quality measure
for consideration by 1 hour due to the
proposal to require that MIPS quality
measure stewards link their MIPS
quality measures to existing and related
cost measures and improvement
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activities and provide rationale for the
linkage. The remaining changes to
currently approved burden estimates are
adjustments to reflect better
understanding of the impacts of policies
finalized in previous rules, as well as
the use of updated data sources
available at the time of publication of
this proposed rule. We are not
proposing any changes to the following
ICRs: Registration for virtual groups,
CAHPS survey vendor applications,
Quality Payment Program Identity
Management Application Process,
CAHPS for MIPS survey beneficiary
participation, and group registration for
CAHPS for MIPS survey. See section
IV.B.7.(n) of this proposed rule for a
summary of the ICRs, the overall burden
estimates, and a summary of the
assumption and data changes affecting
each ICR.
The revised requirements and burden
estimates for all Quality Payment
Program ICRs (except for CAHPS for
MIPS and virtual groups election) will
be submitted to OMB for approval under
control number 0938–1314 (CMS–
10621). The CAHPS for MIPS Survey is
approved under OMB control number
0938–1222 (CMS–10450). The Virtual
Groups Election is approved under
OMB control number 0938–1343 (CMS–
10652).
Respondent estimates for the quality,
Promoting Interoperability, and
improvement activities performance
categories are modeled using data from
the 2017 MIPS performance period with
the sole exception of 104 CMS Web
Interface respondents, which is based
on the number of groups who submitted
data for the quality performance
category via the CMS Web Interface for
the 2018 MIPS performance period.
Although we are using data from the
2017 MIPS performance period as we
did in the CY 2019 PFS final rule, our
respondent estimates have been updated
to reflect revised assumptions regarding
QPs and APM participants. Respondent
data from the 2018 MIPS performance
period was unavailable in time for
publication for this proposed rule as
was the number of groups and virtual
groups registering to submit quality
performance category data using the
CMS Web Interface. Assuming updated
information is available, we intend to
update these estimates in the final rule.
Our participation estimates are
reflected in Tables 69, 70, and 71 for the
quality performance category, Table 87
for the Promoting Interoperability
performance category, and Table 92 for
the improvement activities performance
category.
The accuracy of our estimates of the
total burden for data submission under
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the quality, Promoting Interoperability,
and improvement activities performance
categories may be impacted due to two
primary reasons. First, we anticipate the
number of QPs to increase because of
total expected growth in Advanced
APM participation as new models that
are Advanced APMs for which we do
not yet have enrollment data become
available for participation. The
additional QPs will be excluded from
MIPS and likely not report. Second, it
is difficult to predict what eligible
clinicians who may report voluntarily
will do in the 2020 MIPS performance
period compared to the 2017 MIPS
performance period, and therefore, the
actual number of participants and how
they elect to submit data may be
different than our estimates. However,
we believe our estimates are the most
appropriate given the available data.
(3) Summary of Quality Payment
Program Changes: Advanced APMs
As discussed in more detail in
sections IV.B.7. of this rule, ICRs for
Advanced APMs consist of: Partial
Qualifying APM participant (QP)
election; Other Payer Advanced APM
identification: Payer Initiated and
Eligible Clinician Initiated Processes;
and submission of data for All-Payer QP
determinations under the All-Payer
Combination Option.
For these ICRs, the proposed changes
to currently approved burden estimates
are adjustments based on updated
projections for the 2020 MIPS
performance period. We are not
proposing any changes to our perrespondent burden estimates. We are
also not proposing any changes to the
Other Payer Advanced APM
identification: Eligible Clinician
Initiated Process ICR.
(4) Framework for Understanding the
Burden of MIPS Data Submission
Because of the wide range of
information collection requirements
under MIPS, Table 64 presents a
framework for understanding how the
organizations permitted or required to
submit data on behalf of clinicians vary
across the types of data, and whether
the clinician is a MIPS eligible clinician
or other eligible clinician voluntarily
submitting data, MIPS APM participant,
or an Advanced APM participant. As
shown in the first row of Table 64, MIPS
eligible clinicians that are not in MIPS
APMs and other clinicians voluntarily
submitting data will submit data either
as individuals, groups, or virtual groups
for the quality, Promoting
Interoperability, and improvement
activities performance categories. Note
that virtual groups are subject to the
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40843
same data submission requirements as
groups, and therefore, we will refer only
to groups for the remainder of this
section unless otherwise noted. Because
MIPS eligible clinicians are not required
to submit any additional information for
assessment under the cost performance
category, the administrative claims data
used for the cost performance category
is not represented in Table 64.
For MIPS eligible clinicians
participating in MIPS APMs, the
organizations submitting data on behalf
of MIPS eligible clinicians will vary
between performance categories and, in
some instances, between MIPS APMs.
For the 2020 MIPS performance period,
the quality data submitted by MIPS
APM participants reporting through the
CMS Web Interface on behalf of their
participant MIPS eligible clinicians will
fulfill any MIPS submission
requirements for the quality
performance category. For other MIPS
APMs, the quality data submitted by
APM Entities on behalf of their
participant MIPS eligible clinicians will
fulfill any MIPS submission
requirements for the quality
performance category if that data is
available to be scored. However, as
proposed in section III.K.3.c.(5)(c)(i)(A)
of this rule, beginning in the 2020 MIPS
performance period, MIPS eligible
clinicians participating in MIPS APMs
whose APM quality data is not available
for MIPS may elect to report MIPS
quality measures at either the APM
entity, individual, or TIN-level in a
manner similar to our established policy
for the Promoting Interoperability
performance category under the APM
scoring standard for purposes of the
MIPS quality performance category. If
we determine there are not sufficient
measures applicable and available, we
will assign performance category
weights as specified in § 414.1370(h)(5).
For the Promoting Interoperability
performance category, group TINs may
submit data on behalf of eligible
clinicians in MIPS APMs, or eligible
clinicians in MIPS APMs may submit
data individually. For the improvement
activities performance category, we will
assume no reporting burden for MIPS
APM participants. In the CY 2017
Quality Payment Program final rule, we
described that for MIPS APMs, we
compare the requirements of the
specific MIPS APM with the list of
activities in the Improvement Activities
Inventory and score those activities in
the same manner that they are otherwise
scored for MIPS eligible clinicians (81
FR 77185). Although the policy allows
for the submission of additional
improvement activities if a MIPS APM
receives less than the maximum
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improvement activities performance
category score, to date all MIPS APM
have qualified for the maximum
improvement activities score. Therefore,
we assume that no additional
submission will be needed.
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Advanced APM participants who are
determined to be Partial QPs may incur
additional burden if they elect to
participate in MIPS, which is discussed
in more detail in the CY 2018 Quality
Payment Program final rule (82 FR
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53841 through 53844), but other than
the election to participate in MIPS, we
do not have data to estimate that
burden.
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40845
TABLE 64: Clinicians or Organizations Submitting MIPS Data on Behalf of Clinicians, by
Type of Data and Category of Clinician*
MIPS Eligible
Clinicians (not in
MIPS APMs) and
Other Eligible
Clinicians
Voluntarily
Submitting MIPS
Data a
As virtual group,
group, or
individual
clinicians
MIPS Eligible
Clinicians
Participating in
MIPS APMs that
report via Web
Interface
A COs submit to
the CMS Web
Interface and
CARPS for ACOs
on behalf of their
participating
MIPS eligible
clinicians. Ifthe
ACO does not
submit quality
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As virtual group,
group, or individual
clinicians.
Clinicians who are
hospital-based,
ambulatory surgical
center-based, nonpatient facing,
physician assistants,
nurse practitioners,
clinician nurse
specialists, certified
registered nurse
anesthetists, physical
therapists,
occupational
therapists, qualified
speech-language
pathologists, qualified
audiologists, clinical
psychologists, and
registered dieticians or
nutrition professionals
are automatically
eligible for a zero
percent weighting for
the Promoting
Interoperability
performance category.
Clinicians who submit
an application and are
approved for
significant hardship or
other exceptions are
also eligible for a zero
percent weighting.
Each MIPS eligible
clinician in the APM
Entity reports data for
the Promoting
Interoperability
performance category
through either group
TIN or individual
reporting.
[Burden estimates for
Frm 00365
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As virtual group,
group, or individual
clinicians
CMS will assign the
improvement
activities
performance
category score to
each APM Entity
group based on the
activities involved in
participation in the
MIPSAPM.d
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Other Data
Submitted on
Behalf of MIPS
Eligible
Clinicians
Groups electing
to use a CMSapproved survey
vendor to
administer
CARPS must
register.
Groups electing
to submit via
CMS Web
Interface for the
first time must
register.
Virtual groups
must register via
email.
APM Entities
will make
Partial QP
election for
participating
MIPS eligible
clinicians.
EP14AU19.094
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Category of Clinician
Type of Data Submitted
Promoting
Improvement
lnteroperability
Activities
Performance
Performance
Category
Category
Quality
Performance
Category
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MIPS Eligible
Clinicians
Participating in
Other MIPS APMs
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data, MIPS
eligible clinicians
participating in
MIPS APMs may
elect to report
individually or at
the TIN-level.e
[Submissions by
the ACO are not
included in burden
estimates for this
proposed rule
because quality
data submission to
fulfill
requirements of
the Shared
Savings Program
and for purposes
of testing and
evaluating the
Next Generation
ACO Model are
not subject to the
PRAl.b
this proposed rule
assume group TINlevel reporting]. c
[The burden
estimates for this
proposed rule
assume no
improvement
activity reporting
burden for APM
participants because
we assume the MIPS
APMmodel
provides a maximum
improvement
activity performance
category score.]
APM Entities
submit to MIPS
on behalf of their
participating
MIPS eligible
clinicians;
however if the
quality data is not
available to MIPS
in time for
scoring, MIPS
eligible clinicians
participating in
MIPS APMs may
elect to report
individually or at
the TIN-level.e
[Submissions
made by APM
Entities to MIPS
on behalf of their
participating
MIPS eligible
clinicians are not
Each MIPS eligible
clinician in the APM
Entity reports data for
the Promoting
Interoperability
performance category
through either group
TIN or individual
reporting. fThe
burden estimates for
this proposed rule
assume group TINlevel reporting].
CMS will assign the
same improvement
activities
performance
category score to
each APM Entity
based on the
activities involved in
participation in the
MIPS APM.
fThe burden
estimates for this
proposed rule
assume no
improvement
activities
performance
category reporting
burden for APM
participants because
we assume the MIPS
APMmodel
provides a maximum
improvement
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Other Data
Submitted on
Behalf of MIPS
Eligible
Clinicians
APM Entities
will make
Partial QP
election for
participating
eligible
clinicians.
EP14AU19.095
Category of Clinician
Type of Data Submitted
Promoting
Improvement
Interoperability
Activities
Performance
Performance
Category
Category
Quality
Performance
Category
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The policies finalized in the CY 2017
and CY 2018 Quality Payment Program
final rules, and the CY 2019 PFS final
rule and continued in this proposed rule
create some additional data collection
requirements not listed in Table 64.
These additional data collections, some
of which were previously approved by
OMB under the control numbers 0938–
1314 (Quality Payment Program, CMS–
10621) and 0938–1222 (CAHPS for
MIPS, CMS–10450), are as follows:
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Additional Approved ICRs Related to
MIPS Third-Party Intermediaries
• Self-nomination of new and
returning QCDRs (81 FR 77507 through
77508, 82 FR 53906 through 53908, and
83 FR 59998 through 60000) (OMB
0938–1314).
• Self-nomination of new and
returning registries (81 FR 77507
through 77508, 82 FR 53906 through
53908, and 83 FR 59997 through 59998)
(OMB 0938–1314).
• Approval process for new and
returning CAHPS for MIPS survey
vendors (82 FR 53908) (OMB 0938–
1222).
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Additional ICRs Related to the Data
Submission and the Quality
Performance Category
• CAHPS for MIPS survey completion
by beneficiaries (81 FR 77509, 82 FR
53916 through 53917, and 83 FR 60008
through 60009) (OMB 0938–1222).
• Quality Payment Program Identity
Management Application Process (82 FR
53914 and 83 FR 60003 through 60004)
(OMB 0938–1314).
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Additional ICRs Related to the
Promoting Interoperability Performance
Category
• Reweighting Applications for
Promoting Interoperability and other
performance categories (82 FR 53918
and 83 FR 60011 through 60012) (OMB
0938–1314).
Additional ICRs Related To Call for New
MIPS Measures and Activities
• Nomination of improvement
activities (82 FR 53922 and 83 FR 60017
through 60018) (OMB 0938–1314).
• Call for new Promoting
Interoperability measures (83 FR 60014
through 60015) (OMB 0938–1314).
• Call for new quality measures (83
FR 60010 through 60011) (OMB 0938–
1314).
Additional ICRs Related to MIPS
• Opt out of performance data display
on Physician Compare for voluntary
reporters under MIPS (82 FR 53924
through 53925 and 83 FR 60022) (OMB
0938–1314).
Additional ICRs Related to APMs
• Partial QP Election (81 FR 77512
through 77513, 82 FR 53922 through
53923, and 83 FR 60018 through 60019)
(OMB 0938–1314).
• Other Payer Advanced APM
determinations: Payer Initiated Process
(82 FR 53923 through 53924 and 83 FR
60019 through 60020) (OMB 0938–
1314).
• Other Payer Advanced APM
determinations: Eligible Clinician
Initiated Process (82 FR 53924 and 83
FR 60020) (OMB 0938–1314).
• Submission of Data for All-Payer
QP Determinations (83 FR 60021) (OMB
0938–1314).
b. ICRs Regarding the Virtual Group
Election (§ 414.1315)
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This rule does not propose any new
or revised collection of information
requirements or burden related to the
virtual group election. The virtual group
election requirements and burden are
currently approved by OMB under
control number 0938–1343 (CMS–
10652). Consequently, we are not
making any virtual group election
changes under that control number.
c. ICRs Regarding Third-Party
Intermediaries (§ 414.1400)
(1) Background
Under MIPS, the quality, Promoting
Interoperability, and improvement
activities performance category data
may be submitted via relevant thirdparty intermediaries, such as qualified
registries, QCDRs, and health IT
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vendors. Data on the CAHPS for MIPS
survey, which counts as one quality
performance category measure, or can
be used for completion of an
improvement activity, can be submitted
via CMS-approved survey vendors.
Entities seeking approval to submit data
on behalf of clinicians as a qualified
registry, QCDR, or survey vendor must
complete a self-nominate process
annually. The processes for selfnomination for entities seeking approval
as qualified registries and QCDRs are
similar with the exception that QCDRs
have the option to submit QCDR
measures for the quality performance
category. Therefore, differences between
QCDRs and qualified registry selfnomination are associated with the
preparation of QCDR measures for
approval.
The burden associated with qualified
registry self-nomination, QCDR selfnomination and measure submission,
and the CAHPS for MIPS survey vendor
applications follow: 139
(2) Qualified Registry Self-Nomination
Applications
The proposed requirements and
burden associated with qualified
registries and their self-nomination will
be submitted to OMB for approval under
control number 0938–1314 (CMS–
10621).
As explained below, this rule would
both adjust the number of selfnomination applications based on
current data and revise the number of
self-nomination applications due to
policies promulgated in the CY 2019
final rule regarding the definition of a
QCDR (83 FR 59895) and minimum
participation requirements (83 FR
59897) which are effective beginning in
the 2020 MIPS performance period. The
adjustment would increase our total
burden estimates while keeping our
burden per response estimates
unchanged. We are not proposing
changes to the self-nomination process.
We refer readers to § 414.1400(a)(2)
and (c)(1) which state that qualified
registries interested in submitting MIPS
data to us on behalf of MIPS eligible
clinicians, groups, or virtual groups
need to complete a self-nomination
process to be considered for approval to
do so.
In the CY 2018 Quality Payment
Program final rule and as stated in
§ 414.1400(c)(1), previously approved
qualified registries in good standing
(that is, that are not on probation or
disqualified) may attest that certain
139 As stated in the CY 2019 PFS final rule (83
FR 53998), health IT vendors are not included in
the burden estimates for MIPS.
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aspects of their previous year’s
approved self-nomination have not
changed and will be used for the
applicable performance period (82 FR
53815). In the same rule, we stated that
qualified registries in good standing that
would like to make minimal changes to
their previously approved selfnomination application from the
previous year, may submit these
changes, and attest to no other changes
from their previously approved
qualified registry application for CMS
review during the self-nomination
period (82 FR 53815). The selfnomination period is from July 1 to
September 1 of the calendar year prior
to the applicable performance period
beginning with the 2020 MIPS
performance period (83 FR 59906).
For this proposed rule, we have
adjusted the number of self-nominating
applicants from 150 to 290 based on
more recent data and the assumption
that any entity which self-nominated for
approval as a QCDR in previous years
and that no longer qualifies as a result
of policies finalized in the CY 2019 PFS
final rule, effective beginning with the
2020 MIPS performance period could
elect to self-nominate for approval as a
qualified registry. The policies revised
both the definition of a QCDR (83 FR
59895) and minimum participation
requirements for entities seeking
approval as a QCDR (83 FR 59897).
Entities which no longer meet the
criteria for approval as QCDRs may seek
other options such as collaborating with
another entity to meet the new
requirements or to end their
participation in the Quality Payment
Program, however, we believe the
assumption that these entities will
instead elect to self-nominate as a
qualified registry is both appropriate
and conservative. We were unable to
change our estimates in the CY 2019
PFS final rule to reflect these policies
because we had neither the data to
support a change nor any notifications
of intent by previously approved QCDRs
indicating they would no longer selfnominate as a QCDR (83 FR 59999). As
a result, we are making the necessary
adjustments to our respondents’
estimates in this proposed rule.
For the 2019 MIPS performance
period, we received 198 applications for
nomination to be a qualified registry,
135 of which were approved to submit
data, a reduction of 6 from the currently
approved estimate of 141 (83 FR 59997
through 59998). Based on the number of
self-nominations received for the 2019
MIPS performance period, we estimate
200 entities will self-nominate as a
qualified registry for the 2020 MIPS
performance period, not considering
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nominations from entities which
previously qualified as QCDRs. Based
on our analysis of the QCDRs approved
for the CY 2019 performance period, 63
of the 127 approved QCDRs (49.6
percent) would not meet the criteria for
approval for the CY 2020 performance
period. For the 2019 MIPS performance
period, 181 entities self-nominated for
approval as QCDRs, therefore we
assume that 90 (49.6 percent) of these
entities will self-nominate for approval
as qualified registries for the 2020 MIPS
performance period. In total, we
estimate 290 nomination applications
(200 entities + 90 entities) will be
received from entities seeking approval
to report MIPS data as qualified
registries, an increase of 140 from the
currently approved estimate of 150 (83
FR 59997 through 59998). As previously
stated, this increase is comprised of
both an adjustment to due updated data
(+50 self-nominations) and a revision
due to policies promulgated in the CY
2019 PFS final rule (+90 selfnominations). Assuming updated data is
available, we will update our estimates
in the final rule to reflect the actual
number of nomination applications
received for the 2020 MIPS performance
period.
The burden associated with the
qualified registry self-nomination
process varies depending on the number
of existing qualified registries that elect
to use the simplified self-nomination
process in lieu of the full selfnomination process as described in the
CY 2018 Quality Payment Program final
rule (82 FR 53815). The QPP SelfNomination Form is submitted
electronically using a web-based tool.
We will be submitting a revised version
of the form for approval under OMB
control number 0938–1314 (CMS–
10621).
As described in the CY 2017 Quality
Payment Program final rule, the full
self-nomination process requires the
submission of basic information, a
description of the process the qualified
registry will use for completion of a
randomized audit of a subset of data
prior to submission, and the provision
of a data validation plan along with the
results of the executed data validation
plan by May 31 of the year following the
performance period (81 FR 77383
through 77384). As shown in Table 66,
we estimate that the staff involved in
the qualified registry self-nomination
process will be mainly computer
systems analysts or their equivalent,
who have an adjusted labor rate of
40849
$90.02/hr. Consistent with the CY 2019
PFS final rule (83 FR 59998), we
estimate that the time associated with
the self-nomination process ranges from
a minimum of 0.5 hours (for the
simplified self-nomination process) to 3
hours (for the full self-nomination
process) per qualified registry. When
considering this rule’s adjusted number
of nomination applications (290) we
estimate that the annual burden will
range from 532.5 hours ([135 simplified
self-nominations × 0.5 hr] + [155 full
self-nominations × 3 hr]) to 870 hours
(290 qualified registries × 3 hr) at a cost
ranging from $47,936 (532.5 hr ×
$90.02/hr) to $78,317 (870 hr × $90.02/
hr), respectively (see Table 66).
As shown in Table 65, compared to
the currently approved minimum
estimates of 97.5 hours and $8,777 and
the maximum estimates of 450 hours
and $40,509, the increase in the number
of respondents would adjust our total
burden estimates by 435 hours and
$39,159 [(¥6 registries × 0.5 hr ×
$90.02/hr) + (146 registries × 3 hr ×
$90.02/hr)] and 420 hours and $37,808
(140 registries × 3 hr × $90.02/hr). While
we are proposing to adjust our total
burden estimates based on more current
data, the burden per response would
remain unchanged.
TABLE 65—CHANGE IN ESTIMATED BURDEN FOR QUALIFIED REGISTRY SELF-NOMINATION
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Minimum
burden
Maximum
burden
Total Annual Hours for Qualified Registries in CY 2019 Final Rule (a) .................................................................
Total Annual Hours for Qualified Registries in CY 2020 Proposed Rule (b) ..........................................................
97.5
532.5
450
870
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (c) = (b)¥(a) ...................................
435
870
Total Annual Cost for Qualified Registries in CY 2019 Final Rule (d) ...................................................................
Total Annual Cost for Qualified Registries in CY 2020 Proposed Rule (e) ............................................................
$8,777
$47,936
$40,509
$78,317
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (f) = (e)¥(d) ....................................
$39,159
$37,808
As finalized in the CY 2017 Quality
Payment Program final rule (81 FR
77363 through 77364) and as further
revised in the CY 2019 PFS final rule at
(83 FR 60088) and in § 414.1400(a)(2),
qualified registries may submit data for
any of the three MIPS performance
categories quality (except for data on the
CAHPS for MIPS survey); improvement
activities; and Promoting
Interoperability. In section
III.K.3.g.(4)(a)(i) of this rule, beginning
with the 2021 performance period and
for future years, we propose to require
that qualified registries support the
reporting of improvement activities and
Promoting Interoperability measures in
addition to the quality performance
category. As finalized in the CY 2017
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Quality Payment Program final rule,
qualified registries are required to
provide feedback on all of the MIPS
performance categories at least 4 times
a year (81 FR 77367 through 77386). In
section III.K.3.g.(4)(a)(ii), we propose,
beginning with the 2023 MIPS payment
period, to require qualified registries to
provide the following as a part of the
performance feedback given at least 4
times (to the extent feasible) a year:
Feedback to their clinicians and groups
on how they compare to other clinicians
who have submitted data on a given
measure within the qualified registry.
Further, qualified registries will be
required to attest during the selfnomination process that they can
provide performance feedback at least 4
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times a year, and if not, provide
sufficient rationale as to why they do
not believe they would be able to meet
this requirement. Because we are not
requiring qualified registries to provide
performance feedback to their clinicians
and groups at a greater frequency than
what has previously been required
combined with qualified registries only
being required to provide feedback
using data they are already collecting,
we do not believe the proposal creates
enough additional burden for qualified
registries to elect to discontinue
participation in the Quality Payment
Program. Therefore, we are not adjusting
our estimates for the number of
qualified registries that will selfnominate in the 2021 performance
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period or future years as a result of this
proposal; if reliable information
becomes available indicating this
assumption is incorrect, we will adjust
our assumptions and respondent
estimates at that time. As part of the
current self-nomination process,
qualified registries are already required
to attest to the MIPS quality measures,
performance categories, improvement
activities, and/or Promoting
Interoperability measures and objectives
supported. In section III.K.3.g.(4)(a)(i) of
this proposed rule, beginning with the
2021 performance period, we are
proposing to require qualified registries
to support all three performance
categories: Quality, improvement
activities, and Promoting
Interoperability with the proviso that
based on the proposed amendment to
§ 414.1400(a)(2)(iii) the requirement to
support submission of Promoting
Interoperability data would be
inapplicable to the third party
intermediary if the clinician, group or
virtual group is exempt from this
reporting requirement. As part of this
proposal, we would require qualified
registries to attest to the ability to
submit data for all three of these
performance categories at time of selfnomination. Because qualified registries
will only be required to provide
performance feedback to clinicians and
not to CMS, and because qualified
registries are already required to attest
to the performance categories they
support, we anticipate minimal changes
to the self-nomination process as a
result of these proposals and assume
there will be minimal impact on the
time required to complete either the
simplified or full self-nomination
process.
Qualified registries must comply with
requirements on the submission of MIPS
data to CMS. The burden associated
with qualified registry submission
requirements will be the time and effort
associated with calculating quality
measure results from the data submitted
to the qualified registry by its
participants and submitting these
results, the numerator and denominator
data on quality measures, the Promoting
Interoperability performance category,
and improvement activities data to us
on behalf of their participants. We
expect that the time needed for a
qualified registry to accomplish these
tasks will vary along with the number
of MIPS eligible clinicians submitting
data to the qualified registry and the
number of applicable measures.
However, we believe that qualified
registries already perform many of these
activities for their participants.
Therefore, we believe the estimates
discussed earlier and shown in Table 66
represents the upper bound for qualified
registry burden, with the potential for
less additional MIPS burden if the
qualified registry already provides
similar data submission services.
Based on these assumptions, we
estimate the total annual burden
associated with a qualified registry selfnominating to be considered for
approval.
TABLE 66—ESTIMATED BURDEN FOR QUALIFIED REGISTRY SELF-NOMINATION
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Minimum
burden
Maximum
burden
# of Qualified Registry Simplified Self-Nomination Applications submitted (a) ......................................................
# of Qualified Registry Full Self-Nomination Applications submitted (b) ................................................................
Total Annual Hours Per Qualified Registry for Simplified Process (c) ...................................................................
Total Annual Hours Per Qualified Registry for Full Process (d) .............................................................................
135
155
0.5
3
0
290
0.5
3
Total Annual Hours for Qualified Registries (e) = (a) * (c) + (b) * (d) .............................................................
532.5
870
Cost Per Simplified Process Per Registry (@computer systems analyst’s labor rate of $90.02/hr.) (f) ................
Cost Per Full Process Per Registry (@computer systems analyst’s labor rate of $90.02/hr.) (g) .........................
$45.01
$270.06
$45.01
$270.06
Total Annual Cost for Qualified Registries (h) = (a) * (f) + (b) * (g) ................................................................
$47,936
$78,317
Both the minimum and maximum
burdens shown in Table 66 reflect
adjustments to the number of
respondents (from 150 to 290) due to
availability of more recent data (+50
respondents) and revisions due to
policies finalized in the CY 2019 PFS
final rule regarding the definition and
minimum participation requirements for
entities seeking approval as QCDRs
which will be effective beginning with
the 2020 MIPS performance period (+90
respondents). For purposes of
calculating total burden associated with
this proposed rule as shown in Table 90,
only the maximum burden is being
submitted to OMB for their review and
approval.
(3) QCDR Self-Nomination Applications
(a) Self-Nomination Process
The proposed requirements and
burden associated with QCDRs and the
self-nomination process will be
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submitted to OMB for approval under
control number 0938–1314 (CMS–
10621).
As explained below, this rule would
both adjust the number of selfnomination applications based on
current data and revise the number of
self-nomination applications due to
policies promulgated in the CY 2019
final rule regarding the definition of a
QCDR (83 FR 59895) and minimum
participation requirements (83 FR
59897) which are effective beginning in
the 2020 MIPS performance period.
These changes result in a decrease from
200 to 91 self-nomination applications
in the 2020 MIPS performance period.
This rule would also adjust the number
of QCDR measures submitted for
consideration by each QCDR seeking to
self-nominate (from 9 to 11.5), as well
as the time required to submit
information (from 1 hour to 2.5 hours)
for each QCDR measure. These changes
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would increase our minimum total
burden estimate (from 2,025 hours to
2,729.25 hours) and increase our
maximum total burden estimate (from
2,400 hours to 2,889.25 hours). In
addition, our per response estimates for
the simplified and full self-nomination
processes would increase from 9.5 hours
to 29.25 hours and from 12 hours to
31.75 hours, respectively.
We refer readers to § 414.1400(a)(2)
and (b)(1) which states that QCDRs
interested in submitting MIPS data to us
on behalf of a MIPS eligible clinician,
group, or virtual group will need to
complete a self-nomination process to
be considered for approval to do so.
In the CY 2018 Quality Payment
Program final rule and § 414.1400(b)(1),
previously approved QCDRs in good
standing (that are not on probation or
disqualified) that wish to self-nominate
using the simplified process can attest,
in whole or in part, that their previously
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approved form is still accurate and
applicable (82 FR 53808). Existing
QCDRs in good standing that would like
to make minimal changes to their
previously approved self-nomination
application from the previous year, may
submit these changes, and attest to no
other changes from their previously
approved QCDR application, for CMS
review during the current selfnomination period, from September 1 to
November 1 (82 FR 53808). The selfnomination period is from July 1 to
September 1 of the calendar year prior
to the applicable performance period
beginning in the 2020 MIPS
performance period (83 FR 59898).
The burden associated with QCDR
self-nomination will vary depending on
the number of existing QCDRs that will
elect to use the simplified selfnomination process in lieu of the full
self-nomination process as described in
the CY 2018 Quality Payment Program
final rule (82 FR 53808 through 53813).
The OPP Self-Nomination Form is
submitted electronically using a webbased tool. We will be submitting a
revised version of the form for approval
under OMB control number 0938–1314
(CMS–10621).
For the 2019 MIPS performance
period, we received 181 self-nomination
applications from entities seeking
approval as QCDRs, 127 of which were
approved to submit data. Based on our
analysis of the QCDRs approved for the
CY 2019 performance period, 63 of the
127 approved QCDRs (49.6 percent)
would not meet the criteria for approval
for the CY 2020 performance period. We
project that 90 (49.6 percent) of the 181
entities will not self-nominate for
approval as QCDRs for the 2020 MIPS
performance period but will instead
self-nominate to be qualified registries.
Entities which no longer meet criteria
for approval as QCDRs may seek other
options as well, including collaborating
with another entity to meet the new
requirements or to end their
participation in the Quality Payment
Program; however, we believe the
assumption that these entities will
instead elect self-nomination as a
qualified registry is both appropriate
and conservative. We also project the
remaining 91 entities will submit
nomination applications for approval to
report MIPS data as QCDRs for the MIPS
2020 performance period, a decrease of
109 from the currently approved
estimate of 200. This decrease of 109 is
a result of both an adjustment due to use
of more recent data accounts (decrease
of 19 self-nominations) and a change
due to previously finalized policies
regarding the definition of a QCDR (83
FR 59895) and minimum participation
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requirements (83 FR 59897) (decrease of
90 self-nominations). We were unable to
change our estimates in the CY 2019
PFS final rule to reflect these policies
because we had neither the data to
support a change nor any notifications
of intent by previously approved QCDRs
indicating they would no longer selfnominate as a QCDR (83 FR 59999). As
a result, we are making the necessary
adjustments to our respondent estimates
in this proposed rule. We further
estimate that the 64 QCDRs approved to
submit data in the 2019 MIPS
performance period that would also
qualify as QCDRs for the 2020 MIPS
performance period will use the
simplified self-nomination process.
Assuming updated data is available, we
will update our estimates in the final
rule to reflect the actual number of
nomination applications received for
the 2020 MIPS performance period.
Based on previously finalized policies
in the CY 2017 Quality Payment
Program final rule (81 FR 77363 through
77364) and as further revised in the CY
2019 PFS final rule at § 414.1400(a)(2)
(83 FR 60088), the current policy is that
all third party intermediaries may
submit data for any of the three MIPS
performance categories quality (except
for data on the CAHPS for MIPS survey);
improvement activities; and Promoting
Interoperability. In section
III.K.3.g.(3)(a)(i) of this rule, we are
proposing, beginning with the 2021
performance period and future years, to
require that QCDRs support three
performance categories: Quality,
improvement activities, and Promoting
Interoperability. We are also proposing
in section III.K.3.g.(3)(a)(ii), beginning
with the 2023 MIPS payment year and
future years, QCDRs would be required
to provide services to clinicians and
groups to foster improvement in the
quality of care provided to patients, by
providing educational services in
quality improvement and leading
quality improvement initiatives and to
describe the quality improvement
services they intend to support in their
self-nomination for CMS review and
approval. As finalized in the CY 2018
Quality Payment Program final rule,
QCDRs are required to provide feedback
on all of the MIPS performance
categories that the QCDR reports at least
4 times a year (82 FR 53812). In section
III.K.3.g.(3)(a)(iii) we propose, beginning
with the 2023 MIPS payment year, to
require that QCDRs provide the
following as a part of the performance
feedback given at least 4 times a year:
Feedback to their clinicians and groups
on how they compare to other clinicians
who have submitted data on a given
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40851
measure (MIPS quality measure and/or
QCDR measure) within the QCDR. We
also understand that QCDRs can only
provide feedback on data they have
collected on their clinicians and groups,
and realize the comparison would be
limited to that data and not reflect the
larger sample of those that have
submitted on the measure for MIPS,
which the QCDR does not have access
to. Further, we are also proposing,
beginning with the 2023 MIPS payment
year, to require QCDRs to attest during
the self-nomination process that they
can provide performance feedback at
least 4 times a year, and if not, provide
sufficient rationale as to why they do
not believe they would be able to meet
this requirement. We do not believe
these proposals create enough
additional burden for QCDRs to elect to
discontinue participation in the Quality
Payment Program for multiple reasons:
We are not requiring QCDRs to provide
performance feedback to their clinicians
and groups at a greater frequency than
what has previously been required,
QCDRs will only being required to
provide feedback using data they are
already collecting, and we are giving
QCDRs significant flexibility to provide
broad quality improvement services that
are tailorable to the specific QCDR and
the clinicians they support. Therefore,
we are not adjusting our estimates for
the number of QCDRs that will selfnominate in the 2021 performance
period or future years as a result of this
proposal; if reliable information
becomes available indicating this
assumption is incorrect, we will adjust
our assumptions and respondent
estimates at that time. As part of the
self-nomination process, QCDRs are
already required to attest to the MIPS
quality measures, performance
categories, improvement activities, and
Promoting Interoperability measures
and objectives supported and will not
be required to provide performance
feedback to CMS. Therefore, we
anticipate no additional steps being
added to the self-nomination process as
a result of these proposals and assume
there will be no impact on the time
required to complete either the
simplified or full self-nomination
process. With regard to the proposal to
require QCDRs to describe the quality
improvement services they will provide
as part of their self-nomination, we
estimate this will require approximately
15 minutes to complete.
We estimate that the self-nomination
process for QCDRs to submit on behalf
of MIPS eligible clinicians or groups for
MIPS will involve approximately 3.25
hours per QCDR to submit information
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required at the time of self-nomination
as described in the CY 2017 Quality
Payment Program final rule including
basic information about the QCDR,
describing the process it will use for
completion of a randomized audit of a
subset of data prior to submission,
providing a data validation plan, and
providing results of the executed data
validation plan by May 31 of the year
following the performance period (81
FR 77383 through 77384). However, for
the simplified self-nomination process,
we estimate 0.5 hours per QCDR to
submit this information.
(b) QCDR Measure Requirements
As promulgated in the CY 2017 and
CY 2018 Quality Payment Plan final
rules (81 FR 77366 through 77374 and
82 FR 53812 through 53813), QCDRs
calculate their measure results and also
must possess benchmarking capabilities
(for QCDR measures) that compare the
quality of care a MIPS eligible clinician
provides with other MIPS eligible
clinicians performing the same quality
measures. For QCDR measures, the
QCDR must provide to us, if available,
data from years prior (for example, 2017
data for the 2019 MIPS performance
period) before the start of the
performance period. In addition, the
QCDR must provide to us, if available,
the entire distribution of the measure’s
performance broken down by deciles.
As an alternative to supplying this
information to us, the QCDR may post
this information on their website prior
to the start of the performance period,
to the extent permitted by applicable
privacy laws. The time it takes to
perform these functions may vary
depending on the sophistication of the
entity, but we estimate that a QCDR will
spend an additional 1 hour performing
these activities per measure.
As discussed in section
III.K.3.g.(3)(c)(i)(B)(cc), we are
proposing that in order for a QCDR
measure to be considered for use in the
program beginning with the 2021
performance period and future years, all
QCDR measures submitted for selfnomination must be fully developed
with completed testing results at the
clinician level, as defined by the CMS
Blueprint for the CMS Measures
Management System, as used in the
testing of MIPS quality measures prior
to the submission of those measures to
the Call for Measures. Beginning with
the 2021 performance period and future
years, we are proposing in section
III.K.3.g.(3)(c)(i)(B)(dd) to also require
QCDRs to collect data on the potential
QCDR measure, appropriate to the
measure type, as defined in the CMS
Blueprint for the CMS Measures
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Management System, prior to selfnomination. We estimate the time
necessary to submit measure testing
data as part of the self-nomination
process will average approximately 0.5
hours per measure, understanding that
this estimate may be either high or low
depending on the type of measure and
the quantity of data being submitted. We
discuss additional impacts of this
proposal in section VI.C.10.(f) of this
rule’s Regulatory Impact Analysis.
In section III.K.3.g.(3)(c)(i)(A)(bb) of
this rule, we are proposing to amend
§ 414.1400 to state that CMS may
consider the extent to which a QCDR
measure is available to MIPS eligible
clinicians reporting through QCDRs
other than the QCDR measure owner for
purposes of MIPS. If CMS determines
that a QCDR measure is not available to
MIPS eligible clinicians, groups, and
virtual groups reporting through other
QCDRs, CMS may not approve the
measure. Because the choice to license
a QCDR measure is an elective business
decision made by individual QCDRs
and we lack insight into both the
specific terms and frequency of
agreements made between entities, we
are not accounting for QCDR measure
licensing costs as part of our burden
estimate. However, if information
regarding the number of licensing
agreements and the approximate cost
per agreement becomes available, we
may adjust our assumptions and burden
estimates at that time.
In section III.K.3.g.(3)(c)(i)(B)(cc) of
this rule, we propose, beginning with
the 2020 performance period, that after
the self-nomination period closes each
year, we will review newly selfnominated and previously approved
QCDR measures based on
considerations as described in the CY
2019 PFS final rule (83 FR 59900
through 59902). In instances in which
multiple, similar QCDR measures exist
that warrant approval, we may
provisionally approve the individual
QCDR measures for 1 year with the
condition that QCDRs address certain
areas of duplication with other
approved QCDR measures in order to be
considered for the program in
subsequent years. The QCDR could do
so by harmonizing its measure with, or
significantly differentiating its measure
from, other similar QCDR measures.
QCDR measure harmonization may
require two or more QCDRs to work
collaboratively to develop one cohesive
QCDR measure that is representative of
their similar yet, individual measures.
We are unable to account for measure
harmonization costs as part of our
burden estimate, as the process and
outcomes of measure harmonization
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will likely vary substantially depending
on a number of factors, including:
Extent of duplication with other
measures, number of QCDRs involved in
harmonizing toward a single measure,
and number of measures being
harmonized among the same QCDRs.
We intend to identify only those QCDR
measures which are duplicative to such
an extent as to assume harmonization
will not be overly burdensome,
however, because the harmonization
process will occur between QCDRs
without our involvement, we are unable
to predict or quantify the associated
effort.
As discussed in section
III.K.3.g.(3)(c)(i)(B)(bb) of this proposed
rule, beginning with the 2021
performance period and future years, we
are proposing that QCDRs must identify
a linkage between their QCDR measures
to the following, at the time of selfnomination: (a) Cost measures (as found
in section III.K.3.c.(2) of this proposed
rule); (b) Improvement Activities (as
found in Appendix 2: Improvement
Activities Tables); or (c) CMS developed
MIPS Value Pathways (as described in
section III.K.3.a. of this proposed rule).
We estimate that a QCDR will spend an
additional 1 hour performing these
activities per measure, on average.
We are also proposing to formalize
factors we would take into
consideration for approving and
rejecting QCDR measures for the MIPS
program beginning with the 2020
performance period and future years.
With regard to approving QCDR
measures, we are proposing the
following: (a) 2-year QCDR measure
approval process, and (b) participation
plan for existing QCDR measures that
have failed to reach benchmarking
thresholds. As discussed in section
III.K.3.g.(3)(c)(ii)(B) of this rule, we are
proposing to implement, beginning with
the 2021 performance period, 2-year
QCDR measure approvals (at our
discretion) for QCDR measures that
attain approval status by meeting the
QCDR measure considerations and
requirements described in section
III.K.3.g.(3)(c). The 2-year approvals
would be subject to the following
conditions whereby the multi-year
approval will no longer apply if the
QCDR measure is identified as: Topped
out; duplicative of a new, more robust
measure; reflects an outdated clinical
guideline; requires measure
harmonization, or if the QCDR selfnominating the measure is no longer in
good standing. We believe this could
result in reduced burden for QCDRs as
they would not necessarily be required
to submit every measure for approval
annually. However, because we are
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unable to predict which previously
approved QCDR measures will be
removed or retained in future years, we
are likewise unable to predict the total
number of measures that will be
submitted for approval and the resulting
impact on future burden. If this policy
is finalized, the number of QCDR
measures submitted in the 2021
performance period will reflect the
impact of this policy; at that time we
will update our assumptions and
burden estimates accordingly.
We estimate that on average, each
QCDR will submit information for 11.5
QCDR measures, for a total burden of
11.5 hours per QCDR (1 hr per measure
× 11.5 measures). The estimated average
of 11.5 measures per QCDR is based on
an analysis of the QCDR measures
submitted for consideration and QCDR
measures approved for the 2019 MIPS
performance period, as well as the
measures for QCDRs approved for the
CY 2019 performance period that would
not meet criteria for approval for the CY
2020 performance period. For the 2019
MIPS performance period, 1,123 QCDR
measures were submitted for
consideration and 762 were approved;
an approval rate of 68 percent. Of these
approved measures, 264 are for the 63
QCDRs which would not meet criteria
for approval for the 2020 MIPS
performance period. Averaging the
remaining 498 approved QCDR
measures by the 64 QCDRs that would
meet the criteria for approval for the
2020 MIPS performance period results
in approximately 7.8 approved
measures per QCDR (498 approved
measures / 64 QCDRs). Assuming an
identical 68 percent QCDR measure
approval rate for measures submitted for
consideration for the 2020 MIPS
performance period, this results in
approximately 11.5 measures submitted
for consideration for each QCDR (7.8
approved measures / 0.68 approval
rate). We believe the proposals to
change requirements for QCDR measure
submission and to require QCDRs to
harmonize measures we identify as
duplicative discussed earlier in this
section will result in a reduction in the
number of QCDR measures submitted
for approval in future years. However,
we are unable to quantify the impact
these proposed changes will have on the
number of measures QCDRs will submit
for approval. As information becomes
available in future years, we will revisit
our assumptions to better reflect the
impact of these proposals on QCDRs
and the quantity of measures being
submitted for consideration annually.
When combined with our previously
stated assumption regarding our
inability to predict which QCDR
measures will maintain approval in
future years, we believe the estimate of
11.5 measures per QCDR to be both
conservative and appropriate, as well as
an overall decrease of 76 QCDR
measures compared to the 1,123 QCDR
measures submitted for consideration in
the CY2019 performance period (1,123
QCDR measures¥[91 QCDRs × 11.5
measures per QCDR]).
Beginning with the 2021 performance
period, we are proposing in section
III.K.3.g.(3)(c)(iii) of this proposed rule
that in instances where an existing
QCDR measure has been in MIPS for 2
years, and has failed to reach
benchmarking thresholds due to low
adoption, where a QCDR believes the
low-reported QCDR measure is still
important and relevant to a specialist’s
practice, that the QCDR may develop
and submit to a QCDR measure
participation plan, to be submitted as
part of their self-nomination. Because
we are unable to predict the frequency
with which existing QCDR measures
will meet the proposed criteria for
allowing QCDRs to submit a measure
participation plan or the likelihood of
QCDRs electing to submit a plan, we are
unable to estimate the total burden
associated with this proposal. However,
we anticipate the time involved in
developing a measure participation plan
is likely to average between 1 and 2
hours, depending on the QCDR and the
level of detail they choose to include. In
future performance periods we may
reassess availability of the number of
QCDR measure participation plans
submitted by QCDRs and estimate the
associated burden, if possible. In
aggregate, we estimate a QCDR will
require 2.5 hours per QCDR measure, an
increase of 1.5 hours from the currently
approved estimate of 1 hour (83 FR
59999). As discussed earlier in this
40853
section, we estimate each QCDR will
submit 11.5 QCDR measures for
approval, on average. Therefore, we
estimate each QCDR will require 28.75
hours (11.5 measures × 2.5 hr per
measure) to submit QCDR measures for
approval, independent of the selection
of the simplified or full self-nomination
process.
In the CY 2019 PFS final rule, the
burden associated with self-nomination
of a QCDR was estimated to range from
a minimum of 9.5 hours (0.5 hours to
submit information for simplified selfnomination process and 9 hours for
submission of QCDR measures) to a
maximum of 12 hours (3 hours for the
full self-nomination process and 9 hours
for the submission of QCDR measures)
(83 FR 59999). For this rule, we propose
to increase the burden associated with
self-nomination to a minimum of 29.25
hours (0.5 hours to submit information
for the simplified self-nomination
process and 28.75 hours for the
submission of QCDR measures) to a
maximum of 32 hours (3.25 hours to
submit information for the full selfnomination process and 28.75 hours for
the submission of QCDR measures) to
account for our revised estimate of the
average number of QCDR measures
submitted for consideration per QCDR,
as well as the revised estimate of burden
per QCDR measure.
We assume that the staff involved in
the QCDR self-nomination process will
continue to be computer systems
analysts or their equivalent, who have
an average labor rate of $90.02/hr.
Considering that the time per QCDR
associated with the self-nomination
process ranges from a minimum of 29.25
hours to a maximum of 32 hours, we
estimate that the annual burden will
range from 2,736 hours ([64 QCDRs ×
29.25 hr] + [27 QCDRs × 32 hr]) to 2,912
hours (91 QCDRs × 32 hr) at a cost
ranging from $246,295 (2,736 hr ×
$90.02/hr) and $262,138 (2,912 hr ×
$90.02/hr), respectively (see Table 67).
Based on the assumptions previously
discussed, we provide an estimate of the
total annual burden associated with a
QCDR self-nominating to be considered
‘‘qualified’’ to submit quality measures
results and numerator and denominator
data on MIPS eligible clinicians.
TABLE 67—ESTIMATED BURDEN FOR QCDR SELF-NOMINATION AND QCDR MEASURE SUBMISSION
Minimum
# of QCDR Simplified Self-Nomination Applications submitted (a) ........................................................................
# of QCDR Full Self-Nomination Applications submitted (b) ..................................................................................
Total Annual Hours Per QCDR for Simplified Process (c) .....................................................................................
Total Annual Hours Per QCDR for Full Process (d) ...............................................................................................
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27
29.25
32.00
Maximum
0
91
29.25
32.00
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TABLE 67—ESTIMATED BURDEN FOR QCDR SELF-NOMINATION AND QCDR MEASURE SUBMISSION—Continued
Minimum
Maximum
Total Annual Hours for QCDRs (e) = (a) *(c) + (b) * (d) .................................................................................
2,736
2,912
Cost Per Simplified Process Per QCDR (@computer systems analyst’s labor rate of $90.02/hr) (f) ....................
Cost Per Full Process Per QCDR (@computer systems analyst’s labor rate of $90.02/hr) (g) ............................
$2,633.09
$2,880.64
$2,633.09
$2,880.64
Total Annual Cost for QCDRs (h) = (a) * (f) + (b) * (g) ...................................................................................
$246,295
$262,138
Both the minimum and maximum
burden shown in Table 67 reflect
adjustments to the number of
respondents due to availability of more
recent data, as well as changes resulting
from policies finalized in the CY 2019
PFS final rule regarding the definition
and minimum participation
requirements for entities seeking
approval as QCDRs which will be
effective beginning with the 2020 MIPS
performance period. For purposes of
calculating total burden associated with
the proposed rule as shown in Table 90,
only the maximum burden is used.
Independent of the change to our per
response time estimate, the decrease in
the number of respondents (from 200 to
91) results in an adjustment of between
¥1,093 hours [(¥86 QCDRs × 9.5 hr) +
(¥23 QCDRs × 12 hr)] at a cost of
¥$98,392 (¥1,093 hr × $90.02) and
¥1,308 hours (¥109 QCDRs × 12 hr) at
a cost of ¥$117,746 (¥1,308 hr ×
$90.02/hr). Accounting for the change in
the number of QCDRs, the change in
time per QCDR to self-nominate results
in an adjustment of 1,820 hours (91
QCDRs × 20 hr) at a cost of $163,836
(1,820 hr × $90.02/hr). As shown in
Table 68, when these two adjustments
are combined, the net impact ranges
between 727 hours (¥1,093 hr + 1,820
hr) hours at a cost of $65,444 (¥$98,392
+ $163,836) and 512 hours (¥1,308 hr
+ 1,820 hr) hours at a cost of $46,090
(¥$117,746 + $163,836).
TABLE 68—CHANGE IN ESTIMATED BURDEN FOR QCDR SELF-NOMINATION AND QCDR MEASURE SUBMISSION
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Minimum
burden
Maximum
burden
Total Annual Hours for QCDRs in CY 2019 Final Rule (a) ....................................................................................
Total Annual Hours for QCDRs in CY 2020 Proposed Rule (b) .............................................................................
2,025
2,736
2,400
2,912
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (c) = (b)¥(a) ...................................
711
512
Total Annual Cost for QCDRs in CY 2019 Final Rule (d) ......................................................................................
Total Annual Cost for QCDRs in CY 2020 Proposed Rule (e) ...............................................................................
$182,291
$246,295
$216,048
$262,138
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (f) = (e)¥(d) ....................................
$64,004
$46,090
QCDRs must comply with
requirements on the submission of MIPS
data to CMS. The burden associated
with the QCDR submission
requirements will be the time and effort
associated with calculating quality
measure results from the data submitted
to the QCDR by its participants and
submitting these results, the numerator
and denominator data on quality
measures, the Promoting
Interoperability performance category,
and improvement activities data to us
on behalf of their participants. We
expect that the time needed for a QCDR
to accomplish these tasks will vary
along with the number of MIPS eligible
clinicians submitting data to the QCDR
and the number of applicable measures.
However, we believe that QCDRs
already perform many of these activities
for their participants. As stated in
section III.K.3.g.(3)(a)(i), based on our
review of existing 2019 QCDRs through
the 2019 QCDR Qualified Posting,
approximately 92 QCDRs, or about 72
percent of the QCDRs currently
participating in the program are
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supporting these three performance
categories. In addition, through our
review of previous qualified postings for
the 2018 and 2017 MIPS performance
periods, we have observed that in 2018,
73 percent (approximately 110 QCDRs)
and in 2017, 73 percent (approximately
83 QCDRs) have supported all three of
the quality, Promoting Interoperability,
and improvement activity performance
categories. Given this, we believe it is
reasonable that all QCDRs have the
capacity to support the improvement
activities and Promoting Interoperability
performance categories and are not
making any further changes to our
burden estimates. Therefore, we believe
the 2,912-hour estimate noted in this
section represents the upper bound of
QCDR burden, with the potential for
less additional MIPS burden if the
QCDR already provides similar data
submission services.
(4) CAHPS for MIPS Survey Vendor
This rule does not propose any new
or revised collection of information
requirements or burden related to CMS-
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approved CAHPS for MIPS survey
vendors. The requirements and burden
are currently approved by OMB under
control number 0938–1222 (CMS–
10450). Consequently, we are not
making any MIPS survey vendor
changes under that control number.
d. ICRs Regarding Quality Data
Submission (§§ 414.1325 and 414.1335)
(1) Background
As explained below, this rule would
adjust the number of respondents based
on current data. The adjustment would
increase our total burden estimates
while keeping our ‘‘per response’’
estimates unchanged. We are not
revising any requirements regarding the
number of measures to be submitted or
the manner in which they may be
submitted.
Under our current policies, two
groups of clinicians must submit quality
data under MIPS: Those who submit as
MIPS eligible clinicians and those who
opt to submit data voluntarily but are
not be subject to MIPS payment
adjustments.
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Clinicians are ineligible for MIPS if
they are newly enrolled to Medicare; are
QPs; are partial QPs who elect to not
participate in MIPS; are not one of the
clinician types included in the
definition for MIPS eligible clinician; or
do not exceed the low-volume threshold
as an individual or as a group.
To determine which QPs should be
excluded from MIPS, we used the QP
List for the 2019 predictive file that
contains current participation in
Advanced APMs as of January 15, 2019,
that could be connected into our
respondent data and are the best
estimate of future expected QPs. From
this data, we calculated the QP
determinations as described in the
Qualifying APM Participant definition
at § 414.1305 for the 2020 QP
performance period. We assumed that
all partial QPs would participate in
MIPS data collections. Due to data
limitations, we could not identify
specific clinicians who have not yet
enrolled in APMs, but who may become
QPs in the future 2020 Medicare QP
Performance Period (and therefore
would no longer need to submit data to
MIPS); hence, our model may under
estimate or overestimate the number of
respondents.
Using participation data from the
2017 MIPS performance period
combined with the estimate of QPs for
the 2020 performance period, we
estimate a total of 833,243 clinicians
will submit quality data as individuals
or groups in the 2020 MIPS performance
period, a decrease of 131,003 clinicians
when compared to our estimate of
964,246 clinicians in the CY 2019 PFS
final rule (83 FR 60002). As previously
stated in section IV.B.7.(a.(2),
respondent data from the 2018 MIPS
performance period was unavailable at
the time of publication of this proposed
rule. Assuming that updated respondent
data becomes available before the
publication of the CMS–1715–F final
rule, we will revise our burden
estimates in that rule.
In the CY 2017 Quality Payment
Program final rule, we assumed that any
clinician that submits quality data codes
to us for the Medicare Part B claims
collection type is intending to do so for
the Quality Payment Program to ensure
that we fully accounted for any burden
that may have resulted from our policies
(81 FR 77501 through 77504); we
continued using this assumption in both
the CY 2018 Quality Payment Program
final rule and the CY 2019 PFS final
rule. In the CY 2019 PFS final rule, we
finalized limiting the Medicare Part B
claims collection type to small practices
beginning with the 2021 MIPS payment
year and allowing clinicians in small
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practices to report Medicare Part B
claims as a group or as individuals (83
FR 59752). However, we also elected to
continue using the assumption that all
clinicians (except QPs) who submitted
data via the Medicare Part B claims
collection type in the 2017 MIPS
performance period would continue to
do so for MIPS to avoid overstating the
impact of the change as we lacked the
data to accurately estimate both the
number of clinicians who would be
impacted by the finalized policies and
the potential behavioral response of
those clinicians who would be required
to switch to another collection type (83
FR 60001). For this proposed rule,
beginning with the 2020 MIPS
performance period, we assume only
clinicians in small practices who
submitted quality data via Medicare Part
B claims in the 2017 MIPS performance
period will continue to do so for the
2020 MIPS performance period. Further,
we assume that clinicians in other
practices (not small practices) who meet
at least one of the following criteria will
not need to find an alternate collection
type for submitting quality performance
category data for the Quality Payment
Program for the 2020 MIPS performance
period: (1) Facility-based; (2) submitted
quality data via Medicare Part B claims
and at least one other collection type; or
(3) were previously scored as part of a
group. Finally, we assume clinicians in
other practices (not small practices) who
meet all of the following criteria will
submit via the MIPS CQM collection
type for the 2020 MIPS performance
period because the Medicare Part B
claims collection type will no longer be
available as an option for collecting and
reporting quality data: (1) Scored as
individuals; (2) not facility-based; and
(3) submitted quality data only via the
Medicare Part B claims collection type
in the 2017 MIPS performance period.
Because we do not have data to
accurately predict what collection type
each affected clinician would use to
collect and report quality data, we
assume that the affected clinicians will
select the MIPS CQM collection type
because, when compared to Medicare
Part B claims, we believe this is the next
most accessible and least burdensome
alternative. Our assumptions result in a
121,858 decrease in the estimated
number of clinicians who will submit
quality data via Medicare Part B claims
and a 15,556 increase in the number of
clinicians who will submit via the
QCDR/MIPS CQM collection type, as
shown in Table 69.
We assume that 100 percent of APM
Entities in MIPS APMs will submit
quality data to CMS as required under
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40855
their models. Consistent with
assumptions used in the CY 2019 PFS
final rule (83 FR 60000 through 60001),
we include all quality data voluntarily
submitted by MIPS APM participants
made at the individual or TIN-level in
our respondent estimates. Therefore, we
are not making any adjustments to our
respondent estimates as a result of the
proposal discussed in section
III.K.3.c.(5)(c)(i)(A) of this proposed
rule, which allows MIPS eligible
clinicians participating in MIPS APMs
to elect to report MIPS quality measures
at either the individual or TIN-level
under the APM scoring standard
beginning in the 2020 MIPS
performance period. To estimate who
will be a MIPS APM participant in the
2020 MIPS performance period, we used
the latest 2019 predictive file that
contains current participation in MIPS
APMs as of January 15, 2019, using all
available data. This file was selected to
better reflect the expected increase in
the number of MIPS APMs in future
years compared to previous APM
eligibility files. If a MIPS eligible
clinician is determined to not be scored
as a MIPS APM, then their reporting
assumption is based on their reporting
for the CY 2017 MIPS performance
period. For clinicians who participated
in an APM in 2017, were not in an APM
in 2019, and did not report MIPS quality
data in 2017, we assume they will elect
to report to MIPS via the MIPS CQM
collection type, similar to our
previously stated assumption regarding
clinicians who are required to use an
alternate reporting option. In addition,
we assume that the 80 TINs that elect to
form 16 virtual groups will continue to
collect and submit MIPS data using the
same collection and submission types as
they did during the 2017 MIPS
performance period, but the submission
will be at the virtual group, rather than
group level.
Our burden estimates for the quality
performance category do not include the
burden for the quality data that APM
Entities submit to fulfill the
requirements of their APMs. The burden
is excluded as sections 1899(e) and
1115A(d)(3) of the Act (42 U.S.C.
1395jjj(e) and 1315a(d)(3), respectively)
state that the Shared Savings Program
and the testing, evaluation, and
expansion of Innovation Center models
tested under section 1115A of the Act
(or section 3021 of the Affordable Care
Act) are not subject to the PRA.140
Tables 69, 70, and 71 explain our
140 Our estimates do reflect the burden on MIPS
APM participants of submitting Promoting
Interoperability performance category data, which
is outside the requirements of their APMs.
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revised estimates of the number of
organizations (including groups, virtual
groups, and individual MIPS eligible
clinicians) submitting data on behalf of
clinicians segregated by collection type.
Table 69 provides our estimated
counts of clinicians that will submit
quality performance category data as
MIPS individual clinicians or groups in
the 2020 MIPS performance period
based on data from the 2017 MIPS
performance period.
For the 2020 MIPS performance
period, respondents will have the
option to submit quality performance
category data via Medicare Part B
claims, direct, and log in and upload
submission types, and CMS Web
Interface. We estimate the burden for
collecting data via collection type:
Claims, QCDR and MIPS CQMs, eCQMs,
and the CMS Web Interface. We believe
that, while estimating burden by
submission type may be better aligned
with the way clinicians participate with
the Quality Payment Program, it is more
important to reduce confusion and
enable greater transparency by maintain
consistency with previous rulemaking.
For an individual, group, or thirdparty to submit MIPS quality,
improvement activities, or Promoting
Interoperability performance category
data using either the log in and upload
or the log in and attest submission type
or to access feedback reports, the
submitter must have a CMS Enterprise
Portal user account. Once the user
account is created using the Identity
Management Application Process,
registration is not required again for
future years.
Table 69 shows that in the 2020 MIPS
performance period, an estimated
109,951 clinicians will submit data as
individuals for the Medicare Part B
claims collection type; 359,621
clinicians will submit data as
individuals or as part of groups for the
MIPS CQM or QCDR collection types;
247,329 clinicians will submit data as
individuals or as part of groups via
eCQM collection types; and 116,342
clinicians will submit as part of groups
via the CMS Web Interface.
Table 69 provides estimates of the
number of clinicians to collect quality
measures data via each collection type,
regardless of whether they decide to
submit as individual clinicians or as
part of groups. Because our burden
estimates for quality data submission
assume that burden is reduced when
clinicians elect to submit as part of a
group, we also separately estimate the
expected number of clinicians to submit
as individuals or part of groups.
TABLE 69—ESTIMATED NUMBER OF CLINICIANS SUBMITTING QUALITY PERFORMANCE CATEGORY DATA BY COLLECTION
TYPE
Medicare
Part B claims
Number of clinicians to collect data by collection type (as
individual clinicians or groups) in 2020 MIPS performance period (excludes QPs) (a) .......................................
* Number of clinicians to collect data by collection type (as
individual clinicians or groups) in 2019 MIPS performance period (excludes QPs) (b) .......................................
Difference between 2020 MIPS performance period (CY
2020 Proposed Rule) and 2019 MIPS performance period (CY 2019 Final Rule) (c) = (a)¥(b) ..........................
QCDR/MIPS
CQM
eCQM
CMS web
interface
Total
109,951
359,621
247,329
116,342
833,243
257,260
324,693
243,062
139,231
964,246
¥147,309
34,928
4,267
¥22,889
¥131,003
* Currently approved by OMB under control number 0938–1314 (CMS–10621).
In the CY 2018 Quality Payment
Program final rule (82 FR 53625 through
53626), beginning with the 2019 MIPS
performance period, we allowed MIPS
eligible clinicians to submit data for
multiple collection types for a single
performance category. Therefore, with
the exception of clinicians not in small
practices who previously submitted
quality data via Medicare Part B claims,
we captured the burden of any eligible
clinician that may have historically
collected via multiple collection types,
as we assume they will continue to
collect via multiple collection types and
that our MIPS scoring methodology will
take the highest score where the same
measure is submitted via multiple
collection types. Hence, the estimated
numbers of individual clinicians and
groups to collect via the various
collection types are not mutually
exclusive and reflect the occurrence of
individual clinicians or groups that
collected data via multiple collection
types during the 2017 MIPS
performance period.
Table 70 uses methods similar to
those described to estimate the number
of clinicians that will submit data as
individual clinicians via each collection
type in the 2020 MIPS performance
period. We estimate that approximately
109,951 clinicians will submit data as
individuals using the Medicare Part B
claims collection type; approximately
106,039 clinicians will submit data as
individuals using MIPS CQMs or QCDR
collection types; and approximately
47,455 clinicians will submit data as
individuals using eCQMs collection
type.
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TABLE 70—ESTIMATED NUMBER OF CLINICIANS SUBMITTING QUALITY PERFORMANCE CATEGORY DATA AS INDIVIDUALS BY
COLLECTION TYPE
Medicare
Part B claims
Number of Clinicians to submit data as individuals in 2020
MIPS Performance Period (excludes QPs) (a) ................
* Number of Clinicians to submit data as individuals in
2019 MIPS Performance Period (excludes QPs) (b) .......
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QCDR/MIPS
CQM
eCQM
CMS web
interface
Total
109,951
106,039
47,455
0
263,445
257,260
71,439
47,557
0
376,256
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TABLE 70—ESTIMATED NUMBER OF CLINICIANS SUBMITTING QUALITY PERFORMANCE CATEGORY DATA AS INDIVIDUALS BY
COLLECTION TYPE—Continued
Medicare
Part B claims
Difference between 2020 MIPS Performance Period (CY
2020 proposed rule) and 2019 MIPS performance period (CY 2019 final rule) (c) = (a)¥(b) ............................
QCDR/MIPS
CQM
¥147,309
CMS web
interface
eCQM
¥102
+34,600
Total
0
¥112,811
* Currently approved by OMB under control number 0938–1314 (CMS–10621).
Consistent with the policy finalized in
the CY 2018 Quality Payment Program
final rule that for MIPS eligible
clinicians who collect measures via
Medicare Part B claims, MIPS CQM,
eCQM, or QCDR collection types and
submit more than the required number
of measures (82 FR 53735 through
54736), we will score the clinician on
the required measures with the highest
assigned measure achievement points
and thus, the same clinician may be
counted as a respondent for more than
one collection type. Therefore, our
columns in Table 70 are not mutually
exclusive.
Table 71 provides our estimated
counts of groups or virtual groups that
will submit quality data on behalf of
clinicians for each collection type in the
2020 MIPS performance period and
reflects our assumption that the
formation of virtual groups will reduce
burden. With the previously discussed
exceptions regarding groups who
experienced a change in APM
participation status between the 2017
and 2019 MIPS performance periods, we
assume that groups that submitted
quality data as groups in the 2017 MIPS
performance period will continue to
submit quality data either as groups or
virtual groups for the same collection
types as they did as a group or TIN
within a virtual group for the 2020 MIPS
performance period. First, we estimated
the number of groups or virtual groups
that will collect data via each collection
type during the 2020 MIPS performance
period using data from the 2017 MIPS
performance period. The second and
third steps in Table 71 reflect our
currently approved assumption that
virtual groups will reduce the burden
for quality data submission by reducing
the number of organizations that will
submit quality data on behalf of
clinicians. We assume that 40 groups
that previously collected on behalf of
clinicians via QCDR or MIPS CQM
collection types will elect to form 8
virtual groups that will collect via
QCDR and MIPS CQM collection types.
We assume that another 40 groups that
previously collected on behalf of
clinicians via eCQM collection types
will elect to form another 8 virtual
groups that will collect via eCQM
collection types. Hence, the second step
in Table 71 is to subtract out the
estimated number of groups under each
collection type that will elect to form
virtual groups, and the third step in
Table 71 is to add in the estimated
number of virtual groups that will
submit on behalf of clinicians for each
collection type.
Specifically, we assume that 10,552
groups and virtual groups will submit
data for the QCDR or MIPS CQM
collection types on behalf of 253,582
clinicians; 4,332 groups and virtual
groups will submit for eCQM collection
types on behalf of 199,874 eligible
clinicians; and 104 groups will submit
data via the CMS Web Interface on
behalf of 116,342 clinicians.
TABLE 71—ESTIMATED NUMBER OF GROUPS AND VIRTUAL GROUPS SUBMITTING QUALITY PERFORMANCE CATEGORY
DATA BY COLLECTION TYPE ON BEHALF OF CLINICIANS
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Medicare
Part B claims
Number of groups to collect data by collection type (on
behalf of clinicians) in 2020 MIPS performance period
(excludes QPs) (a) ...........................................................
Subtract out: Number of groups to collect data by collection type on behalf of clinicians in 2020 MIPS performance period that will submit as virtual groups (b) ............
Add in: Number of virtual groups to collect data by collection type on behalf of clinicians in 2020 MIPS performance period (c) .................................................................
Number of groups to collect data by collection type on behalf of clinicians in 2020 MIPS performance period (d) =
(a)¥(b) + (c) ....................................................................
* Number of groups to collect data by collection type on
behalf of clinicians in 2019 MIPS performance period (e)
Difference between 2020 MIPS performance period (CY
2020 proposed rule) and 2019 MIPS performance period (CY 2019 final rule) (f) = (d)¥(e) .............................
QCDR/MIPS
CQM
CMS web
interface
eCQM
Total
0
10,584
4,364
104
15,052
0
40
40
0
80
0
8
8
0
16
0
10,552
4,332
104
14,988
0
10,542
4,304
286
15,132
0
10
28
¥182
¥144
* Currently approved by OMB under control number 0938–1314 (CMS–10621).
The burden associated with the
submission of quality performance
category data have some limitations. We
believe it is difficult to quantify the
burden accurately because clinicians
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and groups may have different processes
for integrating quality data submission
into their practices’ workflows.
Moreover, the time needed for a
clinician to review quality measures and
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other information, select measures
applicable to their patients and the
services they furnish, and incorporate
the use of quality measures into the
practice workflows is expected to vary
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along with the number of measures that
are potentially applicable to a given
clinician’s practice and by the collection
type. For example, clinicians submitting
data via the Medicare Part B claims
collection type need to integrate the
capture of quality data codes for each
encounter whereas clinicians submitting
via the eCQM collection types may have
quality measures automated as part of
their EHR implementation.
We believe the burden associated
with submitting quality measures data
will vary depending on the collection
type selected by the clinician, group, or
third-party. As such, we separately
estimated the burden for clinicians,
groups, and third parties to submit
quality measures data by the collection
type used. For the purposes of our
burden estimates for the Medicare Part
B claims, MIPS CQM and QCDR, and
eCQM collection types, we also assume
that, on average, each clinician or group
will submit 6 quality measures. In terms
of the quality measures available for
clinicians and groups to report for the
2020 MIPS performance period, the total
number of quality measures will be 206.
The new MIPS quality measures
proposed for inclusion in MIPS for the
2020 MIPS performance period and
future years are found in Table Group A
of Appendix 1; MIPS quality measures
with proposed substantive changes can
be found in Table Group D of Appendix
1; and MIPS quality measures proposed
for removal can be found in Table
Group C of Appendix 1. These measures
are stratified by collection type in Table
72, as well as counts of new, removed,
and substantively changed measures.
TABLE 72—SUMMARY OF QUALITY MEASURES FOR THE 2020 MIPS PERFORMANCE PERIOD
Number
measures
proposed
as new
Collection type
Number
measures
proposed
for removal
Number
measures
proposed
with a
substantive
change *
Number
measures
remaining
for CY 2020
Medicare Part B Claims Specifications ...........................................................
MIPS CQMs Specifications .............................................................................
eCQM Specifications .......................................................................................
Survey—CSV ...................................................................................................
CMS Web Interface Measure Specifications ...................................................
Administrative Claims ......................................................................................
0
3
1
0
1
0
17
52
6
0
1
0
22
77
33
0
9
0
47
184
45
1
10
1
Total ** ......................................................................................................
4
55
95
206
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* This column includes all measures that have a requested substantive change from the measure stewards. The total of 95 substantive
changes reflects both measures that will continue and a subset of measures that have been proposed for removal for PY2020. There are 73
substantive changes that are proposed in Appendix 1 for measures not being proposed for removal.
** A measure may be specified under multiple collection types but will only be counted once in the total.
For the 2020 MIPS performance
period, there is a net reduction of 51
quality measures across all collection
types compared to the 257 measures
finalized for the 2019 MIPS performance
period (83 FR 60003). We do not
anticipate that removing these measures
will increase or decrease the reporting
burden on clinicians and groups as
respondents are still required to submit
quality data for 6 measures. Likewise,
we do not anticipate a change in
reporting burden as a result of the one
proposed administrative claims measure
(The All-Cause Unplanned Admissions
for Patients with Multiple Chronic
Conditions measure) which is being
proposed for the 2021 MIPS
performance period as discussed in
section III.K.3.c.(1)(d)(ii) of this rule.
As discussed in section
III.K.3.c.(1)(c)(ii) of this rule, we are
proposing to adopt a higher data
completeness threshold (the percentage
of eligible patients the clinician must
check to see whether the measure
applies to) for the 2020 MIPS
performance period, such that MIPS
eligible clinicians and groups
submitting quality measure data on
QCDR measures, MIPS CQMs, and
eCQMs must submit data on at least 70
percent of the MIPS eligible clinician or
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group’s patients that meet the
denominator criteria, regardless of payer
for the 2020 MIPS performance period.
We believe this proposal may increase
administrative burden for some
clinicians as it affects the amount of
data they have to collect, but will have
no impact on regulatory burden as it
affects neither the number of quality
measures they are required to report nor
the amount of data they must report for
each quality measure once results have
been aggregated.
(2) Quality Payment Program Identity
Management Application Process
This rule does not propose any new
or revised collection of information
requirements or burden related to the
identity management application
process. The requirements and burden
are currently approved by OMB under
control number 0938–1314 (CMS–
10621). Consequently, we are not
making any identity management
application process changes under that
control number.
(3) Quality Data Submission by
Clinicians: Medicare Part B ClaimsBased Collection Type
This rule does not propose any new
or revised collection of information
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requirements related to the submission
of Medicare Part B claims data for the
quality performance category. However,
we are proposing adjustments to our
currently approved burden estimates
based on more recent data. The
proposed requirements and burden will
be submitted to OMB for approval under
control number 0938–1314 (CMS–
10621).
As noted in Table 69, based on 2017
MIPS performance period data, we
assume that 109,951 individual
clinicians will collect and submit
quality data via the Medicare Part B
claims collection type. This rule
proposes to adjust the number of
Medicare Part B claims respondents
from 257,260 to 109,951 (a decrease of
147,309) based on more recent data and
our updated methodology of accounting
only for clinicians in small practices
who submitted such claims data in the
2017 MIPS performance period rather
than all clinicians who submitted
quality data codes to us for the Medicare
Part B claims collection type. We
continue to anticipate that the Medicare
Part B claims submission process for
MIPS is operationally similar to the way
the claims submission process
functioned under the PQRS.
Specifically, clinicians will need to
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Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
gather the required information, select
the appropriate QDCs, and include the
appropriate QDCs on the Medicare Part
B claims they submit for payment.
Clinicians will collect QDCs as
additional (optional) line items on the
CMS–1500 claim form or the electronic
equivalent HIPAA transaction 837–P,
approved by OMB under control
number 0938–1197. This proposed
rule’s provisions do not necessitate the
revision of either form and we are
making no changes to the associated
estimate of reporting burden.
As shown in Table 73, consistent with
our currently approved per respondent
burden estimates, we estimate that the
burden of quality data submission using
Medicare Part B claims will range from
0.15 hours at a cost of $13.50 (0.15 hr
× $90.02/hr) to 7.2 hours at a cost of
$648.14 (7.2 hr × $90.02/hr) per
respondent. The burden will involve
becoming familiar with MIPS data
40859
minimum of 7.15 hours (0.15 hr + 7 hr)
to a maximum of 14.2 hours (7.2 hr +
7 hr). In this regard the total annual time
ranges from 786,150 hours (7.15 hr ×
109,951 clinicians) to 1,561,304 hours
(14.2 hr × 109,951 clinicians). The
estimated annual cost (per clinician)
ranges from $717.70 [(0.15 hr × $90.02/
hr) + (3 hr × $109.36/hr) + (1 hr ×
$90.02/hr) + (1 hr × $45.24/hr) + (1 hr
× $38.00/hr + (1 hr × $202.86/hr)] to a
maximum of $1,352.34 [(7.2 hr ×
$90.02/hr) + (3 hr × $109.36/hr) + (1 hr
× $90.02/hr) + (1 hr × $45.24/hr) + (1 hr
× $38.00/hr + (1 hr × $202.86/hr)]. The
total annual cost ranges from a
minimum of $78,912,163 (109,951
clinicians × $717.70) to a maximum of
$148,691,575 (109,951 clinicians ×
$1,352.34).
Table 73 summarizes the range of
total annual burden associated with
clinicians submitting quality data via
Medicare Part B claims.
submission requirements. We believe
that the start-up cost for a clinician’s
practice to review measure
specifications is 7 hours, consisting of 3
hours at $109.36/hr for a practice
administrator, 1 hour at $202.86/hr for
a clinician, 1 hour at $45.24/hr for an
LPN/medical assistant, 1 hour at $90.02/
hr for a computer systems analyst, and
1 hour at $38.00/hr for a billing clerk.
We are not proposing revisions to our
currently approved per response burden
estimates.
The estimate for reviewing and
incorporating measure specifications for
the claims collection type is higher than
that of QCDRs/Registries or eCQM
collection types due to the more
manual, and therefore, more
burdensome nature of Medicare Part B
claims measures.
Considering both data submission and
start-up requirements, the estimated
time (per clinician) ranges from a
TABLE 73—ESTIMATED BURDEN FOR QUALITY PERFORMANCE CATEGORY: CLINICIANS USING THE MEDICARE PART B
CLAIMS COLLECTION TYPE
Minimum
burden
Maximum
burden
# of Clinicians (a) .........................................................................................................................
Hours Per Clinician to Submit Quality Data (b) ..........................................................................
# of Hours Practice Administrator Review Measure Specifications (c) ......................................
# of Hours Computer Systems Analyst Review Measure Specifications (d) ..............................
# of Hours LPN Review Measure Specifications (e) ...................................................................
# of Hours Billing Clerk Review Measure Specifications (f) .......................................................
# of Hours Clinician Review Measure Specifications (g) ............................................................
Annual Hours per Clinician (h) = (b) + (c) + (d) + (e) + (f) + (g) ................................................
109,951
0.15
3
1
1
1
1
7.15
109,951
1.05
3
1
1
1
1
8.05
109,951
7.2
3
1
1
1
1
14.2
Total Annual Hours (i) = (a) * (h) .........................................................................................
786,150
885,106
1,561,304
Cost to Submit Quality Data (@computer systems analyst’s labor rate of $90.02/hr) (j) ..........
Cost to Review Measure Specifications (@practice administrator’s labor rate of $109.36/hr)
(k) .............................................................................................................................................
Cost to Review Measure Specifications (@computer systems analyst’s labor rate of $90.02/
hr) (l) .........................................................................................................................................
Cost to Review Measure Specifications (@LPN’s labor rate of $45.24/hr) (m) .........................
Cost to Review Measure Specifications (@billing clerk’s labor rate of $38.00/hr) (n) ...............
Cost to Review Measure Specifications (@physician’s labor rate of $202.86/hr) (o) ................
$13.50
$94.52
$648.14
$328.08
$328.08
$328.08
$90.02
$45.24
$38.00
$202.86
$90.02
$45.24
$38.00
$202.86
$90.02
$45.24
$38.00
$202.86
Total Annual Cost Per Clinician (p) = (j) + (k) + (l) + (m) + (n) + (o) ..................................
$717.70
$798.72
$1,352.34
Total Annual Cost (q) = (a) * (p) ...................................................................................
$78,912,163
$87,820,173
$148,691,575
As shown in Table 74, using the
unchanged currently approved per
respondent burden estimates which
range from $717.70 to $1,352.34, the
decrease in number of respondents from
khammond on DSKBBV9HB2PROD with PROPOSALS2
Median
burden
257,260 to 109,951 results in a total
adjustment of between ¥1,053,259
hours (¥147,309 respondents × 7.15 hr/
respondent) at a cost of ¥$105,724,111
(¥147,309 respondents × $717.70/
respondent) and ¥2,091,788 hours
(¥147,309 respondents × 14.2 hr/
respondent) at a cost of ¥$199,212,442
(¥147,309 respondents × $1,352.34/
respondent).
TABLE 74—CHANGE IN ESTIMATED BURDEN FOR QUALITY PERFORMANCE CATEGORY: CLINICIANS USING THE MEDICARE
PART B CLAIMS COLLECTION TYPE
Minimum
burden
Total Annual Hours for Respondents in CY 2019 Final Rule (a) .............................
Total Annual Hours for Respondents in CY 2020 Proposed Rule (b) ......................
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Median
burden
1,839,409
786,150
E:\FR\FM\14AUP2.SGM
2,070,943
885,106
14AUP2
Maximum
burden
3,653,092
1,561,304
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TABLE 74—CHANGE IN ESTIMATED BURDEN FOR QUALITY PERFORMANCE CATEGORY: CLINICIANS USING THE MEDICARE
PART B CLAIMS COLLECTION TYPE—Continued
Minimum
burden
Median
burden
Maximum
burden
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (c) =
(b)¥(a) ............................................................................................................
Total Annual Cost for Respondents in CY 2019 Final Rule (d) ................................
Total Annual Cost for Respondents in CY 2020 Proposed Rule (e) ........................
¥1,053,259
$184,636,274
$78,912,163
¥1,185,837
$205,478,964
$87,820,173
¥2,091,788
$347,904,017
$148,691,575
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (f) =
(e)¥(d) ............................................................................................................
¥$105,724,111
¥$117,658,791
¥$199,212,442
(4) Quality Data Submission by
Individuals and Groups Using MIPS
CQM and QCDR Collection Types
This rule does not propose any new
or revised collection of information
requirements related to the MIPS CQM
or QCDR collection types. However, we
are proposing adjustments to our
currently approved burden estimates
based on more recent data. The
proposed requirements and burden will
be submitted to OMB for approval under
control number 0938–1314 (CMS–
10621).
As noted in Tables 69, 70, and 71, and
based on 2017 MIPS performance period
data, we assume that 359,621 clinicians
will submit quality data as individuals
or groups using MIPS CQM or QCDR
collection types. Of these, we expect
106,039 clinicians, as shown in Table
70, will submit as individuals and
10,552 groups and virtual groups, as
shown in Table 71, are expected to
submit on behalf of the remaining
253,582 clinicians. As previously stated,
we assume clinicians in other practices
(not small practices) who meet all of the
following criteria will submit via the
MIPS CQM collection type for the 2020
MIPS performance period because the
Medicare Part B claims collection type
will no longer be available as an option
for collecting and reporting quality data:
(1) Scored as individuals; (2) not
facility-based; and (3) submitted quality
data only via the Medicare Part B claims
collection type in the 2017 MIPS
performance period. As a result of this
assumption and our use of more recent
data, this rule proposes to adjust the
number of QCDR and MIPS CQM
respondents from 81,981 to 116,591 (an
increase of 34,610). Given that the
number of measures required is the
same for clinicians and groups, we
expect the burden to be the same for
each respondent collecting data via
MIPS CQM or QCDR, whether the
clinician is participating in MIPS as an
individual or group.
Under the MIPS CQM and QCDR
collection types, the individual
clinician or group may either submit the
quality measures data directly to us, log
in and upload a file, or utilize a thirdparty intermediary to submit the data to
us on the clinician’s or group’s behalf.
We estimate that the burden
associated with the QCDR collection
type is similar to the burden associated
with the MIPS CQM collection type;
therefore, we discuss the burden for
both together below. For MIPS CQM and
QCDR collection types, we estimate an
additional time for respondents
(individual clinicians and groups) to
become familiar with MIPS collection
requirements and, in some cases,
specialty measure sets and QCDR
measures. Therefore, we believe that the
burden for an individual clinician or
group to review measure specifications
and submit quality data total 9.083
hours at $872.37 per individual
clinician or group. This consists of 3
hours at $90.02/hr for a computer
systems analyst (or their equivalent) to
submit quality data along with 2 hours
at $109.36/hr for a practice
administrator, 1 hour at $90.02/hr for a
computer systems analyst, 1 hour at
$45.24/hr for a LPN/medical assistant, 1
hour at $38.00/hr for a billing clerk, and
1 hour at $202.86/hr for a clinician to
review measure specifications.
Additionally, clinicians and groups who
do not submit data directly will need to
authorize or instruct the qualified
registry or QCDR to submit quality
measures’ results and numerator and
denominator data on quality measures
to us on their behalf. We estimate that
the time and effort associated with
authorizing or instructing the quality
registry or QCDR to submit this data
will be approximately 5 minutes (0.083
hours) per clinician or group
(respondent) for a cost of $7.50 (0.083 hr
× $90.02/hr for a computer systems
analyst).
In aggregate, we estimate an annual
burden of 1,058,996 hours (9.083 hr/
response × 116,591 groups plus
clinicians submitting as individuals) at
a cost of $101,710,684 (116,591
responses × $872.37/response). The
increase in number of respondents from
81,981 to 116,591 results in a total
adjustment of 314,363 hours (34,610
respondents × 9.083 hr/respondent) at a
cost of $30,192,783 (34,610 respondents
× $872.37/respondent). Based on these
assumptions, we have estimated in
Table 75 the burden for these
submissions.
TABLE 75—ESTIMATED BURDEN FOR QUALITY PERFORMANCE CATEGORY: CLINICIANS (PARTICIPATING INDIVIDUALLY OR
AS PART OF A GROUP) USING THE MIPS CQM/QCDR COLLECTION TYPE
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Burden
estimate
# of clinicians submitting as individuals (a) .........................................................................................................................................
# of groups submitting via QCDR or MIPS CQM on behalf of individual clinicians (b) .....................................................................
# of Respondents (groups plus clinicians submitting as individuals) (c) = (a) + (b) ..........................................................................
Hours Per Respondent to Report Quality Data (d) .............................................................................................................................
# of Hours Practice Administrator Review Measure Specifications (e) ..............................................................................................
# of Hours Computer Systems Analyst Review Measure Specifications (f) .......................................................................................
# of Hours LPN Review Measure Specifications (g) ...........................................................................................................................
# of Hours Billing Clerk Review Measure Specifications (h) ..............................................................................................................
# of Hours Clinician Review Measure Specifications (i) .....................................................................................................................
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106,039
10,552
116,591
3
2
1
1
1
1
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40861
TABLE 75—ESTIMATED BURDEN FOR QUALITY PERFORMANCE CATEGORY: CLINICIANS (PARTICIPATING INDIVIDUALLY OR
AS PART OF A GROUP) USING THE MIPS CQM/QCDR COLLECTION TYPE—Continued
Burden
estimate
# of Hours Per Respondent to Authorize Qualified Registry to Report on Respondent’s Behalf (j) ..................................................
Annual Hours Per Respondent (k) = (d) + (e) + (f) + (g) + (h) + (i) + (j) ...........................................................................................
0.083
9.083
Total Annual Hours (l) = (c) * (k) .................................................................................................................................................
1,058,996
Cost Per Respondent to Submit Quality Data (@computer systems analyst’s labor rate of $90.02/hr) (m) .....................................
Cost to Review Measure Specifications (@practice administrator’s labor rate of $109.36/hr) (n) .....................................................
Cost Computer System’s Analyst Review Measure Specifications (@computer systems analyst’s labor rate of $90.02/hr) (o) ......
Cost LPN Review Measure Specifications (@LPN’s labor rate of $45.24/hr) (p) ..............................................................................
Cost Billing Clerk Review Measure Specifications (@clerk’s labor rate of $38.00/hr) (q) .................................................................
Cost Clinician Review Measure Specifications (@physician’s labor rate of $202.86/hr) (r) ..............................................................
Cost for Respondent to Authorize Qualified Registry/QCDR to Report on Respondent’s Behalf (@computer systems analyst’s
labor rate of $90.02/hr) (s) ...............................................................................................................................................................
$270.06
$218.72
$90.02
$45.24
$38.00
$202.86
Total Annual Cost Per Respondent (t) = (m) + (n) + (o) + (p) + (q) + (r) + (s) ...........................................................................
$872.37
Total Annual Cost (u) = (c) * (t) ...................................................................................................................................................
$101,710,684
As shown in Table 76, using the
unchanged currently approved per
respondent burden estimate, the
increase in number of respondents from
81,981 to 116,591 results in a total
difference of 314,363 hours (34,610
$7.50
respondents × 9.083 hr/respondent) at a
cost of $30,192,783 (34,610 respondents
× $872.37/respondent).
TABLE 76—CHANGE IN ESTIMATED BURDEN FOR QUALITY PERFORMANCE CATEGORY: CLINICIANS (PARTICIPATING
INDIVIDUALLY OR AS PART OF A GROUP) USING THE MIPS CQM/QCDR COLLECTION TYPE
Burden
estimate
Total Annual Hours for Respondents in CY 2019 Final Rule (a) .......................................................................................................
Total Annual Hours for Respondents in CY 2020 Proposed Rule (b) ................................................................................................
744,633
1,058,996
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (c) = (b)¥(a) ...............................................................
314,363
Total Annual Cost for Respondents in CY 2019 Final Rule (d) ..........................................................................................................
Total Annual Cost for Respondents in CY 2020 Proposed Rule (e) ..................................................................................................
$71,517,901
$101,710,684
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (f) = (e)¥(d) ................................................................
$30,192,783
khammond on DSKBBV9HB2PROD with PROPOSALS2
(5) Quality Data Submission by
Clinicians and Groups: eCQM
Collection Type
This rule does not propose any new
or revised collection of information
requirements related to the eCQM
collection type. However, we are
proposing to adjust our currently
approved burden estimates based on
more recent data. The proposed
requirements and burden will be
submitted to OMB for approval under
control number 0938–1314 (CMS–
10621).
As noted in Tables 69, 70, and 71,
based on 2017 MIPS performance period
data, we assume that 247,329 clinicians
will elect to use the eCQM collection
type; 47,455 clinicians are expected to
submit eCQMs as individuals; and 4,332
groups and virtual groups are expected
to submit eCQMs on behalf of the
remaining 199,874 clinicians. This rule
proposes to adjust the number of eCQM
respondents from 51,861 to 51,787 (a
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decrease of 74) based on more recent
data. We expect the burden to be the
same for each respondent using the
eCQM collection type, whether the
clinician is participating in MIPS as an
individual or group.
Under the eCQM collection type, the
individual clinician or group may either
submit the quality measures data
directly to us from their eCQM, log in
and upload a file, or utilize a third-party
intermediary to derive data from their
CEHRT and submit it to us on the
clinician’s or group’s behalf.
To prepare for the eCQM collection
type, the clinician or group must review
the quality measures on which we will
be accepting MIPS data extracted from
eCQMs, select the appropriate quality
measures, extract the necessary clinical
data from their CEHRT, and submit the
necessary data to the CMS-designated
clinical data warehouse or use a health
IT vendor to submit the data on behalf
of the clinician or group. We assume the
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burden for collecting quality measures
data via eCQM is similar for clinicians
and groups who submit their data
directly to us from their CEHRT and
clinicians and groups who use a health
IT vendor to submit the data on their
behalf. This includes extracting the
necessary clinical data from their
CEHRT and submitting the necessary
data to the CMS-designated clinical data
warehouse.
We estimate that it will take no more
than 2 hours at $90.02/hr for a computer
systems analyst to submit the actual
data file. The burden will also involve
becoming familiar with MIPS
submission. In this regard, we estimate
it will take 6 hours for a clinician or
group to review measure specifications.
Of that time, we estimate 2 hours at
$109.36/hr for a practice administrator,
1 hour at $202.86/hr for a clinician, 1
hour at $90.02/hr for a computer
systems analyst, 1 hour at $45.24/hr for
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a LPN/medical assistant, and 1 hour at
$38.00/hr for a billing clerk.
In aggregate we estimate an annual
burden of 414,296 hours (8 hr × 51,787
groups and clinicians submitting as
individuals) at a cost of $40,128,711
(51,787 responses × $774.88/response).
Based on these assumptions, we have
estimated in Table 77 the burden for
these submissions.
TABLE 77—ESTIMATED BURDEN FOR QUALITY PERFORMANCE CATEGORY: CLINICIANS (SUBMITTING INDIVIDUALLY OR AS
PART OF A GROUP) USING THE ECQM COLLECTION TYPE
Burden
estimate
# of clinicians submitting as individuals (a) .........................................................................................................................................
# of Groups submitting via EHR on behalf of individual clinicians (b) ................................................................................................
# of Respondents (groups and clinicians submitting as individuals) (c) = (a) + (b) ...........................................................................
Hours Per Respondent to Submit MIPS Quality Data File to CMS (d) ..............................................................................................
# of Hours Practice Administrator Review Measure Specifications (e) ..............................................................................................
# of Hours Computer Systems Analyst Review Measure Specifications (f) .......................................................................................
# of Hours LPN Review Measure Specifications (g) ...........................................................................................................................
# of Hours Billing Clerk Review Measure Specifications (h) ..............................................................................................................
# of Hours Clinicians Review Measure Specifications (i) ...................................................................................................................
Annual Hours Per Respondent (j) = (d) + (e) + (f) + (g) + (h) + (i) ....................................................................................................
47,455
4,332
51,787
2
2
1
1
1
1
8
Total Annual Hours (k) = (c) * (j) .................................................................................................................................................
414,296
Cost
Cost
Cost
Cost
Cost
Cost
Per Respondent to Submit Quality Data (@computer systems analyst’s labor rate of $90.02/hr) (l) .......................................
to Review Measure Specifications (@practice administrator’s labor rate of $109.36/hr) (m) ....................................................
to Review Measure Specifications (@computer systems analyst’s labor rate of $90.02/hr) (n) ...............................................
to Review Measure Specifications (@LPN’s labor rate of $45.24/hr) (o) ..................................................................................
to Review Measure Specifications (@clerk’s labor rate of $38.00/hr) (p) ..................................................................................
to D21Review Measure Specifications (@physician’s labor rate of $202.86/hr) (q) ..................................................................
$180.04
$218.72
$90.02
$45.24
$38.00
$202.86
Total Cost Per Respondent (r) = (l) + (m) + (n) + (o) + (p) + (q) ................................................................................................
$774.88
Total Annual Cost (s) = (c) * (r) ............................................................................................................................................
$40,128,711
As shown in Table 78, using the
unchanged currently approved per
respondent burden estimate, the
decrease in number of respondents from
51,861 to 51,787 results in a total
difference of ¥592 hours (¥74
respondents × 8 hr/respondent) at a cost
of ¥$57,341 (¥74 respondents ×
$774.88/respondent).
TABLE 78—CHANGE IN ESTIMATED BURDEN FOR QUALITY PERFORMANCE CATEGORY: CLINICIANS (PARTICIPATING
INDIVIDUALLY OR AS PART OF A GROUP) USING THE ECQM COLLECTION TYPE
Burden
estimate
Total Annual Hours for Respondents in CY 2019 Final Rule (a) .......................................................................................................
Total Annual Hours for Respondents in CY 2020 Proposed Rule (b) ................................................................................................
414,888
414,296
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (c) = (b)¥(a) ...............................................................
¥592
Total Annual Cost for Respondents in CY 2019 Final Rule (d) ..........................................................................................................
Total Annual Cost for Respondents in CY 2020 Proposed Rule (e) ..................................................................................................
$40,186,052
$40,128,711
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (f) = (e)¥(d) ................................................................
¥$57,341
khammond on DSKBBV9HB2PROD with PROPOSALS2
(6) Quality Data Submission via CMS
Web Interface
This rule does not propose any new
or revised collection of information
requirements related to submission of
quality data via the CMS Web Interface.
However, we are proposing adjustments
to our currently approved burden
estimates based on more recent data.
The proposed requirements and burden
will be submitted to OMB for approval
under control number 0938–1314
(CMS–10621).
We assume that 104 groups will
submit quality data via the CMS Web
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Interface based on the number of groups
who completed 100 percent of reporting
quality data via the Web Interface in the
2018 MIPS performance period. This is
a decrease of 182 groups from the
currently approved number of 286
groups provided in the CY 2019 PFS
final rule (83 FR 60007) due to receipt
of more current data. We estimate that
116,342 clinicians will submit as part of
groups via this method, a decrease of
22,889 from our currently approved
estimate of 139,231 clinicians.
The burden associated with the group
submission requirements is the time and
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effort associated with submitting data
on a sample of the organization’s
beneficiaries that is prepopulated in the
CMS Web Interface. Our burden
estimate for submission includes the
time (61.67 hours) needed for each
group to populate data fields in the web
interface with information on
approximately 248 eligible assigned
Medicare beneficiaries and submit the
data (we will partially pre-populate the
CMS Web Interface with claims data
from their Medicare Part A and B
beneficiaries). The patient data either
can be manually entered, uploaded into
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the CMS Web Interface via a standard
file format, which can be populated by
CEHRT, or submitted directly. Each
group must provide data on 248 eligible
assigned Medicare beneficiaries (or all
eligible assigned Medicare beneficiaries
if the pool of eligible assigned
beneficiaries is less than 248) for each
measure. In aggregate, we estimate an
annual burden of 6,414 hours (104
groups × 61.67 hr) at a cost of $577,359
(6,414 hr × $90.02/hr). Based on the
assumptions discussed in this section,
Table 79 summarizes the burden for
groups submitting to MIPS via the CMS
Web Interface.
TABLE 79—ESTIMATED BURDEN FOR QUALITY DATA SUBMISSION VIA THE CMS WEB INTERFACE
Burden
estimate
# of Eligible Group Practices (a) .........................................................................................................................................................
Total Annual Hours Per Group to Submit (b) ......................................................................................................................................
104
61.67
Total Annual Hours (c) = (a) * (b) ................................................................................................................................................
6,414
Cost Per Group to Report (@computer systems analyst’s labor rate of $90.02/hr.) (d) ....................................................................
$5,551.53
Total Annual Cost (e) = (a) * (d) ..................................................................................................................................................
$577,359
As shown in Table 80, using our
unchanged currently approved per
respondent burden estimate, the
decrease in number of respondents
results in a total adjustment of ¥11,224
hours (¥182 respondents × 61.67 hr) at
¥$1,010,379 (¥11,224 hr × $90.02/hr).
TABLE 80—CHANGE IN ESTIMATED BURDEN FOR QUALITY DATA SUBMISSION VIA THE CMS WEB INTERFACE
Burden
estimate
Total Annual Hours for Respondents in CY 2019 Final Rule (a) .......................................................................................................
Total Annual Hours for Respondents in CY 2020 Proposed Rule (b) ................................................................................................
17,637
6,413
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (c) = (b)¥(a) ...............................................................
¥11,224
Total Annual Cost for Respondents in CY 2019 Final Rule (d) ..........................................................................................................
Total Annual Cost for Respondents in CY 2020 Proposed Rule (e) ..................................................................................................
$1,587,739
$577,359
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (f) = (e)¥(d) ................................................................
¥$1,010,379
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(7) Beneficiary Responses to CAHPS for
MIPS Survey
This rule does not propose any new
or revised collection of information
requirements or burden related to the
CAHPS for MIPS survey. The CAHPS
for MIPS survey requirements and
burden are currently approved by OMB
under control number 0938–1222
(CMS–10450). Consequently, we are not
making any MIPS survey vendor
changes under that control number.
(8) Group Registration for CMS Web
Interface
This rule does not propose any new
or revised collection of information
requirements related to the group
registration for CMS Web Interface.
However, we propose to adjust our
currently approved burden estimates
based on more recent data. The adjusted
burden will be submitted to OMB for
approval under control number 0938–
1314 (CMS–10621).
Groups interested in participating in
MIPS using the CMS Web Interface for
the first time must complete an on-line
registration process. After first time
registration, groups will only need to
opt out if they are not going to continue
to submit via the CMS Web Interface. In
Table 81, we estimate that the
registration process for groups under
MIPS involves approximately 0.25
hours at $90.02/hr for a computer
systems analyst (or their equivalent) to
register the group.
In this rule, we propose to adjust the
number of respondents from 67 to 51
based on more recent data. We assume
that approximately 51 groups will elect
to use the CMS Web Interface for the
first time during the 2020 MIPS
performance period based on the
number of new registrations received
during the CY 2018 registration period;
a decrease of 16 compared to the
number of groups currently approved by
OMB. The registration period for the CY
2019 MIPS performance period ends on
June 30, 2019; assuming updated
information is available, we will update
our respondent estimates in the final
rule. As shown in Table 81, we estimate
a burden of 12.75 hours (51 new
registrations × 0.25 hr/registration) at a
cost of $1,148 (12.75 hr × $90.02/hr).
TABLE 81—ESTIMATED BURDEN FOR GROUP REGISTRATION FOR CMS WEB INTERFACE
Burden
estimate
Number of New Groups Registering for CMS Web Interface (a) .......................................................................................................
Annual Hours Per Group (b) ...............................................................................................................................................................
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0.25
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TABLE 81—ESTIMATED BURDEN FOR GROUP REGISTRATION FOR CMS WEB INTERFACE—Continued
Burden
estimate
Total Annual Hours (c) = (a) * (b) ................................................................................................................................................
12.75
Labor rate for a computer systems analyst (d) ...................................................................................................................................
$90.02/hr
Total Annual Cost for CMS Web Interface Group Registration (e) = (a) * (d) ............................................................................
$1,148
As shown in Table 82 using our
unchanged currently approved per
respondent burden estimates, the
decrease in the number of groups
registering to submit MIPS data via the
CMS Web Interface results in an
adjustment to the total time burden of
4 hours at a cost of $360 (¥16 groups
× 0.25 hr × $90.02/hr).
TABLE 82—CHANGE IN ESTIMATED BURDEN FOR GROUP REGISTRATIONS FOR THE CMS WEB INTERFACE
Burden
estimate
Total Annual Hours for Respondents in CY 2019 Final Rule (a) .......................................................................................................
Total Annual Hours for Respondents in CY 2020 Proposed Rule (b) ................................................................................................
16.75
12.75
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (c) = (b)¥(a) ...............................................................
¥4
Total Annual Cost for Respondents in CY 2019 Final Rule (d) ..........................................................................................................
Total Annual Cost for Respondents in CY 2020 Proposed Rule (e) ..................................................................................................
$1,508
$1,148
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (f) = (e)¥(d) ................................................................
¥$360
(9) Group Registration for CAHPS for
MIPS Survey
This rule does not propose any new
or revised collection of information
requirements or burden related to the
group registration for the CAHPS for
MIPS Survey. The CAHPS for MIPS
survey requirements and burden are
currently approved by OMB under
control number 0938–1222 (CMS–
10450). Consequently, are not making
any MIPS survey vendor changes under
that control number.
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e. ICRs Regarding the Nomination of
Quality Measures
The proposed requirements and
burden associated with this data
submission will be submitted to OMB
for approval under control number
0938–1314 (CMS–10621).
Quality measures are selected
annually through a call for quality
measures under consideration, with a
final list of quality measures being
published in the Federal Register by
November 1 of each year. Under section
1848(q)(2)(D)(ii) of the Act, the
Secretary must solicit a ‘‘Call for Quality
Measures’’ each year. Specifically, the
Secretary must request that eligible
clinician organizations and other
relevant stakeholders identify and
submit quality measures to be
considered for selection in the annual
list of MIPS quality measures, as well as
updates to the measures. Under section
1848(q)(2)(D)(ii) of the Act, eligible
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clinician organizations are professional
organizations as defined by nationally
recognized specialty boards of
certification or equivalent certification
boards.
As we described in the CY 2017
Quality Payment Program final rule (81
FR 77137), we will accept quality
measures submissions at any time, but
only measures submitted during the
timeframe provided by us through the
pre-rulemaking process of each year will
be considered for inclusion in the
annual list of MIPS quality measures for
the performance period beginning 2
years after the measure is submitted.
This process is consistent with the prerulemaking process and the annual call
for measures, which are further
described at https://www.cms.gov/
Medicare/Quality-Initiatives-PatientAssessment-Instruments/
QualityMeasures/Pre-Rule-Making.html.
To identify and submit a quality
measure, eligible clinician organizations
and other relevant stakeholders use a
one-page online form that requests
information on background, a gap
analysis which includes evidence for
the measure, reliability, validity,
endorsement and a summary which
includes how the proposed measure
relates to the Quality Payment Program
and the rationale for the measure. In
addition, proposed measures must be
accompanied by a completed Peer
Review Journal Article form. As
discussed in section III.K.3.c.(1)(d)(i) of
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this rule, we are proposing that
beginning with the 2020 Call for
Measures process, MIPS quality
measure stewards would be required to
link their MIPS quality measures to
existing and related cost measures and
improvement activities, as applicable
and feasible. MIPS quality measure
stewards would also be required to
provide a rationale as to how they
believe their measure correlates to other
performance category measures and
activities. We believe this would require
approximately 0.6 hours at $109.36/hr
for a practice administrator and 0.4
hours at $202.86 for a clinician to
research existing measures or activities
and provide a rationale for the linkage
to the new measure. We also estimate it
would require 0.3 hours at $109.36/hr
for a practice administrator to make a
strategic decision to nominate and
submit a measure and 0.2 hours at
$202.86/hr for clinician review time. We
recognize there is additional burden on
respondents associated with
development of a new quality measure
beyond the 1.5 hour estimate (0.6 hr +
0.4 hr + 0.3 hr + 0.2 hr) which only
accounts for the time required for
recordkeeping, reporting, and thirdparty disclosures associated with the
policy; but we believe this estimate to
be reasonable to nominate and submit a
measure. The 1.5 hour estimate also
assumes that submitters will have the
necessary information to complete the
nomination form readily available,
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which we believe is a reasonable
assumption. Additionally, some
submitters familiar with the process or
who are submitting multiple measures
may require significantly less time,
while other submitters may require
more if the opposite is true.
Representing an average across all
respondents based on our review of the
nomination process, the information
required to complete the nomination
form, and the criteria required to
nominate the measure, we believe the
total estimate of 1.5 hours per measure
to be reasonable and appropriate.
As shown in Table 83, we estimate
that 26 submissions will be received
during the 2019 Call for Quality
Measures based on the number of
submissions received during the 2018
Call for Quality Measures process; a
decrease of 114 compared to the number
of submissions currently approved by
OMB (140 submissions). The 2019 Call
for Quality Measures process ends on
June 3, 2019; assuming updated
information is available, we will update
our estimate in the final rule. In keeping
with the focus on clinicians as the
primary source for recommending new
quality measures, we are using practice
administrators and clinician time for
our burden estimates.
40865
Consistent with the CY 2017 Quality
Payment Program final rule, we also
estimate it will take 4 hours at $202.86/
hr for a clinician (or equivalent) to
complete the Peer Review Journal
Article Form (81 FR 77153 through
77155). This assumes that measure
information is available and testing is
complete in order to have the necessary
information to complete the form,
which we believe is a reasonable
assumption.
As shown in Table 83, in aggregate we
estimate an annual burden of 143 hours
(26 submissions × 5.5 hr/submission) at
a cost of $26,821 {26 submissions × [(0.9
hr × $109.36/hr) + (4.6 hr × $202.86/hr}.
TABLE 83—ESTIMATED BURDEN FOR CALL FOR QUALITY MEASURES
Burden
estimate
#
#
#
#
of
of
of
of
New Quality Measures Submitted for Consideration (a) .............................................................................................................
Hours Per Practice Administrator to Identify, Propose, and Link Measure (b) ...........................................................................
Hours Per Clinician to Identify and Link Measure (c) ..................................................................................................................
Hours Per Clinician to Complete Peer Review Article Form (d) .................................................................................................
26
0.9
0.6
4.00
Annual Hours Per Response (e) = (b) + (c) + (d) .......................................................................................................................
5.50
Total Annual Hours (f) = (a) * (e) ..........................................................................................................................................
143
Cost to Identify and Submit Measure (@practice administrator’s labor rate of $109.36/hr.) (g) ........................................................
Cost to Identify Quality Measure and Complete Peer Review Article Form (@physician’s labor rate of $202.86/hr.) (h) ................
$98.42
$933.16
Total Annual Cost Per Respondent (i) = (g) + (h) .......................................................................................................................
$1,031.58
Total Annual Cost (j) = (a) * (i) .............................................................................................................................................
$26,821
submissions × [(0.6 hr × $109.36/hr) +
(0.4 hr × $202.86/hr)]}. The decrease in
the number of new quality measures
submitted results in an adjustment of
¥627 hours at ¥$117,600 (¥114
submissions × [(0.9 hr × $109.36/hr) +
Independent of the decrease in the
number of new quality measures
submitted for consideration, the
increase in burden per nominated
measure results in a difference of 140
hours at a cost of $20,546 {140
(4.6 hr × $202.86/hr)]). As shown in
Table 84, in aggregate, the combine
impact of these changes is ¥487 hours
(140¥627) at a cost of ¥$97,054
($20,546¥$117,600).
TABLE 84—CHANGE IN ESTIMATED BURDEN FOR CALL FOR QUALITY MEASURES
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Burden
estimate
Total Annual Hours for Respondents in CY 2019 Final Rule (a) .......................................................................................................
Total Annual Hours for Respondents in CY 2020 Proposed Rule (b) ................................................................................................
630
143
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (c) = (b)¥(a) ...............................................................
¥487
Total Annual Cost for Respondents in CY 2019 Final Rule (d) ..........................................................................................................
Total Annual Cost for Respondents in CY 2020 Proposed Rule (e) ..................................................................................................
$123,875
$26,821
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (f) = (e)¥(d) ................................................................
¥$97,054
f. ICRs Regarding Promoting
Interoperability Data (§§ 414.1375 and
414.1380)
(1) Background
For the 2020 MIPS performance
period, clinicians and groups can
submit Promoting Interoperability data
through direct, log in and upload, or log
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in and attest submission types. We have
worked to further align the Promoting
Interoperability performance category
with other MIPS performance
categories. With the exception of
submitters who elect to use the log in
and attest submission type for the
Promoting Interoperability performance
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category, which is not available for the
quality performance category, we
anticipate that individuals and groups
will use the same data submission type
for the both of these performance
categories and that the clinicians,
practice managers, and computer
systems analysts involved in supporting
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the quality data submission will also
support the Promoting Interoperability
data submission process. In the 2019
and prior MIPS performance periods,
individuals and groups submitting data
for the quality performance category via
a qualified registry or QCDR that did not
also support reporting of data for the
Promoting Interoperability or
improvement activity performance
categories would be required to submit
data for these performance categories
using an alternate submission type. The
proposals discussed in sections
III.K.3.g.(3)(a)(i) and III.K.3.g.(4)(a)(i)
requiring qualified registries and QCDRs
to support the reporting of quality,
improvement activities, and Promoting
Interoperability performance categories
would alleviate this issue. Hence, the
following burden estimates show only
incremental hours required above and
beyond the time already accounted for
in the quality data submission process.
Although this analysis assesses burden
by performance category and
submission type, we emphasize that
MIPS is a consolidated program and
submission analysis and decisions are
expected to be made for the program as
a whole.
(2) Reweighting Applications for
Promoting Interoperability and Other
Performance Categories
This rule does not propose any new
or revised collection of information
requirements related to the submission
of reweighting applications for
Promoting Interoperability and other
performance categories. However, we
propose to adjust our currently
approved burden estimates based on an
updated analysis of individuals and
groups who submitted reweighting
applications for the 2017 MIPS
performance period but likely would
not submit such applications for the
2019 MIPS performance period. The
adjusted burden estimates will be
submitted to OMB for approval under
control number 0938–1314 (CMS–
10621).
As established in the CY 2017 and CY
2018 Quality Payment Program final
rules, MIPS eligible clinicians who meet
the criteria for a significant hardship or
other type of exception may submit an
application requesting a zero percent
weighting for the Promoting
Interoperability performance category in
the following circumstances:
Insufficient internet connectivity,
extreme and uncontrollable
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circumstances, lack of control over the
availability of CEHRT, clinicians who
are in a small practice, and decertified
EHR technology (81 FR 77240 through
77243 and 82 FR 53680 through 53686,
respectively). In addition, in the CY
2018 Quality Payment Program final
rule, we established that MIPS eligible
clinicians and groups citing extreme
and uncontrollable circumstances may
also apply for a reweighting of the
quality, cost, and/or improvement
activities performance categories (82 FR
53783 through 53785). As discussed in
section III.K.3.d.(2)(b)(ii)(A), we are
proposing, beginning with the 2018
MIPS performance period and 2020
MIPS payment year, to reweight the
performance categories for a MIPS
eligible clinician who we determine has
data for a performance category that are
inaccurate, unusable or otherwise
compromised due to circumstances
outside of the control of the clinician or
its agents if we learn the relevant
information prior to the beginning of the
associated MIPS payment year. Because
this is a new policy and we believe
these occurrences are rare based on our
experience, we are unable to estimate
the number of clinicians, groups, or
third party intermediaries that may
contact us regarding a potential data
issue. Similarly, the extent and source
of documentation provided to us for
each event may vary considerably.
Therefore, we are not proposing any
changes to our currently approved
burden estimates as a result of this
proposal. Respondents who apply for a
reweighting for any of these
performance categories have the option
of applying for reweighting for the
Promoting Interoperability performance
category on the same online form. We
assume that respondents applying for a
reweighting of the Promoting
Interoperability performance category
due to extreme and uncontrollable
circumstances will also request a
reweighting of at least one of the other
performance categories simultaneously
and not submit multiple reweighting
applications. Data on the number of
reweighting applications submitted for
the 2018 MIPS performance period is
unavailable for this proposed rule.
Assuming updated information is
available for the final rule, we will
assess the utility of using this
information to estimate burden for
future performance periods and will
make a determination at that time as to
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the most appropriate data to use in
estimating future burden.
Table 85 summarizes the burden for
clinicians to apply for reweighting the
Promoting Interoperability performance
category to zero percent due to a
significant hardship exception
(including a significant hardship
exception for small practices) or as a
result of a decertification of an EHR.
Based on the number of reweighting
applications received for the 2017 MIPS
performance period, we assume 6,025
respondents (eligible clinicians or
groups) will submit a request to
reweight the Promoting Interoperability
performance category to zero percent
due to a significant hardship (including
clinicians in small practices) or EHR
decertification. Of that amount we
estimate that 3,365 respondents (eligible
clinicians or groups) will submit a
request for reweighting the Promoting
Interoperability performance category to
zero percent due to extreme and
uncontrollable circumstances,
insufficient internet connectivity, lack
of control over the availability of
CEHRT, or as a result of a decertification
of an EHR. An additional 2,660
respondents will submit a request for
reweighting the Promoting
Interoperability performance category to
zero percent as a small practice
experiencing a significant hardship.
The application to request a
reweighting to zero percent only for the
Promoting Interoperability performance
category is a short online form that
requires identifying the type of hardship
experienced or whether decertification
of an EHR has occurred and a
description of how the circumstances
impair the clinician or group’s ability to
submit Promoting Interoperability data,
as well as some proof of circumstances
beyond the clinician’s control. The
application for reweighting of the
quality, cost, Promoting Interoperability,
and/or improvement activities
performance categories due to extreme
and uncontrollable circumstances
requires the same information with the
exception of there being only one option
for the type of hardship experienced.
We estimate it would take 0.25 hours at
$90.02/hr for a computer system analyst
to complete and submit the application.
As shown in Table 85, we estimate an
annual burden of 1,506.25 hours (6,025
applications × 0.25 hr/application) at a
cost of $135,593 (1,506.25 hr × $90.02/
hr).
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TABLE 85—ESTIMATED BURDEN FOR REWEIGHTING APPLICATIONS FOR PROMOTING INTEROPERABILITY AND OTHER
PERFORMANCE CATEGORIES
Burden
estimate
# of Eligible Clinicians or Groups Applying Due to Significant Hardship and Other Exceptions (a) ..................................................
# of Eligible Clinicians or Groups Applying Due to Significant Hardship for Small Practice (b) ........................................................
Total Respondents Due to Hardships, Other Exceptions and Hardships for Small Practices (c) ......................................................
Hours Per Applicant per application submission (d) ...........................................................................................................................
3,365
2,660
6,025
0.25
Total Annual Hours (e) = (a) * (c) ................................................................................................................................................
1,506.25
Labor Rate for a computer systems analyst (f) ...................................................................................................................................
$90.02/hr
Total Annual Cost (g) = (a) * (f) ...................................................................................................................................................
$135,593
As shown in Table 86, using our
unchanged currently approved per
respondent burden estimate, the
decreased number of respondents
results in a total adjustment of ¥4 hours
(¥16 respondents × 0.25 hr/respondent)
and ¥$360 (¥16 respondents × $22.50/
respondent).
TABLE 86—CHANGE IN ESTIMATED BURDEN FOR REWEIGHTING APPLICATIONS FOR PROMOTING INTEROPERABILITY AND
OTHER PERFORMANCE CATEGORIES
Burden
estimate
Total Annual Hours for Respondents in CY 2019 Final Rule (a) .......................................................................................................
Total Annual Hours for Respondents in CY 2020 Proposed Rule (b) ................................................................................................
1,510
1,506
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (c) = (b)¥(a) ...............................................................
¥4
Total Annual Cost for Respondents in CY 2019 Final Rule (d) ..........................................................................................................
Total Annual Cost for Respondents in CY 2020 Proposed Rule (e) ..................................................................................................
$135,953
$135,593
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (f) = (e)¥(d) ................................................................
¥$360
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(3) Submitting Promoting
Interoperability Data
This rule does not propose any new
or revised collection of information
requirements related to the submission
of Promoting Interoperability data.
However, we propose to adjust our
currently approved burden estimates
based on updated estimates of QPs and
MIPS APMs for 2019 MIPS performance
period. The adjusted burden estimates
will be submitted to OMB for approval
under control number 0938–1314
(CMS–10621).
A variety of organizations will submit
Promoting Interoperability data on
behalf of clinicians. Clinicians not
participating in a MIPS APM may
submit data as individuals or as part of
a group. In the CY 2017 Quality
Payment Program final rule (81 FR
77258 through 77260, 77262 through
77264) and CY 2019 PFS final rule (83
FR 59822–59823), we established that
eligible clinicians in MIPS APMs
(including the Shared Savings Program)
may report for the Promoting
Interoperability performance category as
an APM Entity group, individuals, or a
group.
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As shown in Table 87, based on data
from the 2017 MIPS performance
period, we estimate that a total of 93,863
respondents consisting of 81,358
individual MIPS eligible clinicians and
12,505 groups and virtual groups will
submit Promoting Interoperability data.
Similar to the process shown in Table
71 for groups reporting via QCDR/MIPS
CQM and eCQM collection types, we
have adjusted the group reporting data
from the 2017 MIPS performance period
to account for virtual groups, as the
option to submit data as a virtual group
was not available until the 2018 MIPS
performance period.
Because our respondent estimates are
based on the number of actual
submissions received for the Promoting
Interoperability performance category, it
is not necessary to account for policies
adopted in the CY 2017 Quality
Payment Program final rule regarding
reweighting, which state that if a
clinician submits Promoting
Interoperability data, they will be scored
and the performance category will not
be reweighted (81 FR 77238–77245).
This approach is identical to the
approach we used in the CY 2019 PFS
final rule (83 FR 60013 through 60014),
however we failed to state the
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distinction in that final rule that we no
longer need to make modifications to
our estimates due to the use of actual
MIPS submission data. As established in
the CY 2017 and CY 2018 Quality
Payment Program final rules and the CY
2019 PFS final rule, certain MIPS
eligible clinicians will be eligible for
automatic reweighting of the Promoting
Interoperability performance category to
zero percent, including MIPS eligible
clinicians that are hospital-based,
ambulatory surgical center-based, nonpatient facing clinicians, physician
assistants, nurse practitioners, clinician
nurse specialists, certified registered
nurse anesthetists, physical therapists;
occupational therapists; qualified
speech-language pathologists or
qualified audiologist; clinical
psychologists; and registered dieticians
or nutrition professionals (81 FR 77238
through 77245, 82 FR 53680 through
53687, and 83 FR 59819 through 59820,
respectively). For the same reasons
discussed above regarding our use of
data reflecting the actual number of
Promoting Interoperability data
submissions received, these estimates
already account for the reweighting
policies in the CY 2017 and CY 2018
Quality Payment Program final rules,
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including exceptions for MIPS eligible
clinicians who have experienced a
significant hardship (including
clinicians who are in small practices), as
well as exceptions due to decertification
of an EHR (81 FR 77240 through 77243
and 82 FR 53680 through 53686).
In section III.K.3.c.(4)(f)(iii), we
propose to revise the definition of a
hospital-based MIPS eligible clinician
under § 414.1305 to include groups and
virtual groups. We propose that,
beginning with the 2022 MIPS payment
year, a hospital-based MIPS eligible
clinician under § 414.1305 means an
individual MIPS eligible clinician who
furnishes 75 percent or more of his or
her covered professional services in an
inpatient hospital, on-campus
outpatient hospital, off campus
outpatient hospital, or emergency room
setting based on claims for the MIPS
determination period, and a group or
virtual group provided that more than
75 percent of the NPIs billing under the
group’s TIN or virtual group’s TINs, as
applicable, meet the definition of a
hospital-based individual MIPS eligible
clinician during the MIPS determination
period. We also propose to revise
§ 414.1380(c)(2)(iii) to specify that for
the Promoting Interoperability
performance category to be reweighted
for a MIPS eligible clinician who elects
to participate in MIPS as part of a group
or virtual group, all of the MIPS eligible
clinicians in the group or virtual group
must qualify for reweighting, or the
group or virtual group must meet the
proposed revised definition of a
hospital-based MIPS eligible clinician or
the definition of a non-patient facing
MIPS eligible clinician as defined in
§ 414.1305. We believe these proposals
could result in a decrease in the number
of data submissions for the Promoting
Interoperability performance category,
but we do not currently have the data
necessary to determine how many
groups would elect to forego
submission. As additional information
becomes available in future years, we
will revisit the impact of this policy and
adjust our burden estimates accordingly.
As discussed in section
III.K.3.c.(4)(d)(i)(B) of this rule, we
propose to allow clinicians to satisfy the
optional bonus Query of PDMP measure
by submitting a ‘‘yes/no’’ attestation,
rather than reporting a numerator and
denominator. In the CY 2019 PFS final
rule, we updated our burden
assumptions from 3 hours to 2.67 hours
to reflect the change from 5 base
measures, 9 performance measures, and
4 bonus measures to the reporting of 4
base measures (83 FR 60013 through
60014). Due to a lack of data regarding
the number of health care providers
who would submit data for bonus
Promoting Interoperability measures, we
have consistently been unable to
estimate burden related to the reporting
of bonus measures and are therefore
unable to account for any change in
burden due to the proposed change to
a ‘‘yes/no’’ attestation for the Query of
PDMP measure. If we have better data
in the future, we may reassess our
burden assumptions and whether we
can reasonably quantify the burden
associated with the reporting of bonus
measures.
We assume that MIPS eligible
clinicians scored under the APM
scoring standard, as described in section
III.K.3.c.(5)of this rule, would continue
to submit Promoting Interoperability
data the same as in 2017. Each MIPS
eligible clinician in an APM Entity
reports data for the Promoting
Interoperability performance category
through either their group TIN or
individual reporting. In the CY 2019
PFS final rule, we established that MIPS
eligible clinicians who participate in the
Shared Savings Program are no longer
limited to reporting for the Promoting
Interoperability performance category
through their ACO participant TIN (83
FR 59822–59823). Burden estimates for
this proposed rule assume group TINlevel reporting as we believe this is the
most reasonable assumption for the
Shared Savings Program, which requires
that ACOs include full TIN as ACO
participants. As we receive updated
information which reflects the actual
number of Promoting Interoperability
data submissions submitted by Shared
Savings Program ACO participants, we
will update our burden estimates
accordingly.
TABLE 87—ESTIMATED NUMBER OF RESPONDENTS TO SUBMIT PROMOTING INTEROPERABILITY PERFORMANCE DATA ON
BEHALF OF CLINICIANS
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Number of
respondents
Number of individual clinicians to submit Promoting Interoperability (a) ............................................................................................
Number of groups to submit Promoting Interoperability (b) ................................................................................................................
Subtract: Number of groups to submit Promoting Interoperability on behalf of clinicians in 2020 MIPS performance period that
will submit as virtual groups (c) .......................................................................................................................................................
Add in: Number of virtual groups to submit Promoting Interoperability on behalf of clinicians in 2020 MIPS performance period
(d) .....................................................................................................................................................................................................
Number of groups to submit Promoting Interoperability on behalf of clinicians in 2020 MIPS performance period (e) = (b)¥(c) +
(d) .....................................................................................................................................................................................................
12,505
Total Respondents in 2020 MIPS performance period (CY 2020 Proposed Rule) (f) = (a) + (e) ..............................................
* Total Respondents in 2019 MIPS performance period (CY 2019 Final Rule) (g) .....................................................................
93,863
93,869
Difference between CY 2020 Proposed Rule and CY 2019 Final Rule (h) = (f)¥(g) .........................................................
¥6
We estimate the time required for an
individual or group to submit Promoting
Interoperability data to be 2.67 hours.
As previously discussed, beginning with
the 2021 performance period and for
future years, we propose to require that
QCDRs and qualified registries support
three performance categories: Quality,
improvement activities, and Promoting
Interoperability. Based on our review of
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2019 qualified registries and QCDRs, we
have determined that 70 percent and 72
percent of these vendors, respectively,
already support reporting for these
performance categories. For clinicians
who currently utilize qualified registries
or QCDRs that have not previously
offered the ability to report Promoting
Interoperability or improvement activity
data, we believe this would result in a
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81,358
12,569
80
16
reduction of burden as it would simplify
MIPS reporting. In order to estimate the
impact on reporting burden, we would
need to correlate the specific individual
clinicians and groups who submitted
quality performance category data via
the MIPS CQM/QCDR collection type
that are required to report data for both
the quality and Promoting
Interoperability performance categories
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with the specific qualified registries or
QCDRs that are affected by this
proposal. Currently, we do not have the
necessary information to perform this
correlation and are therefore unable to
estimate the resulting impact on burden.
If data becomes available in the future
which enables us to perform this
analysis, we will update our burden
estimates at that time.
As shown in Table 88, the total
burden estimate for submission of data
on the specified Promoting
Interoperability objectives and measures
40869
is estimated to be 250,301 hours (93,853
respondents × 2.67 incremental hours
for a computer analyst’s time above and
beyond the clinician, practice manager,
and computer system’s analyst time
required to submit quality data) at a cost
of $22,532,126 (250,301 hr × $90.02/hr).
TABLE 88—ESTIMATED BURDEN FOR PROMOTING INTEROPERABILITY PERFORMANCE CATEGORY DATA SUBMISSION
Burden
estimate
Number of individual clinicians to submit Promoting Interoperability (a) ............................................................................................
Number of groups to submit Promoting Interoperability (b) ................................................................................................................
Total (c) = (a) + (b) ..............................................................................................................................................................................
Total Annual Hours Per Respondent (b) .............................................................................................................................................
81,358
12,505
93,863
2.67
Total Annual Hours (c) = (a) * (b) ................................................................................................................................................
250,301
Labor rate for a computer systems analyst to submit Promoting Interoperability data (d) ................................................................
$90.02/hr
Total Annual Cost (e) = (a) * (d) ..................................................................................................................................................
$22,532,126
As shown in Table 89, using our
unchanged currently approved per
respondent burden estimate, the
decrease in number of respondents
results in a total adjustment of ¥16
hours (¥6 respondents × 2.67 hr/
respondent) at a cost of ¥$1,440 (¥16
hr × $90.02/hr).
TABLE 89—CHANGE IN ESTIMATED BURDEN FOR PROMOTING INTEROPERABILITY PERFORMANCE CATEGORY DATA
SUBMISSION
Burden
estimate
Total Annual Hours for Respondents in CY 2019 Final Rule (a) .......................................................................................................
Total Annual Hours for Respondents in CY 2020 Proposed Rule (b) ................................................................................................
250,317
250,301
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (c) = (b)¥(a) ...............................................................
¥16
Total Annual Cost for Respondents in CY 2019 Final Rule (d) ..........................................................................................................
Total Annual Cost for Respondents in CY 2020 Proposed Rule (e) ..................................................................................................
$22,533,566
$22,532,126
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (f) = (e)¥(d) ................................................................
¥$1,440
khammond on DSKBBV9HB2PROD with PROPOSALS2
g. ICRs Regarding the Nomination of
Promoting Interoperability (PI)
Measures
This rule does not propose any new
or revised collection of information
requirements related to the nomination
of Promoting Interoperability measures.
However, we propose to adjusted our
currently approved burden estimates
based on data from the 2018 MIPS
performance period. The adjusted
burden estimates will be submitted to
OMB for approval under control number
0938–1314 (CMS–10621).
Consistent with our requests for
stakeholder input on quality measures
and improvement activities, we also
request potential measures for the
Promoting Interoperability performance
category that measure patient outcomes,
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emphasize patient safety, support
improvement activities and the quality
performance category, and build on the
advanced use of CEHRT using 2015
Edition standards and certification
criteria. Promoting Interoperability
measures may be submitted via the Call
for Promoting Interoperability
Performance Category Measures
Submission Form that includes the
measure description, measure type (if
applicable), reporting requirement, and
CEHRT functionality used (if
applicable). This rule does not propose
any changes to that form.
We estimate 28 proposals will be
submitted for new Promoting
Interoperability measures, based on the
number of proposals submitted during
the CY 2018 nomination period. This is
a decrease of 19 from the estimate
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currently approved by OMB (47
proposals) under the aforementioned
control number. The 2019 Call for
Promoting Interoperability Measures
process ends on July 1, 2019; assuming
updated information is available, we
will update our estimate in the final
rule. We estimate it will take 0.5 hours
per organization to submit an activity to
us, consisting of 0.3 hours at $109.36/
hr for a practice administrator to make
a strategic decision to nominate that
activity and submit an activity to us via
email and 0.2 hours at $202.86/hr for a
clinician to review the nomination. As
shown in Table 90, we estimate an
annual burden of 14 hours (28 proposals
× 0.5 hr/response) at a cost of $2,055 (28
× [(0.3 hr × $109.36/hr) + (0.2 hr ×
$202.86/hr)].
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TABLE 90—ESTIMATED BURDEN FOR CALL FOR PROMOTING INTEROPERABILITY MEASURES
Burden
estimate
# of Promoting Interoperability Measure Nominations (a) ..................................................................................................................
# of Hours Per Practice Administrator to Identify and Propose Measure (b) .....................................................................................
# of Hours Per Clinician to Identify Measure (c) .................................................................................................................................
Annual Hours Per Respondent (d) = (b) + (c) ....................................................................................................................................
28
0.30
0.20
0.50
Total Annual Hours (e) = (a) * (d) ................................................................................................................................................
14
Cost to Identify and Submit Measure (@practice administrator’s labor rate of $109.36/hr) (f) ..........................................................
Cost to Identify Improvement Measure (@physician’s labor rate of $202.86/hr) (g) ..........................................................................
$32.81
$40.57
Total Annual Cost Per Respondent (h) = (f) + (g) .......................................................................................................................
$73.38
Total Annual Cost (i) = (a) * (h) ............................................................................................................................................
$2,055
As shown in Table 91, using our
unchanged currently approved per
respondent burden estimate, the
decrease in the number of respondents
results in an adjustment of ¥9.5 hours
at a cost of ¥$1,394 (¥19 respondents
× 0.5 hr × $73.38 per respondent).
TABLE 91—CHANGE IN ESTIMATED BURDEN FOR CALL FOR PROMOTING INTEROPERABILITY MEASURES
Burden
estimate
Total Annual Hours for Respondents in CY 2019 Final Rule (a) .......................................................................................................
Total Annual Hours for Respondents in CY 2020 Proposed Rule (b) ................................................................................................
23.5
14
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (c) = (b)¥(a) ...............................................................
¥9.5
Total Annual Cost for Respondents in CY 2019 Final Rule (d) ..........................................................................................................
Total Annual Cost for Respondents in CY 2020 Proposed Rule (e) ..................................................................................................
$3,449
$2.055
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (f) = (e)¥(d) ................................................................
¥$1,394
khammond on DSKBBV9HB2PROD with PROPOSALS2
h. ICRs Regarding Improvement
Activities Submission (§§ 414.1305,
414.1355, 414.1360, and 414.1365)
This rule does not propose any new
or revised collection of information
requirements related to the submission
of Improvement Activities data.
However, we propose to adjust our
currently approved burden estimates
based on more recent data. The adjusted
burden will be submitted to OMB for
approval under control number 0938–
1314 (CMS–10621).
As discussed in section
III.K.3.c.(3)(d)(iii) of this rule, we are
proposing, beginning with the 2020
MIPS performance period and for future
years, to increase the minimum number
of clinicians in a group or virtual group
who are required to perform an
improvement activity from at least one
clinician to at least 50 percent of the
NPIs billing under the group’s TIN or
virtual group’s TINs, as applicable; and
these NPIs must perform the same
activity for the same continuous 90 days
in the performance period. Because
eligible clinicians are able to attest to
improvement activity measures at the
group level, there is no impact on
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reporting burden as a result of this
proposal.
As previously discussed, beginning
with the 2021 performance period and
for future years, we are proposing to
require QCDRs and qualified registries
to support three performance categories:
Quality, improvement activities, and
Promoting Interoperability; our
discussion of burden for submitting
Promoting Interoperability data in
section IV.B.7.(f).(3) noted our inability
to account for the reduction in burden
associated with the proposal. Consistent
with our decision not to change our per
respondent burden estimate to submit
Promoting Interoperability data, we are
not changing our per respondent burden
estimate to submit improvement activity
data as a result of this proposal.
Furthermore, as discussed in section
III.K.3.c.(3)(e)(i) of this rule, we are
proposing to establish removal factors to
consider when proposing to remove
improvement activities from the
Inventory. However, we do not believe
this would affect reporting burden,
because respondents would still be
required submit the same number of
improvement activities and this
proposal would not require respondents
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to submit any additional information.
We are also proposing for the CY 2020
performance period and future years to:
Add 2 new improvement activities,
modify 7 existing improvement
activities, and remove 15 existing
improvement activities. Because MIPS
eligible clinicians are still required to
submit the same number of activities,
we do not expect these proposals to
affect our currently approved burden
estimates. In addition, in order for an
eligible clinician or group to receive
credit for being a patient-centered
medical home or comparable specialty
practice, the eligible clinician or group
must attest in the same manner as any
other improvement activity.
While our proposals do not add
additional reporting burden, we have
adjusted our currently approved burden
estimates based on more recent data.
The adjusted burden will be submitted
to OMB for approval under control
number 0938–1314 (CMS–10621).
The CY 2018 Quality Payment
Program final rule provides: (1) That for
activities that are performed for at least
a continuous 90 days during the
performance period, MIPS eligible
clinicians must submit a ‘‘yes’’ response
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for activities within the Improvement
Activities Inventory (82 FR 53651); (2)
that the term ‘‘recognized’’ is accepted
as equivalent to the term ‘‘certified’’
when referring to the requirements for a
patient-centered medical home to
receive full credit for the improvement
activities performance category for MIPS
(82 FR 53649); and (3) that for the 2020
MIPS payment year and future years, to
receive full credit as a certified or
recognized patient-centered medical
home or comparable specialty practice,
at least 50 percent of the practice sites
within the TIN must be recognized as a
patient-centered medical home or
comparable specialty practice (82 FR
53655).
In the CY 2017 Quality Payment
Program final rule, we described how
we determine MIPS APM scores (81 FR
77185). We compare the requirements of
the specific MIPS APM with the list of
activities in the Improvement Activities
Inventory and score those activities in
the same manner that they are otherwise
scored for MIPS eligible clinicians (81
FR 77817 through 77831). If, based on
our assessment, the MIPS APM does not
receive the maximum improvement
activities performance category score,
then the APM Entity can submit
additional improvement activities. We
anticipate that MIPS APMs in the 2019
MIPS performance period will not need
to submit additional improvement
activities as the models will already
meet the maximum improvement
activities performance category score.
A variety of organizations and in
some cases, individual clinicians, will
submit improvement activity
performance category data. For
clinicians who are not part of APMs, we
assume that clinicians submitting
quality data as part of a group through
direct, log in and upload submission
types, and CMS Web Interface will also
submit improvement activities data. In
the 2019 and prior MIPS performance
periods, individuals and groups
submitting data for the quality
performance category through a MIPS
CQM or QCDR that did not also support
reporting of data for the Promoting
Interoperability or improvement activity
performance categories would be
required to submit data for these
performance categories using an
alternate submission type, the proposals
discussed in sections III.K.3.g.(3)(a)(i)
and III.K.3.g.(4)(a)(i) of this rule
requiring qualified registries and QCDRs
to support the reporting of quality,
improvement activities, and Promoting
Interoperability performance categories
would help to alleviate this issue. As
finalized in the CY 2017 Quality
Payment Program final rule (81 FR
77264), APM Entities only need to
report improvement activities data if the
CMS-assigned improvement activities
score is below the maximum
improvement activities score. Our CY
2018 Quality Payment Program final
rule burden estimates assumed that all
APM Entities will receive the maximum
CMS-assigned improvement activities
score (82 FR 53921 through 53922).
As represented in Table 92, based on
2017 MIPS performance period data, we
estimate that 102,754 clinicians will
40871
submit improvement activities as
individuals during the 2020 MIPS
performance period and 15,761 groups
will submit improvement activities on
behalf of clinicians. Similar to the
process shown in Table 87 for groups
submitting Promoting Interoperability
data, we have adjusted the group
reporting data from the 2017 MIPS
performance period to account for
virtual groups, as the option to submit
data as a virtual group was not available
until the 2018 MIPS performance
period. In addition, as previously
discussed regarding our estimate of
clinicians and groups submitting data
for the quality and Promoting
Interoperability performance categories,
we have updated our estimates for the
number of clinicians and groups that
will submit improvement activities data
based on projections of the number of
eligible clinicians that were not QPs or
members of an APM in the 2017 MIPS
performance period but will be in the
2019 MIPS performance period, and
would therefore not be required to
submit improvement activities data.
Our burden estimates assume there
will be no improvement activities
burden for MIPS APM participants. We
will assign the improvement activities
performance category score at the APM
Entity level. We also assume that the
MIPS APM models for the 2020 MIPS
performance period will qualify for the
maximum improvement activities
performance category score and, as
such, APM Entities will not submit any
additional improvement activities.
TABLE 92—ESTIMATED NUMBERS OF ORGANIZATIONS SUBMITTING IMPROVEMENT ACTIVITIES PERFORMANCE CATEGORY
DATA ON BEHALF OF CLINICIANS
Count
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# of clinicians to participate in improvement activities data submission as individuals during the 2020 MIPS performance period
(a) .....................................................................................................................................................................................................
# of Groups to submit improvement activities on behalf of clinicians during the 2020 MIPS performance period (b) ......................
Subtract: # of groups to submit improvement activities on behalf of clinicians in 2020 MIPS performance period that will submit
as virtual groups (c) .........................................................................................................................................................................
Add in: # of Virtual Groups to submit improvement activities on behalf of clinicians during the 2020 MIPS performance period
(d) .....................................................................................................................................................................................................
# of Groups and Virtual Groups to submit improvement activities on behalf of clinicians during the 2020 MIPS performance period (e) ..............................................................................................................................................................................................
102,754
15,825
80
16
15,761
Total # of Respondents (Groups, Virtual Groups, and Individual Clinicians) to submit improvement activities data on behalf
of clinicians during the 2020 MIPS performance period (CY 2020 Proposed Rule) (f) = (a) + (b) + (e) ................................
118,515
* Total # of Respondents (Groups, Virtual Groups, and Individual Clinicians) to submit improvement activities data on behalf
of clinicians during the 2019 MIPS performance period (CY 2019 Final Rule) (g) .................................................................
136,004
Difference between CY 2020 Proposed Rule and CY 2019 Final Rule (h) = (g)¥(f) .........................................................
¥17,489
* Currently approved by OMB under control number 0938–1314 (CMS–10621).
Consistent with the CY 2019 PFS final
rule, we estimate that the per response
time required per individual or group is
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5 minutes at $90.02/hr for a computer
system analyst to submit by logging in
and manually attesting that certain
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activities were performed in the form
and manner specified by CMS with a set
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of authenticated credentials (83 FR
60016).
As shown in Table 93, we estimate an
annual burden of 9,876 hours (118,515
responses × 5 minutes/60) at a cost of
$889,060 (9,876.25 hr × $90.02/hr).
TABLE 93—ESTIMATED BURDEN FOR IMPROVEMENT ACTIVITIES SUBMISSION
Burden
estimate
Total # of Respondents (Groups, Virtual Groups, and Individual Clinicians) to submit improvement activities data on behalf of
clinicians during the 2019 MIPS performance period (a).
Total Annual Hours Per Respondent (b) ............................................................................................................................................
Total Annual Hours (c) ........................................................................................................................................................................
Labor rate for a computer systems analyst to submit improvement activities (d) ..............................................................................
5 minutes.
9,876.25.
$90.02/hr.
Total Annual Cost (e) = (a) * (d) ..................................................................................................................................................
$889,060.
As shown in Table 94, using our
unchanged currently approved per
respondent burden estimate, the
decrease in the number of respondents
results in an adjustment of ¥1,457
hours (¥17,489 responses × 5 minutes/
118,515.
60) at a cost of ¥$131,197 (¥1,457 hr
$90.02/hr).
TABLE 94—CHANGE IN ESTIMATED BURDEN FOR IMPROVEMENT ACTIVITIES SUBMISSION
Burden
estimate
Total Annual Hours for Respondents in CY 2019 Final Rule (a) .......................................................................................................
Total Annual Hours for Respondents in CY 2020 Proposed Rule (b) ................................................................................................
11,334
9,876
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (c) = (b)¥(a) ...............................................................
¥1,457
Total Annual Cost for Respondents in CY 2019 Final Rule (d) ..........................................................................................................
Total Annual Cost for Respondents in CY 2020 Proposed Rule (e) ..................................................................................................
$1,020,257
$889,060
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (f) = (e)¥(d) ................................................................
¥$131,197
i. ICRs Regarding the Nomination of
Improvement Activities (§ 414.1360)
This rule does not include any new or
revised reporting, recordkeeping, or
third-party disclosure requirements
related to the nomination of
improvement activities. However, we
have adjusted our currently approved
burden estimates based on data from the
2018 MIPS performance period. The
adjusted burden estimates will be
submitted to OMB for approval under
control number 0938–1314 (CMS–
10621).
In the CY 2018 Quality Payment
Program final rule, for the 2018 and
future MIPS performance periods,
stakeholders were provided an
opportunity to propose new activities
formally via the Annual Call for
Activities nomination form that was
posted on the CMS website (82 FR
53657). The 2018 Annual Call for
Activities lasted from February 1, 2018
through March 1, 2018, during which
we received 128 nominations of
activities which were evaluated for the
Improvement Activities Under
Consideration (IAUC) list for possible
inclusion in the CY 2019 Improvement
Activities Inventory. Based on the
number of improvement activity
nominations received in the CY 2018
Annual Call for Activities, we estimate
that we will receive 128 nominations for
the 2020 Annual Call for Activities,
which is an increase of 3 from the 125
nominations currently approved by
OMB. The 2019 Annual Call for
Activities ends on July 1, 2019;
assuming updated information is
available, we will update our estimate
in the final rule.
We estimate 1.2 hours at $109.36/hr
for a practice administrator or
equivalent to make a strategic decision
to nominate and submit that activity
and 0.8 hours at $202.86/hr for a
clinician’s review. As shown in Table
95, we estimate an annual burden of 256
hours (128 nominations × 2 hr/
nomination) at a cost of $37,571 (128 ×
[(1.2 hr × $109.36/hr) + (0.8 hr ×
$202.86/hr)]).
TABLE 95—ESTIMATED BURDEN FOR NOMINATION OF IMPROVEMENT ACTIVITIES
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Burden
estimate
# of Nominations of New Improvement Activities (a) ..........................................................................................................................
# of Hours Per Practice Administrator to Identify and Propose Activity (b) ........................................................................................
# of Hours Per Clinician to Identify Activity (c) ...................................................................................................................................
Annual Hours Per Respondent (d) = (b) + (c) ....................................................................................................................................
128
1.2
0.8
2
Total Annual Hours (e) = (a) * (d) ................................................................................................................................................
256
Cost to Identify and Submit Activity (@practice administrator’s labor rate of $109.36/hr) (f) ............................................................
Cost to Identify Improvement Activity (@physician’s labor rate of $202.86/hr) (g) ............................................................................
$131.23
$162.29
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TABLE 95—ESTIMATED BURDEN FOR NOMINATION OF IMPROVEMENT ACTIVITIES—Continued
Burden
estimate
Total Annual Cost Per Respondent (h) = (f) + (g) .......................................................................................................................
$293.52
Total Annual Cost (i) = (a) * (h) ............................................................................................................................................
$37,571
As shown in Table 96, using our
unchanged currently approved per
respondent burden estimate, the
increase in the number of nominations
results in an adjustment of 6 hours at a
cost of $881 {3 activities × [(1.2 hr ×
$109.36/hr) + (0.8 hr × $202.86/hr)]}.
TABLE 96—CHANGE IN ESTIMATED BURDEN FOR NOMINATION OF IMPROVEMENT ACTIVITIES
Burden
estimate
Total Annual Hours for Respondents in CY 2019 Final Rule (a) .......................................................................................................
Total Annual Hours for Respondents in CY 2020 Proposed Rule (b) ................................................................................................
250
256
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (c) = (b)¥(a) ...............................................................
6
Total Annual Cost for Respondents in CY 2019 Final Rule (d) ..........................................................................................................
Total Annual Cost for Respondents in CY 2020 Proposed Rule (e) ..................................................................................................
$36,690
$37,571
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (f) = (e)¥(d) ................................................................
$881
j. ICRs Regarding the Cost Performance
Category (§ 414.1350)
The cost performance category relies
on administrative claims data. The
Medicare Parts A and B claims
submission process (OMB control
number 0938–1197; CMS–1500 and
CMS–1490S) is used to collect data on
cost measures from MIPS eligible
clinicians. MIPS eligible clinicians are
not required to provide any
documentation by CD or hardcopy,
including for the 10 episode-based
measures we are proposing to include in
the cost performance category as
discussed in section III.K.3.c.(2)(b)(iii)
of this rule. Moreover, the provisions of
this proposed rule do not result in the
need to add or revise or delete any
claims data fields. Therefore, we are not
proposing any new or revised collection
of information requirements or burden
for MIPS eligible clinicians resulting
from the cost performance category.
k. Quality Payment Program ICRs
Regarding Partial QP Elections
(§§ 414.1310(b)(ii) and 414.1430)
This rule does not propose any new
or revised collection of information
requirements related to the Partial QP
Elections to participate in MIPS as a
MIPS eligible clinician. However, we
propose to adjust our currently
approved burden estimates based on
updated projections for the 2020 MIPS
performance period. The adjusted
burden will be submitted to OMB for
approval under control number 0938–
1314 (CMS–10621).
In section III.K.4.d.(2)(b), we propose
that, beginning for eligible clinicians
who become Partial QPs in the 2020
MIPS performance period, Partial QP
status will only apply to the TIN/NPI
combination through which Partial QP
status is attained. Any Partial QP
election will only apply to TIN/NPI
combination through which Partial QP
status is attained so that an eligible
clinician who is a Partial QP for only
one TIN/NPI combination may still
report under MIPS for other TIN/NPI
combinations. This proposal will
potentially increase the total number of
Partial QP elections to participate in
MIPS if clinicians achieve Partial QP
status under multiple TIN/NPI
combinations.
As shown in Table 97, based on our
predictive QP analysis for the 2020 QP
performance period, which accounts for
the increase in QP and Partial QP
thresholds, we estimate that 12 APM
Entities and 2,010 eligible clinicians
will make the election to participate as
a Partial QP in MIPS representing
approximately 15,500 Partial QPs, an
increase of 1,941 from the 81 elections
currently approved by OMB under the
aforementioned control number. We
estimate it will take the APM Entity
representative or eligible clinician 15
minutes (0.25 hr) to make this election.
In aggregate, we estimate an annual
burden of 505.5 hours (2,022
respondents × .25 hr/election) at a cost
of $45,080 (505.5 hours × $90.02/hr).
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TABLE 97—ESTIMATED BURDEN FOR PARTIAL QP ELECTION
Burden
estimate
# of respondents making Partial QP election (6 APM Entities, 75 eligible clinicians) (a) ..................................................................
Total Hours Per Respondent to Elect to Participate as Partial QP (b) ...............................................................................................
Total Annual Hours (c) = (a) * (b) .......................................................................................................................................................
Labor rate for computer systems analyst (d) ......................................................................................................................................
2,022
0.25
505.5
$90.02/hr
Total Annual Cost (d) = (c) * (d) ..................................................................................................................................................
$45,505
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As shown in Table 98, using our
unchanged currently approved per
respondent burden estimate, the
increase in the number of Partial QP
elections results in an adjustment of
485.25 (1,941 elections × 0.25hr) at a
cost of $43,682 (485.25 hr × $90.02/hr).
TABLE 98—CHANGE IN ESTIMATED BURDEN FOR PARTIAL QP ELECTION
Burden
estimate
Total Annual Hours for Respondents in CY 2019 Final Rule (a) .......................................................................................................
Total Annual Hours for Respondents in CY 2020 Proposed Rule (b) ................................................................................................
20.25
505.5
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (c) = (b)¥(a) ...............................................................
485.25
Total Annual Cost for Respondents in CY 2019 Final Rule (d) ..........................................................................................................
Total Annual Cost for Respondents in CY 2020 Proposed Rule (e) ..................................................................................................
$1,823
$45,505
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (f) = (e)¥(d) ................................................................
$43,682
l. ICRs Regarding Other Payer Advanced
APM Determinations: Payer-Initiated
Process (§ 414.1440) and Eligible
Clinician Initiated Process (§ 414.1445)
As indicated below, the proposed
requirements and burden discussed
under this section will be submitted to
OMB for approval under control number
0938–1314 (CMS–10621).
(1) Payer Initiated Process (§ 414.1440)
This rule does not propose any new
or revised collection of information
requirements related to the Payer-
Initiated Process. However, we propose
to adjust our currently approved burden
estimates based on updated projections
for the 2020 MIPS performance period.
As mentioned above, the adjusted
burden will be submitted to OMB for
approval.
As shown in Table 99, based on the
actual number of requests received in
the 2018 QP performance period, we
estimate that in CY 2020 for the 2021
QP performance period 110 payerinitiated requests for Other Payer
Advanced APM determinations will be
submitted (10 Medicaid payers, 50
Medicare Advantage Organizations, and
50 remaining other payers), a decrease
of 105 from the 215 total requests
currently approved by OMB under the
aforementioned control number. We
estimate it will take 10 hours at $90.02/
hr for a computer system analyst per
arrangement submission. In aggregate,
we estimate an annual burden of 1,100
hours (110 submissions × 10 hr/
submission) at a cost of $99,022 (1,100
hr × $90.02/hr).
TABLE 99—ESTIMATED BURDEN FOR OTHER PAYER ADVANCED APM IDENTIFICATION DETERMINATIONS: PAYER-INITIATED
PROCESS
Burden
estimate
# of other payer payment arrangements (15 Medicaid, 100 Medicare Advantage Organizations, 100 remaining other payers) (a)
Total Annual Hours Per other payer payment arrangement (b) .........................................................................................................
110
10
Total Annual Hours (c) = (a) * (b) ................................................................................................................................................
1,100
Labor rate for a computer systems analyst (d) ...................................................................................................................................
$90.02/hr
Total Annual Cost for Other Payer Advanced APM determinations (e) = (a) * (d) .....................................................................
$99,022
As shown in Table 100, using our
unchanged currently approved per
respondent burden estimate, the
decrease in the number of payerinitiated requests from 215 to 110
results in an adjustment of ¥1,050
hours (¥105 requests × 10 hr) at a cost
of ¥$94,521 (¥1,050 hr × $90.02/hr).
TABLE 100—CHANGE IN ESTIMATED BURDEN FOR OTHER PAYER ADVANCED APM IDENTIFICATION DETERMINATIONS:
PAYER-INITIATED PROCESS
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Burden
estimate
Total Annual Hours for Respondents in CY 2019 Final Rule (a) .......................................................................................................
Total Annual Hours for Respondents in CY 2020 Proposed Rule (b) ................................................................................................
2,150
1,100
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (c) = (b)¥(a) ...............................................................
¥1,050
Total Annual Cost for Respondents in CY 2019 Final Rule (d) ..........................................................................................................
Total Annual Cost for Respondents in CY 2020 Proposed Rule (e) ..................................................................................................
$193,543
$99,022
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (f) = (e)¥(d) ................................................................
¥$94,521
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(2) Eligible Clinician Initiated Process
(§ 414.1445)
This rule does not propose any new
or revised collection of information
requirements or burden related to the
Eligible-Clinician Initiated Process. The
requirements and burden are currently
approved by OMB under control
number 0938–1314 (CMS–10621).
Consequently, we are not proposing any
changes to under that control number.
(3) Submission of Data for QP
Determinations Under the All-Payer
Combination Option (§ 414.1440)
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This rule does not propose any new
or revised collection of information
requirements related to the Submission
of Data for QP Determinations under the
All-Payer Combination Option.
However, we propose to adjust our
currently approved burden estimates
based on updated projections for the
2020 MIPS performance period. The
adjusted burden will be submitted to
OMB for approval under control number
0938–1314 (CMS–10621).
The CY 2017 Quality Payment
Program final rule provided that either
APM Entities or individual eligible
clinicians must submit by a date and in
a manner determined by us: (1) Payment
arrangement information necessary to
assess whether each other payer
arrangement is an Other Payer
Advanced APM, including information
on financial risk arrangements, use of
CEHRT, and payment tied to quality
measures; (2) for each payment
arrangement, the amounts of payments
for services furnished through the
arrangement, the total payments from
the payer, the numbers of patients
furnished any service through the
arrangement (that is, patients for whom
the eligible clinician is at risk if actual
expenditures exceed expected
expenditures), and (3) the total number
of patients furnished any service
through the arrangement (81 FR 77480).
The rule also specified that if we do not
receive sufficient information to
complete our evaluation of another
payer arrangement and to make QP
determinations for an eligible clinician
using the All-Payer Combination
Option, we will not assess the eligible
clinicians under the All-Payer
Combination Option (81 FR 77480).
In the CY 2018 Quality Payment
Program final rule, we explained that in
order for us to make QP determinations
under the All-Payer Combination
Option using either the payment
amount or patient count method, we
will need to receive all of the payment
amount and patient count information:
(1) Attributable to the eligible clinician
or APM Entity through every Other
Payer Advanced APM; and (2) for all
other payments or patients, except from
excluded payers, made or attributed to
the eligible clinician during the QP
performance period (82 FR 53885). We
also finalized that eligible clinicians and
APM Entities will not need to submit
Medicare payment or patient
information for QP determinations
under the All-Payer Combination
Option (82 FR 53885).
The CY 2018 Quality Payment
Program final rule also noted that we
will need this payment amount and
patient count information for the
periods January 1 through March 31,
January 1 through June 30, and January
1 through August 31 (82 FR 53885). We
noted that the timing may be
challenging for APM Entities or eligible
clinicians to submit information for the
August 31 snapshot date. If we receive
information for either the March 31 or
June 30 snapshots, but not the August
31 snapshot, we will use that
information to make QP determinations
under the All-Payer Combination
Option. This payment amount and
patient count information is to be
submitted in a way that allows us to
distinguish information from January 1
through March 31, January 1 through
June 30, and January 1 through August
31 so that we can make QP
determinations based on the two
finalized snapshot dates (82 FR 30203
through 30204).
The CY 2018 Quality Payment
Program final rule specified that APM
Entities or eligible clinicians must
submit all of the required information
about the Other Payer Advanced APMs
in which they participate, including
those for which there is a pending
request for an Other Payer Advanced
APM determination, as well as the
payment amount and patient count
information sufficient for us to make QP
determinations by December 1 of the
calendar year that is 2 years to prior to
the payment year, which we refer to as
the QP Determination Submission
Deadline (82 FR 53886).
In the CY 2019 PFS final rule, we
finalized the addition of a third
alternative to allow QP determinations
at the TIN level in instances where all
clinicians who have reassigned billing
rights to the TIN participate in a single
(the same) APM Entity (83 FR 59936).
This option will therefore be available
to all TINs participating in Full TIN
APMs, such as the Medicare Shared
Savings Program. It will also be
available to any other TIN for which all
clinicians who have reassigned billing
rights to the TIN are participating in a
single APM Entity. To make QP
determinations under the All-Payer
Combination Option at the TIN level as
finalized using either the payment
amount or patient count method, we
will need to receive, by December 1 of
the calendar year that is 2 years to prior
to the payment year, all of the payment
amount and patient count information:
(1) Attributable to the eligible clinician,
TIN, or APM Entity through every Other
Payer Advanced APM; and (2) for all
other payments or patients, except from
excluded payers, made or attributed to
the eligible clinician(s) during the QP
performance period for the periods
January 1 through March 31, January 1
through June 30, and January 1 through
August 31.
As shown in Table 101, we assume
that 20 APM Entities, 448 TINs, and 83
eligible clinicians will submit data for
QP determinations under the All-Payer
Combination Option in 2019, and
increase of 242 from the 309 total
submissions currently approved by
OMB under the aforementioned control
number. We estimate it will take the
APM Entity representative, TIN
representative, or eligible clinician 5
hours at $109.36/hr for a practice
administrator to complete this
submission. In aggregate, we estimate an
annual burden of 2,755 hours (551
respondents × 5 hr) at a cost of $301,287
(2,755 hr × $109.36/hr).
TABLE 101—ESTIMATED BURDEN FOR THE SUBMISSION OF DATA FOR ALL-PAYER QP DETERMINATIONS
Burden
estimate
# of APM Entities submitting data for All-Payer QP Determinations (a) ............................................................................................
# of TINs submitting data for All-Payer QP Determinations (b) ..........................................................................................................
# of eligible submitting data for All-Payer QP Determinations (c) ......................................................................................................
Hours Per respondent QP Determinations (d) ....................................................................................................................................
Total Hours (g) = [(a) *(d)] + [(b) * (d)] + [(c) * (d)] .............................................................................................................................
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20
448
83
5
2,755
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TABLE 101—ESTIMATED BURDEN FOR THE SUBMISSION OF DATA FOR ALL-PAYER QP DETERMINATIONS—Continued
Burden
estimate
Labor rate for a Practice Administrator (h) ..........................................................................................................................................
$109.36/hr
Total Annual Cost for Submission of Data for All-Payer QP Determinations (i) = (g) * (h) ........................................................
$301,287
As shown in Table 102, using our
unchanged currently approved per
respondent burden estimate, the
increase in the number of data
submissions from 309 to 551 results in
an adjustment of 1,210 hours (242
requests × 5 hr) at a cost of $132,326
(1,210 hr × $109.36/hr).
TABLE 102—CHANGE IN ESTIMATED BURDEN FOR THE SUBMISSION OF DATA FOR ALL-PAYER QP DETERMINATIONS
Burden
estimate
Total Annual Hours for Respondents in CY 2019 Final Rule (a) .......................................................................................................
Total Annual Hours for Respondents in CY 2020 Proposed Rule (b) ................................................................................................
1,545
2,755
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (c) = (b)¥(a) ...............................................................
1,210
Total Annual Cost for Respondents in CY 2019 Final Rule (d) ..........................................................................................................
Total Annual Cost for Respondents in CY 2020 Proposed Rule (e) ..................................................................................................
$168,961
$301,287
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (f) = (e)¥(d) ................................................................
$132,326
m. ICRs Regarding Voluntary
Participants Election To Opt-Out of
Performance Data Display on Physician
Compare (§ 414.1395)
This rule does not propose any new
or revised collection of information
requirements related to the election by
voluntary participants to opt-out of
public reporting on Physician Compare.
However, we propose to adjust our
currently approved burden estimates
based on data from the 2018 MIPS
performance period. The adjusted
burden will be submitted to OMB for
approval under control number 0938–
1314 (CMS–10621). Subject to renewal,
the control number is currently set to
expire on January 31, 2022. It was last
approved on January 29, 2019, and
remains active.
We estimate that 10 percent of the
total clinicians and groups who will
voluntarily participate in MIPS will also
elect not to participate in public
reporting. This results in a total of
11,516 (0.10 × 115,163 voluntary MIPS
participants) clinicians and groups, a
decrease of 101 from the currently
approved estimate of 11,617. This
decrease is due to the availability of
updated estimates of QPs and APM
participation for the 2020 performance
period. Voluntary MIPS participants are
clinicians that are not QPs and are
expected to be excluded from MIPS after
applying the eligibility requirements set
out in the CY 2019 PFS final rule but
have elected to submit data to MIPS. As
discussed in the Regulatory Impact
Analysis section of the CY 2019 PFS
final rule, we estimate that 33 percent
of clinicians that exceed one (1) of the
low-volume criteria, but not all three
(3), will elect to opt-in to MIPS, become
MIPS eligible, and no longer be
considered a voluntary reporter (83 FR
60050).
In section III.K.3.h.(6) of this rule, we
propose to publicly report (1) an
indicator if a MIPS eligible clinician is
scored using facility-based measurement
beginning with Year 3 (2019
performance information available for
public reporting in late 2020) and (2)
aggregate MIPS data beginning with
Year 2 (2018 performance information
available for public reporting in late
2019). We believe it is possible that the
percentage of voluntary participants
electing not to participate in public
reporting may change as a result of this
proposals, we lack the ability to predict
the behavior of clinicians’ response to
this proposal. Table 103 shows that for
these voluntary participants, we
estimate it will take 0.25 hours at
$90.02/hr for a computer system analyst
to submit a request to opt-out. In
aggregate, we estimate an annual burden
of 2,879 hours (11,516 requests × 0.25
hr/request) at a cost of $259,168 (2,879
hr × $90.02/hr).
TABLE 103—ESTIMATED BURDEN FOR VOLUNTARY PARTICIPANTS TO ELECT OPT OUT OF PERFORMANCE DATA DISPLAY
ON PHYSICIAN COMPARE
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Burden
estimate
# of Voluntary Participants Opting Out of Physician Compare (a) .....................................................................................................
Total Annual Hours per Opt-out Requester (b) ...................................................................................................................................
11,516
0.25
Total Annual Hours for Opt-out Requester (c) = (a) * (b) ............................................................................................................
2,879
Labor rate for a computer systems analyst (d) ...................................................................................................................................
$90.02/hr
Total Annual Cost for Opt-out Requests (e) = (a) * (d) ...............................................................................................................
$259,168
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As shown in Table 104, using our
unchanged currently approved per
respondent burden estimate, the
decrease in the number of opt outs by
voluntary participants from 11,617 to
11,516 results in an adjustment of 25.25
40877
hours (101 requests × 0.25 hr) at a cost
of ¥$2,273 (25.25 hr × $90.02/hr).
TABLE 104—CHANGE IN ESTIMATED BURDEN FOR VOLUNTARY PARTICIPANTS TO ELECT OPT OUT OF PERFORMANCE
DATA DISPLAY ON PHYSICIAN COMPARE
Burden
estimate
Total Annual Hours for Respondents in CY 2019 Final Rule (a) .......................................................................................................
Total Annual Hours for Respondents in CY 2020 Proposed Rule (b) ................................................................................................
2,904.25
2,879.00
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (c) = (b)¥(a) ...............................................................
¥25.25
Total Annual Cost for Respondents in CY 2019 Final Rule (d) ..........................................................................................................
Total Annual Cost for Respondents in CY 2020 Proposed Rule (e) ..................................................................................................
$261,441
$259,168
Difference Between CY 2020 Proposed Rule and CY 2019 Final Rule (f) = (e)¥(d) ................................................................
¥$2,273
n. Summary of Annual Quality Payment
Program Burden Estimates
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Table 105 summarizes this proposed
rule’s burden estimates for the Quality
Payment Program. To understand the
burden implications of the policies
proposed in this rule, we have also
estimated a baseline burden of
continuing the policies and information
collections set forth in the CY 2019 PFS
final rule into the 2020 MIPS
performance period. Our estimated
baseline burden estimates reflect the
availability of more accurate data to
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account for all potential respondents
and submissions across all the
performance categories, more accurately
reflect the exclusion of QPs from all
MIPS performance categories, and better
estimate the number of third-parties
likely to self-nominate as qualified
registries and QCDRs, as well as the
number of measures submitted per
QCDR. The baseline burden estimate is
3,312,523 hours at a cost of
$315,630,967. This baseline burden
estimate is lower than the burden
approved for information collection
related to the CY 2019 PFS final rule
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due to updated data and assumptions.
The difference of 1,619 hours and
$147,173 between this baseline estimate
and the total burden shown in Tables
105 and 107 is the burden associated
with the proposals to require QCDRs to
submit measure testing data to require
proposed quality measures and QCDR
measures to be linked to existing cost
measures, improvement activities, and
MIPS Value Pathways, if possible at the
time of self-nomination and to describe
the quality improvements services they
intend to support.
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Table 106 provides the reasons for
changes in the estimated burden for
information collections in the Quality
Payment Program segment of this
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proposed rule. We have divided the
reasons for our change in burden into
those related to new policies and those
related to adjustments in burden from
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continued Quality Payment Program
Year 3 policies that reflect updated data
and revised methods.
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TABLE 106: Reasons for Change in Burden Compared to the Currently Approved
CY 2019 Information Collection Burdens
QPP Table
Table 65: Qualified
Registry Self-Nomination
Table 67: QCDR SelfNomination
Changes in burden due to CY
2020 Proposed Rule policies
None.
Increase of 11.5 hours (1 hour per
proposed measure) per QCDR selfnomination due to proposed policy
to require QCDRs to provide a
linkage between proposed QCDR
measures and related cost
measures, improvement activities,
and MIPS Value Pathways.
Adjustments in burden from continued CY 2019 Final
Rule policies due to revised methods or updated data
Increase in number of respondents due to availability of
data indicating number of existing QCDRs which would
not meet previously finalized QCDR requirements
effective beginning in 2020 performance period.
Decrease in number of respondents due to availability of
data indicating number of existing QCDRs which would
not meet previously finalized QCDR requirements
effective beginning in 2020 performance period.
Increase in burden per respondent due to revised estimate
of average number of measures per QCDR for which
information is submitted.
Increase of5. 75 hours (0.5 hour per
proposed measure) per QCDR
nomination due to proposed policy
to require QCDRs to provide
measure testing data at the time of
self-nomination
Table 75: Quality
Performance Category
QCDRI MIPS CQM
Collection Type
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Table 77: Quality
Performance Category
eCQM Collection Type
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Decrease in number of respondents due to updated
estimates for the number of clinicians projected to be QPs
or participating in APMs during the 2020 MIPS
performance period.
Increase in number of respondents due to use of updated
data incorporating limitation on submission of quality
data via Medicare Part B claims to small practices. and
our assumption that affected clinicians will submit via the
MIPS CQM collection type.
None.
Net decrease in total number of respondents (number of
individual submitters decreased while the number of
group submitters increased) due to updated estimates for
the number of clinicians projected to be QPs or
participating in APMs during the 2020 MIPS
performance period.
Net decrease in total number of respondents (number of
individual submitters decreased while the number of
group submitters increased) due to updated estimates for
the number of clinicians projected to be QPs or
participating in APMs during the 2020 MIPS
performance period.
None.
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Decrease in number of respondents due to use of updated
data incorporating limitation on submission of quality
data via Medicare Part B claims to small practices.
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Table 73: Quality
Performance Category
Medicare Part B Claims
Collection Type
Increase of0.25 hour per QCDR to
describe the quality improvements
services they intend to support as
part of their self-nomination.
None.
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C. Summary of Annual Burden
Estimates for Proposed Requirements
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VI. Regulatory Impact Analysis
D. Submission of Comments
A. Statement of Need
This proposed rule makes payment
and policy changes under the Medicare
PFS and implements required statutory
changes under the Medicare Access and
CHIP Reauthorization Act of 2015
(MACRA), the Achieving a Better Life
Experience Act (ABLE), the Protecting
Access to Medicare Act of 2014
(PAMA), section 603 of the Bipartisan
Budget Act of 2015, the Consolidated
Appropriations Act of 2016, the
Bipartisan Budget Act of 2018, and
sections 2005 6063, and 6111 of the
SUPPORT for Patients and Communities
Act of 2018. This proposed rule also
makes changes to payment policy and
other related policies for Medicare
Part B.
This proposed rule is necessary to
make policy changes under Medicare
fee-for-service. Therefore, we included a
detailed regulatory impact analysis
(RIA) to assess all costs and benefits of
available regulatory alternatives and
explained the selection of these
regulatory approaches that we believe
adhere to statutory requirements and, to
the extent feasible, maximize net
benefits.
We have submitted a copy of this rule
to OMB for its review of the rule’s
proposed information collection
requirements and burden. The
requirements are not effective until they
have been approved by OMB.
To obtain copies of the supporting
statement and any related forms for the
proposed collections previously
discussed, please visit CMS’s website at
https://www.cms.gov/RegulationsandGuidance/Legislation/Paperwork
ReductionActof1995/PRAListing.html,
or call the Reports Clearance Office at
(410) 786–1326.
We invite public comments on the
proposed information collection
requirements and burden. If you wish to
comment, please submit your comments
electronically as specified in the DATES
and ADDRESSES sections of this
proposed rule and identify the rule
(CMS–1715–P) and where applicable
the ICR’s CFR citation, CMS ID number,
and OMB control number.
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V. Response to Comments
Because of the large number of public
comments we normally receive on
Federal Register documents, we are not
able to acknowledge or respond to them
individually. We will consider all
comments we receive by the date and
time specified in the DATES section of
this preamble, and, when we proceed
with a subsequent document, we will
respond to the comments in the
preamble to that document.
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B. Overall Impact
We examined the impact of this rule
as required by Executive Order 12866
on Regulatory Planning and Review
(September 30, 1993), Executive Order
13563 on Improving Regulation and
Regulatory Review (February 2, 2013),
the Regulatory Flexibility Act (RFA)
(September 19, 1980, Pub. L. 96–354),
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section 1102(b) of the Social Security
Act, section 202 of the Unfunded
Mandates Reform Act of 1995 (March
22, 1995; Pub. L. 104–4), Executive
Order 13132 on Federalism (August 4,
1999), the Congressional Review Act (5
U.S.C. 804(2)), and Executive Order
13771 on Reducing Regulation and
Controlling Regulatory Costs (January
30, 2017).
Executive Orders 12866 and 13563
direct agencies to assess all costs and
benefits of available regulatory
alternatives and, if regulation is
necessary, to select regulatory
approaches that maximize net benefits
(including potential economic,
environmental, public health and safety
effects, distributive impacts, and
equity). An RIA must be prepared for
major rules with economically
significant effects ($100 million or more
in any 1 year). We estimated, as
discussed in this section, that the PFS
provisions included in this proposed
rule would redistribute more than $100
million in 1 year. Therefore, we estimate
that this rulemaking is ‘‘economically
significant’’ as measured by the $100
million threshold, and hence also a
major rule under the Congressional
Review Act. Accordingly, we prepared
an RIA that, to the best of our ability,
presents the costs and benefits of the
rulemaking. The RFA requires agencies
to analyze options for regulatory relief
of small entities. For purposes of the
RFA, small entities include small
businesses, nonprofit organizations, and
small governmental jurisdictions. Most
hospitals, practitioners and most other
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providers and suppliers are small
entities, either by nonprofit status or by
having annual revenues that qualify for
small business status under the Small
Business Administration standards. (For
details, see the SBA’s website at https://
www.sba.gov/content/table-smallbusiness-size-standards (refer to the
620000 series)). Individuals and states
are not included in the definition of a
small entity.
The RFA requires that we analyze
regulatory options for small businesses
and other entities. We prepare a
regulatory flexibility analysis unless we
certify that a rule would not have a
significant economic impact on a
substantial number of small entities.
The analysis must include a justification
concerning the reason action is being
taken, the kinds and number of small
entities the rule affects, and an
explanation of any meaningful options
that achieve the objectives with less
significant adverse economic impact on
the small entities.
Approximately 95 percent of
practitioners, other providers, and
suppliers are considered to be small
entities, based upon the SBA standards.
There are over 1 million physicians,
other practitioners, and medical
suppliers that receive Medicare
payment under the PFS. Because many
of the affected entities are small entities,
the analysis and discussion provided in
this section, as well as elsewhere in this
proposed rule is intended to comply
with the RFA requirements regarding
significant impact on a substantial
number of small entities.
In addition, section 1102(b) of the Act
requires us to prepare an RIA if a rule
may have a significant impact on the
operations of a substantial number of
small rural hospitals. This analysis must
conform to the provisions of section 603
of the RFA. For purposes of section
1102(b) of the Act, we define a small
rural hospital as a hospital that is
located outside of a Metropolitan
Statistical Area for Medicare payment
regulations and has fewer than 100
beds. The PFS does not reimburse for
services provided by rural hospitals; the
PFS pays for physicians’ services, which
can be furnished by physicians and nonphysician practitioners in a variety of
settings, including rural hospitals. We
did not prepare an analysis for section
1102(b) of the Act because we
determined, and the Secretary certified,
that this proposed rule would not have
a significant impact on the operations of
a substantial number of small rural
hospitals.
Section 202 of the Unfunded
Mandates Reform Act of 1995 also
requires that agencies assess anticipated
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costs and benefits on state, local, or
tribal governments or on the private
sector before issuing any rule whose
mandates require spending in any 1 year
of $100 million in 1995 dollars, updated
annually for inflation. In 2019, that
threshold is approximately $154
million. This proposed rule will impose
no mandates on state, local, or tribal
governments or on the private sector.
Executive Order 13132 establishes
certain requirements that an agency
must meet when it issues a proposed
rule (and subsequent final rule) that
imposes substantial direct requirement
costs on state and local governments,
preempts state law, or otherwise has
Federalism implications. Since this
regulation does not impose any costs on
state or local governments, the
requirements of Executive Order 13132
are not applicable.
Executive Order 13771, entitled
‘‘Reducing Regulation and Controlling
Regulatory Costs,’’ was issued on
January 30, 2017 and requires that the
costs associated with significant new
regulations ‘‘shall, to the extent
permitted by law, be offset by the
elimination of existing costs associated
with at least two prior regulations.’’
This proposed rule, if finalized, is
considered an E.O. 13771 regulatory
action. We estimate the rule generates
$3.46 million in annualized costs in
2016 dollars, discounted at 7 percent
relative to year 2016 over a perpetual
time horizon. Details on the estimated
costs of this rule can be found in the
preceding and subsequent analyses.
We prepared the following analysis,
which together with the information
provided in the rest of this preamble,
meets all assessment requirements. The
analysis explains the rationale for and
purposes of this proposed rule; details
the costs and benefits of the rule;
analyzes alternatives; and presents the
measures we would use to minimize the
burden on small entities. As indicated
elsewhere in this proposed rule, we are
proposing a variety of changes to our
regulations, payments, or payment
policies to ensure that our payment
systems reflect changes in medical
practice and the relative value of
services, and implementing statutory
provisions. We provide information for
each of the policy changes in the
relevant sections of this proposed rule.
We are unaware of any relevant federal
rules that duplicate, overlap, or conflict
with this proposed rule. The relevant
sections of this proposed rule contain a
description of significant alternatives if
applicable.
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C. Changes in Relative Value Unit
(RVU) Impacts
1. Resource-Based Work, PE, and MP
RVUs
Section 1848(c)(2)(B)(ii)(II) of the Act
requires that increases or decreases in
RVUs may not cause the amount of
expenditures for the year to differ by
more than $20 million from what
expenditures would have been in the
absence of these changes. If this
threshold is exceeded, we make
adjustments to preserve budget
neutrality.
Our estimates of changes in Medicare
expenditures for PFS services compared
payment rates for CY 2019 with
payment rates for CY 2020 using CY
2018 Medicare utilization. The payment
impacts in this proposed rule reflect
averages by specialty based on Medicare
utilization. The payment impact for an
individual practitioner could vary from
the average and would depend on the
mix of services he or she furnishes. The
average percentage change in total
revenues will be less than the impact
displayed here because practitioners
and other entities generally furnish
services to both Medicare and nonMedicare patients. In addition,
practitioners and other entities may
receive substantial Medicare revenues
for services under other Medicare
payment systems. For instance,
independent laboratories receive
approximately 83 percent of their
Medicare revenues from clinical
laboratory services that are paid under
the Clinical Laboratory Fee Schedule
(CLFS).
The annual update to the PFS
conversion factor (CF) was previously
calculated based on a statutory formula;
for details about this formula, we refer
readers to the CY 2015 PFS final rule
with comment period (79 FR 67741
through 67742). Section 101(a) of the
MACRA repealed the previous statutory
update formula and amended section
1848(d) of the Act to specify the update
adjustment factors for CY 2015 and
beyond. The update adjustment factor
for CY 2020, as required by section
53106 of the Bipartisan Budget Act of
2018, is 0.00 percent before applying
other adjustments.
To calculate the proposed CY 2020
CF, we multiplied the product of the
current year CF and the update
adjustment factor by the budget
neutrality adjustment described in the
preceding paragraphs. We estimated the
CY 2020 PFS CF to be 36.0896 which
reflects the budget neutrality adjustment
under section 1848(c)(2)(B)(ii)(II) of the
Act and the 0.00 percent update
adjustment factor specified under
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section 1848(d)(18) of the Act. We
estimate the CY 2020 anesthesia CF to
be 22.2774, which reflects the same
overall PFS adjustments with the
40883
addition of anesthesia-specific PE and
MP adjustments.
TABLE 108—CALCULATION OF THE PROPOSED CY 2020 PFS CONVERSION FACTOR
CY 2019 Conversion Factor .......................................................
Statutory Update Factor ..............................................................
CY 2020 RVU Budget Neutrality Adjustment .............................
....................................................................................................
0.00 percent (1.0000) ................................................................
0.14 percent (1.0014) ................................................................
36.0391
........................
........................
CY 2020 Conversion Factor ................................................
....................................................................................................
36.0896
TABLE 109—CALCULATION OF THE PROPOSED CY 2020 ANESTHESIA CONVERSION FACTOR
CY 2019 National Average Anesthesia Conversion Factor .......
Statutory Update Factor ..............................................................
CY 2020 RVU Budget Neutrality Adjustment .............................
CY 2020 Anesthesia Fee Schedule Practice Expense and Malpractice Adjustment.
....................................................................................................
0.00 percent (1.0000) ................................................................
0.14 percent (1.0014) ................................................................
¥0.12 percent (0.9988) .............................................................
22.2730
........................
........................
........................
CY 2020 Conversion Factor ................................................
....................................................................................................
22.2774
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Table 110 shows the payment impact
on PFS services of the policies
contained in this proposed rule. To the
extent that there are year-to-year
changes in the volume and mix of
services provided by practitioners, the
actual impact on total Medicare
revenues would be different from those
shown in Table 110 (CY 2020 PFS
Estimated Impact on Total Allowed
Charges by Specialty). The following is
an explanation of the information
represented in Table 110.
• Column A (Specialty): Identifies the
specialty for which data are shown.
• Column B (Allowed Charges): The
aggregate estimated PFS allowed
charges for the specialty based on CY
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2018 utilization and CY 2019 rates. That
is, allowed charges are the PFS amounts
for covered services and include
coinsurance and deductibles (which are
the financial responsibility of the
beneficiary). These amounts have been
summed across all services furnished by
physicians, practitioners, and suppliers
within a specialty to arrive at the total
allowed charges for the specialty.
• Column C (Impact of Work RVU
Changes): This column shows the
estimated CY 2020 impact on total
allowed charges of the changes in the
work RVUs, including the impact of
changes due to potentially misvalued
codes.
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• Column D (Impact of PE RVU
Changes): This column shows the
estimated CY 2020 impact on total
allowed charges of the changes in the PE
RVUs.
• Column E (Impact of MP RVU
Changes): This column shows the
estimated CY 2020 impact on total
allowed charges of the changes in the
MP RVUs.
• Column F (Combined Impact): This
column shows the estimated CY 2020
combined impact on total allowed
charges of all the changes in the
previous columns. Column F may not
equal the sum of columns C, D, and E
due to rounding.
BILLING CODE 4120–01–P
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TABLE 110: CY 2020 PFS Estimated Impact on Total Allowed Charges by Specialty
(B)
Allowed
Charges (mil)
$236
$1,993
$70
$279
$6,595
$750
$787
$781
$162
$346
$3,541
$697
$3,021
$488
$6,019
$1,713
$405
$2,031
$187
$226
$1,673
$592
$640
$10,507
$885
$432
$148
$2,164
$1,503
$802
$50
$1,291
Allergy/Immunology
Anesthesiology
Audiologist
Cardiac Surgery
Cardiology
Chiropractor
Clinical Psychologist
Clinical Social Worker
Colon And Rectal Surgery
Critical Care
Dermatology
Diagnostic Testing Facility
Emergency Medicine
Endocrinology
Family Practice
Gastroenterology
General Practice
General Surgery
Geriatrics
Hand Surgery
Hematology/Oncology
Independent Laboratory
Infectious Disease
Internal Medicine
Interventional Pain Mgmt
Interventional Radiology
Multispecialty Clinic/Other Phys
Nephrology
Neurology
Neurosurgery
Nuclear Medicine
Nurse Anes I Anes Asst
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Nurse Practitioner
Obstetrics/Gynecology
Ophthalmology
Optometry
Oral/Maxillofacial Surgery
Orthopedic Surgery
Other
Otolamgology
Pathology
Pediatrics
Physical Medicine
Physical/Occupational Therapy
Physician Assistant
Plastic Surgery
Podiatry
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(C)
Impact
of Work
(D)
Impact
ofPE
(E)
Impact
ofMP
Changes
Changes
Changes
RVU
0%
0%
0%
-1%
0%
0%
1%
0%
0%
0%
0%
0%
1%
0%
0%
0%
0%
0%
0%
0%
0%
0%
0%
0%
0%
0%
0%
0%
-1%
0%
0%
0%
RVU
0%
0%
0%
-1%
0%
0%
2%
3%
1%
0%
1%
-2%
0%
0%
0%
0%
0%
0%
0%
0%
0%
1%
0%
0%
0%
-2%
0%
0%
3%
0%
1%
0%
RVU
0%
0%
0%
0%
0%
-1%
0%
0%
0%
0%
-1%
0%
1%
0%
0%
-1%
0%
0%
0%
0%
0%
0%
0%
0%
0%
0%
0%
0%
0%
-1%
0%
0%
(F)
Combined
Impact
0%
0%
1%
-1%
0%
-1%
3%
3%
1%
1%
0%
-2%
1%
0%
0%
-1%
0%
0%
0%
1%
0%
1%
0%
0%
1%
-2%
0%
1%
2%
-1%
1%
0%
$4,503
0%
0%
0%
0%
$620
$5,398
$1,325
$71
$3,734
$34
$1,225
$1,203
$62
$1,110
$4,248
$2,637
$369
$1,998
0%
-2%
0%
0%
0%
0%
0%
0%
0%
0%
0%
0%
0%
0%
1%
-3%
-1%
0%
0%
0%
0%
0%
0%
0%
0%
0%
0%
1%
0%
0%
0%
-1%
0%
0%
0%
0%
0%
0%
0%
0%
0%
0%
1%
-4%
-2%
-2%
1%
1%
0%
0%
0%
0%
0%
0%
0%
1%
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(A)
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a. Changes in RVUs
The most widespread specialty
impacts of the RVU changes are
generally related to the changes to RVUs
for specific services resulting from the
misvalued code initiative, including
RVUs for new and revised codes. The
estimated impacts for some specialties,
including clinical social workers,
neurology, emergency medicine, and
podiatry reflect increases relative to
other physician specialties. These
increases can largely be attributed to
finalized increases in value for
particular services following the
recommendations from the American
Medical Association (AMA)’s Relative
Value Scale Update Committee and
CMS review, increased payments as a
result of finalized updates to supply and
equipment pricing, and the continuing
implementation of the adjustment to
indirect PE allocation for some officebased services.
The estimated impacts for several
specialties, including ophthalmology
and optometry, reflect decreases in
payments relative to payment to other
physician specialties as a result of
revaluation of individual procedures
reviewed by the AMA’s relative value
scale update committee (RUC) and CMS.
The estimated impacts for other
specialties, including vascular surgery,
reflect decreased payments as a result of
continuing implementation of the
previously finalized updates to supply
and equipment pricing. The estimated
impacts also reflect decreased payments
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due to continued implementation of
previously finalized code-level
reductions that are being phased-in over
several years. For independent
laboratories, it is important to note that
these entities receive approximately 83
percent of their Medicare revenues from
services that are paid under the CLFS.
As a result, the estimated 1 percent
increase for CY 2020 is only applicable
to approximately 17 percent of the
Medicare payment to these entities.
We often receive comments regarding
the changes in RVUs displayed on the
specialty impact table (Table 110),
including comments received in
response to the proposed rates. We
remind stakeholders that although the
estimated impacts are displayed at the
specialty level, typically the changes are
driven by the valuation of a relatively
small number of new and/or potentially
misvalued codes. The percentages in
Table 110 are based upon aggregate
estimated PFS allowed charges summed
across all services furnished by
physicians, practitioners, and suppliers
within a specialty to arrive at the total
allowed charges for the specialty, and
compared to the same summed total
from the previous calendar year.
Therefore, they are averages, and may
not necessarily be representative of
what is happening to the particular
services furnished by a single
practitioner within any given specialty.
b. Impact
Column F of Table 110 displays the
estimated CY 2020 impact on total
allowed charges, by specialty, of all the
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RVU changes. A table showing the
estimated impact of all of the changes
on total payments for selected high
volume procedures is available under
‘‘downloads’’ on the CY 2020 PFS
proposed rule website at https://
www.cms.gov/Medicare/Medicare-Feefor-Service-Payment/Physician
FeeSched/. We selected these
procedures for sake of illustration from
among the procedures most commonly
furnished by a broad spectrum of
specialties. The change in both facility
rates and the nonfacility rates are
shown. For an explanation of facility
and nonfacility PE, we refer readers to
Addendum A on the CMS website at
https://www.cms.gov/Medicare/
Medicare-Fee-for-Service-Payment/
PhysicianFeeSched/.
c. Estimated Impacts Related to
Proposed Changes for Office/Outpatient
E/M Services for CY 2021
Although we are not proposing
changes to E/M coding and payment for
CY 2020, we are proposing certain
changes for CY 2021. We provide the
following impact estimate only for
illustrative purposes. We believe these
estimates provide insight into the
magnitude of potential changes for
certain physician specialties. Table 111
illustrates the estimated specialty level
impacts associated with implementing
the RUC-recommended work values for
the office/outpatient E/M codes, as well
as the revalued HCPCS add-on G-codes
for primary care and certain types of
specialty visits in 2020, rather than
delaying until CY 2021.
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2. CY 2020 PFS Impact Discussion
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TABLE 111: Estimated Specialty Level Impacts of Proposed ElM Payment and
Coding Policies if Implemented for CY 2021
(B)
Allowed
Charges
(mil)
$236
$1,993
$70
$279
$6,595
$750
$787
$781
$162
$346
$3,541
$697
$3,021
$488
$6,019
$1,713
$405
$2,031
$187
$226
$1,673
$592
$640
$10,507
$885
$432
$148
$2,164
$1,503
$802
$50
$1,291
$4,503
$620
$5,398
$1,325
$71
$3,734
$34
$1,225
$1,203
$62
$1,110
$4,248
$2,637
$369
Allergy/Immunology
Anesthesiology
Audiologist
Cardiac Surgery
Cardiology
Chiropractor
Clinical Psychologist
Clinical Social Worker
Colon And Rectal Surgery
Critical Care
Dermatology
Diagnostic Testing Facility
Emergency Medicine
Endocrinology
Family Practice
Gastroenterology
General Practice
General Surgery
Geriatrics
Hand Surgery
Hematology/Oncology
Independent Laboratory
Infectious Disease
Internal Medicine
Interventional Pain Mgmt
Interventional Radiology
Multispecialty Clinic/Other Phys
Nephrology
Neurology
Neurosurgery
Nuclear Medicine
Nurse Anes I Anes Asst
Nurse Practitioner
Obstetrics/Gynecology
Ophthalmology
Optometry
Oral/Maxillofacial Surgery
Orthopedic Surgery
Other
Otolamgology
Pathology
Pediatrics
Physical Medicine
Physical/Occupational Therapy
Physician Assistant
Plastic Surgery
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(C)
Impact of
Work
RVU
Changes
(D)
Impact of
(E)
Impact of
Changes
Changes
PERVU
4%
-5%
-4%
-5%
2%
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-7%
-7%
-3%
-5%
0%
-1%
-6%
11%
8%
-2%
5%
-3%
2%
-1%
8%
-3%
-3%
2%
4%
-3%
-2%
-2%
2%
-3%
-4%
-7%
5%
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-2%
-1%
-1%
-3%
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-5%
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-2%
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4%
-3%
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-1%
-2%
-2%
1%
-3%
0%
0%
-1%
-1%
1%
-4%
-2%
5%
4%
-1%
2%
-1%
1%
0%
4%
-1%
-1%
2%
3%
-3%
0%
0%
5%
-1%
0%
-2%
3%
3%
-5%
-3%
-1%
0%
-2%
2%
-3%
2%
0%
-3%
2%
-1%
14AUP2
MPRVU
0%
0%
0%
-1%
0%
-1%
0%
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-1%
0%
-1%
0%
1%
1%
1%
-1%
0%
0%
0%
0%
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0%
0%
0%
1%
0%
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0%
0%
-2%
0%
0%
0%
0%
0%
0%
-1%
0%
0%
0%
-1%
0%
0%
0%
0%
-1%
(F)
Combined
Impact*
7%
-7%
-6%
-8%
3%
-9%
-7%
-6%
-4%
-6%
-1%
-4%
-7%
16%
12%
-4%
8%
-4%
3%
-1%
12%
-4%
-3%
4%
8%
-6%
-2%
-2%
8%
-6%
-5%
-9%
8%
7%
-10%
-5%
-4%
-2%
-5%
5%
-8%
6%
-2%
-8%
7%
-5%
EP14AU19.103
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(A)
Specialty
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BILLING CODE 4120–01–C
Overall, those specialties that bill
higher level established patient visits,
such as endocrinology or family
practice, see the greatest increases as
those codes were revalued higher
relative to the rest of the office/
outpatient E/M code set. Those
specialties that see the greatest
decreases are those that do not generally
bill office/outpatient E/M visits. Other
specialty level impacts are primarily
driven by the extent to which those
specialties bill using the office/
outpatient E/M code set and the relative
increases to the particular office/
outpatient E/M codes predominantly
billed by those specialties. We note that
any potential coding changes and
recommendations in overall valuation
for new and existing codes between the
CY 2020 proposed rule and the CY 2021
final rule could impact the actual
change in overall RVUs for office/
outpatient visits relative to the rest of
the PFS. Given the various factors that
will be considered by the variety of
stakeholders involved in the CPT and
RUC processes, we do not believe we
can estimate with any degree of
certainty what the impact of potential
changes might be. We also, note,
however, that any changes in coding
and payment for these services would
be subject to notice and comment
rulemaking.
As discussed elsewhere in this section
of the proposed rule, we estimate this
approach would lead to burden
reduction for practitioners, while
allowing a year of preparatory time and
time for potential refinement over the
next year as we take into account any
feedback from stakeholders on these
proposed changes.
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D. Effect of Proposed Changes Related
to Telehealth
As discussed in section II.F. of this
proposed rule, we are proposing to add
three new codes, HCPCS codes GYYY1,
GYYY2, and GYYY3, to the list of
Medicare telehealth services for CY
2020. Although we expect these changes
to have the potential to increase access
to care in rural areas, based on recent
telehealth utilization of services already
on the list, including services similar to
the proposed additions, we estimate
there will only be a negligible impact on
PFS expenditures from these additions.
For example, for services already on the
list, they are furnished via telehealth, on
average, less than 0.1 percent of the time
they are reported overall. The
restrictions placed on Medicare
telehealth by the statute limit the
magnitude of utilization; however, we
believe there is value in allowing
physicians and patients the greatest
flexibility when appropriate.
E. Other Provisions of the Proposed
Regulation
1. Effect of Medicare Coverage for
Opioid Use Disorder Treatment Services
Furnished by Opioid Treatment
Programs (OTPs)
As discussed in section II.G of this
proposed rule, Section 2005 of the
Substance Use-Disorder Prevention that
Promotes Opioid Recovery and
Treatment (SUPPORT) for Patients and
Communities Act establishes a new
Medicare Part B benefit for opioid use
disorder (OUD) treatment services
furnished by opioid treatment programs
(OTPs) for episodes of care beginning on
or after January 1, 2020. The Substance
Abuse and Mental Health Services
Administration (SAMHSA) currently
performs regulatory certification of
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OTPs. Currently, SAMHSA certifies
about 1,700 OTPs. They are located
predominately in urban areas, tend to be
free-standing facilities, and provide a
range of services, including medicationassisted treatment (MAT). The payor
mix for OTPs currently includes
Medicaid, private payors, TRICARE, as
well as individual pay patients. The
total estimated Part B net impact,
including FFS and Medicare Advantage,
over 10 years is $1,024,000,000. In
developing this estimate, it was
assumed that the average treatment
length would be 12 months in duration
and the average rate per week in CY
2020 was assumed to be $148, which is
a weighted average of the rates we are
proposing for the bundled payments for
treatment with methadone,
buprenorphine, and naltrexone. These
rates were assumed to be updated
annually by the Medicare Economic
Index (MEI). We assumed that the
impact in the first year would be
reduced by 50 percent due to potential
delays in provider certification and
system modifications. Additionally, any
change to fee-for-service benefits has an
associated impact on payments to
Medicare Advantage plans so an
adjustment was made to reflect this,
based on the projected distribution of
spending in each year. The estimate also
accounts for the impact on the program
due to the change in the Part B premium
as a result of this provision. The Part B
enrollment and MEI assumptions were
based on the President’s Fiscal Year
2020 Budget baseline that was released
in March of 2019. As with all estimates,
and particularly those for new
separately billable services, this
outcome is highly uncertain because the
available information on which to base
estimates is limited and is not directly
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applicable to a new Medicare payment.
The cost and utilization estimates are
based on Medicare and Medicaid claims
data for beneficiaries with OUD,
together with statistics about the types
of services typically furnished at OTPs.
It is difficult for us to predict how
coverage of OTPs will specifically affect
the market. We anticipate current OTPs
may expand access to care for Medicare
beneficiaries since they will be able to
receive payment from Medicare for
services furnished to beneficiaries when
they previously were unable to do so.
Coverage may also create financial
incentives to establish new OTPs.
However, since TRICARE, Medicaid,
and some private payers already pay for
OTP services, it is less clear whether the
presence of Medicare payment rates will
have any effect on current rates for OTP
services or on new rates should
additional private coverage be
established.
2. Changes to the Ambulance Physician
Certification Statement Requirement
This proposed rule would clarify the
requirements at §§ 410.40 and 410.41
regarding the requirements for
physician certification and nonphysician certification statements and
expand the list of staff members who
can sign non-physician certification
statements. While we believe that
clarification of the regulatory provisions
associated with physician certification
and non-physician certification
statements is needed and would be well
received by stakeholders, we do not
believe that these clarifications would
have any substantive monetary or
impact the amount of time needed to
complete the certification statements.
We believe the primary benefit of the
clarification would be for providers and
suppliers in preparing and submitting
the original certification statements. It is
feasible the clarification could result in
fewer claims being denied. However,
hypothetically, these denials are likely a
small subset of the ambulance claim
denials and those denied for technical
PCS issues are likely appealed and
overturned.
Moreover, we have examined the
impact of expanding the list of
individuals who may sign the nonphysician certification statement. This
added flexibility in accessing additional
individuals to sign a non-physician
certification statement would be needed
only when the physician was
unavailable. Thus, while we anticipate
that some providers would use the
increased flexibility, the precise impact
is not calculable.
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3. Medicare Ground Ambulance
Services Data Collection System
As discussed in section III.B.2. of this
proposed rule, section 50203(b) of the
BBA of 2018 added a new paragraph
(17) to section 1834(l) of the Act, which
requires the Secretary to develop a data
collection system to collect cost,
revenue, utilization, and other
information determined appropriate
with respect to providers and suppliers
of ground ambulance services. In
section III.B.4 through III.B.7. of this
proposed rule, we describe our
proposals that would implement this
section, including the data that would
be collected through the data collection
system, sampling methodology,
requirements for reporting data,
payment reductions that would apply to
ground ambulance providers and
suppliers that fail to sufficiently report
data and that do not qualify for a
hardship exemption, informal review
process that would be available to
ground ambulance providers and
suppliers that are subject to a payment
reduction, and our policies for making
the data available to the public.
We estimate that ground ambulance
providers and suppliers would need to
engage in two primary activities with
respect to these proposals, both of
which would require them to incur cost
and burden: Data collection and data
reporting. The data collection activity
includes: (1) Reviewing instructions to
understand the data required for
reporting; (2) accessing existing data
systems and reports to obtain the
required information; (3) obtaining
required information from other entities
where appropriate; and (4) if necessary,
developing processes and systems to
collect data that are not currently
collected, but that they would be
required to report under the data
collection system. The data reporting
activity includes entering the collected
information in CMS’s proposed webbased data collection system.
To estimate the data collection
impact, we assumed that each ground
ambulance organization that is selected
to submit data for a year would take up
to 20 hours to collect the required data,
which would include 4 hours to review
the instructions and 16 hours to collect
the required data. These estimates were
informed by our discussions with
ambulance organizations during
stakeholder engagements and through
more in-depth interviews with nine
ambulance organizations for the
purpose of soliciting feedback on data
collection instrument items as described
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in section III.B.3. and III.B.4. of this
proposed rule. Most participants
indicated that they would be able to
provide some of the required
information with an investment of 1–2
hours and complete information with
additional hours to collect the missing
data. Many participants indicated that
they would need to reach out to other
staff at the organization, at contracted
organizations (such as billing
companies), or at other entities (such as
municipal government financial staff for
government ambulance organizations) to
collect required information that was
not in the organization’s accounting or
billing systems. Some participants
indicated that their organization would
need to adjust data collection processes
or collect new data over the course of
a year to ensure that required data was
available in the appropriate format prior
to submission.
Actual data collection and reporting
will vary depending on the mix of
employees at sampled ambulance
organizations, the staff with available
time to dedicate to data collection and
data reporting activities at each
organization, the staff in different roles
that already perform similar activities in
each organization, and whether billing
services are contracted out or conducted
internally.
Because we expect that the staff (by
category) that will contribute to data
collection and reporting will be highly
variable across ground ambulance
organizations, we calculated a blended
mean wage for the purposes of
estimating burden. Table 112 lists the
Standard Occupational Classification
(SOC) categories contributing to the
blended wage, the mean wage for each
SOC specific to North American
Industry Classification System (NAICS)
industry code 621910 (Ambulance
Services), and the relative contribution
of each SOC to the blended mean. The
source mean wage and employment data
is from the Bureau of Labor Statistics
May 2018 Occupational Employment
Statistics data (available from https://
download.bls.gov/pub/time.series/oe/)
for the indicated SOC and NAICS codes,
which was most recently available wage
and employment data set. We assumed
that financial clerks (SOC category
433000) would account for 25 percent of
the total data collection and reporting
effort, and that six other SOC categories
would contribute to the remaining 75
percent (see Table 112).
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TABLE 112—ESTIMATED MEAN HOURLY WAGES FOR OCCUPATIONS INVOLVED IN DATA COLLECTION
Mean hourly
wage
($)
D–6
Weight
(% effort) *
Top Executives (111000) .........................................................................................................................................
Other Management Occupations (119000) .............................................................................................................
Business and Financial Operations Occupations (130000) ....................................................................................
Secretaries and Administrative Assistants (436010) ...............................................................................................
Other Office and Administrative Support Workers (439000) ..................................................................................
Financial Clerks (433000) ........................................................................................................................................
First-Line Supervisors of Office and Administrative Support Workers (431011) ....................................................
51.49
39.23
28.60
18.11
16.20
18.51
27.92
17
12
15
10
10
25
10
Blended Mean Hourly Wage ............................................................................................................................
28.91
100
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* Note: Weights may not sum to 100 percent due to rounding. Source: Bureau of Labor Statistics Occupational Employment Statistics, May
2018, available from https://download.bls.gov/pub/time.series/oe/.
In addition, we calculated the cost of
overhead, including fringe benefits, at
100 percent of the mean hourly wage.
Although we recognize that fringe
benefits and overhead costs may vary
significantly by employer, and that there
are different accepted methods for
estimating these costs, doubling the
mean blended wage rate to estimate
total cost is an accepted method to
provide a reasonably accurate estimate.
Therefore, assuming a mean blended
wage of $28.91 for data collection, and
assuming the cost of overhead,
including fringe benefits, at 100 percent
of the mean hourly wage, we calculated
at a wage plus benefits estimate of
$57.82 per hour of data collection. To
calculate at the total data collection cost
per sampled ground ambulance
organization, we multiplied the time
required for data collection by the
burdened hourly wage (20 hours *
$57.82/hour) for a total of $1,156.
We discussed several sampling
options in section III.B.5. of this
proposed rule. Our proposed sampling
rate of 25 percent would yield an
expected 2,690 respondents in the first
sample, resulting in a total estimated
data collection cost of $3,110,684 (2,690
respondents * $1,156 per respondent).
To estimate the cost of data reporting,
we assumed it will require 3 hours to
enter, review, and submit information
into the proposed web-based data
collection system. The estimate of 3
hours was also informed by interviews
with nine ambulance organizations to
solicit feedback on the data instrument
items under consideration. We included
time for staff to review the collected
data before entering it into the data
collection system. We also assumed that
staff responsible for reporting the data
would have the same blended hourly
wage used to estimate data collection
costs above ($28.91) as the staff that
collected the data. Again, assuming the
cost of overhead at 100 percent of the
mean hourly wage, we calculated at a
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wage plus benefits estimate of $57.82.
Therefore, we estimate a per-respondent
cost for data submission of $173.46 (3
hours * $57.82/hour). To calculate the
total cost for data reporting under a 25
percent sampling rate, we multiplied
the number of ground ambulance
organizations sampled annually by the
time required for data entry times the
total hourly wage estimate, for a total of
$466,603 across all respondents (2,690
respondents * 3 hours * $57.82/hour).
Adding the total data collection and
reporting costs yields a total annual
impact for ground ambulance
organizations of $3,577,287 ($3,110,684
for data collection [2,690 respondents *
20 hours * $57.82/hour] + $466,603
total cost for data submission [2,690
respondents * 3 hours * $57.82/hour])
with a 25 percent sampling rate. Our
estimate of total annual impact would
be lower at $1,430,649 ($1,244,042 for
data collection [1,076 respondents * 20
hours * $57.82/hour] + $186,606 for
data submission [1,076 respondents * 3
hours * $57.82/hour]) under a 10
percent sampling rate alternative and
higher at $7,153,244 ($6,220,212 for
data collection [5,379 respondents * 20
hours * $57.82/hour] + $933,032 for
data submission [5,379 respondents * 3
hours * $57.82/hour]) under a 50
percent sampling rate. In all cases, the
estimated cost of collecting and
reporting data is $1,330 per organization
sampled ($1,156 for data collection [20
hours * $57.82/hour] + $173.46 for data
submission [3 hours * $57.82/hour]).
The per-organization estimate reflects
an average. Based on discussions with
ambulance organizations to provide
feedback on instrument items, we do
not anticipate that larger or smaller
ambulance organizations in terms of
transport volume, costs, or revenue will
face systematically more or less burden
in data collection or reporting. While
larger organizations generally have
higher transport volumes, costs, and
revenue, and more complex financial
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arrangements that may increase
reporting burden, they also tend to have
existing data collection and reporting
processes and staff that will reduce the
additional effort required to submit the
required data. On the other hand, while
smaller organizations have less data to
collect and report, they may not have
current processes in place to begin
collecting some required data.
b. Hardship Exemption Process
As discussed in section III.B.7.b. of
this proposed rule, we are proposing a
process for ground ambulance
organizations to request and for CMS to
grant significant hardship exemptions
from the 10 percent payment reduction.
To request a significant hardship
exemption, we are proposing that a
ground ambulance organization would
be required to complete and submit a
request form that we would make
available on the Ambulances Services
Center website at https://www.cms.gov/
Center/Provider-Type/AmbulancesServices-Center.html.
We estimate that 25 percent of the
total number of ground ambulance
organizations will be selected each year
as the representative sample to report
the required information under the data
collection system. That is, 25 percent
out of the total 10,758 NPIs, or 2,690
ambulance providers and suppliers.
While we expect that few, if any,
ground ambulance organizations will
request a hardship exception, we do not
have experience in collecting data from
ground ambulance organizations that
could be used to develop an estimate, so
we are basing our estimate on the total
number of organizations being surveyed.
As a result, we estimate that a total of
2,690 ground ambulance organizations
would apply for a hardship exemption,
and that it would take 15 minutes for
each of these ground ambulance
organizations 15 minutes to complete
and submit the request form.
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We assumed for purposes of this
estimate that the mix of staff responsible
for completing this form would have the
same blended hourly wage used to
estimate the data collection and data
reporting costs. We also calculated the
cost of overhead, including fringe
benefits, at 100 percent of the mean
hourly wage, as we did above. As a
result, we estimated that the total cost
burden associated with the completion
and submission of the hardship
exemption request form would be
approximately $38,884.
c. Informal Review Process
As discussed in section III.B.7.c. of
this proposed rule, we are proposing a
process in which a ground ambulance
organization may seek an informal
review of our determination that it is
subject to the 10 percent reduction.
We estimate that a collection of
information burden of 15 minutes for a
ground ambulance provider or supplier
who is requesting an informal review to
gather the requested information and
send an email to our AMBULANCEODF
mailbox.
Again, we are using the total number
of ambulance organizations survey each
year to develop our estimates.
Therefore, a total of 40,350 minutes (15
× 2,690) or 672.5 hours for 2,690
ambulance providers and suppliers to
complete this form. Taking into account
the same blended mean hourly wage
and fringe benefits as we did for our
other estimates, we estimate that the
total for all sampled ambulance
providers and suppliers to submit the
form would be approximately $38,884.
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4. Intensive Cardiac Rehabilitation (ICR)
As discussed in section III.C. of this
proposed rule, we are adding stable,
chronic heart failure (CHF) (defined as
patient with left ventricular ejection
fraction of 35 percent or less and NYHA
class II to IV symptoms despite being on
optimal heart failure therapy for at least
6 weeks) to the list of covered
conditions for ICR, as well as, the ability
for use to use the NCD process to add
additional covered conditions for ICR.
Heart failure impacts approximately 5.7
million adults,141 and approximately 80
percent of individuals over age 65 have
heart failure.142 (The majority (86
percent) of Medicare beneficiaries are
141 Centers for Disease Control, Heart Failure Fact
Sheet, https://www.cdc.gov/dhdsp/data_statistics/
fact_sheets/fs_heart_failure.htm.
142 Vigen, Rebecca et al. ‘‘Aging of the United
States population: impact on heart failure.’’ Current
heart failure reports vol. 9,4 (2012): 369–74.
doi:10.1007/s11897–012–0114–8.
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over age 65.143) We estimate 4,560,000
beneficiaries over age 65 have heart
failure.
The uptake by beneficiaries has
historically been low for CR and ICR.
From February 2014 to 2017, after stable
CHF was added to the covered
conditions for CR, only 439,888 claims
were processed for this service with a
diagnosis code of CHF. Less than 1
percent of beneficiaries with heart
failure utilized CR. Given that the
uptake of ICR has been even lower than
CR, we expect the same trend (low
uptake) for intensive cardiac
rehabilitation due to the nature of these
programs which entail rehabilitation
through lifestyle modification. We
conducted a claims analysis that
examined claims prior to and after a
2014 NDC that added stable CHF to the
list of covered conditions for CR. Prior
to the implementation of stable CHF as
a covered condition for CR, 1.8 percent
of claims for CR included a diagnosis
code for CHF. After implementation, 4.7
percent of claims for CR included a
diagnosis code for CHF. Therefore, for
ICR, which has historically been
utilized much less than CR (for
example, when all CR and ICR claims
are combined, only 1 percent of the
claims are for ICR), we anticipate there
may be a similar slight percentage
increase in claims for ICR for treatment
of stable CHF. Assuming a 4.7 percent
increase in ICR claims due to adding
stable CHF as a covered condition, we
estimate an increase of 3,378 claims
annually. For 2019, the facility and nonfacility prices for CR and ICR are the
same, and the average price is $120.93.
Therefore, based on our estimated
increase in claims, at an average price
of $120.93, the estimated total cost of
adding stable, chronic heart failure to
the list of covered conditions for ICR is
estimated at $408,502 annually. From
2010–2017, the median number of ICR
visits per calendar year was 18 visits per
beneficiary. Therefore, based on our
expected increase in the number of
claims (3,378), the estimated number of
beneficiaries covered would be 187.
Based on these estimates, we estimate
there will only be a negligible impact on
Medicare expenditures from this
proposed change.
Additionally, we do not anticipate
providers currently offering ICR would
need to obtain any specialized
technology and equipment to treat ICR
patients with stable CHF beyond what
they would obtain for ICR patients
143 CMS, 2019 Fast Facts, https://www.cms.gov/
Research-Statistics-Data-and-Systems/StatisticsTrends-and-Reports/CMS-Fast-Facts/.
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seeking treatment for the existing six
covered conditions.
When this proposed rule is finalized,
we will cover the seven cardiac
conditions that constitute the vast
majority of cardiac conditions that CR
and ICR can treat. Due to the breadth of
the proposed and existing covered
conditions, we do not anticipate the
need to use the NCD process to add
additional covered conditions to CR and
ICR in the near future.
Lastly, while CR and ICR have low
utilization at this point in time, an
increase in the number of CR and/or ICR
providers in underserved areas could
result in an increase in utilization due
to increased availability/proximity to
services. However, we are not able to
accurately quantify the number of
entities that would seek approval as CR
or ICR programs. Additionally, we
acknowledge, that the expansion of
coverage to ICR could generate attention
around the importance of CR/ICR and
may increase beneficiary utilization.
5. Medicaid Promoting Interoperability
Program Requirements for Eligible
Professionals (EPs)
In the Medicaid Promoting
Interoperability Program, to keep
electronic clinical quality measure
(eCQM) specifications current and
minimize complexity, we propose to
align the eCQMs available for Medicaid
EPs in 2020 with those available for
MIPS eligible clinicians for the CY 2020
performance period. We anticipate that
this proposal would reduce burden for
Medicaid EPs by aligning the
requirements for multiple reporting
programs, and that the system changes
required for EPs to implement this
change would not be significant, as
many EPs are expected to report eCQMs
to meet the quality performance
category of MIPS and therefore should
be prepared to report on those eCQMs
for 2020. Not implementing this
alignment could lead to increased
burden because EPs might have to
report on different eCQMs for the
Medicaid Promoting Interoperability
Program, if they opt to report on newly
added eCQMs for MIPS. We expect that
this proposal would have only a
minimal impact on states, by requiring
minor adjustments to state systems for
2020 to maintain current eCQM lists
and specifications. State expenditures to
make any systems changes required as
a result of this proposal would be
eligible for 90 percent Federal financial
participation.
For 2020, we propose to require that
Medicaid EPs report on any six eCQMs
that are relevant to the EP’s scope of
practice, including at least one outcome
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measure, or if no applicable outcome
measure is available or relevant, at least
one high priority measure, regardless of
whether they report via attestation or
electronically. This policy would
generally align with the MIPS data
submission requirement for eligible
clinicians using the eCQM collection
type for the quality performance
category, which is established in
§ 414.1335(a)(1). If no outcome or high
priority measure is relevant to a
Medicaid EP’s scope of practice, he or
she could report on any six eCQMs that
are relevant. This proposal would be a
continuation of our policy for 2019 and
we believe it would create no new
burden for EPs or states.
We also propose that the 2020 eCQM
reporting period for EPs in the Medicaid
Promoting Interoperability Program who
have demonstrated meaningful use in a
prior year would be a minimum of any
continuous 274-day period within CY
2020. We are proposing to shorten the
reporting period from a full calendar
year to enable states to take attestations
for 2020 as early as October 1, 2020. We
believe this would improve states’
flexibility as they move toward the end
of the Medicaid Promoting
Interoperability Program and the
December 31, 2021 statutory deadline to
make incentive payments. This should
add no additional burden for EPs or
CEHRT vendors, as Certified EHR
Technology (CEHRT) should be able to
run eCQM reports for any number of
days and during any time period. The
proposed eCQM reporting period would
be a minimum and EPs could continue
to report on a full calendar year if they
wish. As in previous years, the 2020
eCQM reporting period for EPs attesting
to meaningful use for the first time
would be any continuous 90-day period
within the calendar year.
Finally, we are proposing to change
Medicaid policy for 2021 related to EP
Meaningful Use Objective 1, Measure 1
(Conduct or review a security risk
analysis (SRA)). We are proposing to
allow Medicaid EPs to conduct an SRA
at any time during CY 2021, even if the
EP conducts the SRA after attesting to
meaningful use of CEHRT to the state.
A Medicaid EP who has not completed
an SRA for CY 2021 by the time he or
she attests to meaningful use of CEHRT
for CY 2021 would be required to attest
that he or she will complete the
required SRA by December 31, 2021.
Currently, this measure must be
completed in the same calendar year as
the EHR reporting period. This may
occur before, during, or after the EHR
reporting period, though if it occurs
after the EHR reporting period it must
occur before the provider attests to
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meaningful use of CEHRT or before the
end of the calendar year, whichever
comes first. In practice, this means that
EPs do not attest to meaningful use of
CEHRT before completing this measure.
However, due to the changes we
previously made to the EHR and eCQM
reporting period timelines for CY 2021,
all Medicaid EPs are expected to attest
to meaningful use of CEHRT on or
before October 31, 2021. Accordingly, if
we did not propose to change the
deadline for conducting the SRA,
Medicaid EPs would no longer have the
option of completing an SRA at the end
of the calendar year, and would likely
have to complete one well before
December 2021. If an EP typically
conducts the security risk analysis at the
end of each year, this timeline could
create burden for the EP, and may not
be optimal for protecting information
security, because it could disrupt the
intervals between security risk analyses.
We have also heard feedback from
health care providers that SRAs are
generally conducted for a whole clinic
and the current requirement would
create burden on non-EP health care
providers in 2021. We believe our
proposal would prevent additional
burden for both EPs and non-EP health
care providers.
This proposal could create burden for
states, as they might have to adjust their
pre-payment and post-payment
verification plans and conduct more
thorough audits for this meaningful use
objective. However, states are already
required to conduct adequate oversight
of the Medicaid Promoting
Interoperability Program, including
routine tracking and verification of
meaningful use attestations (see 42 CFR
495.318(b), 495.332(c), and 495.368),
and we are not proposing to change that
requirement for 2021. We have
established at 42 CFR 495.322(b) that 90
percent Federal financial participation
will be available for state administrative
expenditures related to Medicaid
Promoting Interoperability Program
audits and appeals that are incurred on
or before September 30, 2023.
the numerator guidance for ACO–17—
Preventive Care and Screening: Tobacco
use: Screening and Cessation
Intervention; and (4) reverting ACO–
43—Ambulatory Sensitive Condition
Acute Composite (AHRQ Prevention
Quality Indicator (PQI) #91) to pay-forreporting for 2 years to account for a
substantive change in the measure.
The net result of these proposed
modifications to the Shared Savings
Program quality measure set would be a
measure set of 23 measures. These
proposed changes would have no
impact on the number of measures an
ACO is required to report; therefore,
there is no expected change in reporting
burden for ACOs.
6. Medicare Shared Savings Program
In section III.F.1.b. of this proposed
rule, we summarize certain
modifications to the quality measure set
used to assess the quality performance
of ACOs participating in the Shared
Savings Program based on proposed
changes made to the CMS Web Interface
measures under the Quality Payment
Program in section III.I.3.b.(1).
Specifically, we are proposing: (1) The
addition of one CMS Web Interface
measure; (2) the removal of one CMS
Web Interface Measure; (3) revisions to
b. Modification of the ‘‘Nature of
Payment’’ Categories (§§ 403.902 and
403.904)
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7. Open Payments
a. Expanding the Definition of ‘‘Covered
Recipient’’ (§§ 403.902, 403.904, and
403.908)
Our initial estimate based on the
available information is that there will
be approximately $10 million dollar per
year in increased burden to reporting
entities and the new covered recipient
groups for submitting, collecting,
retaining, and reviewing data. This
estimate is based on existing burden
calculations. It assumes that there will
be 734,000 new records (∼7 percent
increase) reported about 205,000 (∼33
percent increase) covered recipients.
We also believe there will be costs to
reporting entities for updating their
systems and reporting processes.
However, we are unable to estimate
these costs because they will vary
depending on the reporting entity’s
individual circumstances.
As explained in section IV.5. of this
proposed rule, section 6111(c) of the
SUPPORT Act states that chapter 35 of
title 44 of the U.S. Code, which includes
such provisions as the PRA, shall not
apply to the changes to the definition of
a covered recipient. Therefore, a
detailed breakdown is not provided in
that section. The above estimates
however, do provide a regulatory impact
analysis of this provision.
We anticipate minor additional costs
for system updates associated with our
proposed provision to modify the
‘‘nature of payment’’ categories. As we
indicated in section III.F. of this
proposed rule, said provisions are
intended to add clarity. They will not
increase the amount of information to be
reported. Data already reported to us
may simply be reported in a different
category. We propose these changes
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only to be made prospectively and do
not propose to have manufactures and
GPOs to make changes to previously
reported data. This provision would,
generally speaking, allow reporting
entities to better characterize the nature
of a payment and would not constitute
a new requirement. Hence, the expected
impact is minimal.
c. Standardizing Data Reporting
(§§ 403.902 and 403.904)
Approximately 850 entities
(approximately 53 percent), have
reported a transaction that could require
the addition of a device identifier if this
proposed rule becomes final. The total
cost of the addition of this new data
element cannot be estimated because it
would depend on: (1) Whether the
entity already tracks this data element
and (2) the extent to which the entity
would need to update their system to be
able to report this data element.
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8. Medicare Enrollment of Opioid
Treatment Programs
As stated previously in this proposed
rule, we propose that OTP providers be
required to not only enroll in Medicare,
but also (1) pay an application fee at the
time of enrollment and (2) submit a set
of fingerprints for a national background
check (via FBI Applicant Fingerprint
Card FD–258) from all individuals who
maintain a 5 percent or greater direct or
indirect ownership interest in the OTP.
a. Application Fee
The application fees for each of the
past 3 calendar years (CY) were or are
$560 (CY 2017), $569, (CY 2018), and
$586 (CY 2019). Consistent with
§ 424.518, the differing fee amounts
were predicated on changes/increases in
the Consumer Price Index (CPI) for all
urban consumers (all items; United
State city average, CPI–U) for the 12month period ending on June 30 of the
previous year. While we cannot predict
future changes to the CPI, we note that
the fee amounts between 2017 and 2019
increased by an average of $13 per year.
We believe this is a reasonable
barometer with which to establish
estimates (strictly for purposes of this
proposed rule) of the fee amounts in the
first 3 CYs of this rule (that is, 2020,
2021, and 2022). We thus project a fee
amount of $599 in 2020, $612 for 2021,
and $625 for 2022.
Applying these prospective fee
amounts to the number of projected
applicants in the rule’s first 3 years, we
estimate a cost to enrollees of
$1,058,433 (or 1,767 × $599) in the first
year, $41,004 (or 67 × $612) in the
second year, and $41,250 (or 66 × $625)
in the third year.
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b. Fingerprinting
Based on the experiences of the
provider community to date, we
estimate that it would take each owner
(BLS: Top Executives) approximately 2
hours at $123.32/hr to obtain and
submit the fingerprints. (According to
the most recent BLS wage data for May
2018, the mean hourly wage for the
general category of ‘‘Top Executives’’ is
$61.66 (see https://www.bls.gov/oes/
current/oes_nat.htm#43-0000). With
fringe benefits and overhead, the figure
is $123.32.)
As mentioned in the preamble of this
proposed rule, SAMHSA statistics
indicate that there are currently about
1,677 active OTPs; of these,
approximately 1,585 have full
certifications and 92 have provisional
certifications.
Although we do not have specific data
on the matter, we project, for purposes
of our proposed burden estimates, a
total of 1,500 such direct or indirect
ownership interests in OTP providers
that would require the submission of
fingerprints over the first 3 years. This
1,500 figure is less than the 1,900
projected applicants (discussed in the
ICR section of this rule) in the first 3
years following the final rule’s
publication because some applicants
may have non-profit business structures
and, thus, would not have owners.
Furthermore, our estimation of
individual owners who would qualify to
submit fingerprints is based on a
sampling of similar provider types,
including DMEPOS suppliers (high
risk), MDPP suppliers (high risk), rural
health clinics (limited risk) and others.
Applying this figure to the
aforementioned per year breakdown of
applicants, we estimate a first year
burden of 2,790 hours at a cost of
$344,063 (2,790 hr × $123.32/hr). We
obtained the 2,790 hour estimate by first
dividing 1,767 (the number of first-year
applicants) by 1,900, resulting in a
figure of 0.93. We then multiplied 0.93
by 1,500 (the number of ownership
interests over the 3-year period) and
thereafter by 2 hours.
Applying this same formula, we
project a second-year time estimate of
106 hours (or 0.0353 × 1,500 applicants
× 2 hr) at a cost of $13,072 (106 hr ×
$123.32/hr), and a third-year estimate of
104 hours (or 0.0347 × 1,500 applicants
× 2 hr) at a cost of $12,825 (104 hr ×
$123.32/hr). In aggregate, we estimate a
burden of 3,000 hours (2,790 hr + 106
hr + 104 hr) at a cost of $369,960
($344,063 + $13,072 + $12,825). When
annualized over the 3-year period, we
estimate an annual burden of 1,000
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hours (3,000 hours/3) at a cost of
$123,320 ($369,960/3).
9. Deferring to State Scope of Practice
Requirements
a. Ambulatory Surgery Centers
As of May 2019 there were 5,767
Medicare-participating ASCs. We are
proposing to revise § 416.42 to allow an
anesthetist, or a physician, to perform
the required examination before surgery
for anesthesia risk and of the procedure
to be performed. We proposed this
revision to reduce ASC compliance
burden and provide for patient
assessment and care continuity while
maintaining patient safety and care. At
§ 416.42(a)(1), we propose to allow an
anesthetist, in addition to a physician,
to perform the required pre-surgical risk
and evaluation examination. This
change would provide flexibility and
allow either a physician or an
anesthetist to perform the pre-surgical
examination. In total, ASCs provided
about 6.4 million services in 2016.144
We assume that 30 percent of all
procedures would utilize the services of
a nurse anesthetist instead of a
physician for this requirement, which
would reduce the cost of the
examination. We estimate the presurgical evaluation to take 15 minutes to
complete. We are assuming these
estimates based on previous experience
and conversations with stakeholders.
We acknowledge the uncertainty with
these estimates and invite public
comment on our assumptions to
articulate the most accurate information
in the final rule calculations. According
to 2018 Bureau of Labor Statistics data,
the hourly cost for a physician
(including fringe benefits and overhead
calculated at 100 percent of the mean
hourly wage) is approximately $203
($51 for 15 minute evaluation), and the
hourly cost for a nurse anesthetist is
approximately $168 ($42 for 15 minute
evaluation). Assuming 1.92 million
procedures annually, we can predict a
savings of approximately $17.3 million
(($51¥$42) × 1.92 million). We have
used our best estimate as to the
percentage of pre-surgical evaluations
by anesthetists overall, however, we
welcome any comments and evidencebased information that would inform
our ability to provide the most accurate
cost savings estimates.
b. Hospice
We are proposing to revise § 418.106
to permit hospices to accept orders for
drugs from attending physicians who
are physician assistants. We do not
144 MEDPAC, Ambulatory surgical centers
services 2017, p. 136.
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believe that are any associated financial
impacts for hospices.
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10. Changes Due to Updates to the
Quality Payment Program
In section III.K. of this proposed rule,
we included our proposed policies for
the Quality Payment Program. In this
section of the proposed rule, we present
the overall and incremental impacts to
the number of expected QPs and
associated APM Incentive Payments. In
MIPS, we estimate the total MIPS
eligible population and the payment
impacts by practice size for the 2020
MIPS performance period based on
various proposed policies to modify the
MIPS final score and the proposed new
performance threshold and additional
performance threshold.
Although the submission period for
the second MIPS performance period
ended in early 2019, the final data sets
were not available in time to incorporate
into the CY 2020 PFS proposed rule
analysis. We intend to use data from the
2018 MIPS performance period for the
final rule.
a. Estimated APM Incentive Payments to
QPs in Advanced APMs and Other
Payer Advanced APMs
From 2019 through 2024, through the
Medicare Option, eligible clinicians
receiving a sufficient portion of
Medicare Part B payments for covered
professional services or seeing a
sufficient number of Medicare patients
through Advanced APMs as required to
become QPs, for the applicable
performance period, will receive a
lump-sum APM Incentive Payment
equal to 5 percent of their estimated
aggregate payment amounts for
Medicare covered professional services
furnished during the calendar year
immediately preceding the payment
year. In addition, beginning in payment
year 2021, in addition to the Medicare
Option, eligible clinicians may become
QPs through the All-Payer Combination
Option. The All-Payer Combination
Option will allow eligible clinicians to
become QPs by meeting the QP
thresholds through a pair of calculations
that assess a combination of both
Medicare Part B covered professional
services furnished through Advanced
APMs and services furnished through
Other Payer Advanced APMs.
The APM Incentive Payment is
separate from and in addition to the
payment for covered professional
services furnished by an eligible
clinician during that year. Eligible
clinicians who become QPs for a year
would not need to report to MIPS and
would not receive a MIPS payment
adjustment to their Part B PFS
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payments. Eligible clinicians who do
not become QPs, but meet a lower
threshold to become Partial QPs for the
year, may elect to report to MIPS and,
if they elect to report, would then be
scored under MIPS and receive a MIPS
payment adjustment. Partial QPs will
not receive the APM Incentive Payment.
For the 2020 QP Performance Period, we
define Partial QPs to be eligible
clinicians in Advanced APMs who
collectively have at least 40 percent, but
less than 50 percent, of their payments
for Part B covered professional services
through an APM Entity, or collectively
furnish Part B covered professional
services to at least 25 percent, but less
than 35 percent, of their Medicare
beneficiaries through an APM Entity. If
the Partial QP elects to be scored under
MIPS, they would be subject to all MIPS
requirements and would receive a MIPS
payment adjustment. This adjustment
may be positive, negative, or neutral. If
an eligible clinician does not attain
either QP or Partial QP status, and does
not meet any another exemption
category, the eligible clinician would be
subject to MIPS, would report to MIPS,
and would receive the corresponding
MIPS payment adjustment.
Beginning in payment year 2026,
payment rates for services furnished by
clinicians who achieve QP status for a
year would be increased each year by
0.75 percent for the year, while payment
rates for services furnished by clinicians
who do not achieve QP status for the
year would be increased by 0.25
percent. In addition, MIPS eligible
clinicians would receive positive,
neutral, or negative MIPS payment
adjustments to payment for their Part B
PFS services in a payment year based on
performance during a prior performance
period. Although the statute establishes
overall payment rate and procedure
parameters until 2026 and beyond, this
impact analysis covers only the fourth
payment year (2022 payment year) of
the Quality Payment Program in detail.
In section III.K.4.e.(3)(b)(ii) of this
proposed rule, we propose to amend the
marginal risk standard finalized in
§ 414.1420(d)(5) by amending paragraph
(d)(5)(i) to provide that in event that the
marginal risk rate varies depending on
the amount by which actual
expenditures exceed expected
expenditures, the average marginal risk
rate across all possible levels of actual
expenditures would be used for
comparison to the marginal risk rate
specified in with exceptions for large
losses and small losses as described in
414.1420(d). We do not yet have
experience with QP and Partial QP
Determinations under the All-Payer
Combination Option as it will be
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40893
operational for the first time this fall. To
date, we have only determined a modest
number of payment arrangements from
non-Medicare payers that meet the
Other Payer Advanced APM criteria.
However, we expect this added
flexibility in the marketplace may
increase the number of arrangements in
this category. Based on our analysis
there are 12,000 providers within 5
percent of performance year 2020 QP
thresholds in Advanced APMs, and
therefore, could potentially benefit from
participation in Other Payer Advanced
APMs. Assuming a static marketplace,
there are between 50–100 eligible
clinicians that would benefit from the
change in the marginal risk requirement
at this time (that is, in 2020 QP
performance period). This is because
there are likely to be only a small
number of eligible clinicians who both
(1) participate in the models we
determined were not Other Payer
Advanced APMs, but would become
Other Payer Advanced APMs under the
proposed policy, and (2) have QP scores
just below the QP threshold. While this
number may grow in the future as
payers adopt payment arrangements
designed to reflect the change in the
marginal risk requirement, we anticipate
the incremental impact of this proposal
will have a small impact on the number
of clinicians that meet the QP threshold
and the total number of payment
arrangements that are determined to be
Other Payer Advanced APMs.
Overall, we estimated that between
175,000 and 225,000 eligible clinicians
will become QPs, therefore be excluded
from MIPS, and qualify for the lump
sum APM incentive payment based on
5 percent of their Part B allowable
charges for covered professional
services in the preceding year. These
allowable charges for QPs are estimated
to be between approximately $9,000
million and $12,000 million in total for
the 2020 performance year. The analysis
for this proposed rule used the APM
Participation Lists for the Predictive QP
determination file for 2019. We estimate
that the total lump sum APM Incentive
Payments will be approximately $500–
600 million for the 2022 Quality
Payment Program payment year.
In section VI.E.10., we projected the
number of eligible clinicians that will be
QPs, and thus excluded from MIPS,
using several sources of information.
First, the projections are anchored in the
most recently available public
information on Advanced APMs. The
projections reflect Advanced APMs that
will be operating during the 2020 QP
Performance Period, as well as some
Advanced APMs anticipated to be
operational during the 2020 QP
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Performance Period. The projections
also reflect an estimated number of
eligible clinicians that would attain QP
status through the All-Payer
Combination Option. The following
APMs are expected to be Advanced
APMs for the 2020 QP Performance
Period:
• Next Generation ACO Model,
Comprehensive Primary Care Plus
(CPC+) Model;
• Comprehensive ESRD Care (CEC)
Model (Two-Sided Risk Arrangement);
• Vermont All-Payer ACO Model
(Vermont Medicare ACO Initiative);
• Comprehensive Care for Joint
Replacement Payment Model (CEHRT
Track);
• Oncology Care Model (Two-Sided
Risk Arrangements);
• Medicare ACO Track 1+ Model;
• Bundled Payments for Care
Improvement Advanced;
• Maryland Total Cost of Care Model
(Maryland Care Redesign Program;
Maryland Primary Care Program);
• Primary Care First; and
• Medicare Shared Savings Program
(Track 2, Basic Track Level E, and the
ENHANCED Track).
We used the APM Participant Lists
and Affiliated Practitioner Lists, as
applicable, (see 81 FR 77444 through
77445 for information on the APM
participant lists and QP determinations)
for the Predictive QP determination file
for 2019 to estimate QPs, total Part B
allowed charges for covered
professional services, and the aggregate
total of APM incentive payments for the
2020 QP Performance Period. We
examine the extent to which Advanced
APM participants would meet the QP
Thresholds of having at least 50 percent
of their Part B covered professional
services or at least 35 percent of their
Medicare beneficiaries furnished Part B
covered professional services through
the APM Entity.
b. Estimated Number of Clinicians
Eligible for MIPS Eligibility
(1) Methodology To Assess MIPS
Eligibility
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(a) Clinicians Included in the Model
Prior To Applying the Low-Volume
Threshold Exclusion
To estimate the number of MIPS
eligible clinicians for the 2020 MIPS
performance period in this proposed
rule, our scoring model used the first
determination period from the 2018
MIPS performance period eligibility file
as described in the CY 2018 Quality
Payment Program final rule (82 FR
53587 through 53592). The first
determination period from the 2018
MIPS performance period eligibility file
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was selected to maximize the overlap
with the performance period data used
in the model. In addition, since the lowvolume threshold was finalized in the
CY 2019 PFS final rule (83 FR 60075)
to be based on covered professional
services (services for which payment is
made under, or is based on, the PFS and
that are furnished by an eligible
clinician), this eligibility file provided
the information to base the low-volume
threshold on covered professional
services rather than all items and
services under Part B. We included 1.5
million clinicians (see Table 113) who
had PFS claims from September 1, 2016
to August 31, 2017 and included a 30day claim run-out. We excluded from
our analysis individual clinicians who
were affected by the automatic extreme
and uncontrollable policy finalized for
the 2017 MIPS performance period/2019
MIPS payment year in the CY 2019 PFS
final rule (83 FR 59876) as we are
unable to predict how these clinicians
would perform in a year where there
was no extreme and uncontrollable
event.
Clinicians are ineligible for MIPS (and
are excluded from MIPS payment
adjustment) if they are newly enrolled
to Medicare; are QPs; are partial QPs
who elect to not participate in MIPS; are
not one of the clinician types included
in the definition for MIPS eligible
clinician; or do not exceed the lowvolume threshold as an individual or as
a group. Therefore, we excluded these
clinicians when calculating those
clinicians eligible for MIPS. We also
excluded clinicians participating in the
Medicare Advantage Qualifying
Payment Arrangement Incentive (MAQI)
Demonstration for whom the waivers of
MIPS reporting requirements and the
associated payment consequences are
applicable, as finalized in the CY 2019
PFS final rule (83 FR 59890).
For the estimated MIPS eligible
population for the 2022 MIPS payment
year, we restricted our analysis to
clinicians who are a physician (as
defined in section 1861(r) of the Act); a
physician assistant, nurse practitioner,
and clinical nurse specialist (as such
terms are defined in section 1861(aa)(5)
of the Act); a certified registered nurse
anesthetist (as defined in section
1861(bb)(2) of the Act); a physical
therapist, occupational therapist,
speech-language pathologist,
audiologist, clinical psychologist, and
registered dietitian or nutrition
professional as finalized in the CY 2019
PFS final rule (83 FR 60076).
As noted previously, we excluded
QPs from our scoring model since these
clinicians are not MIPS eligible
clinicians. To determine which QPs
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should be excluded, we used the QP
List for the 2019 predictive file that
contains current participation in
Advanced APMs as of January 15, 2019,
using all available data because these
data were available by TIN and NPI,
could be merged into our model and are
the best estimate of future expected QPs.
From this data, we calculated the QP
determinations as described in the
Qualifying APM Participant definition
at § 414.1305 for the 2020 QP
performance period. We assumed that
all Partial QPs would elect to participate
in MIPS and included them in our
scoring model and eligibility counts.
The projected number of QPs excluded
from our model is 124,413 for the 2019
QP performance period due to the
expected growth in APM participation.
Due to data limitations, we could not
identify specific clinicians who may
become QPs in the 2020 Medicare QP
Performance Period; hence, our model
may underestimate or overestimate the
fraction of clinicians and allowed
charges for covered professional
services that will remain subject to
MIPS after the exclusions.
We also excluded newly enrolled
Medicare clinicians from our model. To
identify newly enrolled Medicare
clinicians, we used the indicator that
was used for the 2017 MIPS
performance period/2019 MIPS
payment year. Finally, we excluded the
MAQI participants with a MIPS
exclusion for the 2019 MIPS
performance period.
(b) Assumptions Related To Applying
the Low-Volume Threshold Exclusion
The low-volume threshold policy may
be applied at the individual (that is,
TIN/NPI) or group (that is, TIN or APM
entity) levels based on how data are
submitted or at the APM Entity level if
the clinician is part of a MIPS APM
Entity scored under the APM scoring
standard. To determine who is a MIPS
APM participant, we used the latest
2019 predictive file that contains
current participation in MIPS APMs as
of January 15, 2019, using all available
data. We identified all clinicians in our
eligible population who are in the 2019
predictive file and evaluated them as an
APM Entity. We also evaluated
clinicians as APM Entities if they are in
our eligible population and associated
with an APM Entity for the 2017
performance period but are no longer
billing for Medicare (because they may
have changed practices).145 If a MIPS
145 A total of approximately 222,000 clinicians
were included in our model and scored using the
APM scoring standard. These clinicians are
represented in the individual and group eligibility
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eligible clinician is determined to not be
scored as a MIPS APM, then their
reporting assumption is based on their
reporting for the CY 2017 MIPS
performance period. If no data are
submitted and the TIN/NPI is not
associated with an APM Entity during
the performance period, then the lowvolume threshold is applied at the TIN/
NPI level. A clinician or group that
exceeds at least one but not all three
low-volume threshold criteria may
become MIPS eligible by electing to optin and subsequently submitting data to
MIPS, thereby getting measured on
performance and receiving a MIPS
payment adjustment.
Table 113 presents the estimated
MIPS eligibility status and the
associated PFS allowed charges for the
2020 MIPS performance period after
using Quality Payment Program Year 1
data and applying the proposed policies
for the 2020 MIPS performance period.
For the purposes of modeling, we
made assumptions on group reporting to
apply the low-volume threshold. One
extreme and unlikely assumption is that
no practices elect group reporting and
the low-volume threshold would always
be applied at the individual level.
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rows in Table 113 depending on whether they
would have exceeded the low volume threshold as
an individual or because they were part of an APM
entity group submission.
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Although we believe a scenario in
which only these clinicians would
participate as individuals is unlikely,
this assumption is important because it
quantifies the minimum number of
MIPS eligible clinicians. For this
proposed rule model, we estimate there
were approximately 221,000
clinicians 146 who would be MIPS
eligible because they exceed the low
volume threshold as individuals and are
not otherwise excluded. In Table 113,
we identify clinicians under this
assumption as having ‘‘required
eligibility.’’
We anticipate that groups that
submitted to MIPS as a group will
continue to do so for the CY 2020 MIPS
performance period. Using this group
assumption and including those
identified with MIPS APM entities in
our scoring model, we increased the
number of MIPS eligible clinicians by
566,000 clinicians. In Table 113, we
identify these clinicians who do not
meet the low-volume threshold
individually but are anticipated to
submit to MIPS as a group or MIPS APM
as having ‘‘group eligibility.’’ With the
availability of CY 2017 Quality Payment
Program Year 1 data, we can identify
146 The count of 220,981 MIPS eligible clinicians
for required eligibility includes those who
participated in MIPS (203,027 MIPS eligible
clinicians), as well as those who did not participate
(17,954 MIPS eligible clinicians).
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group reporting through the submission
of improvement activities, Promoting
Interoperability, or quality performance
category data.
To model the opt-in policy finalized
in the CY 2019 PFS final rule (83 FR
59735), we assumed that 33 percent of
the clinicians who exceed at least one
but not all low-volume threshold
criteria and submitted data to CY 2017
MIPS performance period would elect to
opt-in to MIPS. We selected a random
sample of 33 percent of clinicians
without accounting for performance. We
believe this assumption of 33 percent
opt-in participation is reasonable
because some clinicians may choose not
to submit data due to performance,
practice size, or resources or
alternatively, some may submit data, but
elect to be a voluntary reporter and not
be subject to a MIPS payment
adjustment based on their performance.
This 33 percent participation
assumption is identified in Table 113 as
‘‘Opt-In eligibility’’. In this proposed
rule analysis, we estimate an additional
31,000 clinicians would be eligible
through this policy for a total MIPS
eligible population of approximately
818,000. The leads to an associated $68
billion allowed PFS charges estimated
to be included in the 2020 MIPS
performance period.
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TABLE 113: Description of MIPS Eligibility Status for CY 2022 MIPS Payment Year
Using the CY 2020 PFS Proposed Assumptions**
Predicted Participation Status
in MIPS Among Clinicians*
Eligibility Status
CY 2020 PFS Proposed Rule
estimates
PFS allowed
Number of
charges ($ in
Clinicians
mil)***
203,027
$48,306
Participate in MIPS
Required eligibility
(always subject to a MIPS payment adjustment 1--.....:....-----------1-----"'---+---"'------i
ecause individual clinicians exceed the low- Do not participate in MIPS
olume threshold in all 3 criteria)
17,954
$4,054
Group eligibility
(only subject to payment adjustment because
S b .t d ta
. · · ' groups exceed 1ow-vo 1ume thres hold u nn a as a group
cI1mc1ans
in all 3 criteria and submit as a group)
566,164
$14,145
Opt-In eligibility assumptions
(only subject to a positive, neutral, or negative
adjustment because the individual or group
Elect to opt-in and submit data
exceeds the low-volume threshold in at least 1
criterion but not all 3, and they elect to opt-in to
MIPS and submit data)
31,246
$1,497
Potentially MIPS Eligible
(not subject to payment adjustment for nonparticipation; could be eligible for one of two
reasons: (1) meet group eligibility; or( 2) opt-in Do not opt-in; or
eligibility criteria)
Do not submit as a
group
385,635
$9,277
Below the low-volume threshold
(never subject to payment adjustment; both
N t
r bl
individual and group is below all 3 low-volume 0 app Ica e
threshold criteria)
77,450
$403
Excluded for other reasons
(Non-eligible clinician type, newly enrolled,
QP)
202,684
$9,322
665,769
19,002
Total Number of MIPS Eligible Clinicians and the associated PFS allowed
charges
Not applicable
Total Number of Clinicians (MIPS and Not MIPS Eligible)
1,484,160
87,004
* Estimated MIPS Eligible Population
**This table also does not include clinicians impacted by the automatic extreme and uncontrollable policy
(approximately 13,000 clinicians and $2,763 million in PFS allowed charges).
***Allowed charges estimated using 2016 and 2017 dollars. Low-volume threshold is calculated using allowed
charges. MIPS payment adjustments are applied to the paid amount.
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There are approximately 386,000
clinicians who are not MIPS eligible,
but could be if their practice decides to
participate or they elect to opt-in. We
describe this group as ‘‘Potentially MIPS
eligible’’. These clinicians would be
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included as MIPS eligible in the
unlikely scenario in which all group
practices elect to submit data as a group
and all clinicians that could elect to optinto MIPS do elect to opt-in. This
assumption is important because it
quantifies the maximum number of
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MIPS eligible clinicians. When this
unlikely scenario is modeled, we
estimate that the MIPS eligible clinician
population could be as high as 1.2
million clinicians.
Finally, there are some clinicians who
would not be MIPS eligible either
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because they or their group are below
the low-volume threshold on all three
criteria (approximately 77,000) or
because they are excluded for other
reasons (approximately 203,000).
Since eligibility among many
clinicians is contingent on submission
to MIPS as a group, APM participation
or election to opt-in, we will not know
the number of MIPS eligible clinicians
until the submission period for the 2020
MIPS performance period is closed. For
this impact analysis, we used the
estimated population of 818,391 MIPS
eligible clinicians described above.
c. Estimated Impacts on Payments to
MIPS Eligible Clinicians
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(1) Summary of Approach
In sections III.K.3.c., III.K.3.d. and
III.K.3.e. of this proposed rule, we
present several proposals which impact
the measures and activities that impact
the performance category scores, final
score calculation, and the MIPS
payment adjustment. We discuss these
changes in more detail in section
VI.E.10.c.(2) of this RIA as we describe
our methodology to estimate MIPS
payments for the 2022 MIPS payment
year. We note that many of the MIPS
policies from the CY 2019 Quality
Payment Program final rule were only
defined for the 2019 MIPS performance
period and 2021 MIPS payment year
(including the performance threshold,
the additional performance threshold,
the policy for redistributing the weights
of the performance categories, and many
scoring policies for the quality
performance category) which precludes
us from developing a baseline for the
2020 MIPS performance period and
2022 MIPS payment year if there was no
new regulatory action. Therefore, our
impact analysis looks at the total effect
of the proposed MIPS policy changes on
the MIPS final score and payment
adjustment for CY 2020 MIPS
performance period/CY 2022 MIPS
payment year.
The payment impact for a MIPS
eligible clinician is based on the
clinician’s final score, which is a value
determined by their performance in the
four MIPS performance categories:
Quality, cost, improvement activities,
and Promoting Interoperability. As
discussed in section VI.E.10.c.(2) of this
proposed rule, we used the most
recently available data from the Quality
Payment Program which is generally
data submitted for the 2017 MIPS
performance period. We will use 2018
MIPS performance period data for the
impact analysis in the final rule should
that data become available.
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The estimated payment impacts
presented in this proposed rule reflect
averages by practice size based on
Medicare utilization. The payment
impact for a MIPS eligible clinician
could vary from the average and would
depend on the combination of services
that the MIPS eligible clinician
furnishes. The average percentage
change in total revenues that clinicians
earn would be less than the impact
displayed here because MIPS eligible
clinicians generally furnish services to
both Medicare and non-Medicare
patients; this program does not impact
payment from non-Medicare patients. In
addition, MIPS eligible clinicians may
receive Medicare revenues for services
under other Medicare payment systems,
such as the Medicare Federally
Qualified Health Center Prospective
Payment System, that would not be
affected by MIPS payment adjustment
factors.
(2) Methodology To Assess Impact
To estimate participation in MIPS for
the CY 2020 Quality Payment Program
for this proposed rule, we used CY 2017
Quality Payment Program Year 1
performance period data. Our scoring
model includes the 818,391 estimated
number of MIPS eligible clinicians as
described in section VI.E.10.b.(1)(b) of
this RIA.
To estimate the impact of MIPS on
eligible clinicians, we generally used
the Quality Payment Program Year 1
submission data, including data
submitted for the quality, improvement
activities, and Promoting
Interoperability (which was called
advancing care information for the 2017
MIPS performance period) performance
categories, CAHPS for MIPS and CAHPS
for ACOs, the total per capita cost
measure, Medicare Spending Per
Beneficiary (MSPB) clinician measure
and other data sets.147 We calculated a
hypothetical final score for the 2020
MIPS performance period/2022 MIPS
payment year for each MIPS eligible
clinician using score estimates
described in this section for quality,
cost, Promoting Interoperability, and
improvement activities performance
categories.
We did not model virtual groups since
we had fewer than 10 virtual groups
register for the 2019 performance
period, which was not a sufficiently
large number of virtual groups to model
separately for this RIA. We will revisit
modeling virtual groups separately once
147 2016 PQRS and Value Modifier data was used
for the improvement score for the quality
performance category. We also incorporated some
additional data sources when available to represent
more current data.
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we receive virtual group submissions in
future years.
(a) Methodology To Estimate the Quality
Performance Category Score
We estimated the quality performance
category score using a similar
methodology described in the CY 2019
PFS final rule (83 FR 60053 through
60054) with the following modifications
that reflect the newly proposed policies
for the 2020 MIPS performance period
and improvement to our modeling
methodology. As proposed in section
III.K.3.c.(1)(c)(ii) of this proposed rule,
we increased the data completeness
requirement for the CY 2020
performance period from 60 percent to
70 percent.
We also applied modifications that
were previously finalized including the
validation process that was finalized in
the CY 2017 Quality Payment Program
final rule (81 FR 77289 through 77291)
and applying the topped out scoring cap
that was finalized (82 FR 53721 through
53727) to the measures subject to the
scoring cap for the 2019 MIPS
performance period.
Finally, our model applied the APM
scoring standard policies finalized in
the CY 2019 PFS final rule (83 FR
59754) as modified by the proposals in
section III.K.3.c.(5)(c)(i)(B) of this
proposed rule to MIPS eligible
clinicians identified as being scored as
a MIPS APM in the eligibility section
VI.E.10.b.(1)(b) of this proposed rule. As
described in section III.K.3.c.(5)(c)(i)(B)
of this proposed rule, we are proposing
to apply a minimum score of 50 percent,
or an ‘APM Quality Reporting Credit’,
under the MIPS quality performance
category for certain APM entities
participating in MIPS. In our model, this
proposed ‘APM Quality Reporting
Credit’ was implemented for APM
Entities that do not use Web Interface.
We also propose in sections
III.K.3.c.(5)(c)(i)(A) of this proposed rule
to calculate an aggregated APM Entity
quality score from submitted MIPS data
by the participants in an APM Entity if
the APM quality data cannot be used.
As described in section
VI.E.10.b.(1).(b). of this proposed rule,
we are using the 2019 predictive file
that contains current participation in
MIPS APMs as of January 15, 2019,
using all available data to identify who
is an APM participant. In the case of
MIPS APM entities that report Web
Interface, if the APM Entity existed in
2017, we calculated a score based on the
Web Interface submission from the 2017
performance period. If the APM Entity
did submit Web Interface data for the
2017 performance period, we calculated
an aggregate score based on individual
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submissions similar to how we estimate
aggregate scores for MIPS APM entities
that do not utilize Web Interface. If the
APM Entity is new for 2019 (and
therefore did not have the ability to
submit Web Interface for the 2017
performance period), we used the
average Web Interface score because we
would anticipate the new APM Entities
would report quality using Web
Interface in the future. For MIPS APMs
that do not utilize the Web Interface, we
estimated the APM Entity quality
performance category score by taking
the higher of the group and individual
quality scores for the clinicians in the
APM Entity and calculating the average
for the APM Entity. Clinicians were
assigned a score of 0 if they did not
submit quality data to MIPS. For the
MIPS APMs that do not utilize Web
Interface only, we then applied the
proposed APM Quality Reporting Credit
policy to add 50 percent to the MIPS
quality score for APM Entities
submitting to MIPS as proposed in
section III.K.3.c.(5)(c)(i)(B) of this
proposed rule. All quality performance
category scores would be capped at 100
percent after receiving the 50 percent
APM Quality Reporting Credit.
(b) Methodology To Estimate the Cost
Performance Category Score
In section III.K.3.c(2)(b)(iii) of this
proposed rule, we propose to add 10
episode-based measures to the cost
performance category beginning with
the 2020 performance period in addition
to the 8 episode-based measures
finalized in the CY 2019 PFS final rule
(83 FR 59767). In section
III.K.3.c.(2)(b)(v) of this rule, we propose
to revise the total per capita cost and
MSPB clinician measures.
We estimated the cost performance
category score using all measures
included in section III.K.3.c.(2)(b)(viii)
of this proposed rule. The total per
capita cost measure performance was
estimated based on the proposed revised
measure using claims data from October
2016 through September 2017. The
MSPB clinician measure performance
was estimated based on the proposed
revised measure using claims data from
January through December of 2017. For
the episode-based measures, we used
the specifications for the 8 episodebased measures finalized in the CY 2019
PFS final rule (83 FR 35902 through
35903), the proposed specifications for
the 10 new episode-based measures
discussed in section III.K.3.c.(2)(b)(iii)
of this proposed rule and claims data
from January through December of 2017.
Cost measures scored if the clinicians or
groups met or exceed the case volume:
20 for the total per capita cost measure,
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35 for MSPB clinician, 10 for procedural
episode-based measures, and 20 for
acute inpatient medical condition
episode-based measures. The cost
measures are calculated for both the
TIN/NPI and the TIN, except for the
lower gastrointestinal hemorrhage
measure, which we propose in section
III.K.3.c.(2)(vi)(B) of this proposed rule
to calculate only for groups. For
clinicians participating as individuals,
the TIN/NPI level score was used if
available and if the minimum case
volume was met. For clinicians
participating as groups, the TIN level
score was used, if available, and if the
minimum case volume was met. For
clinicians with no measures meeting the
minimum case requirement, we did not
estimate a score for the cost
performance category, and the weight
for the cost performance category was
reassigned to the quality performance
category. The raw cost measure scores
were mapped to scores on the scale of
1–10, using benchmarks based on all
measures that met the case minimum
and if the group or clinician exceeded
the low-volume threshold during the
relevant performance period. For the
episode-based cost measures, separate
benchmarks were developed for TIN/
NPI level scores and TIN level scores.
For each clinician, a cost performance
category score was calculated as the
average of the measure scores available
for the clinician.
(c) Methodology To Estimate the
Facility-Based Measurement Scoring
As finalized in the CY2019 PFS final
rule (83 FR 59856), we determine the
eligible clinician’s MIPS cost and
quality performance category score in
facility-based measurement based on
Hospital VBP Program Total
Performance Score for eligible clinicians
or groups who meet the eligibility
criteria, which we designed to identify
those who primarily furnish services
within a hospital. We estimate the
facility-based score using the scoring
policies finalized in the CY2018 Quality
Payment Program final rule (82 FR
53763). In section III.K.3.d.(1)(c) of this
proposed rule, we are only proposing
technical changes for clarity and those
changes do not affect the facility-based
policies. In the CY 2019 PFS final rule
(83 FR 60054 through 60055), we were
unable to incorporate the facility-based
logic fully into our model. For this
proposed rule, we have new datasets
that allow us to more completely model
facility-based measurement.
We used data from the feedback
reports for the first determination period
for the 2019 performance period, which
is from October 1, 2017 to September
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30, 2018 to attribute clinicians and
groups to hospitals and assign the
specific Hospital VBP Program Total
Performance Score. Although the time
period for facility-based eligibility does
not align with the MIPS eligibility and
performance period data, these facilitybased eligibility data were used because
we did not have attribution data
available for the matching performance
period and the use of actual attribution
data was preferable to using proxy data.
If a Hospital VBP Program Total
Performance Score could not be
assigned to a clinician, in instances in
which the attributed facility does not
participate in the Hospital VBP
program, that clinician was determined
as not eligible for facility-based
measurement and assumed to
participate in MIPS via other methods.
In some cases, a group or clinician may
have changed practices and would not
have an associated facility-based
indicator in the feedback reports
(because the feedback reports used a
different time period). In those cases, if
the TIN or TIN–NPI was facility-based
in the 2017 MIPS performance period,
we estimated a facility-based score by
taking the median MIPS quality and cost
performance score. We are not requiring
eligible clinicians to opt-in to facilitybased measurement; it is possible that a
MIPS eligible clinician or a group is
automatically eligible for facility-based
measurement, but they participate in
MIPS as an individual or a group. In
these cases, we used the higher
combined quality and cost performance
category score, as reflected in the final
score, from facility-based scoring
compared to the combined quality and
cost performance category score from
MIPS submission-based scoring.
(d) Methodology To Estimate the
Promoting Interoperability Performance
Category Score
We estimated the Promoting
Interoperability performance category
score using the methodology described
in the CY 2019 PFS final rule (83 FR
60055) with the following modifications
that reflect the newly proposed policies
for the 2020 MIPS performance period.
In section III.K.3.c.(4)(d)(i)(B)(aa) of
this proposed rule, we proposed to
modify the Query of PDMP measure to
a yes/no response. The Query of PDMP
measure was not modeled because the
measure was not available in the 2017
MIPS performance period submissions
data.
In section III.K.3.c.(4)(f)(iii) of this
proposed rule, we proposed to revise
the definition of hospital-based MIPS
eligible clinician to include groups and
virtual groups. We also proposed that a
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hospital-based MIPS eligible clinician
under § 414.1305 means an individual
MIPS eligible clinician who furnishes
75 percent or more of his or her covered
professional services in sites of service
identified by the POS codes used in the
HIPAA standard transaction as an
inpatient hospital, on-campus
outpatient hospital, off campus
outpatient hospital, or emergency room
setting based on claims for the MIPS
determination period, and a group or
virtual group provided that more than
75 percent of the NPIs billing under the
group’s TIN or virtual group’s TINs, as
applicable, meet the definition of a
hospital-based individual MIPS eligible
clinician. In section III.K.3.c.(4)(f)(iv) of
this proposed rule, we proposed
revisions to also account for a group or
virtual group that meets the definition
of a non-patient facing MIPS eligible
clinician such that the group or virtual
group only has to meet a threshold of
more than 75 percent. Also, as described
in sections III.K.3.c.(4)(f)(iii) and
III.K.3.c.(4)(f)(iv) of this proposed rule,
we proposed to assign a zero percent
weight for the Promoting
Interoperability performance category
for groups defined as hospital-based and
non-patient facing, and redistribute the
points associated with the Promoting
Interoperability performance category to
another performance category or
categories. Therefore, in our impact
analysis model, a group was only
assigned a zero percent weight for the
Promoting Interoperability performance
category and the points for Promoting
Interoperability performance category
was redistributed if: (1) All the TIN/
NPIs were eligible for reweighting as
established at § 414.1380(c)(2)(iii) for
MIPS eligible clinicians submitting data
as a group or virtual group, or (2) the
group met the proposed revised
definition of a hospital-based MIPS
eligible clinician as proposed in section
III.K.3.c.(4)(f)(iii) of this proposed rule
or the definition of a non-patient facing
MIPS eligible clinician, as proposed in
section III.K.3.c.(4)(f)(iv) of this
proposed rule, as defined in § 414.1305.
We also incorporated into our model the
proposed policy to continue automatic
reweighting for NPs, PAs, CNSs and
CRNAs, physical therapists,
occupational therapist, speech-language
pathologists, audiologists, clinical
psychologists, and registered dietitians
or nutrition professionals as described
in sections III.K.3.c.(4)(f)(i) and
III.K.3.c.(4)(f)(ii) of this proposed rule.
In our model, for the APM
participants identified in section
VI.E.10.b.(1).(b).of this proposed rule,
we simulated MIPS APM Entity scores
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by using submitted Promoting
Interoperability data by groups or
individuals that we identified as being
in a MIPS APM to calculate an APM
Entity score.
All other proposed policies for the
Promoting Interoperability performance
category described in section
III.K.3.c.(4) of this proposed rule did not
impact our modeling methodology for
this performance category because
either the data were not available in the
2017 MIPS performance period
submissions data or the proposed
changes reflect the modeling strategy
previously used and described in the CY
2019 PFS final rule (83 FR 60055). For
example, since the Verify Opioid
Treatment Agreement measure was not
modeled in the CY 2019 PFS final rule
(83 FR 60055) because the measure was
not available in the 2017 MIPS
performance period submissions data,
the proposed removal of this measure
did not impact our impact analysis
methodology for this proposed rule.
(e) Methodology To Estimate the
Improvement Activities Performance
Category Score
We modeled the improvement
activities performance category score
based on CY 2017 Quality Payment
Period Year 1 data and APM
participation in the 2017 MIPS
performance period. In section
III.K.3.c.(3)(d)(iii) of this proposed rule,
we are proposing to increase the
minimum number of clinicians in a
group or virtual group who are required
to perform an improvement activity to
50 percent for the improvement
activities performance category
beginning with the CY 2020
performance year and future years. We
did not incorporate this proposed
change into our model because we did
not have the information to model this
proposal. For the APM participants
identified in section VI.E.10.b.(1)(b) of
this proposed rule, we assigned an
improvement activity performance
category score of 100 percent.
Clinicians and groups not
participating in a MIPS APM were
assigned their CY 2017 Quality Payment
Program Year 1 improvement activities
performance category score.
(f) Methodology To Estimate the
Complex Patient Bonus
In section III.K.3.d.(2)(a) of this
proposed rule, we are proposing to
continue the complex patient bonus.
Consistent with the policy to define
complex patients as those with high
medical risk or with dual eligibility, our
scoring model used the complex patient
bonus information calculated for the
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40899
2018 performance period data, because
this variable was available in time for
the publication of this proposed rule. If
the clinician did not have a complex
patient bonus score from the 2018
performance period data (because the
bonus was from a different performance
period), we proxied a score using the
methods described in the CY 2019 PFS
final rule (83 FR 59869) to supplement
the gap in data.
(g) Methodology To Estimate the Final
Score
As proposed in sections
III.K.3.c.(1)(b), III.K.3.c.(2)(a), and
summarized in section III.K.3.d.(2)(b) of
this proposed rule, our model assigns a
final score for each TIN/NPI by
multiplying each performance category
score by the corresponding performance
category weight, adding the products
together, multiplying the sum by 100
points, and adding the complex patient
bonus. After adding any applicable
bonus for complex patients, we reset
any final scores that exceeded 100
points equal to 100 points. For MIPS
eligible clinicians who were assigned a
weight of zero percent for the Promoting
Interoperability due to a significant
hardship or other type of exception, the
weight for the Promoting
Interoperability performance category
was redistributed to the quality
performance category. For MIPS eligible
clinicians who did not have a cost
performance category score, the weight
for the cost performance category was
redistributed to the quality and
Promoting Interoperability performance
categories.
In our scoring model, we did not
address scenarios where a zero percent
weight would be assigned to the quality
performance category or the
improvement activities performance
category. We applied the remaining
reweighting scenarios described in
detail in section III.K.3.d.(2)(b)(ii) of this
proposed rule and in the CY 2019 PFS
Final Rule (83 FR 59871 through 83 FR
59878).
(h) Methodology To Estimate the MIPS
Payment Adjustment
As described in the CY 2018 Quality
Payment Program final rule (82 FR
53785 through 53787), we applied a
hierarchy to determine which final
score should be used for the payment
adjustment for each MIPS eligible
clinician when more than one final
score is available (for example if a
clinician qualifies for a score for an
APM entity and a group score, we select
the APM entity score).
We then calculated the parameters of
an exchange function in accordance
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with the statutory requirements related
to the linear sliding scale, budget
neutrality, minimum and maximum
adjustment percentages and additional
payment adjustment for exceptional
performance (as finalized under
§ 414.1405), using a performance
threshold of 45 points and the
additional performance threshold of 80
points (as proposed in sections
III.K.3.e.(2) and III.K.3.e.(3) of this
proposed rule). We used these resulting
parameters to estimate the positive or
negative MIPS payment adjustment
based on the estimated final score and
the paid amount for covered
professional services furnished by the
MIPS eligible clinician. We considered
other performance thresholds which are
discussed in section VI.F.2. of this RIA.
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(3) Impact of Payments by Practice Size
Using the assumptions provided
above, our model estimates that $586
million would be redistributed through
budget neutrality and that $500 million
would be distributed to MIPS eligible
clinicians that meet or exceed the
additional performance threshold. The
model further estimates that the
maximum positive payment
adjustments are 5.8 percent after
considering the MIPS payment
adjustment and the additional MIPS
payment adjustment for exceptional
performance.
Table 114 shows the impact of the
payment adjustments by practice size
and based on whether clinicians are
expected to submit data to MIPS. We
estimate that a smaller proportion of
clinicians in small practices (1–15
clinicians) who participate in MIPS will
receive a positive or neutral payment
adjustment compared to larger sized
practices. In aggregate, the cohort of
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clinicians in small practices
participating in MIPS and who submit
to MIPS receive a 0.9 percent increase
in total paid amount, which is lower
than the comparative payment increases
received by the cohort of MIPS eligible
clinicians in larger-sized practices.
Table 114 also shows that 87.3 percent
of MIPS eligible clinicians that
participate in MIPS are expected to
receive positive or neutral payment
adjustments. We want to highlight that
we are using 2017 performance period
submissions data for these calculations,
and it is likely that there will be changes
that we cannot account for at this time.
For example, the 2017 performance
period was the first year of the program,
and it was considered a ‘‘Pick Your
Pace’’ year of participation. With ‘‘Pick
Your Pace’’, clinicians could begin
slowly participating in MIPS at their
own pace by determining how much
data to submit and their level of
participation. Specifically, the
performance threshold was set at 3
points, and submission of one quality
measure or attesting to one
improvement activity would allow a
clinician to meet or exceed the
performance threshold. In the second
and third years of the program, the
performance thresholds increased, along
with the data submission requirements
to avoid a negative payment adjustment.
At this time, we are not able to estimate
the impact of these policy changes using
Year 1 performance period data, but we
anticipate having additional information
based on 2018 (year 2) data submissions
when conducting the impact analysis
for the final rule.
The combined impact of negative and
positive adjustments and the additional
positive adjustments for exceptional
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performance as a percent of paid
amount among those that do not submit
data to MIPS was not the maximum
negative payment adjustment of 9
percent possible because these
clinicians do not all receive a final score
of zero. Indeed, some MIPS eligible
clinicians that do not submit data to
MIPS may receive final scores above
zero through performance on the cost
performance category, which utilizes
administrative claims data and does not
require separate data submission to
MIPS. Among those who we estimate
would not submit data to MIPS, 90
percent are in small practices (16,116
out of 17,954 clinicians who do not
submit data). To address participation
concerns, we have policies targeted
towards small practices including
technical assistance and special scoring
policies to minimize burden and
facilitate small practice participation in
MIPS or APMs. We also note this
participation data is generally based off
participation for the 2017 performance
period and that participation may
change for the 2020 performance period.
As stated above, the 2017 performance
period was the first year of MIPS, which
was a ‘‘Pick Your Pace’’ year, and we
believe that the level of participation
and amount of data submitted will
likely change in ensuing years. For
example, we note in section III.K.1.a. of
this proposed rule that we have
published participation rates for the
2018 performance period and those
rates differ from the 2017 performance
period participation rates, where a slight
increase in participation was observed.
We did not have the submission data in
time for this analysis, but we intend to
update our data for the final rule.
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e. Potential Costs of Compliance With
the Promoting Interoperability and
Improvement Activities Performance
Categories for Eligible Clinicians
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(1) Potential Costs of Compliance With
Promoting Interoperability Performance
Category
In section III.K.3.c.(4)(d)(i)(B)(aa) of
this proposed rule, we propose to allow
clinicians and groups to satisfy the
optional bonus Query of PDMP measure
by submitting a ‘‘yes/no’’ attestation,
rather than reporting a numerator and
denominator. As discussed in the
Collection of Information section of this
proposed rule, we are not changing our
burden assumptions to account for this
proposal due to a lack of information
regarding the number of clinicians
reporting bonus measures combined
with our currently approved burden
estimates being based only on the
reporting of required measures.
However, we do believe that for
clinicians or groups who report this
measure, there will be a reduction in
reporting burden compared to what
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would have been required to submit the
measure without this proposed change
related to the elimination of the need to
perform calculations prior to submitting
a numerator and denominator. As data
availability allows, we will reassess the
inclusion of this burden in the
Collection of Information in the future.
In sections III.K.3.g.(3)(a)(i) and
III.K.3.g.(4)(a)(i) of this rule, beginning
with the 2021 performance period and
for future years, we are proposing to
require QCDRs and qualified registries
to support three performance categories:
Quality, improvement activities, and
Promoting Interoperability. In the
Collection of Information section, we
discussed the potential burden
reduction associated with simplifying
MIPS reporting for clinicians who
currently utilize qualified registries or
QCDRs that have not previously offered
the ability to report Promoting
Interoperability or improvement activity
data. We believe it is also possible that
some MIPS eligible clinicians may elect
to begin utilizing qualified registries or
QCDRs as a result this proposed policy
and its potential for simplifying their
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MIPS reporting combined with the
benefits of improving the quality of care
provided to their patients. We do not
have information with which to
estimate the number of clinicians who
may pursue this option, therefore we
cannot quantify the associated costs,
cost savings, and benefits consistent
with the CY 2018 Quality Payment
Program final rule (82 FR 53946).
(2) Potential Costs of Compliance With
Improvement Activities Performance
Category
In section III.K.3.c.(3)(d)(iii) of this
proposed rule, we are proposing,
beginning with the 2020 MIPS
performance period and for future years,
to increase the minimum number of
clinicians in a group or virtual group
who are required to perform an
improvement activity from at least one
clinician to at least 50 percent of the
NPIs billing under the group’s TIN or
virtual group’s TINs, as applicable; and
these NPIs must perform the same
activity for the same continuous 90 days
in the performance period. In addition,
we are proposing changes to the
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Improvement Activities Inventory to: (1)
Establish removal factors to consider
when proposing to remove
improvement activities from the
Inventory; (2) remove 15 improvement
activities for the CY 2020 performance
period and future years contingent on
our proposed removal factors being
finalized; (3) modify 7 existing
improvement activities for the CY 2020
performance period and future years;
and (4) add two new improvement
activities for the CY 2020 performance
period and future years.
Given groups’ familiarity with the
improvement activities in the
Improvement Activities Inventory, we
assume that a group would find
applicable and meaningful activities to
complete that are not specific to practice
size, specialty, or practice setting and
would apply to at least 50 percent of
individual MIPS eligible clinicians in
the group. Therefore, an increase in the
minimum threshold for a group to
receive credit for the improvement
activities performance category should
not present additional complexity or
burden. We also anticipate that the vast
majority of clinicians performing
improvement activities, to comply with
existing MIPS policies, would continue
to perform the same activities under the
policies established in this proposed
rule because previously finalized
improvement activities continue to
apply for the current and future years
unless otherwise modified per rulemaking (82 FR 54175). Most of the
improvement activities in Improvement
Activities Inventory remain unchanged
for the 2020 MIPS performance period
and most clinicians are likely to have
selected improvement activities that
were unaffected by the changes. Of the
activities that were removed, modified,
or added, many were duplicative which
means many clinicians or groups would
be able to continue the activity, but it
would be reported under a different
activity in the Improvement Activities
Inventory.
Our proposal to establish removal
factors when proposing to remove
improvement activities from the
Improvement Activities Inventory
would provide guidance for clinicians
or groups on the considerations for the
removal of improvement activities and
would not present additional burden.
The proposed changes to the
Improvement Activities Inventory that
include the modification, removal, and
addition of improvement activities
provide clarity, avoid duplication, and
provide more options for clinicians to
select improvement activities that are
appropriate for their clinical practice
and would not present additional
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burden. Furthermore, in this proposed
rule, we are proposing to end and
remove the Study on Factors Associated
with Reporting Quality Measures
beginning with the 2020 MIPS
performance period. In the CY 2019 PFS
final rule, we finalized a sample size of
200 clinicians, each of which completed
a 15-minute survey both prior to and
after submitting MIPS data (83 FR
60058). As a result of ending the study,
we estimate a reduction in burden of
100 hours and $20,286 (200 clinicians ×
0.5 hours × $202.86).
f. Potential Costs of Compliance for
Third Party Intermediaries
Based on previously finalized policies
in the CY 2017 Quality Payment
Program final rule (81 FR 77363 through
77364) and as further revised in the CY
2019 PFS final rule at § 414.1400(a)(2)
(83 FR 60088), the current policy is that
all third party intermediaries may
submit data for any of the three MIPS
performance categories quality (except
for data on the CAHPS for MIPS survey);
improvement activities; and Promoting
Interoperability. As previously
discussed in section III.K.3.g.(3)(a)(i)
and III.K.3.g.(4)(a)(i) of this proposed
rule, beginning with the 2021
performance period and for future years,
we are proposing to require QCDRs and
qualified registries to support three
performance categories: Quality,
improvement activities, and Promoting
Interoperability. In section III.K.3.g.(1),
we further state that we anticipate using
the QCDR and qualified registry selfnomination vetting process to assess
which of these entities will be subject to
the proposed requirement to support
reporting the Promoting Interoperability
performance category and which
entities would be subject to an
exception based on which clinician
types they serve and whether those
clinician types are eligible for
reweighting of the Promoting
Interoperability performance category as
discussed in section III.K.3.c.(4). Based
on our review of qualified registries and
QCDRs approved to submit data for the
2019 MIPS performance period, 70
percent of qualified registries and 72
percent of QCDRs already offer support
for the quality, improvement activities,
and Promoting Interoperability
performance categories. We believe this
proposal could result in the remaining
qualified registries and QCDRs incurring
additional costs to upgrade information
technology systems in order to make
this ability available to clinicians, with
less cost incurred by entities who would
be subject to an exception for the
Promoting Interoperability performance
category. However, given that each of
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these entities and their information
technology systems are unique, and
there is no method of determining
which entities may have already begun
the process of developing this ability,
we are unable to determine the impact
of transitioning from allowing this
ability as an option to requiring it. Also,
given that the majority of these entities
have already begun offering the ability
to submit data on behalf of the
improvement activities and Promoting
Interoperability performance categories,
we assume they have done so because
they believe the benefits outweigh the
costs and is therefore, in their best
financial interests to do so.
We are also proposing in section
III.K.3.g.(3)(a)(ii) of this proposed rule,
beginning with the 2021 performance
period, to require qualified registries
and QCDRs to provide the following as
part of the performance feedback given
at least 4 times a year: Feedback to their
clinicians and groups on how they
compare to other clinicians who have
submitted data on a given measure
(MIPS quality measure and/or QCDR
measure) within the QCDR. We
understand that QCDRs can only
provide feedback on data they have
collected on their clinicians and groups,
and realize the comparison would be
limited to that data and not reflect the
larger sample of those that have
submitted on the measure for MIPS,
which the QCDR does not have access
to. As finalized in the CY 2017 and CY
2018 Quality Payment Program final
rules (81 FR 77367 through 77386 and
82 FR 53812), qualified registries and
QCDRs are required to provide feedback
on all of the MIPS performance
categories that the qualified registry or
QCDR reports at least 4 times a year.
Given that we are not proposing a
significant change but are instead
proposing to modify and strengthen the
existing policy, we do not anticipate a
significant increase in cost or effort for
Third Party Intermediaries to comply
with this proposal. In alignment with
our proposal above, we are also
proposing to require QCDRs to provide
services to clinicians and groups to
foster improvement in the quality of
care provided to patients, by providing
educational services in quality
improvement and leading quality
improvement initiatives. Similar to the
requirement to support submission of
Promoting Interoperability and
improvement activity data, we believe
this proposal could result in QCDRs
incurring additional costs. We are
unable to create a baseline of current
service offerings for each QCDR, which
would be needed in order to determine
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the incremental costs associated with
providing any additional services
required by this proposal. We believe
that by offering these services,
additional MIPS eligible clinicians may
be encouraged to utilize these entities,
thereby increasing membership and
potentially offsetting some of the costs
the QCDR would have to incur.
In section III.K.3.g.(3)(c)(i)(B)(cc), we
are proposing that in order for a QCDR
measure to be considered for use in the
program beginning with the 2021
performance period and future years, all
QCDR measures submitted for selfnomination must be fully developed
with completed testing results at the
clinician level, as defined by the CMS
Blueprint for the CMS Measures
Management System, as used in the
testing of MIPS quality measures prior
to the submission of those measures to
the Call for Measures. Beginning with
the 2021 performance period and future
years, we are proposing in section
III.K.3.g.(3)(c)(i)(B)(dd) to also require
QCDRs to collect data on the potential
QCDR measure, appropriate to the
measure type, as defined in the CMS
Blueprint for the CMS Measures
Management System, prior to selfnomination. The testing process for
quality measures is dependent on the
measure type (for example, a measure
that is specified as an eCQM measure
has additional steps it must undergo
when compared to other measure types).
The National Quality Forum (NQF) has
developed guides for measure testing
criteria and standards which further
illustrate these differences based on
measure type.148 Additionally, the costs
associated with testing vary based on
the complexity of the measure and the
developing organization. The Journal of
the American Medical Association
states that the costs associated with
quality measures are generally unknown
or unreported.149 While we understand
the proposed policy will result in
additional costs for QCDRs to develop
measures, given the uncertainty
regarding the number and types of
measures that will be proposed in future
performance periods coupled with the
lack of available cost data on measure
development and testing, we are unable
to determine the financial impact of this
proposal on QCDRs beyond the
likelihood of it being more than trivial.
Likewise, we understand that some
148 https://www.qualityforum.org/Measuring_
Performance/Submitting_Standards.aspx.
149 Schuster, Onorato, and Meltzer. ‘‘Measuring
the Cost of Quality Measurement: A Missing Link
in Quality Strategy’’, Journal of the American
Medical Association. 2017; 318(13):1219–1220.
https://jamanetwork.com/journals/jama/fullarticle/
2653111?resultClick=1.
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QCDRs already perform measure testing
prior to submission for approval while
others do not. This variability makes it
difficult to estimate the incremental
impact of this regulation.
In section III.K.3.g.(3)(c)(i)(A)(bb) of
this rule, we are proposing to amend
§ 414.1400 to state that CMS may
consider the extent to which a QCDR
measure is available to MIPS eligible
clinicians reporting through QCDRs
other than the QCDR measure owner for
purposes of MIPS. If CMS determines
that a QCDR measure is not available to
MIPS eligible clinicians, groups, and
virtual groups reporting through other
QCDRs, CMS may not approve the
measure. Because the choice to license
a QCDR measure is an elective business
decision made by individual QCDRs
and we have little insight into both the
specific terms and frequency of
agreements made between entities, we
are unable to account for the financial
impact of licensing QCDR measures for
each QCDR. In aggregate across all
QCDRs, the financial impact would be
zero as fees paid by one QCDR will be
collected by another QCDR.
In section III.K.3.g.(3)(c)(i)(B)(ee) of
this rule, we propose, beginning with
the 2020 performance period, that after
the self-nomination period closes each
year, we will review newly selfnominated and previously approved
QCDR measures based on
considerations as described in the CY
2019 PFS final rule (83 FR 59900
through 59902). In instances in which
multiple, similar QCDR measures exist
that warrant approval, we may
provisionally approve the individual
QCDR measures for 1 year with the
condition that QCDRs address certain
areas of duplication with other
approved QCDR measures in order to be
considered for the program in
subsequent years. The QCDR could do
so by harmonizing its measure with, or
significantly differentiating its measure
from, other similar QCDR measures.
QCDR measure harmonization may
require two or more QCDRs to work
collaboratively to develop one cohesive
QCDR measure that is representative of
their similar yet, individual measures.
We are unable to account for the
financial impact of measure
harmonization, as the process and
outcomes will likely vary substantially
depending on a number of factors,
including: Extent of duplication with
other measures, number of QCDRs
involved in harmonizing toward a single
measure, and number of measures being
harmonized among the same QCDRs.
We intend to identify only those QCDR
measures which are duplicative to such
an extent as to assume harmonization
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will not be overly burdensome,
however, because the harmonization
process will occur between QCDRs
without our involvement, we are unable
to predict or quantify the associated
effort.
We understand that some QCDRs may
believe the proposals to require measure
harmonization and encourage QCDRs to
license their measures to other QCDRs
as a consideration for measure approval
may result in a reduced ability for
QCDRs to differentiate themselves in the
marketplace. We note that in addition to
the suite of measures offered by a QCDR
and their relevance to individual
clinicians and groups, ease of
incorporating a QCDR’s measures into
existing practice workflows, as well as
integration into broader quality
improvement programs are two
examples of distinguishing
characteristics for clinicians to consider
when selecting a QCDR. In addition,
clinicians may also consider cost (if
any); recommendations, support, or
endorsements from specialty societies;
the number of other users submitting
data to the QCDR; the specific
educational services and quality
improvement initiatives offered; and the
specific performance feedback
information provided as part of the
required reports provided at least 4
times a year. We believe that the impact
these proposals may have on the
perceived differentiated value of certain
QCDRs is counterbalanced by the need
to promote more focused quality
measure development towards
outcomes that are meaningful to
patients, families and their providers.
In this proposed rule, we are
proposing to formalize a number of
factors we would take into
consideration for approving and
rejecting QCDR measures for the MIPS
program beginning with the 2020
performance period and future years.
With regard to approving QCDR
measures, we are proposing the
following: (1) 2-year QCDR measure
approval process, and (2) participation
plan for existing QCDR measures that
have failed to reach benchmarking
thresholds.
As discussed in section
III.K.3.g.(3)(c)(ii)(B), we are proposing to
implement, beginning with the 2021
performance period, 2-year QCDR
measure approvals (at our discretion) for
QCDR measures that attain approval
status by meeting the QCDR measure
considerations and requirements
described in section III.K.3.g.(3)(c). The
2-year approvals would be subject to the
following conditions whereby the multiyear approval will no longer apply if the
QCDR measure is identified as: Topped
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out; duplicative of a new, more robust
measure; reflects an outdated clinical
guideline; requires measure
harmonization, or if the QCDR selfnominating the measure is no longer in
good standing. We believe this will
result in reduced burden for QCDRs as
they will no longer be required to
submit each measure for approval
annually. However, because we are
unable to predict which previously
approved QCDR measures will be
removed or retained in future years, we
are likewise unable to predict the
impact on future burden associated with
QCDRs submitting measures for
approval. Beginning with the 2021
performance period, we are proposing
that in instances where an existing
QCDR measure has been in MIPS for 2
years and has failed to reach
benchmarking thresholds due to low
adoption, where the QCDR believes the
low-reported QCDR measure is still
important and relevant to a specialist’s
practice, that the QCDR may submit to
CMS a QCDR measure participation
plan, to be submitted as part of their
self-nomination. Because we are unable
to predict the frequency with which
existing QCDR measures will meet the
proposed criteria for allowing QCDRs to
submit a measure participation plan or
the likelihood of QCDRs electing to
submit a plan, we are unable to estimate
the impact associated with this
proposal.
As discussed in section
III.K.3.g.(3)(c)(i)(B)(bb) of this proposed
rule, beginning with the 2021
performance period and future years, we
are proposing that QCDRs must identify
a linkage between their QCDR measures
to the following, at the time of selfnomination: (a) Cost measures (as found
in section III.K.3.c.(3) of this proposed
rule), (b) improvement activities (as
found in Appendix 2: Improvement
Activities Tables), or (c) CMS developed
MIPS Value Pathways (as described in
section III.K.3.a. of this proposed rule).
We do not assume any additional
impact beyond the 1 hour per QCDR
measure discussed in the Collection of
Information section.
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g. Assumptions & Limitations
We note several limitations to our
estimates of MIPS eligible clinicians’
eligibility and participation, negative
MIPS payment adjustments, and
positive payment adjustments for the
2022 MIPS payment year. We based our
analyses on the data prepared to support
the 2018 performance period initial
determination of clinician and special
status eligibility (available via the NPI
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lookup on qpp.cms.gov),150 participant
lists using the 2019 predictive APM
Participation List, which contains the
2018 fourth snapshot and any additional
TIN/NPIs until January 15, 2019, CY
2017 Quality Payment Program Year 1
data and CAHPS for ACOs. The scoring
model results presented in this
proposed rule assume that CY 2017
Quality Payment Program Year 1 data
submissions and performance are
representative of CY 2020 Quality
Payment Program data submissions and
performance. The estimated
performance for CY 2020 MIPS
performance period using Quality
Payment Program Year 1 data may be
underestimated because the
performance threshold to avoid a
negative payment adjustment for the
2017 MIPS performance period/2019
MIPS payment year was significantly
lower (3 out of 100 points) than the
performance threshold for the 2020
MIPS performance period/2022 MIPS
payment year (45 out of 100). We
anticipate clinicians may submit more
performance categories to meet the
higher performance threshold to avoid a
negative payment adjustment.
In our MIPS eligible clinician
assumptions, we assumed that 33
percent of the opt-in eligible clinicians
that participated in the CY 2017 Quality
Payment Program Year 1 would elect to
opt-in to the MIPS program. It is
difficult to predict whether clinicians
will elect to opt-in to participate in
MIPS with the proposed policies.
There are additional limitations to our
estimates: (1) Because we used historic
data, we assumed participation in the
three performance categories in MIPS
Year 1 would be similar to MIPS Year
4 performance; and (2) to the extent that
there are year-to-year changes in the
data submission, volume and mix of
services provided by MIPS eligible
clinicians, the actual impact on total
Medicare revenues will be different
from those shown in Table 114. Due to
the limitations described, there is
considerable uncertainty around our
estimates that is difficult to quantify in
detail.
F. Alternatives Considered
This proposed rule contains a range of
policies, including some provisions
related to specific statutory provisions.
The preceding preamble provides
descriptions of the statutory provisions
that are addressed, identifies those
policies when discretion has been
150 The time period for this eligibility file
(September 1, 2016 to August 31, 2017) maximizes
the overlap with the performance data in our
model.
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exercised, presents rationale for our
proposed policies and, where relevant,
alternatives that were considered. For
purposes of the payment impact on PFS
services of the policies contained in this
proposed rule, we presented the
estimated impact on total allowed
charges by specialty. The alternatives
we considered, as discussed in the
preceding preamble sections, would
result in different payment rates, and
therefore, result in different estimates
than those shown in Table 110 (CY 2020
PFS Estimated Impact on Total Allowed
Charges by Specialty).
1. Alternatives Considered Related to
Medicare Coverage for Opioid Use
Disorder Treatment Services Furnished
by Opioid Treatment Programs
We considered several possibilities
for pricing the oral medications, namely
methadone and buprenorphine (oral),
included in the OTP payment bundles.
As described in section II.G. of this
proposed rule, we are proposing to use
ASP-based payment for oral OTP drugs;
however, in the event we do not receive
manufacturer-submitted ASP pricing
data for these drugs, we are also
considering several other alternative
pricing mechanisms to determine the
pricing of the drug components of the
bundles that include these medications,
including the methodology under
Section 1847A of the Act; Medicare Part
D Prescription Drug Plan Finder data;
WAC; and NADAC data. For
methadone, we also consider an
alternative using the TRICARE payment
rate for methadone in its OTP bundled
payment. In Table 14, we display the
estimated initial drug payment rates for
the proposed pricing approach for the
oral drugs and each of the alternatives,
based on data files posted at the time of
the drafting of this proposed rule. We
used the TRICARE payment rate for
methadone to estimate the payment
rates for the methadone payment
bundles and NADAC data to estimate
the payment rates for the buprenorphine
(oral) payment bundles, and to derive
the impact estimates.
For methadone, we believe using
Medicare Part D Prescription Drug Plan
Finder Data to price the medication
would have minimal impact on the RIA
estimate since the rate is very close to
the TRICARE payment rate. Using WACbased pricing for methadone would
likely increase the impact estimate
marginally since WAC-based pricing is
slightly higher than the TRICARE
payment rate. Since NADAC pricing for
methadone is significantly less than the
TRICARE payment rate, using NADAC
pricing would significantly decrease the
impact estimates, especially because the
E:\FR\FM\14AUP2.SGM
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vast majority of patients receiving OUD
treatment services at OTPs are receiving
methadone.
For buprenorphine (oral), the
Medicare Part D Prescription Drug Plan
Finder data is very similar to NADAC
pricing. Therefore we believe there
would be minimal changes in the
estimated impacts from using this
alternative data source. Since WACbased pricing is slightly higher than
NADAC pricing, we note that using
WAC-based pricing would increase the
estimated impacts marginally.
We also considered several
alternatives for the update factor used in
updating the payment rates for the nondrug component of the bundled
payment for OUD treatment services,
including the Bureau of Labor Statistics
Consumer Price Index for All Items for
Urban Consumers (CPI–U) (Bureau of
Labor Statistics #CUUR0000SA0
(https://www.bls.gov/cpi/data.htm)) and
the IPPS hospital market basket reduced
by the multifactor productivity
adjustment. Based on a CMS forecast of
projected rates, we believe that the
projected MEI and CPI–U rates are
anticipated to be similar, and thus using
the CPI–U as an update factor would
have minimal effect on estimated
impacts. Since the projected IPPS
hospital market basket rate is generally
higher than the projected MEI rate,
using the IPPS hospital market basket
rate would result in higher estimated
impacts.
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2. Alternatives Considered Related to
Payment for E/M Services
In developing our proposed policies
for office/outpatient E/M visits effective
January 1, 2021, we considered a
number of alternatives. For reasons
discussed in section II.P. of this
proposed rule, we did not include either
the extended office/outpatient E/M
HCPCS code GPR01 or the single
blended payment rates for combined
visit levels 2 through 4 that were
finalized in the CY 2019 final rule for
CY 2021 in our considerations. Our
alternatives also did not include the
revaluation of global surgical services,
as recommended by the AMA RUC,
which incorporated the revised office/
outpatient E/M code values. We note
that in all of the alternatives we
considered, the valuation for all codes
in the office/outpatient E/M code set
would increase. Therefore, all
specialties for whom the office/
outpatient codes represent a significant
portion of their billing would also see
payment increases while those
specialties who do not report those
codes would see overall payment
decreases. Any variation in the
magnitude of the increases or decreases
are a result of a specialties overall
billing patterns.
We did, however, consider proposing
to eliminate both add-on codes, HCPCS
code GCG0X and HCPCS code GPC1X,
that were finalized in the CY 2019 final
rule for CY 2021. Our stated rationale in
the CY 2019 final rule for developing
HCPCS code GPC1X (83 FR 59625
PO 00000
Frm 00425
Fmt 4701
Sfmt 4702
40905
through 59653) was to more accurately
account for the type and intensity of E/
M work performed in primary carefocused visits beyond the typical
resources reflected in the single
payment rate for the levels 2 through 4
visits. The reason for finalizing HCPCS
code GCG0X, as stated in the CY 2019
FR (83 FR 59625 through 59653) GCG0X
was to reflect additional resource costs
for inherently complex services that are
non-procedural. We considered whether
these two add-on codes would still be
necessary in the context of the revised
descriptors and valuations for office/
outpatient E/M services. We considered
an alternative, therefore, in which we
adopted the RUC’s recommended values
but excluded the two HCPCS add-on Gcodes. In reviewing the results of this
policy option, we observed that our
concerns about capturing the work
associated with visits that are part of
ongoing, comprehensive primary care
and/or care management for patients
having a single, serious, or complex
chronic condition were still present.
The specialty level impacts associated
with this alternative are displayed in
Table 115. The specialties that benefited
most from this alternative, such as
Endocrinology and Rheumatology, are
those that primarily bill levels 3–5
established patient office/outpatient E/
M visits, as those visit levels had the
greatest increases in valuation among
the overall office/outpatient E/M code
set.
BILLING CODE 4120–01–P
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Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
TABLE 115: Estimated Specialty Specific Impacts of Accepting the RUC
Recommended Values but Deleting Both HCPCS G codes GCGOX and GPClX if
Implemented in CY 2020
(B)
Allowed
Charges
(mil)
Allergy/Immunology
Anesthesiology
Audiologist
Cardiac Surgery
Cardiology
Chiropractor
Clinical Psychologist
Clinical Social Worker
Colon And Rectal Surgery
Critical Care
Dermatology
Diagnostic Testing Facility
Emergency Medicine
Endocrinology
Family Practice
Gastroenterology
General Practice
General Surgery
Geriatrics
Hand Surgery
Hematology/Oncology
Independent Laboratory
Infectious Disease
Internal Medicine
InteiVentional Pain Mgmt
InteiVentional Radiology
Multispecialty Clinic/Other Phys
Nephrology
Neurology
Neurosurgery
Nuclear Medicine
Nurse Anes I Anes Asst
Nurse Practitioner
Obstetrics/Gynecology
Ophthalmology
Optometry
Oral/Maxillofacial Surgery
Orthopedic Surgery
Other
Otolamgology
Pathology
Pediatrics
Physical Medicine
Physical/Occupational Therapy
Physician Assistant
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$236
$1,993
$70
$279
$6,595
$750
$787
$781
$162
$346
$3,541
$697
$3,021
$488
$6,019
$1,713
$405
$2,031
$187
$226
$1,673
$592
$640
$10,507
$885
$432
$148
$2,164
$1,503
$802
$50
$1,291
$4,503
$620
$5,398
$1,325
$71
$3,734
$34
$1,225
$1,203
$62
$1,110
$4,248
$2,637
PO 00000
Frm 00426
Fmt 4701
Sfmt 4725
(C)
Impact of
Work
RVU
Changes
(D)
Impact of
PERVU
Changes
(E)
Impact of
MPRVU
Changes
3%
-1%
-1%
-1%
1%
-2%
0%
1%
0%
-1%
2%
-3%
-1%
3%
2%
0%
1%
0%
1%
1%
2%
0%
-1%
1%
2%
-2%
0%
0%
4%
0%
0%
-1%
1%
2%
-4%
-2%
0%
1%
-1%
1%
-2%
1%
0%
-2%
1%
0%
0%
0%
-1%
0%
-1%
0%
0%
0%
0%
-1%
0%
1%
1%
0%
-1%
0%
0%
0%
0%
1%
0%
0%
0%
0%
0%
0%
0%
0%
-1%
0%
0%
0%
0%
0%
0%
-1%
0%
0%
0%
0%
0%
0%
0%
0%
3%
-3%
-3%
-4%
1%
-4%
-4%
-4%
-1%
-3%
1%
0%
-3%
7%
5%
0%
3%
-1%
1%
0%
5%
-2%
-2%
1%
2%
-2%
0%
-1%
1%
-2%
-2%
-5%
2%
2%
-3%
0%
0%
0%
-1%
2%
-3%
2%
0%
-3%
2%
E:\FR\FM\14AUP2.SGM
14AUP2
(F)
Combined
Impact
6%
-4%
-4%
-5%
1%
-7%
-4%
-4%
-1%
-3%
2%
-3%
-4%
10%
7%
-1%
5%
-2%
2%
1%
8%
-2%
-3%
2%
4%
-4%
0%
-1%
6%
-3%
-2%
-6%
4%
4%
-7%
-2%
-1%
1%
-2%
3%
-5%
3%
0%
-5%
4%
EP14AU19.107
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Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
We also considered, as an alternative,
proposing CMS refinements to the RUC
recommendations for two of the CPT
codes. Consistent with our generally
established policies for reviewing work
RVUs recommended by the RUC, we
observed that the increase in work RVU
for CPT codes 99212 and 99214 (levels
2 and 4 for established patients) seemed
disproportionate to the increase in total
time for these services, particularly in
comparison with the work to time
relationships among the other seven E/
M code revaluations. For CPT code
99212, we observed that the total time
for furnishing this service increased by
2 minutes (13 percent increase), but that
the recommended work RVU increased
by nearly 50 percent from 0.48 to 0.70.
We reviewed other CPT codes with
similar times as the survey code and
identified a potential crosswalk to CPT
code 76536 (Ultrasound, soft tissues of
head and neck (eg, thyroid, parathyroid,
parotid), real time with image
documentation), with a work RVU of
0.56. We therefore considered
decreasing the work RVU for CPT code
99212 to 0.56. For CPT code 99214, the
total time increased from 40 to 49
40907
minutes, which is a 23 percent change,
while the work RVU increased from
1.50 to 1.92 (28 percent increase). We
considered a crosswalk to CPT code
73206 (Computed tomographic
angiography, upper extremity, with
contrast material(s), including
noncontrast images, if performed, and
image postprocessing), with a work RVU
of 1.81 and total time of 50 minutes. The
refinements we considered for the RUC
recommendations are shown in Table
116.
TABLE 116—CURRENT, RUC RECOMMENDED AND CMS REFINED OFFICE/OUTPATIENT E/M WORK RVUS
CPT/HCPCS
Current work RVU
(current)
RUC-recommended work RVU
Alternative: CMS-refined work
RVU
99201
99202
99203
99204
99205
99211
99212
99213
99214
99215
99XXX
GPC1X
GCG0X
0.48
0.93
1.42
2.43
3.17
0.18
0.48
0.97
1.5
2.11
NA
0.25
0.25
NA
0.93
1.6
2.6
3.5
0.18
0.7
1.3
1.92
2.8
0.61
NA
NA
NA
0.93
1.6
2.6
3.5
0.18
0.56
1.3
1.81
2.8
0.5
0.33
0.33
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alternative those specialties who
frequently bill CPT code 99212 or CPT
code 99214, such as dermatology and
PO 00000
Frm 00427
Fmt 4701
Sfmt 4702
family practice, respectively, experience
more modest increases relative to other
alternatives.
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EP14AU19.108
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Table 117 illustrates the specialty
level impacts of refining the RUC
recommendations. Under this
40908
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
TABLE 117: Estimated Specialty Specific Impacts of CMS Refined Values if
Implemented in CY 2020
(B)
Allowed
Charges
(mil)
$236
$1,993
$70
$279
$6,595
$750
$787
$781
$162
$346
$3,541
$697
$3,021
$488
$6,019
$1,713
$405
$2,031
$187
$226
$1,673
$592
$640
$10,507
$885
$432
$148
$2,164
$1,503
$802
$50
$1,291
$4,503
$620
$5,398
$1,325
$71
$3,734
$34
$1,225
$1,203
$62
$1,110
$4,248
$2,637
$369
Allergy/Immunology
Anesthesiology
Audiologist
Cardiac Surgery
Cardiology
Chiropractor
Clinical Psychologist
Clinical Social Worker
Colon And Rectal Surgery
Critical Care
Dermatology
Diagnostic Testing Facility
Emergency Medicine
Endocrinology
Family Practice
Gastroenterology
General Practice
General Surgery
Geriatrics
Hand Surgery
Hematology/Oncology
Independent Laboratory
Infectious Disease
Internal Medicine
InteiVentional Pain Mgmt
InteiVentional Radiology
Multispecialty Clinic/Other Phys
Nephrology
Neurology
Neurosurgery
Nuclear Medicine
Nurse Anes I Anes Asst
Nurse Practitioner
Obstetrics/Gynecology
Ophthalmology
Optometry
Oral/Maxillofacial Surgery
Orthopedic Surgery
Other
Otolamgology
Pathology
Pediatrics
Physical Medicine
Physical/Occupational Therapy
Physician Assistant
Plastic Surgery
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PO 00000
Frm 00428
Fmt 4701
Sfmt 4725
(C)
Impact of
Work
RVU
Changes
(D)
Impact of
(E)
Impact of
Changes
Changes
PERVU
3%
-3%
-2%
-3%
1%
-3%
-4%
-4%
-1%
-2%
1%
0%
-3%
5%
4%
0%
3%
-1%
1%
0%
5%
-2%
-2%
1%
2%
-1%
0%
-1%
1%
-1%
-2%
-4%
2%
2%
-3%
0%
0%
0%
-1%
2%
-3%
2%
0%
-3%
2%
-1%
E:\FR\FM\14AUP2.SGM
3%
-1%
-1%
-1%
1%
-2%
0%
1%
0%
-1%
2%
-3%
-1%
2%
2%
0%
1%
0%
1%
1%
2%
0%
0%
1%
2%
-2%
0%
0%
4%
0%
0%
-1%
1%
2%
-4%
-2%
0%
1%
-1%
2%
-2%
1%
0%
-2%
1%
0%
14AUP2
MPRVU
0%
0%
0%
0%
0%
-1%
0%
0%
0%
0%
-1%
0%
1%
1%
1%
-1%
0%
0%
0%
0%
1%
0%
0%
0%
1%
0%
0%
0%
0%
-1%
0%
0%
0%
0%
0%
0%
-1%
0%
0%
0%
0%
0%
0%
0%
0%
-1%
(F)
Combined
Impact
6%
-4%
-4%
-5%
1%
-6%
-3%
-3%
-1%
-3%
2%
-3%
-3%
8%
6%
-1%
4%
-2%
2%
1%
8%
-2%
-2%
2%
4%
-4%
0%
-1%
5%
-3%
-2%
-5%
4%
4%
-7%
-2%
-1%
1%
-2%
3%
-5%
3%
1%
-5%
4%
-2%
EP14AU19.109
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(A)
Specialty
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Table 118 illustrates the specialty
level impacts associated with making
refinements to the RUC recommended
values for the office/outpatient E/M
code set and also making separate
payment for HCPCS add-on code
PO 00000
Frm 00429
Fmt 4701
Sfmt 4702
GPC1X. These impacts are similar to
what we are proposing, with slight less
positive impacts for those specialties
who bill CPT codes 99212 or 99214.
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14AUP2
EP14AU19.110
khammond on DSKBBV9HB2PROD with PROPOSALS2
We also considered an alternative that
reflected CMS refinements to the three
CPT codes as described above and also
included the consolidated, redefined
and revalued HCPCS add-on G code,
GPC1X.
40909
40910
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
TABLE 118: Estimated Specialty Specific Impacts of CMS Refined Values with
HCPCS add-on G code GPClX if Implemented in CY 2020
(B)
Allowed
Charges
(mil)
$236
$1,993
$70
$279
$6,595
$750
$787
$781
$162
$346
$3,541
$697
$3,021
$488
$6,019
$1,713
$405
$2,031
$187
$226
$1,673
$592
$640
$10,507
$885
$432
$148
$2,164
$1,503
$802
$50
$1,291
$4,503
$620
$5,398
$1,325
$71
$3,734
$34
$1,225
$1,203
$62
$1,110
$4,248
$2,637
$369
Allergy/Immunology
Anesthesiology
Audiologist
Cardiac Surgery
Cardiology
Chiropractor
Clinical Psychologist
Clinical Social Worker
Colon And Rectal Surgery
Critical Care
Dermatology
Diagnostic Testing Facility
Emergency Medicine
Endocrinology
Family Practice
Gastroenterology
General Practice
General Surgery
Geriatrics
Hand Surgery
Hematology/Oncology
Independent Laboratory
Infectious Disease
Internal Medicine
InteiVentional Pain Mgmt
InteiVentional Radiology
Multispecialty Clinic/Other Phys
Nephrology
Neurology
Neurosurgery
Nuclear Medicine
Nurse Anes I Anes Asst
Nurse Practitioner
Obstetrics/Gynecology
Ophthalmology
Optometry
Oral/Maxillofacial Surgery
Orthopedic Surgery
Other
Otolamgology
Pathology
Pediatrics
Physical Medicine
Physical/Occupational Therapy
Physician Assistant
Plastic Surgery
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PO 00000
Frm 00430
Fmt 4701
Sfmt 4725
(C)
Impact of
Work
RVU
Changes
(D)
Impact of
(E)
Impact of
Changes
Changes
PERVU
3%
-5%
-4%
-5%
1%
-5%
-6%
-6%
-3%
-4%
0%
0%
-5%
10%
7%
-2%
5%
-3%
1%
-1%
7%
-2%
-2%
2%
4%
-2%
-2%
-2%
2%
-3%
-3%
-6%
4%
4%
-4%
-2%
-1%
-1%
-3%
3%
-4%
3%
-2%
-4%
4%
-2%
E:\FR\FM\14AUP2.SGM
3%
-1%
-2%
-2%
1%
-3%
0%
0%
0%
-1%
1%
-3%
-2%
4%
3%
-1%
2%
-1%
2%
0%
4%
-1%
0%
2%
3%
-3%
0%
0%
5%
-1%
0%
-2%
3%
3%
-5%
-3%
-1%
0%
-2%
2%
-3%
2%
0%
-4%
2%
-1%
14AUP2
MPRVU
0%
0%
0%
-1%
0%
-1%
0%
0%
0%
0%
-1%
0%
1%
1%
1%
-1%
0%
0%
0%
0%
1%
0%
0%
0%
1%
0%
0%
0%
0%
-2%
0%
0%
0%
0%
0%
0%
-1%
0%
0%
0%
-1%
0%
0%
0%
0%
-1%
(F)
Combined
Impact
7%
-6%
-6%
-7%
3%
-9%
-6%
-6%
-3%
-5%
-1%
-4%
-6%
15%
11%
-4%
7%
-4%
3%
-1%
12%
-4%
-3%
4%
8%
-5%
-2%
-2%
8%
-6%
-4%
-8%
7%
7%
-9%
-5%
-3%
-2%
-5%
5%
-8%
5%
-2%
-8%
7%
-4%
EP14AU19.111
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Specialty
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khammond on DSKBBV9HB2PROD with PROPOSALS2
3. Alternatives Considered for the
Quality Payment Program
For purposes of the payment impact
on the Quality Payment Program, we
view the performance threshold and the
additional performance threshold, as the
critical factors affecting the distribution
of payment adjustments. We ran two
separate models with performance
thresholds of 35 and 50 respectively (as
an alternative to the proposed
performance threshold of 45) to estimate
the impact of a more moderate and a
more aggressive increase in the
performance threshold. A lower
performance threshold would be a more
gradual transition and could potentially
allow more clinicians to meet or exceed
the performance threshold. The lower
performance threshold would lower the
amount of budget neutral dollars to
redistribute and increase the number of
clinicians with a positive payment
adjustment, but the scaling factor would
be lower. In contrast, a more aggressive
increase would likely lead to higher
positive payment adjustments for
clinicians that exceed the performance
threshold because the budget neutral
pool would be redistributed among
fewer clinicians. We ran each of these
models using the proposed additional
performance threshold of 80. In the
model with a performance threshold of
35, we estimate that $466 million would
be redistributed through budget
neutrality. There would be a maximum
payment adjustment of 5.3 percent after
considering the MIPS payment
adjustment and the additional MIPS
payment adjustment for exceptional
performance. In addition, 8.2 percent of
MIPS eligible clinicians would receive a
negative payment adjustment among
those that submit data. In the model
with a performance threshold of 50, we
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estimate that $644 million would be
redistributed through budget neutrality,
and that there would be a maximum
payment adjustment of 6.1 percent after
considering the MIPS payment
adjustment and the additional MIPS
payment adjustment for exceptional
performance. In addition, 15.5 percent
of MIPS eligible clinicians would
receive a negative payment adjustment
among those that submit data. We
proposed a performance threshold of 45
because we believe increasing the
performance threshold to 45 points was
not unreasonable or too steep, but rather
a moderate step that encourages
clinicians to gain experience with all
MIPS performance categories. We refer
readers to section III.K.3.e.(2) of this
proposed rule for additional rationale
on the selection of the performance
threshold.
To evaluate the impact of modifying
the additional performance threshold,
we ran two models with additional
performance thresholds of 75 and 85 as
an alternative to the proposed 80 points.
We ran each of these models using a
performance threshold of 45. The
benefit of the model with the additional
performance threshold of 75 would
maintain the additional performance
threshold that was in year 3. In the
model with the additional performance
threshold of 75, we estimate that $586
million would be redistributed through
budget neutrality, and there would be a
maximum payment adjustment of 4.8
percent after considering the MIPS
payment adjustment and the additional
MIPS payment adjustment for
exceptional performance. In addition,
12.7 percent of MIPS eligible clinicians
would receive a negative payment
adjustment among those that submit
data. In the model with an additional
performance threshold of 85, we
estimate that $586 million would be
PO 00000
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Fmt 4701
Sfmt 4702
redistributed through budget neutrality,
and that there would be a maximum
payment adjustment of 8.3 percent after
considering the MIPS payment
adjustment and the additional MIPS
payment adjustment for exceptional
performance among those that submit
data. Also, that 12.7 percent of MIPS
eligible clinicians will receive a
negative payment adjustment among
those that submit data. We proposed the
additional performance threshold at 80
points because we believe raising the
additional performance threshold would
incentivize continued improved
performance while accounting for
policy changes in the fourth year of the
program. We refer readers to section
III.K.3.e.(3) of this proposed rule for
additional rationale on the selection of
additional performance threshold.
G. Impact on Beneficiaries
1. Medicare PFS
There are a number of changes in this
proposed rule that will have an effect on
beneficiaries. In general, we believe that
many of these changes, including those
intended to improve accuracy in
payment through regular updates to the
inputs used to calculate payments under
the PFS, will have a positive impact and
improve the quality and value of care
provided to Medicare providers and
beneficiaries.
2. Quality Payment Program
There are several changes in this rule
that would have an effect on
beneficiaries. In general, we believe that
many of these changes, including those
intended to improve accuracy in
payment through regular updates to the
inputs used to calculate payments under
the PFS, would have a positive impact
and improve the quality and value of
care provided to Medicare beneficiaries.
For example, several of the new
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proposed measures include patientreported outcomes, which may be used
to help patients make more informed
decisions about treatment options.
Patient-reported outcome measures
provide information on a patient’s
health status from the patient’s point of
view and may also provide valuable
insights on factors such as quality of
life, functional status, and overall
disease experience, which may not
otherwise be available through routine
clinical data collection. Patient-reported
outcomes are factors frequently of
interest to patients when making
decisions about treatment. Similarly,
our proposals in section III.K.3.g.(2) of
this rule will improve the caliber and
value of QCDR measures.
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H. Burden Reduction Estimates
1. Payment for E/M Services
In the CY 2019 PFS final rule, we
finalized proposals that we made in
response to comments received from
RFIs released to the public under our
Patients Over Paperwork Initiative.
Specifically, we finalized proposals that
focused on simplifying the medical
documentation payment framework for
office/outpatient E/M services and
allowing greater flexibility on the
components practitioners could choose
to document when billing Medicare for
office/outpatient E/M visits. In that rule
we discussed the specific changes to
documentation requirements and
estimated significant reductions in the
amount of time that practitioners would
spend documenting office/outpatient E/
M visits, furthering our goal of allowing
practitioners more time spent with
patients. As discussed earlier in section
II.P. of this proposed rule, we are
proposing to adopt the revised office/
outpatient E/M code set. Our new
proposals reflect our ongoing dialog
with the practitioner community and
take into account the significant
revisions the AMA/CPT editorial panel
has made to the guidelines for the
office/outpatient E/M code set. We note
that as part of its efforts to revise the
guidelines, the AMA has also estimated
a reduction in the amount of time
practitioners would spend documenting
office/outpatient E/M visits. The AMA
asserts that its revisions to the office/
outpatient E/M code set will accomplish
similar, albeit greater burden reduction
in comparison with CMS’ approach, as
finalized in the CY 2019 PFS final rule,
and is more intuitive and in line with
the current practice of medicine. We
reviewed the AMA’s estimates and
acknowledge that overall the AMA’s
approach does result in burden
reduction that are consistent with our
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broader goals discussed above. In
comparison to our estimates of burden
reduction, as discussed in the CY 2019
final rule, the AMA’s estimates show
less documentation burden to
practitioners, the difference resulting
from CMS’ finalized policies that allow
use of add-on codes to reflect additional
resource costs inherent in furnishing
some kinds of office/outpatient E/M
visits that the current E/M coding and
visit levels do not fully recognize (FR 83
59638). The AMA estimates reflect
assumptions that the time spent
documenting appropriate application of
the add-on codes may result in
additional burden to practitioners. We
disagree with this assumption. In
addition to proposing to redefine and
revalue HCPCS G code add-on GPC1X to
be more understandable and easy to
report for purposes of medical
documentation and billing, and
proposing to delete HCPCS G-code addon GCG0X, we believe that while an
initial setup period is expected for
practices to establish workflows that
incorporate appropriate use of the addon code, practices should be able to
automate the appropriate use of the addon code in a short period of time. Even
so, our proposal to adopt the AMA’s
revised office/outpatient E/M code set is
consistent with our goal of burden
reduction and aligns with the policy
principles that underlay what we
finalized in the CY 2019 PFS final rule.
The AMA’s estimates of burden
reduction as related to office/outpatient
E/M documentation and other materials
pertinent to the AMA/CPT and AMA/
RUCs recent efforts to revise the office/
outpatient E/M code set are available at
https://www.ama-assn.org/practicemanagement/cpt/cpt-evaluation-andmanagement.
2. Beneficiary Liability
Many proposed policy changes could
result in a change in beneficiary liability
as it relates to coinsurance (which is 20
percent of the fee schedule amount, if
applicable for the particular provision
after the beneficiary has met the
deductible). To illustrate this point, as
shown in our public use file Impact on
Payment for Selected Procedures
available on the CMS website at https://
www.cms.gov/Medicare/Medicare-Feefor-Service-Payment/Physician
FeeSched/, the CY 2019 national
payment amount in the nonfacility
setting for CPT code 99203 (Office/
outpatient visit, new) was $109.92,
which means that in CY 2019, a
beneficiary would be responsible for 20
percent of this amount, or $21.98. Based
on this proposed rule, using the CY
2020 CF, the CY 2020 national payment
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amount in the nonfacility setting for
CPT code 99203, as shown in the Impact
on Payment for Selected Procedures
public use file, is $110.43, which means
that, in CY 2020, the final beneficiary
coinsurance for this service would be
$22.09.
I. Estimating Regulatory Familiarization
Costs
If regulations impose administrative
costs on private entities, such as the
time needed to read and interpret this
rule, we should estimate the cost
associated with regulatory review. Due
to the uncertainty involved with
accurately quantifying the number of
entities that will review the rule, we
assume that the total number of unique
commenters on last year’s rule will be
the number of reviewers of this rule. We
acknowledge that this assumption may
understate or overstate the costs of
reviewing this rule. It is possible that
not all commenters reviewed last year’s
rule in detail, and it is also possible that
some reviewers chose not to comment
on the rule. For these reasons we
thought that the number of past
commenters would be a fair estimate of
the number of reviewers of this rule. We
welcomed any comments on the
approach in estimating the number of
entities which will review this rule.
We also recognize that different types
of entities are in many cases affected by
mutually exclusive sections of this rule,
and therefore for the purposes of our
estimate we assume that each reviewer
reads approximately 50 percent of the
rule. We sought comments on this
assumption.
Using the wage information from the
BLS for medical and health service
managers (Code 11–9111), we estimate
that the cost of reviewing this rule is
$109.36 per hour, including overhead
and fringe benefits https://www.bls.gov/
oes/current/oes_nat.htm. Assuming an
average reading speed, we estimate that
it would take approximately 8.0 hours
for the staff to review half of this rule.
For each facility that reviews the rule,
the estimated cost is $874.88 (8.0 hours
× $109.36). Therefore, we estimated that
the total cost of reviewing this
regulation is $13,399,662 ($874.88 ×
15,316 reviewers).
J. Accounting Statement
As required by OMB Circular A–4
(available at https://www.whitehouse
.gov/omb/circulars/a004/a-4.pdf), in
Tables 119 and 120 (Accounting
Statements), we have prepared an
accounting statement. This estimate
includes growth in incurred benefits
from CY 2019 to CY 2020 based on the
FY 2020 President’s Budget baseline.
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TABLE 119—ACCOUNTING STATEMENT: CLASSIFICATION OF ESTIMATED EXPENDITURES
Category
Transfers
CY 2020 Annualized Monetized Transfers ..............................................
From Whom To Whom? ...........................................................................
Estimated increase in expenditures of $0.3 billion for PFS CF update.
Federal Government to physicians, other practitioners and providers
and suppliers who receive payment under Medicare.
TABLE 120—ACCOUNTING STATEMENT: CLASSIFICATION OF ESTIMATED COSTS, TRANSFER, AND SAVINGS
Category
Transfer
CY 2020 Annualized Monetized Transfers of beneficiary cost coinsurance.
From Whom to Whom? ............................................................................
K. Conclusion
The analysis in the previous sections,
together with the remainder of this
preamble, provided an initial Regulatory
Flexibility Analysis. The previous
analysis, together with the preceding
portion of this preamble, provides an
RIA. In accordance with the provisions
of Executive Order 12866, this
regulation was reviewed by the Office of
Management and Budget.
List of Subjects
42 CFR Part 403
Grant programs—health, Health
insurance, Hospitals, Intergovernmental
relations, Medicare, Reporting and
recordkeeping requirements.
42 CFR Part 410
Health facilities, Health professions,
Diseases, Laboratories, Medicare,
Reporting and recordkeeping
requirements, Rural areas, X-rays.
42 CFR Part 411
Diseases, Medicare, Reporting and
recordkeeping requirements.
42 CFR Part 414
Administrative practice and
procedure, Biologics, Drugs, Health
facilities, Health professions, Diseases,
Medicare, Reporting and recordkeeping
requirements.
42 CFR Part 415
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Health facilities, Health professions,
Medicare, Reporting and recordkeeping
requirements.
Health facilities, Health professions,
Medicare, Reporting and recordkeeping
requirements.
42 CFR Part 418
Health facilities, Hospice care,
Medicare, Reporting and recordkeeping
requirements.
18:25 Aug 13, 2019
Beneficiaries to Federal Government.
42 CFR Part 424
Emergency medical services, Health
facilities, Health professions, Medicare,
Reporting and recordkeeping
requirements.
42 CFR Part 425
Administrative practice and
procedure, Health facilities, Health
professions, Medicare, Reporting and
recordkeeping requirements.
For the reasons set forth in the
preamble, the Centers for Medicare &
Medicaid Services proposes to amend
42 CFR chapter IV as set forth below:
PART 403—SPECIAL PROGRAMS AND
PROJECTS
1. The authority citation for part 403
is revised to read as follows:
■
Authority: 42 U.S.C. 1302 and 1395hh.
2. Section 403.902 is amended—
a. By adding in alphabetical order the
definitions of ‘‘Certified nurse
midwife’’, ‘‘Certified registered nurse
anesthetist’’, and ‘‘Clinical nurse
specialist’’;
■ b. By revising the definition of
‘‘Covered recipient’’;
■ c. By adding in alphabetical order the
definitions of ‘‘Device identifier’’, ‘‘Long
term medical supply or device loan’’,
‘‘Non-teaching hospital covered
recipient’’, ‘‘Nurse practitioner’’,
‘‘Physician assistant’’, ‘‘Short term
medical supply or device loan’’, and
‘‘Unique device identifier’’.
The additions and revisions read as
follows:
■
■
§ 403.902
Definitions.
*
42 CFR Part 416
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*
*
*
*
Certified nurse midwife means a
registered nurse who has successfully
completed a program of study and
clinical experience meeting guidelines
prescribed by the Secretary, or has been
certified by an organization recognized
by the Secretary.
Certified registered nurse anesthetist
means a certified registered nurse
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anesthetist licensed by the State who
meets such education, training, and
other requirements relating to
anesthesia services and related care as
the Secretary may prescribe. In
prescribing such requirements the
Secretary may use the same
requirements as those established by a
national organization for the
certification of nurse anesthetists. Such
term also includes, as prescribed by the
Secretary, an anesthesiologist assistant.
*
*
*
*
*
Clinical nurse specialist means, an
individual who—
(1) Is a registered nurse and is
licensed to practice nursing in the State
in which the clinical nurse specialist
services are performed; and
(2) Holds a master’s degree in a
defined clinical area of nursing from an
accredited educational institution.
*
*
*
*
*
Covered recipient means—
(1) Any physician, physician
assistant, nurse practitioner, clinical
nurse specialist, certified registered
nurse anesthetist, or certified nursemidwife who is not a bona fide
employee of the applicable
manufacturer that is reporting the
payment; or
Device identifier is the mandatory,
fixed portion of a unique device
identifier (UDI) that identifies the
specific version or model of a device
and the labeler of that device (as
described at 21 CFR 801.3 in paragraph
(1) of the definition of ‘‘Unique device
identifier’’).
*
*
*
*
*
Long term medical supply or device
loan means the loan of supplies or a
device for 91 days or longer.
Non-teaching hospital covered
recipient means a person who is one or
more of the following: Physician,
physician assistant, nurse practitioner,
clinical nurse specialist, certified
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registered nurse anesthetist, or certified
nurse-midwife.
*
*
*
*
*
Nurse practitioner means a nurse
practitioner who performs such services
as such individual is legally authorized
to perform (in the State in which the
individual performs such services) in
accordance with State law (or the State
regulatory mechanism provided by State
law), and who meets such training,
education, and experience requirements
(or any combination thereof) as the
Secretary may prescribe in regulations.
*
*
*
*
*
Physician assistant means a physician
assistant who performs such services as
such individual is legally authorized to
perform (in the State in which the
individual performs such services) in
accordance with State law (or the State
regulatory mechanism provided by State
law), and who meets such training,
education, and experience requirements
(or any combination thereof) as the
Secretary may prescribe in regulations.
*
*
*
*
*
Short term medical supply or device
loan means the loan of a covered device
or a device under development, or the
provision of a limited quantity of
medical supplies for a short-term trial
period, not to exceed a loan period of
90 days or a quantity of 90 days of
average daily use, to permit evaluation
of the device or medical supply by the
covered recipient.
*
*
*
*
*
Unique device identifier means an
identifier that adequately identifies a
device through its distribution and use
by meeting the requirements of 21 CFR
830.20 (mirrored from 21 CFR 801.3).
■ 3. Section 403.904 is amended by:
■ a. Revising paragraphs (c)(1), (c)(3)
introductory text, (c)(3)(ii) and (iii),
(c)(8), (e)(2) introductory text,
(e)(2)(xiv);
■ b. Adding paragraph (e)(2)(xi);
■ c. Revising paragraph (e)(2)(xv);
■ d. Adding paragraph (e)(2)(xviii); and
■ e. Revising paragraphs (f)(1)
introductory text, (f)(1)(i)(A)
introductory text, (f)(1)(i)(A)(1),
(f)(1)(i)(A)(3), (f)(1)(i)(A)(5), (f)(1)(iv),
(f)(1)(v), (h)(5), (h)(7), and (h)(13).
The revisions and addition read as
follows:
§ 403.904 Reports of payments or other
transfers of value to covered recipients.
*
*
*
*
*
(c) * * *
(1) Name of the covered recipient. For
non-teaching hospital covered
recipients, the name must be as listed in
the National Plan & Provider
Enumeration System (NPPES) (if
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applicable) and include first and last
name, middle initial, and suffix (for all
that apply).
*
*
*
*
*
(3) Identifiers for non-teaching
hospital covered recipients. In the case
of a covered recipient the following
identifiers:
*
*
*
*
*
(ii) National Provider Identifier (if
applicable and as listed in the NPPES).
If a National Provider Identifier cannot
be identified for a non-teaching hospital
covered recipient, the field may be left
blank, indicating that the applicable
manufacturer could not find one.
(iii) State professional license
number(s) (for at least one State where
the non-teaching hospital covered
recipient maintains a license), and the
State(s) in which the license is held.
*
*
*
*
*
(8) Related covered drug, device,
biological or medical supply. Report the
marketed or brand name of the related
covered drugs, devices, biologicals, or
medical supplies, and therapeutic area
or product category unless the payment
or other transfer of value is not related
to a particular covered drug, device,
biological or medical supply.
(i) For drugs and biologicals—
(A) If the marketed name has not yet
been selected, applicable manufacturers
must indicate the name registered on
clinicaltrials.gov.
(B) Any regularly used identifiers
must be reported, including, but not
limited to, national drug codes.
(ii) For devices, if the device has a
unique device identifier (UDI), then the
device identifier (DI) portions of it must
be reported, as applicable.
(iii) Applicable manufacturers may
report the marketed name and
therapeutic area or product category for
payments or other transfers of value
related to a non-covered drug, device,
biological, or medical supply.
(iv) Applicable manufacturers must
indicate if the related drug, device,
biological, or medical supply is covered
or non-covered.
(v) Applicable manufacturers must
indicate if the payment or other transfer
of value is not related to any covered or
non-covered drug, device, biological or
medical supply.
*
*
*
*
*
(e) * * *
(2) Rules for categorizing natures of
payment. An applicable manufacturer
must categorize each payment or other
transfer of value, or separable part of
that payment or transfer of value, with
one of the categories listed in
paragraphs (e)(2)(i) through (xviii) of
this section, using the designation that
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best describes the nature of the payment
or other transfer of value, or separable
part of that payment or other transfer of
value. If a payment or other transfer of
value could reasonably be considered as
falling within more than one category,
the applicable manufacturer should
select one category that it deems to most
accurately describe the nature of the
payment or transfer of value.
*
*
*
*
*
(xi) Debt forgiveness.
*
*
*
*
*
(xiv) Compensation for serving as
faculty or as a speaker for a medical
education program.
(xv) Long term medical supply or
device loan.
*
*
*
*
*
(xviii) Acquisitions.
*
*
*
*
*
(f) * * *
(1) Research-related payments or
other transfers of value to covered
recipients, including research-related
payments or other transfers of value
made indirectly to a covered recipient
through a third party, must be reported
to CMS separately from other payments
or transfers of value, and must include
the following information (in lieu of the
information required by § 403.904(c)):
(i) * * *
(A) If paid to a non-teaching hospital
covered recipient, all of the following
must be provided:
(1) The non-teaching hospital covered
recipient’s name as listed in the NPPES
(if applicable).
*
*
*
*
*
(3) State professional license
number(s) (for at least one State where
the non-teaching hospital covered
recipient maintains a license) and
State(s) in which the license is held.
*
*
*
*
*
(5) Primary business address of the
non-teaching hospital covered
recipient(s).
*
*
*
*
*
(iv) Name(s) of any related covered
drugs, devices, biologicals, or medical
supplies (subject to the requirements
specified in paragraph (c)(8) of this
section); for drugs and biologicals, the
relevant National Drug Code(s), if any;
and for devices and medical supplies,
the relevant device identifier, if any,
and the therapeutic area or product
category if a marketed name is not
available.
(v) Information about each nonteaching hospital covered recipient
principal investigator (if applicable) set
forth in paragraph (f)(1)(i)(A) of this
section.
*
*
*
*
*
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(h) * * *
(5) Short term medical supply or
device loan.
*
*
*
*
*
(7) A transfer of anything of value to
a non-teaching hospital covered
recipient when the covered recipient is
a patient, research subject or participant
in data collection for research, and not
acting in the professional capacity of a
covered recipient.
*
*
*
*
*
(13) In the case of a non-teaching
hospital covered recipient, a transfer of
anything of value to the covered
recipient if the transfer is payment
solely for the services of the covered
recipient with respect to an
administrative proceeding, legal
defense, prosecution, or settlement or
judgment of a civil or criminal action
and arbitration.
*
*
*
*
*
■ 4. Section 403.908 is amended by
revising paragraphs (g)(2)(ii)
introductory text to read as follows:
§ 403.908 Procedures for electronic
submission of reports.
*
*
*
*
*
(g) * * *
(2) * * *
(ii) Covered recipients—
*
*
*
*
*
PART 410—SUPPLEMENTARY
MEDICAL INSURANCE (SMI)
BENEFITS
5. The authority citation for part 410
continues to read as follows:
■
Authority: 42 U.S.C. 1302, 1395m,
1395hh, 1395rr, and 1395ddd.
6. Section 410.20 is amended by
adding paragraph (e) to read as follows:
■
§ 410.20
Physicians’ services.
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*
*
*
*
*
(e) Medical record documentation.
The physician may review and verify
(sign/date), rather than re-document,
notes in a patient’s medical record made
by physicians, residents, nurses,
students, or other members of the
medical team including, as applicable,
notes documenting the physician’s
presence and participation in the
services.
■ 7. Section 410.40 is amended—
■ a. By redesignating paragraphs (a)
through (f) as paragraphs (b) through (g),
respectively;
■ b. By adding new paragraph (a);
■ c. In newly redesignated paragraph
(b)(1) by removing the reference
‘‘paragraphs (d) and (e)’’ and adding in
its place the reference ‘‘paragraphs (e)
and (f)’’; and
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d. By revising newly redesignated
paragraphs (e)(2)(i), (e)(3)(i), and
(e)(3)(iii) through (e)(3)(v).
The additions and revision reads as
follows:
■
§ 410.40
Coverage of ambulance services.
(a) Definitions. As used in this
section, the following definitions apply:
Non-physician certification statement
means a statement signed and dated by
an individual which certifies that the
medical necessity provisions of
paragraph (e)(1) of this section are met
and who meets all of the criteria in
paragraphs (i) through (iii) of this
definition. The statement need not be a
stand-alone document and no specific
format or title is required.
(i) Has personal knowledge of the
beneficiary’s condition at the time the
ambulance transport is ordered or the
service is furnished;
(ii) Who must be employed:
(A) By the beneficiary’s attending
physician; or
(B) By the hospital or facility where
the beneficiary is being treated and from
which the beneficiary is transported;
(iii) Is among the following
individuals, with respect to whom all
Medicare regulations and all applicable
State licensure laws apply:
(A) Physician assistant (PA).
(B) Nurse practitioner (NP).
(C) Clinical nurse specialist (CNS).
(D) Registered nurse (RN).
(E) Licensed practical nurse (LPN).
(F) Social worker.
(G) Case manager.
(H) Discharge planner.
Physician certification statement
means a statement signed and dated by
the beneficiary’s attending physician
which certifies that the medical
necessity provisions of paragraph (e)(1)
of this section are met. The statement
need not be a stand-alone document and
no specific format or title is required.
*
*
*
*
*
(e) * * *
(2) * * *
(i) Medicare covers medically
necessary nonemergency, scheduled,
repetitive ambulance services if the
ambulance provider or supplier, before
furnishing the service to the beneficiary,
obtains a physician certification
statement dated no earlier than 60 days
before the date the service is furnished.
*
*
*
*
*
(3) * * *
(i) For a resident of a facility who is
under the care of a physician if the
ambulance provider or supplier obtains
a physician certification statement
within 48 hours after the transport,
certifying that the medical necessity
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requirements of paragraph (e)(1) of this
section are met.
*
*
*
*
*
(iii) If the ambulance provider or
supplier is unable to obtain a signed
physician certification statement from
the beneficiary’s attending physician, or
non-physician certification statement
must be obtained.
(iv) If the ambulance provider or
supplier is unable to obtain the required
physician or non-physician certification
statement within 21 calendar days
following the date of the service, the
ambulance supplier must document its
attempts to obtain the requested
certification and may then submit the
claim. Acceptable documentation
includes a signed return receipt from
the U.S. Postal Service or other similar
service that evidences that the
ambulance supplier attempted to obtain
the required signature from the
beneficiary’s attending physician or
other individual named in paragraph
(e)(3)(iii) of this section.
(v) In all cases, the provider or
supplier must keep appropriate
documentation on file and, upon
request, present it to the contractor. The
presence of the physician or nonphysician certification statement or
signed return receipt does not alone
demonstrate that the ambulance
transport was medically necessary. All
other program criteria must be met in
order for payment to be made.
*
*
*
*
*
■ 8. Section 410.41 is amended by
revising the section heading and
paragraph (c)(1) to read as follows:
§ 410.41 Requirements for ambulance
providers and suppliers.
*
*
*
*
*
(c) * * *
(1) Bill for ambulance services using
CMS-designated procedure codes to
describe origin and destination and
indicate on claims form that the
physician certification is on file, if
required.
*
*
*
*
*
■ 9. Section 410.49 is amended by
revising paragraph (b)(1)(vii) and adding
paragraph (b)(1)(viii) to read as follows:
§ 410.49 Cardiac rehabilitation program
and intensive cardiac rehabilitation
program: Conditions of coverage.
*
*
*
*
*
(b) * * *
(1) * * *
(vii) Stable, chronic heart failure
defined as patients with left ventricular
ejection fraction of 35 percent or less
and New York Heart Association
(NYHA) class II to IV symptoms despite
being on optimal heart failure therapy
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for at least 6 weeks, on or after February
18, 2014 for cardiac rehabilitation and
on or after February 9, 2018 for
intensive cardiac rehabilitation; or
(viii) Other cardiac conditions as
specified through a national coverage
determination (NCD). The NCD process
may also be used to specify noncoverage of a cardiac condition for ICR
if coverage is not supported by clinical
evidence.
*
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■ 10. Section 410.59 is amended by—
■ a. Adding paragraphs (a)(4) and
(e)(1)(v); and
■ b. Revising paragraphs (e)(2)
introductory text, (e)(2)(i) and (v), and
(e)(3).
The additions and revisions read as
follows:
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§ 410.59 Outpatient occupational therapy
services: Conditions.
(a) * * *
(4) Effective for dates of service on
and after January 1, 2020, for
occupational therapy services described
in paragraph (a)(3)(i) or (a)(3)(ii) of this
section, as applicable—
(i) Claims for services furnished in
whole or in part by an occupational
therapy assistant must include the
prescribed modifier; and
(ii) Effective for dates of service on or
after January 1, 2022, claims for such
services that include the modifier and
for which payment is made under
sections 1848 or 1834(k) of the Act are
paid an amount equal to 85 percent of
the amount of payment otherwise
applicable for the service.
(iii) For purposes of this paragraph,
‘‘furnished in whole or in part’’ means
when the occupational therapy assistant
either:
(A) Furnishes all the minutes of a
service exclusive of the occupational
therapist; or
(B) Furnishes a portion of a service—
either concurrently with or separately
from the part furnished by the
occupational therapist—such that the
minutes for that portion of a service
furnished by the occupational therapy
assistant exceed 10 percent of the total
minutes for that service.
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*
(e) * * *
(1) * * *
(v) Beginning in 2018 and for each
successive calendar year, the amount
described in paragraph (e)(1)(ii) of this
section is no longer applied as a
limitation on incurred expenses for
outpatient occupational therapy
services, but, is instead applied as a
threshold above which claims for
occupational therapy services must
include the KX modifier (the KX
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modifier threshold) to indicate that the
service is medically necessary and
justified by appropriate documentation
in the medical record and claims for
services above the KX modifier
threshold that do not include the KX
modifier are denied.
(2) For purposes of applying the KX
modifier threshold, outpatient
occupational therapy includes:
(i) Outpatient occupational therapy
services furnished under this section;
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*
(v) Outpatient occupational therapy
services furnished by a CAH directly or
under arrangements, included in the
amount of annual incurred expenses as
if such services were furnished under
section 1834(k)(1)(B) of the Act.
*
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(3) A process for medical review of
claims for outpatient occupational
therapy services applies as follows:
(i) For 2012 through 2017, medical
review applies to claims for services at
or in excess of $3,700 of recognized
incurred expenses as described in
paragraph (e)(1)(i) of this section.
(A) For 2012, 2013, and 2014 all
claims at and above the $3,700 medical
review threshold are subject to medical
review; and
(B) For 2015, 2016, and 2017 claims
at and above the $3,700 medical review
threshold are subject to a targeted
medical review process.
(ii) For 2018 and subsequent years, a
targeted medical review process applies
when the accrued annual incurred
expenses reach the following medical
review threshold amounts:
(A) Beginning with 2018 and before
2028, $3,000;
(B) For 2028 and each year thereafter,
the applicable medical review threshold
is determined by increasing the medical
review threshold in effect for the
previous year (starting with $3,000 in
2027) by the increase in the Medicare
Economic Index for the current year.
■ 11. Section 410.60 is amended by—
■ a. Adding paragraphs (a)(4) and
(e)(1)(v); and
■ b. Revising paragraphs (e)(2)
introductory text, (e)(2)(i), (ii) and (vi),
and (e)(3).
The additions and revisions read as
follows:
§ 410.60 Outpatient physical therapy
services: Conditions.
(a) * * *
(4) Effective for dates of service on
and after January 1, 2020, for physical
therapy services described in paragraph
(a)(3)(i) or (a)(3)(ii) of this section, as
applicable—
(i) Claims for services furnished in
whole or in part by a physical therapist
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assistant must include the prescribed
modifier; and
(ii) Effective for dates of service on or
after January 1, 2022, claims for such
services that include the modifier and
for which payment is made under
sections 1848 or 1834(k) of the Act are
paid an amount equal to 85 percent of
the amount of payment otherwise
applicable for the service.
(iii) For purposes of this paragraph,
‘‘furnished in whole or in part’’ means
when the physical therapist assistant
either:
(A) Furnishes all the minutes of a
service exclusive of the physical
therapist; or
(B) Furnishes a portion of a service
either concurrently with or separately
from the part furnished by the physical
therapist such that the minutes for that
portion of a service furnished by the
physical therapist assistant exceed 10
percent of the total minutes for that
service.
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(e) * * *
(1) * * *
(v) Beginning in 2018 and for each
successive calendar year, the amount
described in paragraph (e)(1)(ii) of this
section is not applied as a limitation on
incurred expenses for outpatient
physical therapy and outpatient speechlanguage pathology services, but is
instead applied as a threshold above
which claims for physical therapy and
speech-language pathology services
must include the KX modifier (the KX
modifier threshold) to indicate that the
service is medically necessary and
justified by appropriate documentation
in the medical record; and claims for
services above the KX modifier
threshold that do not include the KX
modifier are denied.
(2) For purposes of applying the KX
modifier threshold, outpatient physical
therapy includes:
(i) Outpatient physical therapy
services furnished under this section;
(ii) Outpatient speech-language
pathology services furnished under
§ 410.62;
*
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*
(vi) Outpatient physical therapy and
speech-language pathology services
furnished by a CAH directly or under
arrangements, included in the amount
of annual incurred expenses as if such
services were furnished and paid under
section 1834(k)(1)(B) of the Act.
(3) A process for medical review of
claims for physical therapy and speechlanguage pathology services applies as
follows:
(i) For 2012 through 2017, medical
review applies to claims for services at
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or in excess of $3,700 of recognized
incurred expenses as described in
paragraph (e)(1)(i) of this section.
(A) For 2012, 2013, and 2014 all
claims at and above the $3,700 medical
review threshold are subject to medical
review; and
(B) For 2015, 2016, and 2017 claims
at and above the $3,700 medical review
threshold are subject to a targeted
medical review process.
(ii) For 2018 and subsequent years, a
targeted medical review process when
the accrued annual incurred expenses
reach the following medical review
threshold amounts:
(A) Beginning with 2018 and before
2028, $3,000;
(B) For 2028 and each year thereafter,
the applicable medical review threshold
is determined by increasing the medical
review threshold in effect for the
previous year (starting with $3,000 for
2017) by the increase in the Medicare
Economic Index for the current year.
■ 12. Section 410.67 is added to read as
follows:
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§ 410.67 Medicare coverage and payment
of Opioid use disorder treatment services
furnished by Opioid treatment programs.
(a) Basis and scope—(1) Basis. This
section implements sections 1861(jjj),
1861(s)(2)(HH), 1833(a)(1)(CC) and
1834(w) of the Act which provide for
coverage of opioid use disorder
treatment services furnished by an
opioid treatment program and the
payment of a bundled payment under
part B to an opioid treatment program
for opioid use disorder treatment
services that are furnished to a
beneficiary during an episode of care
beginning on or after January 1, 2020.
(2) Scope. This section sets forth the
criteria for an opioid treatment program,
the scope of opioid use disorder
treatment services, and the methodology
for determining the bundled payments
to opioid treatment programs for
furnishing opioid use disorder treatment
services.
(b) Definitions. For purposes of this
section, the following definitions apply:
Episode of care means a one week
(contiguous 7-day) period.
Opioid treatment program means an
entity that is an opioid treatment
program (as defined in § 8.2 of this title,
or any successor regulation) that meets
the requirements described in paragraph
(c) of this section.
Opioid use disorder treatment service
means one of the following items or
services for the treatment of opioid use
disorder that is furnished by an opioid
treatment program that meets the
requirements described in paragraph (c)
of this section.
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(1) Opioid agonist and antagonist
treatment medications (including oral,
injected, or implanted versions) that are
approved by the Food and Drug
Administration under section 505 of the
Federal, Food, Drug, and Cosmetic Act
for use in treatment of opioid use
disorder.
(2) Dispensing and administration of
opioid agonist and antagonist treatment
medications, if applicable.
(3) Substance use counseling by a
professional to the extent authorized
under State law to furnish such services
including services furnished via twoway interactive audio-video
communication technology, as clinically
appropriate, and in compliance with all
applicable requirements.
(4) Individual and group therapy with
a physician or psychologist (or other
mental health professional to the extent
authorized under State law), including
services furnished via two-way
interactive audio-video communication
technology, as clinically appropriate,
and in compliance with all applicable
requirements.
(5) Toxicology testing.
Partial episode of care means an
episode of care in which at least one
opioid use disorder treatment service,
but less than a majority of the opioid
use disorder treatment services
identified in the patient’s current
treatment plan (including any changes
noted in the patient’s medical record), is
furnished.
(c) Requirements for opioid treatment
programs. To participate in the
Medicare program and receive payment,
an opioid treatment program must meet
all of the following:
(1) Be enrolled in the Medicare
program.
(2) Have in effect a certification by the
Substance Abuse and Mental Health
Services Administration (SAMHSA) for
the opioid treatment program.
(3) Be accredited by an accrediting
body approved by the SAMHSA.
(4) Have in effect a provider
agreement under part 489 of this title.
(d) Bundled payments for opioid use
disorder treatment services furnished by
opioid treatment programs.
(1) CMS will establish categories of
bundled payments for opioid treatment
programs as follows:
(i) Categories for each type of opioid
agonist and antagonist treatment
medication;
(ii) A category for medication not
otherwise specified, which must be
used for new FDA-approved opioid
agonist or antagonist treatment
medications for which CMS has not
established a category; and
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(iii) A category for no medication
provided. Each category of bundled
payment must consist of a payment
amount for a full episode of care and a
payment amount for a partial episode of
care.
(2) The bundled payment for episodes
of care in which a medication is
provided must consist of payment for a
drug component, reflecting payment for
the applicable FDA-approved opioid
agonist or antagonist medication in the
patient’s treatment plan, and a non-drug
component, reflecting payment for all
other opioid use disorder treatment
services reflected in the patient’s
treatment plan (including dispensing/
administration of the medication, if
applicable). The payments for the drug
component and non-drug component
must be added together to create the
bundled payment amount. The bundled
payment for episodes of care in which
no medication is provided shall consist
of a single payment amount for all
opioid use disorder treatment services
reflected in the patient’s treatment plan
(not including medication or
dispensing/administration of such
medication).
(i) Drug component for full episodes
of care. For full episodes of care, the
payment for the drug component will be
determined as follows, using the most
recent data available at time of
ratesetting for the applicable calendar
year:
(A) For implantable and injectable
medications, the payment must be
determined using the methodology set
forth in section 1847A of the Act, except
that the payment amount shall be 100
percent of the ASP if ASP is used.
(B) For oral medications, the payment
amount must be 100 percent of ASP,
which will be determined based on ASP
data that have been calculated
consistent with the provisions in part
414, subpart 800 of this chapter and
voluntarily submitted by drug
manufacturers. If ASP data are not
available, the payment amount must be
based on an alternative methodology as
determined by the Secretary.
(C) Exception. For the drug
component of bundled payments in the
medication not otherwise specified
category under paragraph (d)(1)(B) of
this section, the payment amount must
be based on the applicable methodology
under paragraphs (d)(2)(i)(A) and
(d)(2)(i)(B) of this section (applying the
most recent available data for such new
medication), or invoice pricing until the
necessary data become available.
(ii) Drug component for partial
episodes of care. For partial episodes of
care, the payment for the drug
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component will be determined as
follows:
(A) For oral medications, the amount
will be half of the payment amount for
the full episode of care.
(B) For injectable and implantable
medications, the amount will be the
same as the payment amount for the full
episode of care.
(iii) Non-drug component for full
episodes of care. For full episodes of
care, the payment for CY 2020 for the
non-drug components of the bundled
payments will be based on the CY 2019
TRICARE weekly bundled rate for items
and services furnished when a patient is
prescribed methadone, minus the
methadone cost, and adjusted as
follows:
(A) For oral medications, no further
adjustment.
(B) For injectable medications, to
subtract an amount reflecting the cost of
dispensing methadone and to add an
amount reflecting the CY 2019 nonfacility Medicare payment rate for the
administration of an injection.
(C) For implantable medications, to
subtract an amount reflecting the cost of
dispensing methadone and to add an
amount reflecting the CY 2019 nonfacility Medicare payment rate for
insertion, removal, or insertion and
removal of the implant, as applicable.
(iv) Non-drug component for partial
episodes of care. For partial episodes of
care, the payment for CY 2020 for the
non-drug components of the bundled
payments will be based on the CY 2019
TRICARE weekly bundled rate for items
and services furnished when a patient is
prescribed methadone, minus the
methadone cost, adjusted as follows:
(A) For oral medications, to halve the
amount.
(B) For injectable medications, to
subtract an amount reflecting the cost of
dispensing methadone and then to halve
the remaining amount. The resulting
amount will be added to an amount
reflecting the CY 2019 non-facility
Medicare payment rate for the
administration of an injection.
(C) For implantable medications, to
subtract an amount reflecting the cost of
dispensing methadone and then to halve
the remaining amount. The resulting
amount will be added to an amount
reflecting the CY 2019 non-facility
Medicare payment rate for insertion,
removal, or insertion and removal of the
implant, as applicable.
(v) No medication provided, full and
partial episodes of care. The bundled
payment amount for CY 2020 for a full
episode of care in which no medication
is provided will be based on the CY
2019 TRICARE weekly bundled rate for
items and services furnished when a
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patient is prescribed methadone, minus
the methadone cost, and minus an
amount reflecting the cost of dispensing
methadone. The bundled payment
amount for CY 2020 for a partial episode
of care in which no medication is
provided will be half the payment
amount for a full episode of care in
which no medication is provided.
(3) Adjustments will be made to the
bundled payment for the following:
(i) If the opioid treatment program
furnishes counseling or therapy services
in excess of the amount specified in the
beneficiary’s treatment plan and for
which medical necessity is documented
in the medical record, an adjustment
will be made for each additional 30
minutes of counseling or individual
therapy furnished during the episode of
care or partial episode of care.
(ii) The payment amount for the nondrug component and the full bundled
payment for an episode of care or partial
episode of care in which no medication
is provided will be geographically
adjusted using the Geographic
Adjustment Factor described in
§ 414.26.
(iii) The payment amount for the nondrug component and the full bundled
payment for an episode of care or partial
episode of care in which no medication
is provided will be updated annually
using the Medicare Economic Index
described in § 405.504(d).
(4) Payment for medications
delivered, administered or dispensed to
a beneficiary as part of the bundled
payment must be considered a
duplicative payment if delivery,
administration or dispensing of the
same medications was also separately
paid under Medicare Parts B or D. CMS
will recoup the duplicative payment
made to the opioid treatment program.
(e) Beneficiary cost-sharing. A
beneficiary copayment amount of zero
will apply.
■ 13. Section 410.74 is amended by
revising paragraph (a)(2)(iv), and adding
paragraph (e) to read as follows:
§ 410.74
Physician assistants’ services.
(a) * * *
(2) * * *
(iv) Performs the services in
accordance with State law and State
scope of practice rules for PAs in the
State in which the physician assistant’s
professional services are furnished, with
medical direction and appropriate
supervision as provided by State law in
which the services are performed. In the
absence of State law governing
physician supervision of PA services,
the physician supervision required by
Medicare for PA services would be
evidenced by documentation in the
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medical record of the PA’s approach to
working with physicians in furnishing
their professional services.
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(e) Medical record documentation.
For physician assistants’ services, the
physician assistant may review and
verify (sign and date), rather than redocument, notes in a patient’s medical
record made by physicians, residents,
nurses, students, or other members of
the medical team, including, as
applicable, notes documenting the
physician assistant’s presence and
participation in the service.
■ 14. Section 410.75 is amended by
adding paragraph (f) to read as follows:
§ 410.75
Nurse practitioners’ services.
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*
(f) Medical record documentation. For
nurse practitioners’ services, the nurse
practitioner may review and verify (sign
and date), rather than re-document,
notes in a patient’s medical record made
by physicians, residents, nurses,
students, or other members of the
medical team, including, as applicable,
notes documenting the nurse
practitioner’s presence and participation
in the service.
■ 15. Section 410.76 is amended by
adding paragraph (f) to read as follows:
§ 410.76 Clinical nurse specialists’
services.
*
*
*
*
*
(f) Medical record documentation. For
clinical nurse specialists’ services, the
clinical nurse specialist may review and
verify (sign and date), rather than redocument, notes in a patient’s medical
record made by physicians, residents,
nurses, students, or other members of
the medical team, including, as
applicable, notes documenting the
clinical nurse specialist’s presence and
participation in the service.
■ 16. Section 410.77 is amended by
adding paragraph (e) to read as follows:
§ 410.77 Certified nurse-midwives’
services: Qualifications and conditions.
*
*
*
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*
(e) Medical record documentation.
For certified nurse-midwives’ services,
the certified nurse-midwife may review
and verify (sign and date), rather than
re-document, notes in a patient’s
medical record made by physicians,
residents, nurses, students, or other
members of the medical team,
including, as applicable, notes
documenting the certified nursemidwife’s presence and participation in
the service.
■ 17. Section 410.105 is amended by
adding paragraph (d) to read as follows:
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§ 410.105 Requirements for coverage of
CORF services.
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(d) Claims. Effective for dates of
service on and after January 1, 2020
physical therapy or occupational
therapy services covered as part of a
rehabilitation plan of treatment
described in paragraph (c) of this
section, as applicable—
(1) Claims for such services furnished
in whole or in part by a physical
therapist assistant or an occupational
therapy assistant must be identified
with the inclusion of the respective
prescribed modifier; and
(2) Effective for dates of service on
and after January 1, 2022, such claims
are paid an amount equal to 85 percent
of the amount of payment otherwise
applicable for the service as defined at
section 1834(k) of the Act.
(3) For purposes of this paragraph,
‘‘furnished in whole or in part’’ means
when the physical therapist assistant or
occupational therapy assistant either—
(i) Furnishes all the minutes of a
service exclusive of the respective
physical therapist or occupational
therapist; or
(ii) Furnishes a portion of a service—
either concurrently with or separately
from the part furnished by the physical
or occupational therapist such that the
minutes for that portion of a service
exceed 10 percent of the total time for
that service.
PART 411—EXCLUSIONS FROM
MEDICARE AND LIMITATIONS ON
MEDICARE PAYMENT
18. The authority citation for part 411
continues to read as follows:
■
Authority: 42 U.S.C. 1302, 1395w–101
through 1395w–152, 1395hh, and 1395nn.
19. Section 411.370 is amended—
a. In paragraph (b) introductory text,
by removing the phrase ‘‘CMS
determines’’ and adding in its place the
phrase ‘‘CMS will determine’’; and
■ b. By revising paragraphs (b)(1), (c)
introductory text, (d), and (e).
The revisions read as follows:
■
■
§ 411.370 Advisory opinions relating to
physician referrals.
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§ 411.372
request.
Procedure for submitting a
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(b) * * *
(1) The request must relate to an
existing arrangement or one into which
the requestor, in good faith, specifically
plans to enter. The planned arrangement
may be contingent upon the party or
parties receiving a favorable advisory
opinion. Requests that present a general
question of interpretation, pose a
hypothetical situation, or involve the
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activities of third parties are not
appropriate for an advisory opinion.
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(c) Matters not subject to advisory
opinions. CMS will not address through
an advisory opinion—
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(d) Facts subject to advisory opinions.
The requestor must include in the
advisory opinion request a complete
description of the arrangement that the
requestor is undertaking, or plans to
undertake, as described in § 411.372.
(e) Acceptance of requests. (1) CMS
does not accept an advisory opinion
request or issue an advisory opinion
if —
(i) The request is not related to a
named individual or entity;
(ii) The request does not describe the
arrangement at issue with a level of
detail sufficient for CMS to issue an
opinion, and the requestor does not
timely respond to CMS requests for
additional information;
(iii) CMS is aware, after consultation
with OIG and DOJ, that the same course
of action is under investigation, or is or
has been the subject of a proceeding
involving the Department of Health and
Human Services or another
governmental agency; or
(iv) CMS believes that it cannot make
an informed opinion or could only make
an informed opinion after extensive
investigation, clinical study, testing, or
collateral inquiry.
(2) CMS may elect not to accept an
advisory opinion request if it
determines, after consultation with OIG
and DOJ, that the course of action
described is substantially similar to a
course of conduct that is under
investigation or is the subject of a
proceeding involving the Department or
other law enforcement agencies, and
issuing an advisory opinion could
interfere with the investigation or
proceeding.
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■ 20. Section 411.372 is amended by
revising paragraphs (b)(4)(i) and (ii), (5),
(6), and (8)(ii) to read as follows:
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(b) * * *
(4) * * *
(i) A complete description of the
arrangement that the requestor is
undertaking, or plans to undertake,
including:
(A) The purpose of the arrangement;
the nature of each party’s (including
each entity’s) contribution to the
arrangement; the direct or indirect
relationships between the parties, with
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40919
an emphasis on the relationships
between physicians involved in the
arrangement (or their immediate family
members who are involved); and
(B) Any entities that provide
designated health services; the types of
services for which a physician wishes to
refer, and whether the referrals will
involve Medicare or Medicaid patients;
(ii) Complete copies of all relevant
documents or relevant portions of
documents that affect or could affect the
arrangement, such as personal service or
employment contracts, leases, deeds,
pension or insurance plans, or financial
statements (or, if these relevant
documents do not yet exist, a complete
description, to the best of the requestor’s
knowledge, of what these documents are
likely to contain);
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(5) The identity of all entities
involved either directly or indirectly in
the arrangement, including their names,
addresses, legal form, ownership
structure, nature of the business
(products and services) and, if relevant,
their Medicare and Medicaid provider
numbers. The requestor must also
include a brief description of any other
entities that could affect the outcome of
the opinion, including those with which
the requestor, the other parties, or the
immediate family members of involved
physicians, have any financial
relationships (either direct or indirect,
and as defined in section 1877(a)(2) of
the Act and § 411.354), or in which any
of the parties holds an ownership or
control interest as defined in section
1124(a)(3) of the Act.
(6) A discussion of the specific issues
or questions to be addressed by CMS
including, if possible, a discussion of
why the requestor believes the referral
prohibition in section 1877 of the Act
might or might not be triggered by the
arrangement and which, if any,
exceptions the requestor believes might
apply. The requestor should attempt to
designate which facts are relevant to
each issue or question raised in the
request and should cite the provisions
of law under which each issue or
question arises.
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*
(8) * * *
(ii) The chief executive officer, or
other authorized officer, of the
requestor, if the requestor is a
corporation;
*
*
*
*
*
■ 21. Section 411.375 is amended by
revising paragraphs (a) and (b) to read
as follows:
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§ 411.375 Fees for the cost of advisory
opinions.
PART 414—PAYMENT FOR PART B
MEDICAL AND OTHER HEALTH
SERVICES
(a) Initial payment. Parties must
include with each request for an
advisory opinion a check or money
order payable to CMS for $250. This
initial payment is nonrefundable.
(b) How costs are calculated. In
addition to the initial payment, CMS
will charge an hourly rate of $220.
Parties may request an estimate from
CMS after submitting a complete
request. Before issuing the advisory
opinion, CMS calculates the fee for
responding to the request.
*
*
*
*
*
§ 411.379
26. The authority for part 414
continues to read as follows:
■
Authority: 42 U.S.C. 1302, 1395hh, and
1395rr(b)(l).
§ 414.601
[Amended]
22. Section 411.379(e) is amended by
removing the phrase ‘‘The 90-day
period’’ and adding in its place the
phrase ‘‘The 60-day period’’.
■
§ 411.380
[Amended]
23. Section 411.380 is amended—
a. In paragraph (c)(1), by removing the
phrase ‘‘within 90 days’’ and adding in
its place the phrase ‘‘within 60 days’’.
■ b. In paragraph (c)(2), by removing the
phrase ‘‘If the 90th day’’ and adding in
its place the phrase ‘‘If the 60th day’’.
■ c. In paragraph (c)(3) introductory
text, by removing the phrase ‘‘The 90day period’’ and adding in its place the
phrase ‘‘The 60-day period’’.
■
■
§ 411.384
[Amended]
24. Section 411.384(b) is amended by
removing the phrase ‘‘for public
inspection during its normal hours of
operation and’’.
■ 25. Section 411.387 is revised to read
as follows:
■
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§ 411.387
Effect of an advisory opinion.
(a) An advisory opinion is binding on
the Secretary, and a favorable advisory
opinion shall preclude imposition of
sanctions under section 1877(g) of the
Act with respect to:
(1) The individuals or entities
requesting the opinion; and
(2) Individuals or entities that are
parties to the specific arrangement with
respect to which such advisory opinion
has been issued.
(b) The Secretary will not pursue
sanctions under section 1877(g) of the
Act against any party to an arrangement
that CMS determines is
indistinguishable in all its material
aspects from an arrangement with
respect to which CMS issued a favorable
advisory opinion.
(c) Individuals and entities may rely
on an advisory opinion as non-binding
guidance that illustrates the application
of the self-referral law and regulations to
the specific facts and circumstances
described in the advisory opinion.
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[Amended]
27. Section 41.601 is amended by
adding the sentence ‘‘Section
1834(l)(17) of the Act requires the
development of a data collection system
to collect cost, revenue, utilization, and
other information determined
appropriate from providers of services
and suppliers of ground ambulance
services.’’ to to the end of the section.
■ 28. Section 414.605 is amended by
adding the definition of ‘‘ground
ambulance organization’’ in alphabetical
order to read as follows:
■
§ 414.605
Definitions.
*
*
*
*
*
Ground ambulance organization
means a Medicare provider or supplier
of ground ambulance services.
*
*
*
*
*
■ 29. Section 414.610 is amended by
adding paragraph (c)(9) to read as
follows:
§ 414.610
Basis of payment.
*
*
*
*
*
(c) * * *
(9) Payment Reduction for Failure to
Report Data. In the case of a ground
ambulance organization (as defined at
§ 414.605) that is selected by CMS under
§ 414.626(c) for a year that does not
sufficiently submit data under
§ 414.626(b) and is not granted a
hardship exemption under § 414.626(d),
the payments made under this section
are reduced by 10 percent for the
applicable period. For purposes of this
paragraph, the applicable period is the
calendar year that begins following the
date that CMS provided written
notification to the ground ambulance
organization under § 414.626(e)(1) that
the ground ambulance did not
sufficiently submit the required data.
*
*
*
*
*
■ 30. Section 414.626 is added to read
as follows:
§ 414.626 Data reporting by ground
ambulance organizations.
(a) Definitions. For purposes of this
section, the following definitions apply:
Data collection period means, with
respect to a year, the 12-month period
that reflects the ground ambulance
organization’s annual accounting
period.
Data reporting period means, with
respect to a year, the 5 month period
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that begins the day after the last day of
the ground ambulance organization’s
data collection period.
For a year means one of the calendar
years from 2020 through 2024.
(b) Data collection and submission
requirement. Except as provided in
paragraph (d) of this section, a ground
ambulance organization selected by
CMS under paragraph (c) of this section
must do the following:
(1) Within 30 days of the date that
CMS notifies a ground ambulance
organization under paragraph (c)(3) of
this section that it has selected the
ground ambulance organization to
report data under this section, the
ground ambulance must select a data
collection period that corresponds with
its annual accounting period and
provide the start date of that data
collection period to the ambulance
organization’s Medicare Administrative
Contractor in accordance with CMS
instructions on reporting the data
collection period.
(2) Collect during its selected data
collection period the data necessary to
complete the Medicare Ground
Ambulance Data Collection Instrument.
(3) Submit to CMS a completed
Medicare Ground Ambulance Data
Collection Instrument during the data
reporting period that corresponds to the
ground ambulance organization’s
selected data collection period.
(c) Representative sample. (1)
Random sample. For purposes of the
data collection described in paragraph
(b) of this section, and for a year, CMS
will select a random sample of 25
percent of eligible ground ambulance
organizations that is stratified based on:
(i) Provider versus supplier status,
ownership (for-profit, non-profit, and
government);
(ii) Service area population density
(transports originating in primarily
urban, rural, and super rural zip codes);
and
(iii) Medicare-billed transport volume
categories.
(2) Selection eligibility. A ground
ambulance organization is eligible to be
selected for data reporting under this
section for a year if it is enrolled in
Medicare and has submitted to CMS at
least one Medicare ambulance transport
claim during the year prior to the
selection under paragraph (b)(1) of this
section.
(3) Notification of selection for a year.
CMS will notify an eligible ground
ambulance organization that it has been
selected to report data under this
section for a year at least 30 days prior
to the beginning of the calendar year in
which the ground ambulance
organization must begin to collect data
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by posting a list of selected
organizations on the CMS web page and
providing written notification to each
selected ground ambulance organization
via email or U.S. mail.
(4) Limitation. CMS will not select the
same ground ambulance organization
under this paragraph (c) in 2
consecutive years, to the extent
practicable.
(d) Hardship exemption. A ground
ambulance organization selected under
paragraph (c) of this section may request
and CMS may grant an exception to the
reporting requirements under paragraph
(b) of this section in the event of a
significant hardship such as, a natural
disaster, bankruptcy, or similar situation
that the Secretary determines interfered
with the ability of the ground
ambulance organization to submit such
information in a timely manner for the
data collection period selected by the
ground ambulance organization.
(1) To request a hardship exemption,
the ground ambulance organization
must submit a request form (accessed on
the Ambulances Services Center website
(https://www.cms.gov/Center/ProviderType/Ambulances-Services-Center.html)
to CMS within 90 calendar days of the
date that CMS notified the ground
ambulance organization that it would
receive a 10 percent payment reduction
as a result of not submitting sufficient
information under the data collection
system. The request form must include
all of the following:
(i) Ground ambulance organization
name.
(ii) NPI number.
(iii) Ground ambulance organization
address.
(iv) Chief executive officer and any
other designated personnel contact
information, including name, email
address, telephone number and mailing
address (must include a physical
address, a post office box address is not
acceptable).
(v) Reason for requesting a hardship
exemption.
(vi) Evidence of the impact of the
hardship (such as photographs,
newspaper or other media articles,
financial data, bankruptcy filing, etc.).
(vii) Date when the ground ambulance
organization would be able to begin
collecting data under paragraph (b) of
this section.
(viii) Date and signature of the chief
executive officer or other designated
personnel of the ground ambulance
organization.
(2) CMS will provide a written
response to the hardship exemption
request within 30 days of its receipt of
the hardship exemption form.
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(e) Notification of non-compliance
and informal review. (1) Notification of
non-compliance. A ground ambulance
organization selected under paragraph
(c) of this section for a year that does not
sufficiently report data under paragraph
(b) of this section, and that is not
granted a hardship exemption under
paragraph (d) of this section, will
receive written notification from CMS
that it will receive a payment reduction
under § 414.610(c)(9).
(2) Informal review. A ground
ambulance organization that receives a
written notification under paragraph
(e)(1) of a payment reduction under
§ 414.610(c)(9) may submit a request for
an informal review within 90 days of
the date it received the notification by
submitting all of the following
information:
(i) Ground ambulance organization
name.
(ii) NPI number.
(iii) Chief executive officer and any
other designated personnel contact
information, including name, email
address, telephone number and mailing
address with the street location of the
ground ambulance organization.
(iv) Ground ambulance organization’s
selected data collection period and data
reporting period.
(v) A statement of the reasons why the
ground ambulance organization does
not agree with CMS’s determination and
any supporting documentation.
(f) Public availability of data.
Beginning in 2022, and at least once
every 2 years thereafter, CMS will post
on its website data that it collected
under this section, including but not
limited to summary statistics and
ground ambulance organization
characteristics.
(g) Limitations on review. There is no
administrative or judicial review under
section 1869 or section 1878 of the Act,
or otherwise of the data required for
submission under paragraph (b) of this
section or the selection of ground
ambulance organizations under
paragraph (c) of this section.
■ 31. Section 414.1305 is amended by—
■ a. Adding the definition of ‘‘Aligned
Other Payer Medical Home Model’’ in
alphabetical order;
■ b. Revising the definition of
‘‘Hospital-based MIPS eligible
clinician’’;
■ c. Adding the definition of ‘‘MIPS
Value Pathway’’ in alphabetical order;
and
■ d. Revising the definition of ‘‘Rural
area’’.
The additions and revision read as
follows:
§ 414.1305
Definitions.
*
*
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Aligned Other Payer Medical Home
Model means an aligned other payer
payment arrangement (not including a
Medicaid payment arrangement)
operated by a payer formally partnering
in a CMS Multi-Payer Model that is a
Medical Home Model through a written
expression of alignment and
cooperation, such as a memorandum of
understanding (MOU) with CMS, and is
determined by CMS to have the
following characteristics:
(1) The other payer payment
arrangement has a primary care focus
with participants that primarily include
primary care practices or multispecialty
practices that include primary care
physicians and practitioners and offer
primary care services. For the purposes
of this provision, primary care focus
means the inclusion of specific design
elements related to eligible clinicians
practicing under one or more of the
following Physician Specialty Codes: 01
General Practice; 08 Family Medicine;
11 Internal Medicine; 16 Obstetrics and
Gynecology; 37 Pediatric Medicine; 38
Geriatric Medicine; 50 Nurse
Practitioner; 89 Clinical Nurse
Specialist; and 97 Physician Assistant;
(2) Empanelment of each patient to a
primary clinician; and
(3) At least four of the following:
(i) Planned coordination of chronic
and preventive care.
(ii) Patient access and continuity of
care.
(iii) Risk-stratified care management.
(iv) Coordination of care across the
medical neighborhood.
(v) Patient and caregiver engagement.
(vi) Shared decision-making.
(vii) Payment arrangements in
addition to, or substituting for, fee-forservice payments (for example, shared
savings or population-based payments).
*
*
*
*
*
Hospital-based MIPS eligible clinician
means:
(1) For the 2019 and 2020 MIPS
payment years, a MIPS eligible clinician
who furnishes 75 percent or more of his
or her covered professional services in
sites of service identified by the Place of
Service (POS) codes used in the HIPAA
standard transaction as an inpatient
hospital, on-campus outpatient hospital,
off campus-outpatient hospital, or
emergency room setting based on claims
for a period prior to the performance
period as specified by CMS; and
(2) For the 2021 MIPS payment year,
a MIPS eligible clinician who furnishes
75 percent or more of his or her covered
professional services in sites of service
identified by the POS codes used in the
HIPAA standard transaction as an
inpatient hospital, on-campus
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outpatient hospital, off campus
outpatient hospital, or emergency room
setting based on claims for the MIPS
determination period; and
(3) Beginning with the 2022 MIPS
payment year, an individual MIPS
eligible clinician who furnishes 75
percent or more of his or her covered
professional services in sites of service
identified by the POS codes used in the
HIPAA standard transaction as an
inpatient hospital, on-campus
outpatient hospital, off campus
outpatient hospital, or emergency room
setting based on claims for the MIPS
determination period, and a group or
virtual group provided that more than
75 percent of the NPIs billing under the
group’s TIN or virtual group’s TINs, as
applicable, meet the definition of a
hospital-based individual MIPS eligible
clinician during the MIPS determination
period.
*
*
*
*
*
MIPS Value Pathway means a subset
of measures and activities specified by
CMS.
*
*
*
*
*
Rural area means a ZIP code
designated as rural by the Federal Office
of Rural Health Policy (FORHP), using
the most recent FORHP Eligible ZIP
Code file available.
*
*
*
*
*
■ 32. Section 414.1310 is amended by—
■ a. Revising paragraph (e)(2)(ii); and
■ b. Removing paragraphs (e)(3) through
(5);
The revision reads as follows:
the performance data of all of the MIPS
eligible clinicians in the virtual group’s
TINs for whom the virtual group has
data in CEHRT.
*
*
*
*
*
■ 34. Section 414.1320 is amended by
adding paragraph (f) to read as follows:
§ 414.1310
§ 414.1335 Data submission criteria for the
quality performance category.
Applicability.
*
*
*
*
(e) * * *
(2) * * *
(ii) Individual eligible clinicians that
elect to participate in MIPS as a group
must aggregate their performance data
across the group’s TIN, and for the
Promoting Interoperability performance
category, must aggregate the
performance data of all of the MIPS
eligible clinicians in the group’s TIN for
whom the group has data in CEHRT.
*
*
*
*
*
■ 33. Section 414.1315 is amended by
revising paragraph (d)(2) to read as
follows:
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*
§ 414.1315
Virtual groups.
*
*
*
*
*
(d) * * *
(2) Solo practitioners and groups of 10
or fewer eligible clinicians that elect to
participate in MIPS as a virtual group
must aggregate their performance data
across the virtual group’s TINs, and for
the Promoting Interoperability
performance category, must aggregate
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§ 414.1320
MIPS performance period.
*
*
*
*
*
(f) For purposes of the 2023 MIPS
payment year, the performance period
for:
(1) The Promoting Interoperability
performance category is a minimum of
a continuous 90-day period within the
calendar year that occurs 2 years prior
to the applicable MIPS payment year,
up to and including the full calendar
year.
(2) [Reserved]
■ 35. Section 414.1330 is amended by
adding paragraphs (b)(4), (5), and (6) to
read as follows:
§ 414.1330
Quality performance category.
*
*
*
*
*
(b) * * *
(4) 40 percent of a MIPS eligible
clinician’s final score for MIPS payment
year 2022.
(5) 35 percent of a MIPS eligible
clinician’s final score for MIPS payment
year 2023.
(6) 30 percent of a MIPS eligible
clinician’s final score for MIPS payment
year 2024 and future years.
■ 36. Section 414.1335 is amended by
revising paragraph (a)(3)(i) to read as
follows:
(a) * * *
(3) * * *
(i) For the 12-month performance
period, a group that participates in the
CAHPS for MIPS survey must use a
survey vendor that is approved by CMS
for the applicable performance period to
transmit survey measures data to CMS.
*
*
*
*
*
■ 37. Section 414.1340 is amended by
adding paragraph (d) to read as follows:
§ 414.1340 Data completeness criteria for
the quality performance category.
*
*
*
*
*
(d) If quality data are submitted
selectively such that the submitted data
are unrepresentative of a MIPS eligible
clinician or group’s performance, any
such data would not be true, accurate,
or complete for purposes of
§ 414.1390(b) or § 414.1400(a)(5).
■ 38. Section 414.1350 is amended by—
■ a. Revising paragraphs (b) and (c)(2);
and
■ b. Adding paragraphs (d)(4), (5), and
(6).
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The revisions and additions read as
follows:
§ 414.1350
Cost performance category.
*
*
*
*
*
(b) Attribution. (1) Cost measures are
attributed at the TIN/NPI level for the
2017 thorough 2019 performance
periods.
(2) For the total per capita cost
measure specified for the 2017 through
2019 performance periods, beneficiaries
are attributed using a method generally
consistent with the method of
assignment of beneficiaries under
§ 425.402 of this chapter.
(3) For the Medicare Spending per
Beneficiary clinician (MSPB clinician)
measure specified for the 2017 through
2019 performance periods, an episode is
attributed to the MIPS eligible clinician
who submitted the plurality of claims
(as measured by allowed charges) for
Medicare Part B services rendered
during an inpatient hospitalization that
is an index admission for the MSPB
clinician measure during the applicable
performance period.
(4) For the acute condition episodebased measures specified for the 2017
performance period, an episode is
attributed to each MIPS eligible
clinician who bills at least 30 percent of
inpatient evaluation and management
(E&M) visits during the trigger event for
the episode.
(5) For the procedural episode-based
measures specified for the 2017
performance period, an episode is
attributed to each MIPS eligible
clinician who bills a Medicare Part B
claim with a trigger code during the
trigger event for the episode.
(6) For the acute inpatient medical
condition episode-based measures
specified for the 2019 performance
period, an episode is attributed to each
MIPS eligible clinician who bills
inpatient E&M claim lines during a
trigger inpatient hospitalization under a
TIN that renders at least 30 percent of
the inpatient E&M claim lines in that
hospitalization.
(7) For the procedural episode-based
measures specified for the 2019
performance period, an episode is
attributed to each MIPS eligible
clinician who renders a trigger service
as identified by HCPCS/CPT procedure
codes.
(8) Beginning with the 2020
performance period, each cost measure
is attributed according to the measure
specifications for the applicable
performance period.
*
*
*
*
*
(c) * * *
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(2) For the Medicare spending per
beneficiary clinician measure, the case
minimum is 35.
*
*
*
*
*
(d) * * *
(4) 20 percent of a MIPS eligible
clinician’s final score for MIPS payment
year 2022.
(5) 25 percent of a MIPS eligible
clinician’s final score for MIPS payment
year 2023.
(6) 30 percent of a MIPS eligible
clinician’s final score for MIPS payment
year 2024 and each subsequent MIPS
payment year.
■ 39. Section 414.1360 is amended by
adding paragraph (a)(2) to read as
follows:
§ 414.1360 Data submission criteria for the
improvement activities performance
category.
(a) * * *
(2) Groups and virtual groups.
Beginning with the 2020 performance
year, each improvement activity for
which groups and virtual groups submit
a yes response in accordance with
paragraph (a)(1) of this section must be
performed by at least 50 percent of the
NPIs billing under the group’s TIN or
virtual group’s TINs, as applicable, and
the NPIs must perform the same activity
for the same continuous 90 days in the
performance period.
*
*
*
*
*
■ 40. Section 414.1370 is amended by
amending paragraph (e)(2) to read as
follows:
§ 414.1370
MIPS.
APM scoring standard under
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*
*
*
*
*
(e) * * *
(2) For purposes of calculating the
APM Entity group score under the APM
scoring standard, MIPS scores submitted
by virtual groups will not be included.
*
*
*
*
*
■ 41. Section 414.1380 is amended—
■ a. In paragraph (b)(1)(i) introductory
text by removing the years ‘‘2019, 2020,
and 2021’’ and adding in its place the
years ‘‘2019 through 2022’’;
■ b. In paragraph (b)(1)(i)(A)(1) by
removing the years ‘‘2019, 2020, and
2021’’ and adding in its place the years
‘‘2019 through 2022’’;
■ c. By revising paragraph (b)(1)(ii)
introductory text;
■ d. By adding paragraph (b)(1)(ii)(C);
■ e. By revising paragraph
(b)(1)(v)(A)(1)(i);
■ f. In paragraph (b)(1)(v)(A)(1)(ii) by
removing the years ‘‘2019, 2020, and
2021’’ and adding in its place the years
‘‘2019 through 2022’’;
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g. In paragraph (b)(1)(v)(B)(1)(i) by
removing the years ‘‘2019, 2020, and
2021’’ and adding in its place the years
‘‘2019 through 2022’’;
■ h. In paragraph (b)(1)(vi)(C)(4) by
removing the phrase ‘‘2020 and 2021
MIPS payment year’’ and adding in its
place the phrase ‘‘2020 through 2022
MIPS payment years’’;
■ i. By revising paragraph (b)(3)(ii)(A)
and (C);
■ j. In paragraph (c)(2)(i)(A)(4) by
removing the phrase ‘‘beginning with
the 2021 MIPS payment year’’ and
adding in its place the phrase ‘‘for the
2021 and 2022 MIPS payment years’’;
■ k. In paragraph (c)(2)(i)(A)(5) by
removing the years ‘‘2019, 2020, and
2021’’ and adding in its place the years
‘‘2019, 2020, 2021, and 2022’’;
■ l. By adding paragraph (c)(2)(i)(A)(9);
■ m. By revising paragraph (c)(2)(i)(C)
introductory text;
■ n. By adding paragraphs
(c)(2)(i)(C)(10) and (c)(2)(ii)(D), (E), and
(F);
■ o. By revising paragraph (c)(2)(iii) and
(c)(3) introductory text; and
■ p. In paragraph (e)(2)(i)(C) by
removing the phrase ‘‘Can be attributed’’
and adding in its place the phrase ‘‘Can
be assigned’’.
The revisions and additions read as
follows:
■
§ 414.1380
Scoring.
*
*
*
*
*
(b) * * *
(1) * * *
(ii) Benchmarks. Except as provided
in paragraphs (b)(1)(ii)(B) and (C) of this
section, benchmarks will be based on
performance by collection type, from all
available sources, including MIPS
eligible clinicians and APMs, to the
extent feasible, during the applicable
baseline or performance period.
*
*
*
*
*
(C) Beginning with the 2022 MIPS
payment year, for each measure that has
a benchmark that CMS determines may
have the potential to result in
inappropriate treatment, CMS will set
benchmarks using a flat percentage for
all collection types where the top decile
is higher than 90 percent under the
methodology at paragraph (b)(1)(ii) of
this section.
*
*
*
*
*
(v) * * *
(A) * * *
(1) * * *
(i) Each high priority measure must
meet the case minimum requirement at
paragraph (b)(1)(iii) of this section, meet
the data completeness requirement at
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40923
§ 414.1340, and have a performance rate
that is greater than zero.
*
*
*
*
*
(3) * * *
(ii) * * *
(A) The practice has received
accreditation from an accreditation
organization that is nationally
recognized.
*
*
*
*
*
(C) The practice is a comparable
specialty practice that has received
recognition through a specialty
recognition program offered through a
nationally recognized accreditation
organization; or
*
*
*
*
*
(c) * * *
(2) * * *
(i) * * *
(A) * * *
(9) Beginning with the 2020 MIPS
payment year, for the quality, cost, and
improvement activities performance
categories, CMS determines, based on
information known to the agency prior
to the beginning of the relevant MIPS
payment year, that data for a MIPS
eligible clinician are inaccurate,
unusable or otherwise compromised
due to circumstances outside of the
control of the clinician and its agents.
*
*
*
*
*
(C) Under section 1848(o)(2)(D) of the
Act, a significant hardship exception or
other type of exception is granted to a
MIPS eligible clinician based on the
following circumstances for the
Promoting Interoperability performance
category. Except as provided in
paragraph (c)(2)(i)(C)(10) of this section,
in the event that a MIPS eligible
clinician submits data for the Promoting
Interoperability performance category,
the scoring weight specified in
paragraph (c)(1) of this section will be
applied and its weight will not be
redistributed.
*
*
*
*
*
(10) Beginning with the 2020 MIPS
payment year, CMS determines, based
on information known to the agency
prior to the beginning of the relevant
MIPS payment year, that data for a MIPS
eligible clinician are inaccurate,
unusable or otherwise compromised
due to circumstances outside of the
control of the clinician and its agents.
*
*
*
*
*
(ii) * * *
(D) For the 2022 MIPS payment year:
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(E) For the 2023 MIPS payment year:
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(F) For the 2024 MIPS payment year:
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(iii) For the Promoting
Interoperability performance category to
be reweighted in accordance with
paragraph (c)(2)(ii) of this section for a
MIPS eligible clinician who elects to
participate in MIPS as part of a group or
virtual group, all of the MIPS eligible
clinicians in the group or virtual group
must qualify for reweighting based on
the circumstances described in
paragraph (c)(2)(i) of this section, or the
group or virtual group must meet the
definition of a hospital-based MIPS
eligible clinician or a non-patient facing
MIPS eligible clinician as defined in
§ 414.1305.
(3) Complex patient bonus. For the
2020, 2021 and 2022 MIPS payment
years, provided that a MIPS eligible
clinician, group, virtual group or APM
entity submits data for at least one MIPS
performance category for the applicable
performance period for the MIPS
payment year, a complex patient bonus
will be added to the final score for the
MIPS payment year, as follows:
*
*
*
*
*
■ 42. Section 414.1385 is amended by
revising paragraph (a) to read as follows:
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§ 414.1385 Targeted review and review
limitations.
(a) Targeted review. A MIPS eligible
clinician or group may request a
targeted review of the calculation of the
MIPS payment adjustment factor under
section 1848(q)(6)(A) of the Act and, as
applicable, the calculation of the
additional MIPS payment adjustment
factor under section 1848(q)(6)(C) of the
Act (collectively referred to as the MIPS
payment adjustment factors) applicable
to such MIPS eligible clinician or group
for a year. The process for targeted
review is as follows:
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(1) A MIPS eligible clinician or group
(including their designated support
staff), or a third party intermediary as
defined at § 414.1305, may submit a
request for a targeted review.
(2) All requests for targeted review
must be submitted during the targeted
review request submission period,
which is a 60-day period that begins on
the day CMS makes available the MIPS
payment adjustment factors for the
MIPS payment year. The targeted review
request submission period may be
extended as specified by CMS.
(3) A request for a targeted review
may be denied if the request is
duplicative of another request for a
targeted review; the request is not
submitted during the targeted review
request submission period; or the
request is outside of the scope of the
targeted review, which is limited to the
calculation of the MIPS payment
adjustment factors applicable to the
MIPS eligible clinician or group for a
year. If the targeted review request is
denied, there will be no change to the
MIPS final score or associated MIPS
payment adjustment factors for the
MIPS eligible clinician or group. If the
targeted review request is approved, the
MIPS final score and associated MIPS
payment adjustment factors may be
revised, if applicable, for the MIPS
eligible clinician or group.
(4) CMS will respond to each request
for a targeted review timely submitted
and determine whether a targeted
review is warranted.
(5) A request for a targeted review
may include additional information in
support of the request at the time it is
submitted. If CMS requests additional
information from the MIPS eligible
clinician or group that is the subject of
a request for a targeted review, it must
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be provided and received by CMS
within 30 days of CMS’s request. Nonresponsiveness to CMS’s request for
additional information may result in a
final decision based on the information
available, although another request for a
targeted review may be submitted before
the end of the targeted review request
submission period.
(6) If a request for a targeted review
is approved, CMS may recalculate, to
the extent feasible and applicable, the
scores of a MIPS eligible clinician or
group with regard to measures,
activities, performance categories, and
the final score, as well as the MIPS
payment adjustment factors.
(7) Decisions based on the targeted
review are final, and there is no further
review or appeal. CMS will notify the
individual or entity that submitted the
request for a targeted review of the final
decision.
(8) Documentation submitted for a
targeted review must be retained by the
submitter for 6 years from the end of the
MIPS performance period.
*
*
*
*
*
■ 43. Section 414.1395 is amended by
revising paragraph (a) to read as follows:
§ 414.1395
Public reporting.
(a) General. (1) CMS posts on
Physician Compare, in an easily
understandable format, the following:
(i) Information regarding the
performance of MIPS eligible clinicians,
including, but not limited to, final
scores and performance category scores
for each MIPS eligible clinician; and
(ii) The names of eligible clinicians in
Advanced APMs and, to the extent
feasible, the names and performance of
such Advanced APMs.
(2) CMS periodically posts on
Physician Compare aggregate
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information on the MIPS, including the
range of final scores for all MIPS eligible
clinicians and the range of the
performance of all MIPS eligible
clinicians with respect to each
performance category.
(3) The information made available
under this section will indicate, where
appropriate, that publicized information
may not be representative of an eligible
clinician’s entire patient population, the
variety of services furnished by the
eligible clinician, or the health
conditions of individuals treated.
*
*
*
*
*
■ 44. Section 414.1400 is amended by—
■ a. Revising paragraphs (a)(2)
introductory text and (a)(2)(iii);
■ b. Adding paragraphs (a)(4)(v) and
(vi),
■ c. Revising paragraph (b)(1),
■ d. Adding paragraphs (b)(2)(iii) and
(iv), (b)(3)(iv) through (vii), ;
■ e. Revising paragraph (c)(1);
■ f. Adding paragraphs (c)(2)(i) and (ii);
and
■ g. Revising paragraphs (f)(1)
introductory text and (f)(3) introductory
text.
The revision and addition reads as
follows:
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§ 414.1400
Third party intermediaries.
(a) * * *
(2) Beginning with the 2021
performance period and all future years,
for the following MIPS performance
categories, QCDRs and qualified
registries must be able to submit data for
all categories, and Health IT vendors
must be able to submit data for at least
one category:
*
*
*
*
*
(iii) Promoting Interoperability, if the
eligible clinician, group, or virtual
group is using CEHRT; however, a third
party could be excepted from this
requirement if its MIPS eligible
clinicians, groups or virtual groups fall
under the reweighting policies at
§ 414.1380(c)(2)(i)(A)(4) or (5) or
§ 414.1380(c)(2)(i)(C)(1) through (7) or
§ 414.1380(c)(2)(i)(C)(9)).
*
*
*
*
*
(4) * * *
(v) The third party intermediary must
provide services throughout the entire
performance period and applicable data
submission period.
(vi) Prior to discontinuing services to
any MIPS eligible clinician, group, or
virtual group during a performance
period, the third party intermediary
must support the transition of such
MIPS eligible clinician, group, or virtual
group to an alternate data submission
mechanism or third party intermediary
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according to a CMS approved a
transition plan.
*
*
*
*
*
(b) * * *
(1) QCDR self-nomination. For the
2020 and 2021 MIPS payment years,
entities seeking to qualify as a QCDR
must self-nominate September 1 until
November 1 of the CY preceding the
applicable performance period. For the
2022 MIPS payment year and future
years, entities seeking to qualify as a
QCDR must self-nominate during a 60day period during the CY preceding the
applicable performance period
(beginning no earlier than July 1 and
ending no later than September 1).
Entities seeking to qualify as a QCDR for
a performance period must provide all
information required by CMS at the time
of self-nomination and must provide
any additional information requested by
CMS during the review process. For the
2021 MIPS payment year and future
years, existing QCDRs that are in good
standing may attest that certain aspects
of their previous year’s approved selfnomination have not changed and will
be used for the applicable performance
period. Beginning with the 2023
payment year, QCDRs are required to
attest during the self-nomination
process that they can provide
performance feedback at least 4 times a
year (as specified at paragraph (b)(2)(iv)
of this section), and if not, provide
sufficient rationale as to why they do
not believe they would be able to meet
this requirement. Each QCDR would
still be required to submit notification to
CMS within the reporting period
promptly within the month of
realization of the impending deficiency
in order to be considered for this
exception, as discussed at paragraph
(b)(2)(iv) of this section.
(2) * * *
(iii) Beginning with the 2023 MIPS
payment year, the QCDR must foster
services to clinicians and groups to
improve the quality of care provided to
patients by providing educational
services in quality improvement and
leading quality improvement initiatives.
(iv) Beginning with the 2023 MIPS
payment year, require QCDRs to provide
performance feedback to their clinicians
and groups at least 4 times a year, and
provide specific feedback to their
clinicians and groups on how they
compare to other clinicians who have
submitted data on a given measure
within the QCDR. Exceptions to this
requirement may occur if the QCDR
does not receive the data from their
clinician until the end of the
performance period.
*
*
*
*
*
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(3) * * *
(iv) QCDR measure considerations for
approval include:
(A) Preference for measures that are
outcome-based rather than clinical
process measures.
(B) Measures that address patient
safety and adverse events.
(C) Measures that identify appropriate
use of diagnosis and therapeutics.
(D) Measures that address the domain
of care coordination.
(E) Measures that address the domain
for patient and caregiver experience.
(F) Measures that address efficiency,
cost, and resource use.
(G) Beginning with the 2021
performance period—
(1) That QCDRs link their QCDR
measures to the following at the time of
self-nomination:
(i) Cost measure,
(ii) Improvement activity,
(iii) An MVP.
(2) In cases where a QCDR measure
does not have a clear link to a cost
measure, improvement activity, or an
MVP, we would consider exceptions if
the potential QCDR measure otherwise
meets the QCDR measure requirements
and considerations.
(H) Beginning with the 2020
performance period CMS may consider
the extent to which a QCDR measure is
available to MIPS eligible clinicians
reporting through QCDRs other than the
QCDR measure owner for purposes of
MIPS. If CMS determines that a QCDR
measure is not available to MIPS eligible
clinicians, groups, and virtual groups
reporting through other QCDRs, CMS
may not approve the measure.
(I) QCDRs should conduct an
environmental scan of existing QCDR
measures; MIPS quality measures;
quality measures retired from the legacy
Physician Quality Reporting System
(PQRS) program; and utilize the CMS
Quality Measure Development Plan
Annual Report and the Blueprint for the
CMS Measures Management System to
identify measurement gaps prior to
measure development.
(J) Beginning with the 2020
performance period, we place greater
preference on QCDR measures that meet
case minimum and reporting volumes
required for benchmarking after being in
the program for 2 consecutive CY
performance periods. Those that do not,
may not continue to be approved.
(1) Beginning with the 2020
performance period, in instances where
a QCDR believes the low-reported QCDR
measure that did not meet
benchmarking thresholds is still
important and relevant to a specialist’s
practice, that the QCDR may develop
and submit a QCDR measure
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participation plan for our consideration.
This QCDR measure participation plan
must include the QCDR’s detailed plans
and changes to encourage eligible
clinicians and groups to submit data on
the low-reported QCDR measure for
purposes of the MIPS program.
(2) [Reserved]
(v) QCDR measure requirements for
approval include:
(A) QCDR Measures that are beyond
the measure concept phase of
development.
(B) QCDR Measures that address
significant variation in performance.
(C) Beginning with the 2021
performance period, all QCDR measures
must be fully developed and tested,
with complete testing results at the
clinician level, prior to submitting the
QCDR measure at the time of selfnomination.
(D) Beginning with the 2021
performance period, QCDRs are
required to collect data on a QCDR
measure, appropriate to the measure
type, prior to submitting the QCDR
measure for CMS consideration during
the self-nomination period.
(E) Beginning with the 2020
performance period, areas of
duplication identified by CMS should
be addressed within a year of the
request. If the QCDR measures are not
harmonized, CMS may reject the
duplicative QCDR measure.
(vi) Beginning with the 2021
performance period, QCDR measures
may be approved for 2 years, at CMS
discretion, by attaining approval status
by meeting QCDR measure
considerations and requirements, Upon
annual review, CMS may revoke QCDR
measure second year approval, if the
QCDR measure is found to be: Topped
out; duplicative of a more robust
measure; reflects an outdated clinical
guideline; requires QCDR measure
harmonization; or if the QCDR selfnominating the QCDR measure is no
longer in good standing.
(vii) Beginning with the 2020
performance period, QCDR measure
rejection criteria considerations, that
include, but are not limited to, the
following factors:
(A) QCDR measures that are
duplicative, or identical to other QCDR
measures or MIPS quality measures that
are currently in the program.
(B) QCDR measures that are
duplicative or identical to MIPS quality
measures that have been removed from
MIPS through rulemaking.
(C) QCDR measures that are
duplicative or identical to quality
measures used under the legacy
Physician Quality Reporting System
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(PQRS) program, which have been
retired.
(D) QCDR measures that meet the
topped out definition.
(E) QCDR measures that are processbased, with consideration to whether
the removal of the process measure
impacts the number of measures
available for a specific specialty.
(F) Whether the QCDR measure has
potential unintended consequences to a
patient’s care.
(G) Considerations and evaluation of
the measure’s performance data, to
determine whether performance
variance exists.
(H) Whether the previously identified
areas of duplication have been
addressed as requested.
(I) QCDR measures that split a single
clinical practice or action into several
QCDR measures.
(J) QCDR measures that are ‘‘checkbox’’ with no actionable quality action.
(K) QCDR measures that do not meet
the case minimum and reporting
volumes required for benchmarking
after being in the program for 2
consecutive years.
(L) Whether the existing approved
QCDR measure is no longer considered
robust, in instances where new QCDR
measures are considered to have a more
vigorous quality actions, where CMS
preference is to include the new QCDR
measure rather than requesting QCDR
measure harmonization.
(M) QCDR measures with clinician
attribution issues, where the quality
action is not under the direct control of
the reporting clinician.
(N) QCDR measures that focus on rare
events or ‘‘never events’’ in the
measurement period.
(c) * * *
(1) Qualified registry self-nomination.
For the 2020 and 2021 MIPS payment
years, entities seeking to qualify as a
qualified registry must self-nominate
from September 1 until November 1 of
the CY preceding the applicable
performance period. For the 2022 MIPS
payment year and future years, entities
seeking to qualify as a qualified registry
must self-nominate during a 60-day
period during the CY preceding the
applicable performance period
(beginning no earlier than July 1 and
ending no later than September 1).
Entities seeking to qualify as a qualified
registry for a performance period must
provide all information required by
CMS at the time of self-nomination and
must provide any additional
information requested by CMS during
the review process. For the 2021 MIPS
payment year and future years, existing
qualified registries that are in good
standing may attest that certain aspects
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40927
of their previous year’s approved selfnomination have not changed and will
be used for the applicable performance
period. Beginning with the 2023
payment year, qualified registries are
required to attest during the selfnomination process that they can
provide performance feedback at least 4
times a year (as specified at
§ 414.1400(c)(2)(ii)), and if not, provide
sufficient rationale as to why they do
not believe they would be able to meet
this requirement. Each qualified registry
would still be required to submit
notification to CMS within the reporting
period promptly within the month of
realization of the impending deficiency
in order to be considered for this
exception, as discussed at
§ 414.1400(c)(2)(ii).
(2) * * *
(i) Beginning with the 2022 MIPS
Payment Year, the qualified registry
must have at least 25 participants by
January 1 of the year prior to the
applicable performance period.
(ii) Beginning with the 2023 MIPS
payment year, require qualified
registries to provide performance
feedback to their clinicians and groups
at least 4 times a year, and provide
specific feedback to their clinicians and
groups on how they compare to other
clinicians who have submitted data on
a given measure within the qualified
registries. Exceptions to this
requirement may occur if the qualified
registries does not receive the data from
their clinician until the end of the
performance period
*
*
*
*
*
(f) * * *
(1) If CMS determines that a third
party intermediary has ceased to meet
one or more of the applicable criteria for
approval, has submitted a false
certification under paragraph (a)(5) of
this section, or has submitted data that
are inaccurate, unusable, or otherwise
compromised, CMS may take one or
more of the following remedial actions
after providing written notice to the
third party intermediary:
*
*
*
*
*
(3) For purposes of paragraph (f) of
this section, CMS may determine that
submitted data are inaccurate, unusable,
or otherwise compromised, including
but not limited to, if the submitted data:
*
*
*
*
*
■ 45. Section 414.1405 is amended by—
■ a. Adding paragraphs (b)(7) and (8);
■ b. Adding paragraph, (d)(6) and (7);
and
■ c. Revising paragraph (f) introductory
text.
The additions and revisions read as
follows:
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Payment.
*
*
*
*
*
(b) * * *
(7) The performance threshold for the
2022 MIPS payment year is 45 points.
(8) The performance threshold for the
2023 MIPS payment year is 60 points.
*
*
*
*
*
(d) * * *
(6) The additional performance
threshold for the 2022 MIPS payment
year is 80 points.
(7) The additional performance
threshold for the 2023 MIPS payment
year is 85 points.
*
*
*
*
*
(f) Exception to application of MIPS
payment adjustment factors to modelspecific payments under section 1115A
APMs. Beginning with the 2019 MIPS
payment year, the payment adjustment
factors specified under paragraph (e) of
this section are not applicable to
payments that meet all of the following
conditions:
*
*
*
*
*
■ 46. Section 414.1415 is amended by
revising paragraph (c)(5) and (6) to read
as follows:
§ 414.1415
Advanced APM criteria.
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*
*
*
*
*
(c) * * *
(5) For the purposes of this section,
expected expenditures means the
beneficiary expenditures for which an
APM Entity is responsible under an
APM. For episode payment models,
expected expenditures means the
episode target price. For purposes of
assessing financial risk for Advanced
APM determinations, the expected
expenditures under the terms of the
APM should not exceed the Medicare
Part A and B expenditures for a
participant in the absence of the APM.
If the expected expenditures under the
APM exceed the Medicare Part A and B
expenditures that an APM Entity would
be expected to incur in the absence of
the APM, such excess expenditures are
not considered when CMS assesses
financial risk under the APM for
purposes of Advanced APM
determinations.
(6) Capitation. A full capitation
arrangement meets this Advanced APM
criterion. For purposes of this part, a
full capitation arrangement means a
payment arrangement in which a per
capita or otherwise predetermined
payment is made under the APM for all
items and services furnished to a
population of beneficiaries during a
fixed period of time, and no settlement
is performed to reconcile or share losses
incurred or savings earned by the APM
Entity. Arrangements between CMS and
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Medicare Advantage Organizations
under the Medicare Advantage program
(42 CFR part 422) are not considered
capitation arrangements for purposes of
this paragraph (c)(6).
*
*
*
*
*
■ 47. Section 414.1420 is amended by
revising paragraph (d)(2) introductory
text, (d)(2)(ii), (d)(3)(ii)), (d)(4)
introductory text, (d)(5), (6), (7) and (8)
to read as follows:
§ 414.1420
criteria.
Other payer advanced APM
*
*
*
*
*
(d) * * *
(2) Medicaid Medical Home Model
and Aligned Other Payer Medical Home
Model financial risk standard. The APM
Entity participates in a Medicaid
Medical Home Model or an Aligned
Other Payer Medical Home Model that,
based on the APM Entity’s failure to
meet or exceed one or more specified
performance standards, does one or
more of the following:
*
*
*
*
*
(ii) Require direct payment by the
APM Entity to the payer;
*
*
*
*
*
(3) * * *
(ii) Except for risk arrangements
described under paragraph (d)(2) of this
section, the risk arrangement must have
a marginal risk rate of at least 30
percent.
*
*
*
*
*
(4) Medicaid Medical Home Model
and Aligned Other Payer Medical Home
Model nominal amount standard. For a
Medicaid Medical Home Model or an
Aligned Other Payer Medical Home
Model to meet the Medicaid Medical
Home Model nominal amount standard,
the total annual amount that an APM
Entity potentially owes a payer or
forgoes must be at least the following
amounts:
*
*
*
*
*
(5) Marginal risk rate. For purposes of
this section, the marginal risk rate is
defined as the percentage of actual
expenditures that exceed expected
expenditures for which an APM Entity
is responsible under an other payer
payment arrangement.
(i) In the event that the marginal risk
rate varies depending on the amount by
which actual expenditures exceed
expected expenditures, the average
marginal risk rate across all possible
levels of actual expenditures would be
used for comparison to the marginal risk
rate specified in paragraph (d)(3)(ii) of
this section, with exceptions for large
losses as described in paragraph
(d)(5)(ii) of this section and small losses
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as described in paragraph (d)(5)(iii) of
this section.
(ii) Allowance for large losses. The
determination in paragraph (d)(3)(ii) of
this section may disregard the marginal
risk rates that apply in cases when
actual expenditures exceed expected
expenditures by an amount sufficient to
require the APM Entity to make
financial risk payments under the other
payer payment arrangement greater than
or equal to the total risk requirement
under paragraph (d)(3)(i) of this section.
(iii) Allowance for minimum loss rate.
The determination in paragraph
(d)(3)(ii) of this section may disregard
the marginal risk rates that apply in
cases when actual expenditures exceed
expected expenditures by less than 4
percent of expected expenditures.
(6) Expected expenditures. For the
purposes of this section, expected
expenditures is defined as the Other
Payer APM benchmark. For episode
payment models, expected expenditures
means the episode target price. For
purposes of assessing financial risk for
Other Payer Advanced APM
determinations, the expected
expenditures under the payment
arrangement should not exceed the
expenditures for a participant in the
absence of the payment arrangement. If
expected expenditures (that is,
benchmarks) under the payment
arrangement exceed the expenditures
that the participant would be expected
to incur in the absence of the payment
arrangement, such excess expenditures
are not considered when assessing
financial risk under the payment
arrangement for Other Payer Advanced
APM determinations.
(7) Capitation. A full capitation
arrangement meets this Other Payer
Advanced APM criterion. For purposes
of paragraph (d)(3) of this section, a full
capitation arrangement means a
payment arrangement in which a per
capita or otherwise predetermined
payment is made under the payment
arrangement for all items and services
furnished to a population of
beneficiaries during a fixed period of
time, and no settlement is performed for
the purposes of reconciling or sharing
losses incurred or savings earned by the
participant. Arrangements made directly
between CMS and Medicare Advantage
Organizations under the Medicare
Advantage program (42 CFR part 422)
are not considered capitation
arrangements for purposes of this
paragraph.
(8) Aligned Other Payer Medical
Home Model and Medicaid Medical
Home Model 50 eligible clinician limit.
Notwithstanding paragraphs (d)(2) and
(4) of this section, if an APM Entity
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participating in an Aligned Other Payer
Medical Home Model or Medicaid
Medical Home Model is owned and
operated by an organization with 50 or
more eligible clinicians whose Medicare
billing rights have been reassigned to
the TIN(s) of the organization(s) or any
of the organization’s subsidiary entities,
the requirements of paragraphs (d)(1)
and (3) of this section apply.
*
*
*
*
*
■ 48. Section 414.1425 is amended by—
■ a. Revising paragraph (c)(5) and (6),
(d)(3) and (4); and
■ b. Adding paragraph (d)(5).
The revision and addition reads as
follows:
§ 414.1425 Qualifying APM participant
determination: In general.
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*
*
*
*
*
(c) * * *
(5) Beginning in the 2020 QP
Performance Period, an eligible
clinician is not a QP for a year if:
(i) The APM Entity voluntarily or
involuntarily terminates from an
Advanced APM before the end of the QP
Performance Period; or
(ii) The APM Entity voluntarily or
involuntarily terminates from an
Advanced APM at a date on which the
APM Entity would not bear financial
risk for that performance period under
the terms of the Advanced APM.
(6) Beginning in the 2020 QP
Performance Period, an eligible
clinician is not a QP for a year if:
(i) One or more of the APM Entities
in which the eligible clinician
participates voluntarily or involuntarily
terminates from the Advanced APM
before the end of the QP Performance
Period, and the eligible clinician does
not individually achieve a Threshold
Score that meets or exceeds the QP
payment amount threshold or QP
patient count threshold based on
participation in the remaining nonterminating APM Entities; or
(ii) One or more of the APM Entities
in which the eligible clinician
participates voluntarily or involuntarily
terminates from the Advanced APM at
a date on which the APM Entity would
not bear financial risk under the terms
of the Advanced APM, and the eligible
clinician does not individually achieve
a Threshold Score that meets or exceeds
the QP payment amount threshold or
QP patient count threshold based on
participation in the remaining nonterminating APM Entities.
*
*
*
*
*
(d) * * *
(3) Beginning in the 2020 QP
Performance Period, an eligible
clinician is not a Partial QP for a year
if:
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(i) The APM Entity voluntarily or
involuntarily terminates from an
Advanced APM before the end of the QP
Performance Period; or
(ii) The APM Entity voluntarily or
involuntarily terminates from an
Advanced APM at a date on which the
APM Entity would not bear financial
risk for that performance period under
the terms of the Advanced APM.
(4) Beginning in the 2020 QP
Performance Period, an eligible
clinician is not a Partial QP for a year
if:
(i) One or more of the APM Entities
in which the eligible clinician
participates voluntarily or involuntarily
terminates from the Advanced APM
before the end of the QP Performance
Period, and the eligible clinician does
not individually achieve a Threshold
Score that meets or exceeds the Partial
QP payment amount threshold or Partial
QP patient count threshold based on
participation in the remaining nonterminating APM Entities; or
(ii) One or more of the APM Entities
in which the eligible clinician
participates voluntarily or involuntarily
terminates from the Advanced APM at
a date on which the APM Entity would
not bear financial risk under the terms
of the Advanced APM, and the eligible
clinician does not individually achieve
a Threshold Score that meets or exceeds
the Partial QP payment amount
threshold or Partial QP patient count
threshold based on participation in the
remaining non-terminating APM
Entities.
(5) Beginning in the 2020 QP
Performance Period, Partial QP status
applies only to the TIN/NPI
combination(s) through which Partial
QP status is attained.
*
*
*
*
*
PART 415—SERVICES FURNISHED BY
PHYSICIANS IN PROVIDERS,
SUPERVISING PHYSICIANS IN
TEACHING SETTINGS, AND
RESIDENTS IN CERTAIN SETTING
49. The authority citation for part 415
continues to read as follows:
■
40929
services), and 415.184 (concerning
psychiatric services), the medical
records must document the teaching
physician was present at the time the
service is furnished. The presence of the
teaching physician during procedures
and evaluation and management
services may be demonstrated by the
notes in the medical records made by
the physician or as provided in
§ 410.20(e) of this chapter.
*
*
*
*
*
■ 51. Section 415.174 is amended by—
■ a. Revising paragraph (a)(6); and
■ b. Removing and reserving paragraph
(b).
The revision reads as follows:
§ 415.174 Exception: Evaluation and
management services furnished in certain
centers.
(a) * * *
(6) The medical records must
document the extent of the teaching
physician’s participation in the review
and direction of services furnished to
each beneficiary. The extent of the
teaching physician’s participation may
be demonstrated by the notes in the
medical records made by the physician
or as provided in § 410.20(e) of this
chapter to each beneficiary in
accordance with the documentation
requirements at § 415.172(b).
(b) [Reserved]
PART 416—AMBULATORY SURGICAL
CENTERS
52. The authority citation for part 416
is revised to read as follows:
■
Authority: 42 U.S.C. 1302 and 1395hh.
§ 416.42
[Amended]
53. Section 416.42 is amended in
paragraph (a)(1), by removing the phrase
‘‘A physician must’’ and by adding in its
place the phrase ‘‘A physician or an
anesthetist as defined at § 410.69(b) of
this chapter must’’.
■
PART 418—HOSPICE CARE
54. The authority citation for part 418
is revised to read as follows:
■
Authority: 42 U.S.C. 1302 and 1395hh.
Authority: 42 U.S.C. 1302 and 1395hh.
55. Section 418.106 is amended by
revising paragraph (b)(1) to read as
follows:
■
50. Section 415.172 is amended by
revising the section heading and
paragraph (b) to read as follows:
■
§ 415.172 Physician fee schedule payment
for services of teaching physicians.
§ 418.106 Condition of participation: Drugs
and biologicals, medical supplies, and
durable medical equipment.
*
*
*
*
*
(b) Documentation. Except for
services furnished as set forth in
§§ 415.174 (concerning an exception for
services furnished in hospital outpatient
and certain other ambulatory settings),
415.176 (concerning renal dialysis
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*
*
*
*
*
(b) * * *
(1) Drugs may be ordered by any of
the following practitioners:
(i) A physician as defined by section
1861(r)(1) of the Act.
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(ii) A nurse practitioner in accordance
with state scope of practice
requirements.
(iii) A physician assistant in
accordance with state scope of practice
requirements and hospice policy who is:
(A) The patient’s attending physician,
and
(B) Not an employee of or under
arrangement with the hospice.
*
*
*
*
*
PART 424—CONDITIONS FOR
MEDICARE PAYMENT
56. The authority citation for part 424
continues to read as follows:
■
Authority: 42 U.S.C. 1302 and 1395hh.
57. Section 424.67 is added to subpart
E to read as follows:
■
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§ 424.67 Enrollment requirements for
opioid treatment programs (OTP).
(a) General enrollment requirement.
In order for a program or eligible
professional (as that term is defined in
1848(k)(3)(B) of the Act) to receive
Medicare payment for the provision of
opioid use disorder treatment services,
the provider must qualify as an OTP (as
that term is defined in § 8.2 of this title)
and enroll in the Medicare program
under the provisions of subpart P of this
part and this section.
(b) Specific requirements and
standards for enrollment. To enroll in
the Medicare program, an OTP must
meet all of the following requirements
and standards:
(1) Fully complete and submit the
Form CMS–855B application (or its
successor application) and any
applicable supplement or attachment
thereto to its applicable Medicare
contractor. This includes, but is not
limited to, the following:
(i) Maintain and submit to CMS (via
the applicable supplement or
attachment) a list of all physicians and
eligible professionals who are legally
authorized to prescribe, order, or
dispense controlled substances on
behalf of the OTP. The list must include
the physician’s or eligible
professional’s:
(A) First and last name and middle
initial.
(B) Social Security Number.
(C) National Provider Identifier.
(D) License number (if applicable).
(ii) Certifying via the CMS–855B and/
or the applicable supplement or
attachment thereto that the OTP meets
and will continue to meet the specific
requirements and standards for
enrollment described in paragraphs (b)
and (d) of this section. application) and
any applicable supplement thereto to its
applicable Medicare contractor.
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(2) Comply with the application fee
requirements in § 424.514.
(3) Successfully complete the high
categorical risk level screening required
under § 424.518(c).
(4)(i) Have a current, valid
certification by SAMHSA for an opioid
treatment program consistent with the
provisions and requirements § 8.11 of
this title.
(ii) A provisional certification under
§ 8.11(e) of this title does not meet the
requirements of the paragraph (b)(4)(i)
of this section.
(5) Report on the Form CMS–855 and/
or any applicable supplement all OTP
staff that meet the definition of
‘‘managing employee’’ in § 424.502.
Such individuals include, but are not
limited to, the following:
(i) Medical director (as described in
§ 8.2 of this title).
(ii) Program sponsor (as described in
§ 8.2 of this title).
(6)(i)(A) Must not employ or contract
with a prescribing or ordering physician
or eligible professional or with any
individual legally authorized to
dispense narcotics who, within the
preceding 10 years, has been convicted
(as that term is defined in 42 CFR
1001.2) of a federal or state felony that
CMS deems detrimental to the best
interests of the Medicare program and
its beneficiaries based on the same
categories of detrimental felonies, as
well as case by case detrimental
determinations, found at § 424.535(a)(3).
(B) Paragraph (b)(6)(i)(A) of this
section applies regardless of whether
the individual in question is:
(1) Currently dispensing narcotics at
or on behalf of the OTP; or
(2) A W–2 employee of the OTP.
(ii) Must not employ or contract with
any personnel (regardless of whether the
individual is a W–2 employee of the
OTP) who is revoked from Medicare
under § 424.535 or any other applicable
section in Title 42, or who is on the
preclusion list under § 422.222 or
§ 423.120(c)(6) of this chapter.
(iii) Must not employ or contract with
any personnel (regardless of whether the
individual is a W–2 employee of the
OTP) who has a prior adverse action by
a state oversight board, including, but
not limited to, a reprimand, fine, or
restriction, for a case or situation
involving patient harm that CMS deems
detrimental to the best interests of the
Medicare program and its beneficiaries.
CMS will consider the factors
enumerated at § 424.535(a)(22) in each
case of patient harm that potentially
applies to this paragraph.
(7)(i) Sign (and adhere to the term of)
a provider agreement in accordance
with the provisions of 42 CFR part 489.
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(ii) An OTP’s appeals under 498 of a
Medicare revocation (under § 424.535)
and a provider agreement termination
(under § 489.53(a)(1)) must be filed
jointly and, as applicable, considered
jointly by CMS under part 498 of this
chapter.
(8) Comply with all other applicable
requirements for enrollment specified in
this section and in subpart P of this part.
(c) Denial of enrollment. CMS may
deny an OTP’s enrollment application
on any of the following grounds:
(1) The provider does not have a
current, valid certification by SAMHSA
as required under paragraph (b)(4)(i) of
this section or fails to meet any other
applicable requirement in this section.
(2) Any of the denial reasons in
§ 424.530 applies.
(3) An OTP may appeal the denial of
its enrollment application under part
498 of this chapter.
(d) Continued compliance, standards,
and reasons for revocation. (1) Upon
and after enrollment, an OTP—
(i) Must remain validly certified by
SAMHSA as required under § 8.11 of
this title.
(ii) Remains subject to, and must
remain in full compliance with, the
provisions of subpart P of this Part and
of this section. This includes, but is not
limited to, the provisions of paragraph
(b)(6) of this section, the revalidation
provisions in § 424.515, and the
deactivation and reactivation provisions
in § 424.540.
(iii) Upon revalidation, successfully
complete the moderate categorical risk
level screening required under
§ 424.518(b).
(2) CMS may revoke an OTP’s
enrollment on any of the following
grounds:
(i) The provider does not have a
current, valid certification by SAMSHA
as required under paragraph (b)(4)(i) or
fails to meet any other applicable
requirement or standard in this section,
including, but not limited to, the OTP
standards in paragraph (b)(6) and (d)(1)
of this section.
(ii) Any of the revocation reasons in
§ 424.535 applies.
(3) An OTP may appeal the revocation
of its enrollment under part 498 of this
title.
(e) Claim payment. For an OTP to
receive payment for furnished drugs:
(1) The prescribing or medication
ordering physician’s or other eligible
professional’s National Provider
Identifier must be listed on Field 17 of
the Form CMS–1500; and
(2) All other applicable requirements
of this section, this part, and part 8 of
this title must be met.
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(f) Relation to part 8 of this title.
Nothing in this section shall be
construed as:
(1) Supplanting any of the provisions
in part 8 of this title; or
(2) Eliminating an OTP’s obligation to
maintain compliance with all applicable
provisions in part 8 of this title.
■ 58. Section 424.502 is amended by
adding the definition of ‘‘State oversight
board’’ in alphabetical order to read as
follows:
§ 424.502
Definitions.
*
*
*
*
*
State oversight board means, for
purposes of §§ 424.530(a)(15) and
424.535(a)(22) only, any state
administrative body or organization,
such as (but not limited to) a medical
board, licensing agency, or accreditation
body, that directly or indirectly oversees
or regulates the provision of health care
within the State.
*
*
*
*
*
■ 59. Section 424.518 is amended by
adding paragraphs (b)(1)(xii) and
(c)(1)(iv) to read as follows:
§ 424.518 Screening levels for Medicare
providers and suppliers.
*
*
*
*
*
(b) * * *
(1) * * *
(xii) Revalidating opioid treatment
programs.
*
*
*
*
*
(c) * * *
(1) * * *
(iv) Prospective (newly enrolling)
opioid treatment programs.
*
*
*
*
*
■ 60. Section 424.520 is amended by
revising paragraph (d) introductory text
to read as follows:
§ 424.520 Effective date of Medicare billing
privileges.
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*
*
*
*
*
(d) Physicians, non-physician
practitioners, physician and nonphysician practitioner organizations,
ambulance suppliers, and opioid
treatment programs. The effective date
for billing privileges for physicians,
non-physician practitioners, physician
and non-physician practitioner
organizations, ambulance suppliers, and
opioid treatment programs is the later
of—
*
*
*
*
*
■ 61. Section 424.521 is amended by
revising the section heading and
paragraph (a) introductory text to read
as follows:
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§ 424.521 Request for payment by
physicians, non-physician practitioners,
physician and non-physician organizations,
ambulance suppliers, and opioid treatment
programs.
(a) Physicians, non-physician
practitioners, physician and nonphysician practitioner organizations,
ambulance suppliers, and opioid
treatment programs may retrospectively
bill for services when the physician,
non-physician practitioner, physician or
non-physician organization, ambulance
supplier, or opioid treatment program
has met all program requirements,
including State licensure requirements,
and services were provided at the
enrolled practice location for up to —
*
*
*
*
*
■ 62. Section 424.530 is amended by
reserving paragraphs (a)(12),(13) and
(14) and adding paragraph (a)(15) to
read as follows:
§ 424.530 Denial of enrollment in the
Medicare program.
*
*
*
*
*
(a) * * *
(15) Patient Harm. The physician or
eligible professional (as that term is
defined in 1848(k)(3)(B) of the Act) has
been subject to prior action from State
oversight board, Federal or State health
care program, Independent Review
Organization (IRO) determination(s), or
any other equivalent governmental body
or program that oversees, regulates, or
administers the provision of health care
with underlying facts reflecting
improper physician or eligible
professional conduct that led to patient
harm. In determining whether a denial
is appropriate, CMS considers the
following factors:
(i) The nature of the patient harm.
(ii) The nature of the physician’s or
eligible professional’s conduct.
(iii) The number and type(s) of
sanctions or disciplinary actions that
have been imposed against the
physician or eligible professional by the
State oversight board, IRO, Federal or
State health care program, or any other
equivalent governmental body or
program that oversees, regulates, or
administers the provision of health care.
Such actions include, but are not
limited to in scope or degree:
(A) License restriction(s) pertaining to
certain procedures or practices.
(B) Required compliance appearances
before State oversight board members.
(C) Required participation in
rehabilitation or mental/behavioral
health programs.
(D) Required abstinence from drugs or
alcohol and random drug testing.
(E) License restriction(s) regarding the
ability to treat certain types of patients
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40931
(for example, cannot be alone with
members of a different gender after a
sexual offense charge).
(F) Administrative/monetary
penalties.
(G) Formal reprimand(s).
(iv) If applicable, the nature of the
IRO determination(s).
(v) The number of patients impacted
by the physician’s or eligible
professional’s conduct and the degree of
harm thereto or impact upon.
(vi) Any other information that CMS
deems relevant to its determination.
*
*
*
*
*
■ 63. Section 424.535 is amended by—
■ a. In paragraph (a)(14) introductory
text, by removing the phrase
‘‘prescribing Part D drugs’’ and adding
in its place the phrase ‘‘prescribing Part
B or D drugs’’; and
■ b. Reserving paragraphs (a)(15)
through (21).
■ c. Adding paragraph (a)(22).
The addition reads as follows:
§ 424.535 Revocation of enrollment in the
Medicare programs.
(a) * * *
(22) Patient Harm. The physician or
eligible professional (as that term is
defined in 1848(k)(3)(B) of the Act) has
been subject to prior action from a State
oversight board, Federal or State health
care program, Independent Review
Organization (IRO) determination(s), or
any other equivalent governmental body
or program that oversees, regulates, or
administers the provision of health care
with underlying facts reflecting
improper physician or eligible
professional conduct that led to patient
harm. In determining whether a
revocation is appropriate, CMS
considers the following factors:
(i) The nature of the patient harm.
(ii) The nature of the physician’s or
eligible professional’s conduct.
(iii) The number and type(s) of
sanctions or disciplinary actions that
have been imposed against the
physician or eligible professional by the
State oversight board, IRO, federal or
state health care program, or any other
equivalent governmental body or
program that oversees, regulates, or
administers the provision of health care.
Such actions include, but are not
limited to in scope or degree:
(A) License restriction(s) pertaining to
certain procedures or practices.
(B) Required compliance appearances
before State medical board members.
(C) Required participation in
rehabilitation or mental/behavioral
health programs.
(D) Required abstinence from drugs or
alcohol and random drug testing.
(E) License restriction(s) regarding the
ability to treat certain types of patients
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(for example, cannot be alone with
members of a different gender after a
sexual offense charge).
(F) Administrative or monetary
penalties.
(G) Formal reprimand(s).
(iv) If applicable, the nature of the
IRO determination(s).
(v) The number of patients impacted
by the physician’s or eligible
professional’s conduct and the degree of
harm thereto or impact upon.
PART 425—MEDICARE SHARED
SAVINGS PROGRAM
64. The authority citation for part 425
continues to read as follows:
■
Authority: 42 U.S.C. 1302, 1306, 1395hh,
and 1395jjj.
§ 425.612
[Amended]
65. Section 425.612 is amended in
paragraph (a)(1)(v)(E) introductory text
by removing the phrase ‘‘paragraph
(a)(1)(v)(B)’’ and adding in its place the
phrase ‘‘paragraph (a)(1)(v)(D)’’.
■
PART 489—PROVIDER AGREEMENTS
AND SUPPLIER APPROVAL
66. The authority citation for part 489
is revised to read as follows:
■
Authority: 42 U.S.C. 1302, 1395i–3, 1395x,
1395aa(m), 1395cc, 1395ff, and 1395(hh).
67. Section 489.2 is amended by
adding paragraphs (b)(10) and (c)(3) to
read as follows:
■
§ 489.2
Scope of part.
*
*
*
*
(b) * * *
(10) Opioid treatment programs
(OTPs).
(c) * * *
(3) OTPs may enter into provider
agreements only to furnish opioid use
disorder treatment services.
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68. Section 489.10 is amended by
revising paragraph (a) to read as follows:
■
§ 489.10
Basic requirements.
(a) Any of the providers specified in
§ 489.2 may request participation in
Medicare. In order to be accepted, it
must meet the conditions of
participation or requirements (for SNFs)
set forth in this section and elsewhere
in this chapter. The RNHCIs must meet
the conditions for coverage, conditions
for participation and the requirements
set forth in this section and elsewhere
in this chapter. The OTPs must meet the
requirements set forth in this section
and elsewhere in this chapter.
*
*
*
*
*
■ 69. Section 489.13 is amended by
revising paragraph (a)(2)(i) to read as
follows:
§ 489.13 Effective date of agreement or
approval.
(a) * * *
(2) * * *
(i) For an agreement with a
community mental health center
(CMHC), opioid treatment program
(OTP), or a federally qualified health
center (FQHC), the effective date is the
date on which CMS accepts a signed
agreement which assures that the
CMHC, OTP or FQHC meets all Federal
requirements.
*
*
*
*
*
■ 70. Section 489.53 is amended by
revising paragraph (a)(3) to read as
follows:
§ 489.53
Termination by CMS.
(a) * * *
(3) It no longer meets the appropriate
conditions of participation or
requirements (for SNFs and NFs) set
forth elsewhere in this chapter. In the
case of an RNHCI, it no longer meets the
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conditions for coverage, conditions of
participation and requirements set forth
elsewhere in this chapter. In the case of
an OTP, it no longer meets the
requirements set forth in this section
and elsewhere in this chapter.
*
*
*
*
*
PART 498—APPEALS PROCEDURES
FOR DETERMINATIONS THAT AFFECT
PARTICIPATION IN THE MEDICARE
PROGRAM AND FOR
DETERMINATIONS THAT AFFECT THE
PARTICIPATION OF ICFs/IID AND
CERTAIN NFs IN THE MEDICAID
PROGRAM
71. The authority citation for part 498
is revised to read as follows:
■
Authority: 42 U.S.C. 1302, 1320a–7j, and
1395hh.
72. Section 498.2 is amended in the
definition of ‘‘Provider’’ by revising the
introductory text and adding paragraph
(3) to read as follows:
■
§ 498.2
Definitions.
Provider means any of the following:
*
*
*
*
(3) An entity that has in effect an
agreement to participate in Medicare but
only to furnish opioid use disorder
treatment services.
*
*
*
*
*
*
Dated: June 21, 2019.
Seema Verma,
Administrator, Centers for Medicare &
Medicaid Services.
Dated: July 18, 2019.
Alex M. Azar II,
Secretary, Department of Health and Human
Services.
BILLING CODE 4120–01–P
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40933
APPENDIX 1: PROPOSED MIPS QUALITY MEASURES
NOTE: Except as otherwise proposed in this proposed rule, previously finalized measures and specialty measure sets will
continue to apply for the 2022 MIPS payment year and future years. In addition, electronic Clinical Quality Measures (eCQMs)
that are National Quality Forum (NQF) endorsed are shown in Table A as follows: NQF #I eCQM NQF #.
TABLE Group A: New Quality Measures Proposed for Addition for the 2022 MIPS Payment Year and Future Years
A.l International Prostate Symptom Score (IPSS) or American Urological Association-Symptom Index (AUA-SI) Change
6-12Mon th s Aft er D"IagnOSIS 0 fB emgn P ros t af IC Htyperp1as1a
I
Cate2ory
NQF#/
eCQMNQF#:
Quality#:
Description:
Measure Steward:
Numerator:
Denominator:
Exclusions:
Measure Type:
Measure Domain:
High Priority
Measure:
Collection Type:
Rationale:
Description
N/A
TBD
Percentage of patients with an office visit within the measurement period and with a new diagnosis of clinically significant
Benign Prostatic Hyperplasia who have International Prostate Symptoms Score (IPSS) or American Urological Association
(AUA) Symptom Index (SI) documented at time of diagnosis and again 6-12 months later with an improvement of3 points.
Large Urology Group Practice Association and Oregon Urology Institute
Patients with a documented improvement of at least 3 points in their urinary symptom score during the measurement period.
Equals Initial Population. Initial population is: Male patients with an initial diagnosis of benign prostatic hyperplasia, 6 months
prior to, or during the measurement period, and a urinary symptom score assessment within 1 month of initial diagnosis and a
follow-up urinary symptom score assessment within 6-12 months, who had a qualifying visit during the measurement period.
Denominator: Patients with urinary retention that starts within 1 year of initial BPH diagnosis; Patients with an initial BPH
diagnosis that starts during, or within 30 days of hospitalization; Patients with a diagnosis of morbid obesity, or with a BMI
Exam >40 before the follow up urinary symptom score.
Patient Reported Outcome
Person and Caregiver-centered Experience and Outcomes (section 1848(s)(l)(B)(iv) of the Act)
Yes (Patient Reported Outcome)
eCQM Specifications
This measure is being proposed because it represents a patient reported outcome by evaluating the patient's response regarding
their symptoms associated with the diagnosis of Benign Prostatic Hyperplasia (BPH). Results can be used by clinicians in
evaluating whether the patient's symptoms from BPH have improved during the 6 to 12 months after diagnosis and treatment of
this disease. The measure was evaluated by the MAP and it was conditionally supported pending NQF endorsement. While we
agree with the MAP that NQF endorsement of measures is preferred, NQF endorsement is not a requirement for measures to be
considered for MIPS if the measure has an evidence-based focus as required by section 1848(q)(2)(D)(v) of the Act. Measure
information provided by the measure developer indicates IPSS and AUA-SI are statistically valid and reliable symptom scores.
The IPSS was adopted by the World Health Organization in 1993. The AUA-SI was developed and validated by the American
Urological Association in 1992. The IPSS uses the same questions as the AUA-SI, but also adds a disease-specific quality of life
question (OLeary, 2005). It is a reproducible, validated index designed to determine disease severity and response to therapy
(DSilva, 2014). Based on the information provided by the measures steward, we believe the measure is evidence-based and
represents an important patient reported outcome.
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Note: Refer to the MAP Spreadsheet of Final Recommendations to CMS and HHS at
htto: · www.mmlitxforum.on: \Vork. \rea lin],it.asnx?Lin' ldenlitler-id&T!''mlD 1\9244.
40934
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
A2 MuIfIillO diP'
a am M anagemen
Category
NQF#:/
eCQMNQF#:
Quality#:
Description:
Measure Steward:
Numerator:
Denominator:
Exclusions:
Measure Type:
Measure Domain:
High Priority
Measure:
Collection Type:
Rationale:
Description
N/A
Tl:lU
Percentage of patients, aged 18 years and older, undergoing selected surgical procedures that were managed with multimodal pain medicine.
American Society of Anesthesiologists (ASA)
Patients for whom multimodal pain management is administered in the peri operative period from G hours prior to anesthesia start time until
discharged from the post-anesthesia care unit.
Patients, aged 18 years and older, who undergo selected surgical procedures
Emergent Cases
Process
Effective Clinical Care (section 1848(s)(l)(B)(i) ofthe Act)
Yes (Opioid-related)
MIPS CQMs Specifications
This measure is being proposed because it encourages clinicians to effectively manage patients" pain using multimodal strategies, which in
tum can significantly reduce unnecessary opioid use, excessive post-operative prescriptions, and length of stay. We believe there is an urgent
need for measures that address the opioid epidemic affecting the nation. It is imperative to include measures in MIPS that support healthy
outcomes for patients using opioids. The clinical action being evaluated within this measure supports the reduction in use of opioids for
patients in the peri operative treatment of pain. The measure wa' updated trom what was submitted to the MAP following feedback trom
stakeholders and NCQA 's Technical Expert Panel (TEP). The original measure evaluated by the MAP was conditionally supported pending
NQI' endorsement. While we agree with the MAP that NQI' endorsement of measures is preferred, NQf endorsement is not a requirement for
measures to be considered for MIPS if the measure has an evidence-based focus as required by section 1848(q)(2)(D)(v) of the Act. The
measure steward indicated that testing data from 503 clinicians for 24, 72S cases met the denominator criteria during testing of the measure.
The mean performance rate calculated from this data was 74.24 percent with a standard deviation of+!- 0.1492 with a performance range of
0.00 to 100.00. Reliability was assessed at the clinician level and based on data from a large, academic medical center and a Veterans Ilealth
Administration facility. In May 2018, the ASA conducted a systematic assessment of face validity among members of its Committee on Pain
Medicine and Committee on Regional Anesthesia and Acute Pain Medicine. "!be 33 respondents indicated a substantial level of agreement
supporting this measure "s value and validity. Based on the infonnation provided by the measures steward, we believe the measure is evidencebased and represents an important clinical process.
The measure steward revised the measure by adding an age criteria and removing elective cases as an inclusion criteria. Upon stakeholder
feedback, the denominator eligible cases were expanded to make the measure more applicable to ambulatory settings. Due to this denominator
expansion, an age of 18 years and older was added to the denominator criteria as many of the pediatric cases captured by the expanded codes
do not require multimodal pain management. Additionally, pediatric patients have a different range of appropriate multimodal pain
management options. As such, the measure steward limited the patient population to the clinically relevant adult patient population. A
denominator exclusion was added for emergent cases to replace the previous elective surgery requirement for denominator eligibility. The
measure steward also stated, citing user feedback when emergent cases are an exclusion criterion compared to using elective cases as an
inclusion criterion, the measure produced more reliable results. We agree that these changes result in a more clinically relevant. reliable, and
meaningtul measure by expanding the denominator eligible code set to capture all applicable adult patients in ditferent settings and retining
the patient population to be in alignment with these changes.
Note: Refer to the MAP Spreadsheet of Final Recommendations to CMS and HHS at
W•
w.,rk ·Ire"!! linkil.:JS!l'<"'l.inkldtclllifi.cr id&l!~ll1llY g')244.
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Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
40935
A 3 Adult Immunization Status
Category
NQF#/
eCQMNQF#:
Quality#:
Description
N!A
Description:
Measure Steward:
TBD
Percentage of members 19 years of age and older who are up-to-date on recommended routine vaccines for influenza; tetanus and
diphtheria (Td) or tetanus, diphtheria and acellular pertussis (Tdap); zoster; and pneumococcal.
National Committee for Quality Assurance
Numerator 1: Members in Denominator 1 (Dl) who received an influenza vaccine on or between July 1 of the year prior to the
measurement period and June 30 of the measurement period.
Numerator 2: Members in D2 who received at least 1 Td vaccine or 1 Tdap vaccine between 9 years prior to the start of the measurement
period and the end of the measurement period.
Numerator 3: Members in D3 who received at least 1 dose ofthe herpes zoster live vaccine or 2 doses ofthe herpes zoster recombinant
vaccine anytime on or after the members 50th birthday.
Numerator:
Numerator 4: Members in D4 who were administered both the 13-valent pneumococcal conjugate vaccine and the 23-valent pneumococcal
polysaccharide vaccine at least 12 months apart, with the first occurrence after the age of60.
Numerator 5: The actual number of required immunizations administered to members in D5.
Denominator 1: Members age 19 and older at the start of the measurement period.
Denominator 2: Members age 19 and older at the start of the measurement period.
Denominator 3: Members age 50 and older at the start of the measurement period.
Denominator:
Denominator 4: Members age 66 and older at the start of the measurement period.
Exclusions:
Measure Type:
Measure Domain:
High ptimity
measure:
Collection Type:
No
MIPS CQMs Specifications, CMS Web Interface Measure Specifications
We are proposing this preventive immunization measure because it is a comprehensive evaluation for compliance with recommended adult
vaccinations and supports the 2019 adult immunization schedule that has been approved by the CDC, which is based on the
recommendation from the Advisory Committee on Immunization Practices. NCQA and the HHS National Vaccine Program Office
submitted this measure via Call for Measures to be considered for MIPS implementation. This robust composite measure assesses the
quality clinical action regarding the administration of the influenza, Tdap/Td, herpes zoster, and pneumococcal vaccines. "lhe
immunizations included within this measure will reduce the prevalence of severe diseases that may be associated with hospitalization and
decrease overall health care costs. This measure is consistent with Healthy People 2020 goals, developed by the Centers for Disease
Control and Prevention, to promote healthy behaviors, for increasing immunization rates. The measure was evaluated by the MAP, but this
entity did not support this composite measure since it had not been analytically tested at the clinician level, but clinically it is evidencebased as required by section 1848(q)(2)(D)(v) of the Act. We believe that the health plan level version of the measure can be adapted to the
clinician level by revising the measure analytics to assess the proportion of patients who have been administered influenza, Tdap/Td,
herpes zoster, and pneumococcal vaccines by MIPS eligible clinicians. Implementing the measure at the clinician level does not change the
medical intent or evidence supporting preventive immunizations for patients. Therefore, we believe implementing the measure at the
clinician level will be successful. Currently, MIPS includes three of the four composite measure's components as individual measure
analytics. Individual measures: Qll 0: Preventive Care and Screening: Influenza Immunization; and Q 111: Pneumococcal Vaccination
Status for Older Adults have been implemented in the MIPS and PQRS programs for a combined total of over seven years. Another
component of this composite measure, Q474: Zoster (Shingles) Vaccination, was implemented as anew individual measure in 2019 MIPS
and was tested at the clinician and group level prim· to submi"ion to the Call for Meawres. The administration of the vaccination
diphtheria toxoids and acellular pertussis (Tdap ), contained in Adult Immunization Status, is also present in the MIPS program as a
component within measure Q394: Immunizations for Adolescents. We recognize this measure is specified currently for adolescents, but
believe the logic this measure represents is adaptable to the adult population.
We believe that the individual measures referenced above represent each component of the Adult Immunization Status composite measure.
Additionally, measures QllO and Qlll have been successfully implemented in all MIPS collection types. This accomplishment supports
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Rationale:
Denominator 5: The total number of possible immunizations required for members age 19 and older determined by their age at the start of
the measurement period.
Denominator:
Members with any of the following:
• Prior anaphylactic reaction to the vaccine or its components any time during or before the measurement period.
• History of encephalopathy within seven days after a previous dose of a Td-containing vaccine.
• Active chemotherapy during the measurement period.
• Bone manow transplant during the measurement period.
• History of immunocompromising conditions, cochlear implants, anatomic or functional asplenia, sickle cell anemia & HB-S
disease or cerebrospinal fluid leaks any time during the member's history prior to or during the measurement period.
• In hospice or using hospice services during the measurement period.
Process
Community/Population Health (section 1848(s)(l )(B)(v)ofthe Act)
40936
CatP o
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
DPscri tion
the face validity of these measure concepts and demonstrates the ease in which the composite health plan measure can be adapted for MIPS
use. As such, we believe the health plan level version of this measure can be adapted accordingly to suit the program requirements of
MIPS. Nonetheless, we will continue to work with the measure steward to obtain additional testing results regarding this composite
measure's implementation for programs beyond the health plan level. The measure steward provided the following health plan evidence to
support the value of proposing this composite measure as a quality measure. The information is based on commercial and Medicaid plan
performance rates for members aged 19-64 and .\1edicare plan rates for members aged 65 and older. Across the plans, performance rates
were as follows: influenza (mean~24 percent, min~3 percent, max~73 percent; Td or Tdap (mean~35 percent, min~1 percent, max~94
percent); zoster (mean~28 percent, min~O .1 percent, max~85 percent); pneumococcal (mean~ 17 percent, min~ 1 percent, ma~62 percent);
and composite (mean~28 percent, min~z percent, max~79 percent). We believe this evidence represents there is a need to improve adult
vaccination coverage. Based on the information provided by CDC in conjunction with the ACIP, we believe the measure is clinically
evidence-based and represents an important clinical process Therefore, we maintain that this measure provides a comprehensive assessment
of quality adult preventive care and would met the meaningful measure initiative.
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Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
A4Func fwnaI St a tus Ch angc fior p a flCll
Category
NQF#/
eCQMNQF#:
Quality#:
S WI"thNcc kl mpa1rmcn
40937
s
Description
N/A
TBD
T11is is a patient-reported outcome performance measure (PRO-PM) consisting of a patient-reported outcome measure (PROM) of riskadjusted change in functional status (FS) for patients aged 14+ with neck impairments. The change in FS is assessed using the Neck FS
PROM* The measure is risk-adjusted to patient characteristics known to be associated with FS outcomes. It is used as a perfonnance
measure at the patient, individual clinician, and clinic levels to assess quality.
Description:
Measure Steward:
*The Neck FS PROM is an item-response theory-based computer adaptive test (CAT). In addition to the CAT version, which provides
for reduced patient response burden, it is available as a 10-item short fonn (static/paper-pencil).
Focus on Therapeutic Outcomes, Inc.
The proportion of a provider's (clinic's or clinician's) patient care episodes that met or exceeded the risk-adjusted predicted Residual
Change Score. The Residual Change Score is defined as the difference between the Actual and Predicted Change Scores where:
1.
2.
3.
The Actual Score is the patient's Functional Status (FS) Score;
The Actual Change Score is the change in the patient's FS score from Admission to Discharge; and
The Predicted Change Score is the risk-adjusted prediction of FS change. (Please see the Comments section of JIRA
submission for details of the Risk-adjustment component.)
Calculating the Residual Change Score, Example:
• Actual Score at Admission ~ 45
• Actual Score at Discharge ~ 60
Actual Change Score (Discharge minus Admission)~+ 15
0
Predicted Change Score ~ 10
0
• Residual Change Score (Actual Change minus Predicted)~ +5
1
..
Numerator Options:
Performance Met ~ The Residual Change Score is equal to or greater than 0
Performance Not Met~ The Residual Change Score is less than 0
Numerator:
Performance may be calculated on 3 levels as follows:
Patient T.evel: For the individual patient episode, the patient's Actual FS scores relative to the risk-adjusted predicted. This
level should be used for optimizing care as described below*
2.
Clinician Level: T11e average of the Residuals for patient care episodes managed by a clinician (individual provider) over a 12
month time period.
3.
Clinic Level: The average ofthe Residuals for patient care episodes managed by a group of clinicians within a clinic over a
12 month time period.
*A provider's (clinician's or clinic's) performance must be assessed based on an average all of the provider's patient episodes. On the
level of the individual patient, variation is expected. When an individual episode does not result in meeting or exceeding the performance
standard, the functional data should be useful to the provider in optimizing the balance of effectiveness/efficiency for that particular care
episode. For example, if patient-perceived function is not improving, or has plateaued in progress, that data may be a component of
provider-patient communication and care decision-making such as the following examples:
1.
Does the provider understand the patient's perception of his/her current level of function?
1.
2.
Should the treatment plan be modified?
3.
Should the patient be discharged sooner than later?
4.
Should the patient be referred to a diiTerent care provider?
Patients aged 14+ who initiated rehabilitation therapy, chiropractic, or medical episodes of care for neck impairments including but not
limited to cervical (neck) pain, radiculopathy, strain, sprain, stenosis, myelopathy, spondylosis or disc disorders.
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None
Patient Reported Outcome
Person and Caregiver-centered Experience and Outcomes (section 1848(s)(1)(B)(iv) of the Act)
Yes (Patient Reported Outcome)
MIPS CQMs Specifications
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Denominator:
Exclusions:
Measure Type:
Measure Domain:
High priority
measure:
Collection Type:
40938
Cate o
Rationale:
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
Descri tion
We are proposing this measure because neck pain is prevalent, impacts functional ability and productivity, and is costly. Measurement
results can be used by clinicians in evaluating whether the patient's functional status has improved with initiation of rehabilitation
therapy. The measure was evaluated by the MAP conditionally and it was supported pending NQF endorsement. While we agree with
the MAP that NQF endorsement of measures is preferred, NQF endorsement is not a requirement for measures to be considered for
MIPS if the measure has an evidence-based focus as required in section 1848(q)(2)(D)(v) of the Act. The measure steward indicated that
this measure offers ample room for improvement for perfonnance based on testing data. T11e results from testing were that for 13 78
clinics, 24.24 percent were classified as low performers, 60.01 percent as average, and 15.75 percent as high. The measure steward
believed and we agree that having only 15.75 percent classified as high leaves more than adequate room for improvement in eligible
clinician performance over time. Based on the information provided by the measures steward, we believe this measure is evidence-based
and represents an important patient reported outcome.
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Note: Refer to the MAP Spreadsheet of Final Recommendations to CMS and HHS at
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
40939
TABLE Group AA: New Quality Measure Proposed for Addition for the 2023 MIPS Payment Year and Future Years
In addition to the new quality measures proposed for addition in Table Group A, we are proposing to add one administrative clain1s based
quality measure for the 2023 MIPS payment year and future years. Quality measures that are specified through the administrative claims
collection type do not require separate data submission to CMS. Administrative claims measures are calculated based on data available from
MIPS eligible clinicians' billings on Medicare Part B claims. We are proposing to add this administrative claims-based measure beginning
with the 2023 MIPS payment year to allow for time to further refine the measure analytics prior to implementation within the program.
AAlAllC
- ause unpJanne dAdmiSSIOn I'or p afIen s WI"th M ulfIple1 Ch rome.
Category
NQF#/
eCQMNQF#:
Quality#:
TBD
TBD
Risk-adjusted outcome measure that uses the outcome of acute, unplanned admissions (per 100 person-years at risk of admission) to assess
care quality. Includes Medicare fee-for-service beneficiaries aged 65 years or older who have two or more of the following nine chronic
conditions: (1) acute myocardial infarction, (2) Alzheimer's disease and related disorders or senile dementia, (3) atrial fibrillation, (4)
chronic kidney disease, (5) chronic obstructive pulmonary disease or asthma, (6) depression, (7) diabetes, (8) heart failure, and (9) stroke or
transient ischemic attack.
.
Description:
The measure adjusts for:
Demographic variables, clinical comorbidities, and measures of frailty/disability .
• Two social risk factors: (1) The Agency for Healthcare Research and Quality Socioeconomic Status Index (AHRQ SES Index)
and (2) density of physician specialists. T11e AI IRQ SES Index is a widely used and validated measure of area deprivation
derived from the American Community Survey (ACS) census block group-level data and linked to a patient's ZIP code. It
summarizes SES measures of employment, income, education, and housing.
Measure Steward:
Numerator:
Centers for Medicare & Medicaid Services
Risk-standardized acute admissions per 100 person-years at risk for admission
Medicare fee-for-service beneficiaries~ 65 years of age with~ 2 of9 chronic conditions:
(I) Acute myocardial infarction,
(2) Alzheimer's disease and related disorders or senile dementia
(3) Atrial fibrillation
( 4) Chronic kidney disease
(5) Chronic obstructive pulmonary disease or asthma
(6) Depression
(7) Diabetes
(8) Heart failure
(9) Stroke or transient ischemic attack
Denominator Exclusions:
(1) Patients without continuous enrollment in Medicare Part A or Part B during the measurement period.
(2) Patient was in hospice at any time during the year prior to the measurement year or at start of the measurement year.
(3) Patient had no Evaluation and Management visit to a MIPS eligible clinician.
Denominator:
Exclusions:
VerDate Sep<11>2014
Yes (Outcome)
Administrative Claims
We are proposing this risk-adjusted administrative claims measure to assess Medicare aged> 65 patients who have two or more of the
following nine chronic conditions: (1) acute myocardial infarction, (2) Alzheimer's disease and related disorders or senile dementia, (3)
atrial fibrillation, (4) chronic kidney disease, (5) chronic obstructive pulmonary disease or asthma. (6) depression, (7) diabetes, (8) heart
failure, and (9) stroke or transient ischemic attack. More than two-thirds of Medicare beneficiaries have been diagnosed with or treated for
two or more chronic conditions. People with multiple chronic conditions (MCCs) are more likely to be admitted to the hospital than those
without chronic conditions or with a single chronic condition. Additionally, they are more likely to visit the emergency department, use
post-acute care (such as skilled nursing facilities), and require home health assistance based on the CMS Chronic Conditions among
Medicare Beneficiaries Chartbook: 2012 Edition (cited in ACO 38 measure information fonn). This measure promotes improved MCC
management and coordinated care by assessing the unplanned hospital admissions for this high-risk population. The measure is specified
through the administrative claims collection type that does not require separate data submission to CMS. This administrative claims measure
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Rationale:
Numerator Exclusions:
( 1) Planned admissions
(2) Other admissions that likely do not reflect the quality of ambulatory chronic disease management and primary care provided by the
included eligible clinicians:
Complications of procedures or surgeries
• Accidents
Injuries
• Admissions directly tram a skilled nursing facility or acute rehabilitation facility
Admissions that occur within 10 days of discharge from a hospital, skilled nursing facility, or acute rehabilitation facility
• Admissions that occur while patients are enrolled in .\i!edicare 's hospice benefit
Outcome
Effective Clinical Care (section 1848(s)(l)(B)(i) of the Act)
.
.
.
Measure Type:
Measure Domain:
High Priority
Measure:
Colledion Type:
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Description
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Description
is calculated based on data available from MIPS eligible clinicians' billings on Medicare Part B claims as well as hospital inpatient,
outpatient, and physician claims for clinical risk adjustment. It uses the outcome of acute, unplanned admissions (per 100 person-years at
risk of admission) to assess care quality. This measure would be added for the 2023 MIPS payment year to allow time to work through
operational factors of implementing the measures. This measure is included in the CY 2020 PFS proposed rule for stakeholder comment.
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40940
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
40941
TABLE Group B: New Specialty Measures Sets Proposed for Addition and Previously Finalized Specialty Measure Sets
Proposed for Modification for the 2022 MIPS Payment Year and Future Years
We are proposing to add seven new specialty measures sets: Endocrinology, Nutrition/Dietician, Pulmonology, Chiropractic Medicine,
Clinical Social Work, Audiology, and Speech Language Pathology. These sets are proposed to be added based in part on the expanded
definition of the MIPS eligible clinician for physical therapists, occupational therapists, qualified speech-language pathologists, qualified
audiologists, clinical psychologists, and registered dieticians or nutrition professionals. In addition, we have received stakeholder feedback
requesting additional specialty sets for clinician types whom did not have an existing specialty measures set. We are soliciting comment on
applicable measures for a Clinical Social Work specialty set in the event clinical social workers are proposed for inclusion in the definition of
a MIPS eligible clinician in future rulemaking. We are also proposing to modify the previously fmalized specialty measures sets below based
upon review of updates made to existing quality measure specifications, the proposal of adding new measures for inclusion in MIPS, and the
feedback provided by specialty societies. In the first colunm, existing measures with substantive changes described in Table Group Dare
noted with an asterisk(*), existing measures with substantive changes for the 2019 MIPS performance period described in Table Group DD
are noted with a double asterisk(**), core measures that align with Core Quality Measure Collaborative (CQMC) core measure set(s) are
noted with the symbol(§), and high priority measures are noted with an exclamation point(!). In addition, the Indicator colunm includes a
"high priority type" in parentheses after each high priority indicator (!) to fully represent the regulatory definition of high priority measures.
In addition, electronic Clinical Quality Measures (eCQMs) that are National Quality Forum (NQF) endorsed are shown in Table Bas follows:
NQF #I eCQMNQF #.
The definition of high priority at § 414.1305 includes an outcome (including intermediate-outcome and patient-reported outcome),
appropriate use, patient safety, efficiency, patient experience, care coordination, or opioid-related quality measure.
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The following specialty measure set has been excluded from this group because we are not proposing any changes to this specialty measure
set: Interventional Radiology. Therefore, we refer readers to the CY 2018 Quality Payment Program final rule for the previously finalized
Interventional Radiology specialty measure set (82 FR 54098 through 54099).
40942
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.l. Allergy/Immunology
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed rule, the
Allergy/Immunology specialty set takes additional criteria into consideration, which includes, but is not limited to: whether the measure
reflects current clinical guidelines and the coding of the measure includes relevant clinician types. CMS may reassess the appropriateness of
individual measures, on a case-by-case basis, to ensure appropriate inclusion in the specialty set. Measure tables in this set include previously
finalized measures that we are maintaining within the set, measures that are proposed to be added, and measures that are proposed for
removal, as applicable. We request comment on the measures available in the proposed Allergy/Immunology specialty set.
B.l. Allergy/Immunology
Indieafor
!
(Patient
Safety)
*
**
s
*
!
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(Patient
Safety)
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)
eCQM
NOF#
0419 I
0419e
0028 I
0028e
0022 I
NIA
18:25 Aug 13, 2019
PREVIOlTSLY FINALIZED MEASllRES 1'\l THE ALLERGY/IMMUNOLOGY SET
.
National
Measure
CMS
Quality
Collection.
Quality
Measure Title
"eCQM
Type
Type
And Description
Strategy
#
ID
Domain
Documentation of Current Medications
Medicare
in the Medical Record:
Part B
Percentage of visits for patients aged 18
Claims
years and older for which the MIPS eligible
Measure
clinician attests to docnmenting a list of
Specificatio
current medications using all immediate
CMS68v
Patient
ns, eCQ.\1
Process
resources available on the date of the
130
Safety
9
Specificatio
encounter. This list must include ALL
ns, MIPS
known prescriptions, over-the-counters,
CQMs
herbals, and vitamin/mineral/dietary
Specificatio
(nutritional) supplements AND must
contain the medications' name, dosage,
ns
frequency and route of administration.
Preventive Care and Screening: Tobacco
Use: Screening and Cessation
Intenention:
Medicare
Percentage of patients aged 18 years and
Part B
older who were screened for tobacco use
Claims
one or more times within 24 months AND
Measure
who received tobacco cessation intervention
Speciticatio
if identified as a tobacco user
ns, eCQ.\1
Specificatio
Community
Tiu·ee rates are repmted:
CMS138 ns, CMS
I
a. Percentage of patients aged 18 years and
226
Process
v8
Web
Population
older who were screened for tohacco use
Interface
Health
one or more times within 24 months
Measure
b. Percentage of patients aged 18 years and
Specificatio
older who were screened for tobacco use
ns, MIPS
and identified as a tobacco user who
CQMs
received tobacco cessation intervention
Specit!catio
c. Percentage of patients aged 18 years and
ns
older who were screened for tobacco use
one or more times within 24 months AND
who received tobacco cessation intervention
if identit!ed as a tobacco user.
Use of High-Risk Medications in the
Elderly:
eCQM
Percentage of patients 65 years of age and
older who were ordered high-risk
Specificatio
Patient
medications. Two rates are submitted.
CMS15G ns, MIPS
238
Process
v8
CQMs
Safety
(I) Percentage of patients who were ordered
at least one high-risk medication
Specit!catio
ns
(2) Percentage of patients who were ordered
at least two of the same high-risk
medication.
.
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Medicare &
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Services
Physician
Consortium
for
Performance
Improvement
Foundation
(PCP!®)
National
Committee
for Quality
Assurance
EP14AU19.125
NQF#
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
40943
B.l. Allergy/Immunology
*
§
!
(Outcome
)
§
!
(Efficienc
y)
!
(Care
Coordinat
ion)
N/A
2082
2079
N/A
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PREVIOUSLY FINALIZED MEASURES IN THE ALLERGY/IMMUNOLOGY SET
Nationul
Measure
CMS
Quality
Collection
Measure Title
Quality
Type
eCQM
#
Type
And Description
Strategy
ID
.·
Domain
Medicare
Preventive Care and Screening:
PartE
Claims
Screening for High Blood Pressure and
Communit
Measure
Follow-Up Documented:
y/
Specificatio
Percentage of patients aged 18 years and
CMS22v
317
ns, eCQM
Process
Population
older seen during the submitting period who
8
Specificatio
Health
were screened for high blood pressure AND
ns, MIPS
a recommended follow-up plan is
CQMs
documented based on the current blood
Specificatio
pressure (BP) reading as indicated.
ns
HIV Viral Load Suppression:
The percentage of patients, regardless of
MIPS
Effective
CQMs
age, with a diagnosis of HIV with a HIV
338
N/A
Outcome
Clinical
Specificatio
viral load less than 200 copies/mL at last
Care
ns
HIV viral load test during the measurement
year.
HIV Medical Visit Frequency:
Percentage of patients, regardless of age
MIPS
Efficiency
with a diagnosis ofHIV who had at least
CQMs
N/A
340
Process
and Cost
one medical visit in each 6 month period of
Specificatio
Reduction
the 24 month measurement period, with a
ns
minimum of 60 days between medical
visits.
eCQM
Closing the Referral Loop: Receipt of
Communic
Specificatio
Specialist Report:
ation and
CMS50v ns, MIPS
Percentage of patients with referrals,
374
Process
Care
8
CQMs
regardless of age, for which the referring
Coordinatio
Specificatio
provider receives a report from the provider
n
to whom the patient was referred.
ns
Tobacco Use and Help with Quitting
Among Adolescents:
MIPS
Community
The percentage of adolescents 12 to 20
CQMs
I
years of age with a primary care visit during
N/A
Process
402
Specificatio
Population
the measurement year for whom tobacco
ns
Health
use status was documented and received
help with quitting if identified as a tobacco
user.
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Medicaid
Services
Health
Resources
and Services
Administrati
on
Health
Resources
and Services
Administrati
on
Centers for
Medicare &
Medicaid
Services
National
Committee
for Quality
Assurance
EP14AU19.126
Indicator
NQF#
I
eCQM
NQF#
40944
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.l. Allergy/Immunology
Indicator
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N/A
VerDate Sep<11>2014
TED
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N/A
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Measure
Specificatio
ns, MIPS
CQMs
Specificatio
ns
PO 00000
Process
Frm 00464
Communit
y!
Populatio
n Health
Fmt 4701
Adult Immunization Status:
Percentage of members 19 years of
age and older who arc up-to-date on
recommended routine vaccines for
intluenza; tetanus and diphtheria
(Td) or tetanus, diphtheria and
acellular pertussis (Tdap ); zoster;
and pneumococcal.
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rational
~onunitte
~for
puality
~ssurance
...
Rationale for
Inclusion
··.
This measure is being
proposed as a new
measure for the 2020
perfom1ance period.
We propose to
include this measure
in the
Allergy/Immunology
specialty set as it is
clinically relevant to
this clinician type.
EP14AU19.127
MEASURES PROPOS£]) FOR ADDITION TO THE ALLERGY/IMMUNOLOGY SET
National
Measure
CMS
I
Collection
Quaij.ty
Measure Title
Quality
Measure
eCQM
'fype
#
Type
And Description
Steward
eCQM
Strate~
I
lD
NQF# I
Domain
NQF#
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
40945
B.l. Allergy/Immunology
PREVIousLY FINALIZED MEAsuREs PRoPosED FoRREMOVAL FRoM THE ALLERGYIIMMuNoLoGv sET
Note: In this proposed rule, CMS proposes removal of the followjngmeasure(s) bdowfrom this specific specialty nleasure set based upon review of updates made to
existing quality measure specifications, the proposed a,Jdition of new measures for inclusion in MIPS, and the feedback provided by specialtv societies.
Nal;iouai
·.·.
NQF#/
CMS·
Collectiu
Measure
Quality
Measure
Rationale for
Quan.
eCQM
i>CQM
Measur!l Titll' and De~ription
steward
R<1movat
ty#
nType
Type
S~rategy
II)
NQF#
···.
Domain
•
Medicare
Part B
Claims
Measure
Specificat
ions,
This measure is
Preventive Care and Screening:
eCQM
Physician
being proposed for
Influenza Immunization:
Spccificat
Consortium for
removal begitming
Conununi
Percentage of patients aged G months and
00411
Performance
CMS147
ions.
Proce-.::s
ty/Populat
older seen for a visit between October 1
with the 2022 MIPS
110
Improvement
0041e
v9
CMS Web
Payment Year. See
ion Health
and March 31 who received an influenza
Foundation
Interface
itnmunization OR who repmted previous
Table C for
Measure
(PCP!®)
receipt of an influenza immunization
rationale.
Specificat
ions,
MIPS
CQMs
Specificat
ions
Medicare
Part B
Claims
This measure is
Measure
being proposed for
Specificat
Pnelllllococcal Vaccination Status for
National
removal begitming
ions,
Conununi
Older Adults:
CMS127
Committee for
with the 2022 MIPS
eCQM
N!A
111
Process
ty/Populat
Percentage of patients 65 years of age
v8
Quality
Payment Year. See
Specificat
ion Health
and older who have ever received a
Assurance
Table C for
ions,
pneumococcal vaccine
rationale.
MIPS
CQMs
Specificat
lOllS
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160
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8
18:25 Aug 13, 2019
Process
lOllS
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Effective
Clinical
Care
Frm 00465
HIVI AIDS: Pneumocystis Jiroveci
Pneumonia (PCP) Prophylaxis:
Percentage of patients aged 6 weeks and
older with a diagnosis ofHIV/AIDS who
were prescribed Pneumocystis jiroveci
pneumonia (PCP) prophylaxis
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Health Resources
and Services
Administration
14AUP2
EP14AU19.128
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N!A
eCQM
Spccificat
This measure is
being proposed for
removal begitming
with the 2022 MIPS
Payment Year. See
Table C for
rationale. In
addition, we
propose to remove
this measure from
the specialty set
because it is not
applicable to this
specialty as
Allergy/lllllllunolog
y specialists do not
diagnose, treat or
manage HIV I AIDS
patients.
40946
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.2. Anesthesiology
In addition to the considerations discussed in the introductory language of Table B of the appendix ofthis proposed rule, the Anesthesiology
specialty set takes additional criteria into consideration, which includes, hut is not limited to: whether the measure retlects current clinical
guidelines and lhe coding of the measure includes relevanl clinician lypes. CMS may reassess the appruprialeness of individual measures, on a
case-by-case basis, to ensure appropriate inclusion in the specialty set. Measure tables in this set include previously fmalized measures that we
are maintaining within the set, measures that are proposed to be added, and measures that are proposed for removal, as applicable. We request
commenl on the measures available in lhe proposed Aneslhesiology specially sel.
B.2. Anesthesiology
PRKVIOUSLY FlNALlZJ<:D MEASURES IN Tl:lE ANl'STHESlOLOGY S.K'f
NQll
#i
Indicator
eCQ
M
NQR
#
0236
Quality
#
I
CMS '
eCQM
ID
.
Collel:tion
Type
Katlnnal
M~asure
Typ<'
Quall~
M<'asnre TJtle
MP".tstu•e
Stf"ategy
Domain
and De.-icliptiou
Stewat·d
•
044
""
N/A
MIPS CQ\1s
Specifications
Process
Effective
Clinical Care
Process
Patient
Safety
Medicare Part
B Claims
*
!
lvleasure
Specification':',
(Patient
Safety)
2726
!
N/A
404
N/A
MIPS CQ\1s
Specifications
Intem1edi
ate
Outcome
Effective
Clinical Care
2681
424
N/A
MIPS CQ\1s
Specifications
Outcome
Patient
Safety
N/A
430
N/A
MIPS CQMs
Specifications
Process
Patient
Safety
N/A
MIPS CQ\1s
Specifications
Process
Patient
Safety
(Outcome)
!
(Outcome)
076
NIL\
MIPS CQ\fs
Specifications
!
(Patient
Safety)
""
""
.
Coronary Artery Bypass Graft (CABG):
Preoperative Beta-Blocker in Patients with
Isolated CABG Snrgery:
Percentage of isolated Coronary Artery Bypass
Graft (CABG) surgeries for patients aged 18
vears and older who received a beta-blocker
;.,ithin 24 hours prior to surgical incision"
Prevention of Central Venous Catheter (CVC)
- Related Bloodstream Infections:
Percentage of patients, regardless of age, who
undergo central venous catheter (CVC) insertion
for whom eve was inserted with all dements of
maximal sterile banier technique, hand hygiene,
skin preparation and, if ultrasound is used, sterile
ultrasound techniques followed"
Anesthesiology Smoking Abstinem·e:
T11e percentage of current smokers who abstain
from cigarettes prior to anesthesia on the day of
elective surgerv or procedure.
Pe1ioperative Te1nperature Managen1ent:
Percentage of patients, regardless of age, who
undergo surgical or therapeutic procedures under
general or neuraxial anesthesia of 60 minutes
duration or longer for whom at least one body
temperature greater than or equal to 35.5 degrees
Celsius (or 95.9 degrees Fahrenheit) was
achieved within the 30 minutes immediately
before or the 15 minutes inlllediately after
anesthesia end time.
Prevention of Post-Operative Nausea and
Vomiting (PONV)- Combination Therapy:
Percentage of patients, aged 18 years and older,
who undergo a procedure under an inhalational
general anesthetic, AND who have three or more
risk factors for post-operative nausea and vomiting
(PONV), who receive combination therapy
consisting of at least two prophylactic
pharmacologic antiemetic agents of different
classes preoperatively ami! or intraoperatively.
Prevention of Post-Operative Vomiting (POV)
-Combination Therapy (Pediatrics):
Percentage of patients aged 3 through 17 years,
who undergo a procedure under general
!
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anesthesia in which an inhalational anesthetic is
used for maintenance AND who have two or
more risk factors for post-operative vomiting
(POV), who receive combination therapy
consisting of at least two prophylactic
pharmacologic anti-emetic agents of different
classes preoperatively and/or intraoperatively.
E:\FR\FM\14AUP2.SGM
14AUP2
""
Centers for
Medicare &
Medicaid
Services
American
Society of
i\nesthesiologists
American
Society of
Anesthesiologists
American
Society of
Anesthesiologists
A.lnerican
Society of
Anesthesiologists
American
Society of
Anesthesiologists
EP14AU19.129
"
40947
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.2. Anesthesiology
Iridic.ator
I
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(Opioid)
VerDate Sep<11>2014
I
eCQM
NQF#
N/A
Qmility
#
TED
18:25 Aug 13, 2019
CMS
cCQM
lD
N/A
Jkt 247001
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Measure
Collection
Type
Type
·.
MIPS
CQMs
Speciticatio
ns
PO 00000
Process
Frm 00467
Nati.final
Qmillty
Strateu
Domain
Effective
Clinical
Care
Fmt 4701
Measure Title
AJtd Description
MeasUre
Steward
Multimodal Pain Management:
A111erican
Percentage of patients. aged 18 years
and older. undergoing selected
fociety of
surgical procedures that were
~esthesi
managed with multimodal pain
plogists
medicine.
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
Rationale .for
Inclusion
·,
This measure is being
proposed as a new
measure for the 2020
perfomumce period.
We propose to
include this measure
in the Anesthesiology
specialty set as it is
clinically relevant to
this clinician type.
EP14AU19.130
MEASURES PROPOSED FOR
NQ.F#
40948
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.3a. Cardiology
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed rule, the Cardiology specialty set
takes additional criteria into consideration, which includes, but is not limited to: whether the measure reflects current clinical guidelines and the
coding of the measure includes relevant clinician types. CMS may reassess the appropriateness of individual measures, on a case-by-case basis, to
ensure appropriate inclusion in the specialty set. Measure tables in this set include previously fmalized measures that we are maintaining within the
set, measures that are proposed to be added, and measures that are proposed for removal, as applicable.
B.3a. Cardiology
Indicator
NQF#
I
ecQM
NQF#
Qualit
y#
*
§
0081 I
0081e
005
§
0067
006
*
§
*
§
0070 I
0070e
0083 I
0083e
007
008
!
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(Care
Coordination)
VerDate Sep<11>2014
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047
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PREVIOUSLY FINALIZED MEASURES IN THE CARDIOLOGY SET
National
Measure
Collection
Quality
Measure Title
CMS
Type
eCQMID
Type
Strategy
and Description
..
Domain
Heart Failure (HF): AngiotensinConverting Enzyme (ACE) Inhibitor or
Angiotensin Receptor Rlocker (ARR)
Therapy for Left V entricnlar Systolic
eCQM
Dysfunction (LVSD):
Effective
Specifications,
CMS135
Percentage of patients aged 18 years and older
Process
Clinical
v8
MIPS CQMs
with a diagnosis of heart failure (HF) with a
Care
Specifications
current or prior left ventricular ejection
fraction (LVEF) < 40% who were prescribed
ACE inhibitor or ARB therapy either within a
12·month period when seen in the outpatient
setting OR at each hospital discharge.
Coronary Artery Disease (CAD):
Antiplatelet Therapy:
Effective
MIPS CQMs
Percentage of patients aged 18 years and older
Process
Clinical
NiA
Specifications
with a diagnosis of coronary artery disease
Care
(CAD) seen within a 12 month period who
were prescribed aspirin or clopidogrel.
Coronary Artery Disease (CAD): BetaBlocker Therapy- Prior Myocardial
Infarction (MI) or Left V entricnlar Systolic
eCQM
Dysfunction (LVEF < 40%):
Effective
CMS145
Specifications,
Process
Clinical
Percentage of patients aged 18 years and older
v8
MIPS CQMs
Care
with a diagnosis of coronmy arte1y disease
Specifications
seen within a 12-month period who also have
a prior MT or a current or prior I ,VEF < 40%
who were prescribed beta-blocker therapy.
Heart Failure (HF): Beta-Blocker Therapy
for Left Ventricular Systolic Dysfunction
(LVSD):
eCQM
Percentage of patients aged 18 years and older
Effective
Specifications,
CMS144
with a diagnosis of heart failure (HF) with a
Process
Clinical
v8
MIPS CQMs
current or prior left ventricular ejection
Care
Specifications
fraction (LVEF) < 40% who were prescribed
beta-blocker therapy either within a 12-month
period when seen in the outpatient setting OR
at each hospital discharge.
Advance Care Plan:
Percentage of patients aged 65 years and older
Medicare Part
Communi
who have an advance care plan or surrogate
BClaims
decision maker documented in the medical
cation and
Measure
Process
Care
record or documentation in the medical record
NiA
Specifications,
Coordinati
that an advance care plan was discussed
MIPS CQMs
on
but the patient did not wish or was not able to
Specifications
name a surrogate decision maker or provide an
advance care plan
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Consortium for
Performance
Improvement
Foundation
(PCP!®)
American
Heart
Association
Physician
Consortium for
Performance
Improvement
Foundation
(PCP!®)
Physician
Consortium for
Performance
Improvement
Foundation
(PCP!®)
National
Committee for
Quality
Assurance
EP14AU19.131
·.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
40949
B.3a. Cardiology
Qualit
y#
§
0066
118
*
0421/
042le
128
0419 I
0419e
130
§
!
(Patient
Safety)
*
**
§
0028 I
0028e
226
..· .
PREVIOUSLYFINALlZED MEASURESIN THE CARDIOLOGY SET
.·
National
Mea~ure
.·
Collection
CMS
Quality
.Measure Title
Type
eCQMID
Type
and
Description
strategy
.···
·.
DolJiain
Coronary Artery Disease (CAD):
Angiotensin-Converting Enzyme (ACE)
Inhibitor or Angiotensin Receptor Blocker
(ARB) Therapy -Diabetes or Left
V entriclliar Systolic Dysfunction (LVEF <
Effective
MIPS CQMs
40%):
N/A
Process
Clinical
Specifications
Percentage of patients aged 1S years and older
Care
with a diagnosis of coronary artery disease
seen within a 12 month period who also have
diabetes OR a current or prior Left Ventricular
Ejection Fraction (LVEF) < 40% who were
prescribed ACE inhibitor or ARB therapy.
Preventive Care and Screening: Body Mass
Index (BMI) Screening and Follow-Up
Plan:
Medicare Part
Percentage of patients aged 18 years and older
DClaims
with a B.\i!I documented during the current
Measure
Col1llllunit
encounter or during the previous twelve
CMS69v
Specifications,
y/Populati
Process
months AKD with a BMI outside of normal
eCQM
8
on Health
parameters, a follow-up plan is documented
Specifications,
during the encounter or during the previous
MIPS CQMs
twelve months ofthe current encounter.
Specifications
Kormal Parameter<:
Age 18 years and older B.\i!I ~ 18.5 and< 25
ko/m2
Documentation of Current Medications in
the Medical Record:
Percentage of visits for patients aged 1S years
Medicare Part
and older for which the MIPS eligible clinician
BClaims
attests to documenting a list of current
Measure
medications using all immediate resources
CMS68v
Specifications,
Patient
Process
available on the date of the encounter. This list
9
eCQM
Safety
must include ALL known prescriptions, overSpecifications,
the-counters, herbals, and
MIPS CQMs
vitamin/mineral/dietary (nutritional)
Specifications
supplements AND must contain the
medications' name, dosage, trequency and
route of administration.
Preventive Care and Screening: Tobacco
l:se: Screening and Cessation Intervention:
Percentage of patients aged 18 years and older
who were screened for tobacco use one or
more times within 24 months AND who
Medicare Part
received tobacco cessation intervention if
BClaims
identified as a tobacco user
Measure
Specifications,
Three rates are reported:
eCQM
a. Percentage of patients aged 18 years and
Col1llllunit
CMS138
Specifications,
older who were screened for tobacco use one
y/Populati
Process
v8
CMS Web
or more times within 24 months
on Health
Interface
b. Percentage of patients aged 18 years and
Measure
older who were screened for tobacco use and
identified as a tobacco user who received
tobacco cessation intervention
c. Percentage of patients aged 1S years and
older who were screened for tobacco usc one
or more times within 24 months AND who
received tobacco cessation intervention if
identified as a tobacco user.
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MIPS CQMs
Specitlcations
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.Measure
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Hearl
Association
Centers for
Medicare &
Medicaid
Services
Centers for
Medicare &
Medicaid
Services
Physician
Consortium for
Performance
Improvement
Foundation
(PCPI®)
EP14AU19.132
Indicator
NQF#
I
eCQ:\1
NQF#
40950
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.3a. Cardiology
*
s
I
(Outcome)
*
!
(Patient
Safety)
0018
NIA
y#
I
236
I
238
NIA
0022
Qualit
*
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!
(Care
Coordination)
0643
243
*
NIA
317
!
(Efficiency)
NIA
322
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..· .
PREVIOUSL)'FINALIZED MEASURESIN THE CARDlOLOGY SET
.·
National
Mea~ure
.·
Collection
.Measure
CMS
Quality
.Measure Title
Type
Steward
and
Description
eCQMID
Type
strategy.
.···
·.
DolJiain
Medicare Part
BC!aims
Measure
Specifications,
Controlling High Blood Pressure:
eCQM
Percentage of patients IS - SS years of age
National
InterEffective
CMS165
Specifications,
who had a diagnosis of hypertension and
Committee for
mediate
Clinical
vS
CMS Weh
Quality
whose blood pressure was adequately
Outcome
Care
Interface
controlled(< 140190 mmHg) during the
Assurance
Measure
tneasuretnent period.
Specifications,
MIPS CQMs
Specifications
l:se of High-Risk Medications in the
Elderly:
Percentage of patients 65 years of age and
eCQM
National
older who were ordered high-risk medications.
CMS156
Specifications,
Patient
Committee for
Process
Two rates are submitted.
v8
MIPS CQMs
Safety
Quality
( 1) Percentage of patients who were ordered at
Specifications
Assurance
least one high-risk medication.
(2) Percentage of patients who were ordered at
least two of the same high-risk medications.
Cardiac Rehabilitation Patient Referral
from an Outpatient Setting:
Percentage of patients evaluated in an
outpatient selling who within the previous 12
months have experienced an acute myocardial
Communi
infarction (MI), coronary artery bypass graft
American
cation and
MIPS CQMs
(CABG) surgery, a percutaneous coronary
College of
NIA
Process
Care
Specifications
intervention (PC!), cardiac valve surgery, or
Cardiology
Coordinati
cardiac transplantation, or who have chronic
Foundation
on
stable angina (CSA) and have not already
participated in an early outpatient cardiac
rehabilitation/secondary prevention (CR)
program for the qualifying event/diagnosis
who were referred to a CR program.
Preventive Care and Screening: Screening
Medicare Part
for High Blood Pressure and Follow-Up
BC!aims
Documented:
Measure
Centers for
Commtmit
Percentage of patients aged 18 years and older
CMS22v
Specifications,
Medicare &
y/Populati
Process
seen during the submitting period who were
eCQM
8
Medicaid
on Health
screened for high blood pressure AND a
Specifications,
Services
recommended follow-up plan is documented
MIPS CQMs
based on the current blood pressure (BP)
Specifications
reading as indicated.
Cardiac Stress Imaging Not Meeting
Appropriate Use Criteria: Preoperative
Evaluation in Low-Risk Surgery Patients:
Percentage of stress single-photon emission
computed tomography (SPECT) myocardial
American
Efficiency
MIPS CQMs
perfusion imaging (MPI), stress
Etliciency and Cost
College of
NIA
cchocardiogram (ECHO), cardiac computed
Specifications
Reduction
Cardiology
tomography angiography (CCT A), or cardiac
magnetic resonance (CMR) perfom1ed in lowrisk surgery patients 18 years or older for
preoperative evaluation during the 12-month
submission period.
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(Efficiency)
N/A
323
!
(Efficiency)
NIA
324
*
1525
326
!
(Outcome)
NIA
344
!
(Care
Coordination)
N/A
374
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402
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..·.
PREVIOUSLY FINALIZED MEASURESIN THE CARDIOLOGY SET
.·
National I
Mea~ure
.·
Collection
CMS
Quality
.Measure Title
Type
eCQMID
Type
Strategy.
and Description
.···
·.
DolJiain
Cardiac Stress Imaging Not Meeting
Appropriate Usc Criteria: Routine Testing
After Percutaneous Coronary Intervention
(PCI):
Percentage of all stress single-photon emission
computed tomography (SPECT) myocardial
Efficiency
MIPS CQMs
perfusion imaging (MPI), stress
N/A
Efficiency and Cost
Specifications
echocardiogram (ECHO), cardiac computed
Reduction
tomography angiography (CCTA), and
cardiovascular magnetic resonance ( CMR)
performed in patients aged 18 years and older
routinely after percutaneous coronary
intervention (PCI), with reference to timing of
test after PCI and symptom status.
Cardiac Stress Imaging Not Meeting
Appropriate Use Criteria: Testing in
Asymptomatic, Low-Risk Patients:
Percentage of all stress single-photon emission
computed tomography (SPECT) myocardial
Efficiency
MIPS CQMs
perfusion imaging (MPI), stress
Efficiency and Cost
N/A
echocardiogram (ECHO), cardiac computed
Specifications
Reduction
tomography angiography (CCTA), and
cardiovascular magnetic resonance ( CMR)
performed in asymptomatic, low coronary
heart disease (CHD) risk patients 18 years and
older for initial detection and risk assessment
Atrial Fibrillation and Atrial Flutter:
Medicare Part
Chronic Anticoagulation Therapy:
Percentage of patients aged 18 years and older
BClaims
Effective
Measure
with nonvalvular atrial fibrillation (AF) or
N/A
Process
Clinical
Specifications,
atrial flutter who were prescribed warfarin OR
Care
MIPS CQMs
another FDA-approved oral anticoagulant dmg
Specifications
for the prevention of thromboembolism during
the measurement period
Rate of Carotid Artery Stenting (CAS) for
Asymptomatic Patients, Without Major
Complications (Discharged to Home by
Effective
MIPS CQMs
N/A
Outcome
Clinical
Post-Operative Day #2):
Specifications
Care
Percent of asymptomatic patients undergoing
CAS who are discharged to home no later than
post-operative dav #2.
Closing the Referral Loop: Receipt of
Communi
eCQM
Specialist Report:
cation and
CMS50v
Specifications,
Percentage of patients with referrals,
Process
Care
MIPS CQMs
regardless of age, for which the referring
8
Coordinati
provider receives a report from the provider to
Specifications
on
whom the patient was referred.
Tobacco Use and Help with Quitting
Among Adolescents:
Communit
The percentage of adolescents 12 to 20 years
MIPS CQMs
y/Populati
of age with a primary care visit during the
N/A
Process
Specifications
on Health
measurement year for whom tobacco use
status was documented and received help with
quitting if identified as a tobacco user.
Preventive Care and Screening: Unhealthy
Alcohol Use: Screening & BriefCmmseling:
Communit Percentage of patients aged 18 years and older
MIPS CQMs
y/
who were screened for unhealthy alcohol use
Process
N/A
Specifications
Populatio
using a systematic screening method at least
n Health
once within the last 24 months AND who
received brief counseling if identified as an
unhealthy alcohol user.
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American
College of
Cardiology
American
College of
Cardiology
Society for
Vascular
Surgeons
Centers for
Medicare &
Medicaid
Services
National
Committee for
Quality
Assurance
Physician
Consortium for
Perfonnance
Improvement
Foundation
(PCPI®)
EP14AU19.134
Indicator
NQF#
i
eCQM
NQF#
40952
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.3a. Cardiology
Indicator
NQF#
I
eCQ:\1
NQF#
*
N/A
*
!
N/A
Qualit
y#
438
441
(Outcome)
..· .
PREVIOUSL)'FINALIZED MEASURESIN THE CARDlOLOGY SET
.·
National
Mea~ure
.·
Collection
CMS
Quality
.Measure Title
Type
and
Description
Type
eCQMID
strategy.
.···
·.
DolJiain
Statin Therapy for the Prevention and
Treatment of Cardiovascular Disease:
Percentage of the following patients- all
considered at high risk of cardiovascular
events - who were prescribed or were on statin
therapy during the measurement period:
eCQM
• Adults aged;:> 21 years who were previously
Specifications,
diagnosed with or currently have an active
CMS Web
Effective
diagnosis of clinical atherosclerotic
CMS347
Interface
Process
Clinical
cardiovascular disease (ASCVD); OR
v3
Measure
• Adults aged ;:>21 years who have ever had a
Care
Specifications,
fasting or direct low-density lipoprotein
MIPS CQMs
cholesterol (LDL-C) level;:> 190 mg/dL or
Specifications
were previously diagnosed with or currently
have an active diagnosis of familial or pure
hypercholesterolemia; OR
• Adults aged 40-7 5 years with a diagnosis of
diabetes with a fasting or direct TJ)J .-C level
of70-189 mg/dL
Ischemic Vascular Disease (IVD) All or
l'\one Outcome Measure (Optimal Control):
The IVD AU-or-None Measure is one outcome
measure (optimal control). The measure
contains four goals. All four goals within a
measure must be reached in order to meet that
measure. The numerator for the all-or-none
measure should be collected from the
organization's total IVD denominator. All-orIntermedi
Effective
!\one Outcome Measure (Optimal Control)MIPS CQMs
N/A
ate
Clinical
C sing the IVD denominator optimal results
Specifications
Outcome
Care
include:
• Most recent blood pressure (l:lP)
measurement is less than or equal to 140/90
mmHg-- And
Most recent tobacco status is Tobacco Free
--And
• Daily Aspirin or Other Antiplatelet Unless
Contraindicated-- And
Statin Use Unless Contraindicated
.Measure
Steward
Centers for
Medicare &
Medicaid
Services
Wisconsin
Collaborativ
e for
Healthcare
Quality
(WCHQ)
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PREVIOUSLY FINALIZE.D MEASURES PROPOSED FOR REMOVAL FROM THE CARDIOLOGY SET
Note: In thjl! proposed ntle, CMS proposes the removal of the following mea<>ure(s) belbw from this specific specialty meastrre set based tipon review of updates
made to existing quality mt;asure specificatiot}s,the propQSed addition of new measures for iiJclusiou in MIPS, ai!d the feedback provided by specialty societies:
:··
NQF#
National
I
Quality
Measure·
C:YIS
Collection
Quality
Me:asur10
Measure..Title at}d Description
Rationale for Removal
eCQM
#
eCQMID
Strategy
Type
Type
Ste~ard
Domain
NQF#
Rate of Asymptomatic Patients
Undergoing Carotid Artety
T11is measure is being
Stenting (CAS) Who Are
proposed for removal
Stroke Free or Discharged
Effective
Society for
MIPS CQMs
beginning with the 2022
Alive:
1543
345
N/A
Outcome
Clinical
Vascular
Specifications
Percent of asymptomatic
MIPS Payment Year.
Surgeons
Care
patients undergoing CAS who
See Table C for
are stroke free while in the
rationale.
hospital or discharged alive
following surgery.
Persistence of Beta-Blocker
Treatment After a Heart
Attack:
The percentage of patients 18
years of age and older during the
T11is measure is being
measurement year who were
National
proposed for removal
Effective
hospitalized and discharged
MIPS CQMs
Committee
beginning with the 2022
0071
442
N/A
Process
Clinical
from July 1 of the year prior to
Specifications
for Quality
MIPS Payment Year.
Care
the measurement year to June 30
Assurance
See Table C for
ofthe measurement year with a
rationale.
diagnosis of acute myocardial
infarction (AMI) and who were
prescribed persistent betablocker treatment for six months
after discharge.
40954
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.3b. Electrophysiology Cardiac Specialist
In addition to the considerations discussed in the introductory language of Table B of the appendix ofthis proposed rule. the
Electrophysiology Cardiac Specialist measure set takes additional criteria into consideration, which includes, but is not limited to: whether
the measure reflects current clinical guidelines and the coding of the measure includes relevant clinician types. CMS may reassess the
appropriateness of individual measures, on a case-by-case basis, to ensure appropriate inclusion in the specialty set. Measure tables in this
set include previously fmalized measures that we are maintaining within the set, measures that are proposed to be added, and measures that
are proposed for removal, as applicable. We request comment on the measures available in the proposed Electrophysiology Cardiac
Specialist measure set.
B.3b. Electrophysiology Cardiac Specialist
*
I
*
!
*
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College of
Cardiology
Foundation
American
College of
Cardiology
Foundation
American
College of
Cardiology
Foundation
EP14AU19.137
Indicator
PREVIOUSLY FINALIZED MEASURES IN THE ELECTROPHYSIOLOGY CARDIAC SPECIALIST SET
NQF
·.
#1
National
eCQ
Quality
CMS
Collection
Measure
Quality
Measure Title
eCQMID
Type
and Description
Strategy
M
#
Type
Domain
NQF
.
#
HRS-3: Implantable CardioverterDefibrillator (lCD) Complications Rate:
MIPS CQMs
Patients with physician-specific risk·
N!A
348
N/A
Outcome
Patient Safety
Specifications
standardized rates of procedural
complications following the first time
implantation of an I CD.
HRS-12: Cardiac Tamponade and/or
Pericardiocentesis Following Atrial
Fibrillation Ablation:
Rate of cardiac tamponade and/or
pericardiocentesis following atrial
fibrillation ablation. This measure is
submitted as four rates stratified by age
MIPS CQMs
and gender:
2474
392
N/A
Outcome
Patient Safety
Specifications
• Submission Age Criteria 1: Females 18·
64 years of age
• Submission Age Criteria 2: Males 18-64
years of age
• Submission Age Criteria 3: Females 65
years of age and older
• Submission Age Criteria 4: Males 65
years of age and older
HRS-9: Infection within 180 Days of
Cardiac Implantable Electronic Device
MIPS CQMs
(CIED) Implantation, Replacement, or
N!A
393
N/A
Outcome
Patient Safety
Specifications
Revision:
Infection rate following CIED device
implantation, replacement, or revision.
40955
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.4. Gastroenterology
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed rule. the Gastroenterology
specialty set takes additional criteria into consideration, which includes, but is not limited to: whether the measure reflects current clinical
guidelines and the coding of the measure includes relevant clinician types. CMS may reassess the appropriateness of individual measures, on a
case-by-case basis, to ensure appropriate inclusion in the specialty set. Measure tables in this set include previously finalized measures that we are
maintaining within the set, measures that are proposed to be added, and measures that are proposed fur removal, as applicable. We request
comment on the measures available in the proposed Gastroenterology specialty set.
B.4. Gastroenterology
PREVIOUSLY FINALIZED MEASURES IN THE GASTROENTEROLOGY SET
!
(Care
Coordination)
*
§
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!
(Patient
Safety)
VerDate Sep<11>2014
eCQ
M
NQF
#
0326
0421 I
0421e
0419 I
0419e
Quality
#
CMS
eCQMID
Collection
Type
Measure
Type
.
047
128
130
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CMS69v
8
CMS68v
9
Jkt 247001
Process
Medicare Part
BClaims
Measure
Specifications,
eCQM
Specifications,
MIPS CQMs
Specifications
Process
Medicare Part
BClaims
Measure
Specifications,
eCQM
Specifications,
MIPS CQMs
Specifications
Process
PO 00000
.Vleasure )'itle
and Description
·.
Measure
Steward
.·
Medicare Part
BClaims
Measure
Specifications.
MIPS CQMs
Specifications
N/A
National
Quality
Strategy
Domain
·.
Frm 00475
Communication
and Care
Coordination
Community/
Population
Health
Advance Care Plan:
Percentage of patients aged 65 years and
older who have an advance care plan or
surrogate decision maker documented in
the medical record or documentation in
the medical record that an advance care
plan was discussed but the patient did not
wish or was not able to name a suiTogate
decision maker or provide an advance care
plan.
Preventive Care and Screening: Body
Mass Index (HMI) Screening and
Follow-Up Plan:
Percentage of patients aged 18 years and
older with a BMI documented during the
current encounter or during the previous
twelve months AND with a BMI outside
of nom1al parameters, a follow-up plan is
documented during the encounter or
during the previous twelve months of the
National
Committee
for Quality
Assurance
Centers for
Medicare &
Medicaid
Services
current encounter.
Fmt 4701
Patient Safety
Sfmt 4725
Normal Parameters:
Age 18 years and older BMI ~ 18.5 and<
25 kg/m2
Documentation of Current Medications
in the Medical Record:
Percentage of visits for patients aged 1S
years and older for which the MIPS
eligible clinician attests to documenting a
list of current medications using all
immediate resources available on the date
of the encounter. This list must include
ALL known prescriptions, over-thecounters, herbals, and
vitamin/mineral/dietary (nutritional)
supplements AND must contain the
medications' name. dosage. frequency and
route of administration.
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Medicare &
Medicaid
Services
EP14AU19.138
..
mdicator
NQJ<'
#I
40956
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.4. Gastroenterology
.
*
**
§
§
*
§
!
(Care
Coordination)
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!
(Care
Coordination)
VerDate Sep<11>2014
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0028e
N/A
N/A
PREVIOUSLY FINALIZED MEASURES IN THE GASTROENTERQLOGYSET
Quality
#
226
275
117
CMS
eCQMID
Collection
Type
CMS138
v8
Medicare Part
B Claims
Measure
Specifications,
eCQM
Specifications,
CMS Web
Interface
Measure
Specifications,
MIPS CQMs
Specifications
N/A
MIPS CQMs
Specifications
CMS22v
8
Medicare Part
B Claims
Measure
Specifications,
eCQM
Specifications,
MIPS CQMs
Specifications
0658
320
N/A
Medicare Part
B Claims
Measure
Specifications,
MIPS CQMs
Specifications
N/A
374
CMS50v
8
eCQM
Specifications,
MIPS CQMs
Specifications
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Measure
Type
National
Quality
Strategy
Domain
Preventive Care and Screening:
Tobacco Usc: Screening and Cessation
Intervention:
Percentage of patients aged 18 years and
older who were screened for tobacco use
one or more times within 24 months AND
who received tobacco cessation
intervention if identified as a tobacco user
Process
Community/Po
pulation Health
Process
Effective
Clinical Care
Process
Community
/Population
Health
Process
Conuuunication
and Care
Coordination
Process
Communication
and Care
Coordination
Fmt 4701
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Measure
Steward
Measure Title
and Description
Three rates are reported:
a. Percentage of patients aged 18 years
and older who were screened for tobacco
use one or more times within 24 months
b. Percentage of patients aged 18 years
and older who were screened for tobacco
use and identified as a tobacco user who
received tobacco cessation intervention
c. Percentage of patients aged 18 years and
older who were screened for tobacco use
one or more times within 24 months AND
who received tobacco cessation
intervention if identified as a tobacco user.
Inflannnatory Bowel Disease (IBD):
Assessment of Hepatitis B Virus (HBV)
Status Before Initiating Anti-TNF
(Tumor Necrosis Factor) Therapy:
Percentage of patients with a diagnosis of
inflammatory bowel disease (IBD) who
had Hepatitis B Virus (HBV) status
assessed and results interpreted prior to
initiating anti·TNF (tumor necrosis factor)
therapy.
Preventive Care and Screening:
Screening for High Blood Pressure and
Follow-Up Documented:
Percentage of patients aged 18 years and
older seen during the submitting period
who were screened for high blood
pressure AND a recommended follow-up
plan is documented based on the current
blood pressure (BP) reading as indicated.
Appropriate Follow-Up Interval for
Normal Colonoscopy in Average Risk
Patients:
Percentage of patients aged SO to 75 years
of age receiving a screening colonoscopy
without biopsy or polypectomy who had a
recommended follow-up interval of at
least 10 years for repeat colonoscopy
documented in their colonoscopy report.
Closing the Referral Loop: Receipt of
Specialist Report:
Percentage of patients with referrals,
regardless of age. for which the referring
provider receives a report from the
provider to whom the patient was referred.
E:\FR\FM\14AUP2.SGM
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Physician
Consortium
for
Performanc
c
Improveme
nt
Foundation
(PCPI®)
American
Gastroenter
ological
Association
Centers for
Medicare &
Medicaid
Services
American
Gastroenter
ological
Association
Centers for
Medicare &
Medicaid
Services
EP14AU19.139
Indicator
NQF
#I
eCQ
M
NQF
#
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
40957
B.4. Gastroenterology
.
PREVIOUSLY FINALIZED MEASURES IN THE GASTROENTERQLOGYSET
Quality
#
Process
401
N/A
MIPS CQMs
Specifications
Process
Effective
Clinical Care
402
N/A
MIPS CQMs
Specifications
Process
Community/
Popnlation
Health
§
N/A
2803
425
N/A
Medicare Part
B Claims
Measure
Specifications,
MIPS CQMs
Specifications
Process
btTective
Clinical Care
2152
431
N/A
MIPS CQMs
Specitlcations
Process
Community/
Population
Health
N/A
439
N/A
MIPS CQMs
Specifications
I:fficiency
Effective
Clinical Care
*
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'\rational
Quality
Strategy
Domairi
N/A
390
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Measure
Type
Person and
CaregiverCentered
Experience and
Outcomes
N/A
§
!
(Efficiency)
Collection
Type
MIPS CQMs
Specifications
!
(Patient
Experience)
N/A
CMS
eCQMID
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Measure Title
and Description
Hepatitis C: Discussion and Shared
Decision Making Surrounding
Treatment Options:
Percentage of patients aged 18 years and
older with a diagnosis of hepatitis C with
whom a physician or other qualified
healthcare professional reviewed the range
of treatment options appropriate to their
genotype and demonstrated a shared
decision making approach with the
patient. To meet the measure, there must
be documentation in the patient record of a
discussion between the physician or other
qualified healthcare professional and the
patient that includes all of the following:
treatment choices appropriate to genotype,
risks and benefits, evidence of
effectiveness, and patient preferences
toward treatment.
Hepatitis C: Screening for
Hepatocellular Carcinoma (HCC) in
Patients with Cirrhosis:
Percentage of patients aged 18 years and
older with a diagnosis of chronic hepatitis
C cirrhosis who underwent imaging with
either ultrasound, contrast enhanced CT or
MRI for hepatocellular carcinoma (HCC)
at least once within the 12 month
submission period.
Tobacco Use and Help with Quitting
Among Adolescents:
The percentage of adolescents 12 to 20
years of age with a primary care visit
during the measurement year for whom
tobacco use status was documented and
received help with quitting if identified as
a tobacco user.
Photodocumentation of Cecal
Intubation:
The rate of screening and surveillance
colonoscopies for which
photodocumentation of at least two
landmarks of cecal intubation is performed
to establish a complete examination.
Preventive Care and Screening:
Unhealthy Alcohol Use: Screening &
Brief Counseling:
Percentage of patients aged 18 years and
older who were screened for unhealthy
alcohol use using a systematic screening
method at least once within the last 24
months AND who received brief
counseling if identified as an unhealthy
alcohol user.
Age Appropriate Screening
Colonoscopy:
The percentage of patients greater than 85
years of age who received a screening
colonoscopy from January 1 to December
31.
E:\FR\FM\14AUP2.SGM
14AUP2
Measure
Steward
American
Gastroenter
ological
Association
A.tnerican
Gastroenter
ological
Association
National
Committee
for Quality
Assurance
American
Society for
Gastrointest
ina!
Endoscopy
Physician
Consortium
for
Performance
Improvement
Foundation
(PCPI®)
American
Gastroenter
ological
Association
EP14AU19.140
Indicator
NQF
#I
eCQ
M
NQJ-"
#
40958
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PREVIOUSLY FINALIZED MEASURES PROPOSED FOR REMOVAL FROM THE GASTROENTEROLOGY SET
Note: In this proposed rule, CMS proposes removal oft)lefollowing measure(s) below from this specific specialty measure .set based upon review of updates made
to existin : quality measure specifications, the proposed ad4ition of new measures for ipdusion in MIPS, and the feedback provided by specialty societies.
NQF.#
National
Measure
Quality
Collection
Measure
Quality
f
C'\JIS
Rationale for Removal
Measur:e Title and Description
eCQ)\1
Strategy
Steward
#
eCQMID
Type
Type
.Qomain
NQF#
Colonoscopy Interval for
Patients with a History of
Adenomatous PolypsAvoidance oflnapproprlate
T11is measure is being
Conununi
Use:
American
proposed for removal
cation and
Percentage of patients aged 18
MIPS CQMs
Gastroentero
beginning with the 2022
185
0659
N/A
Process
Care
years and older receiving a
logical
MIPS Payment Year.
Specifications
surveillance colonoscopy, with a
Coordinat
See Table C for
Association
IOU
history of prior adenomatous
rationale.
polyp(s) in previous
colonoscopy findings, which had
an interval of 3 or more years
since their last colonoscopy
Inflammatory Bowel Disease
(IBD): Preventive Care:
Corticosteroid Related
Iatrogenic Injury - Bone Loss
Assessment:
Percentage of patients regardless
of age with an inflammatory
bowel disease encounter who
were prescribed prednisone
This measure is being
equivalents greater than or equal
American
proposed for removal
Effective
to 10 mg/ day for 60 or greater
MIPS CQMs
Gastroentero
beginning with the 2022
N/A
271
N/A
Clinical
consecutive days or a single
Process
logical
MIPS Payment Year.
Specifications
Care
prescription eqnating to 600 mg
Association
See Table C for
prednisone or greater for all fills
rationale.
and were documented for risk of
bone loss once during the
reporting year or the previous
calendar year. Individuals who
received an assessment for bone
loss during the year prior and
current year are considered
adcqnatcly screened to prevent
overuse of X-ray assessment
Screening Colonoscopy
T11is measure is being
Adenoma Detection Rate:
American
proposed for removal
Society for
Effective
The percentage of patients age
MIPS CQMs
he ginning with the 2022
N/A
343
N/A
Gastrointesti
Outcome
Clinical
50 years or older with at least
MIPS Payment Year.
Specifications
Care
one conventional adenoma or
nal
See Table C for
colorectal cancer detected during
Endoscopy
rationale.
screening colonoscopy
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
40959
B.S. Dermatology
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed rule, the Demmtology specialty
set takes additional criteria into consideration, which includes, but is not limited to: whether the measure reflects current clinical guidelines and the
coding of the measure includes relevant clinician types. CMS may reassess the appropriateness of individual measures, on a case-by-case basis, to
ensure appropriate inclusion in the specialty set. Measure tables in this set include previously finalized measures that we are maintaining within the
set, measures that are proposed to be added, and measures that are proposed for removal, as applicable. We request comment on the measures
available in the proposed Dermatology specially set.
B.S. Dermatology
PREVIOUSLY l<'lNI\LlZHD MK4$UR.I£S IN THE DI£R."'l4"1'0LOGY SET
.·
IndiCator
eco
'\'1
QuaJi.ty t··cMS
eCQMID
#
Collection
Type
National
QIJlllity
Strategy
MeasuN
Type
Domain
NQF
#
!
(Patient
Safety)
0419!
0419e
130
CMS68
v9
Medicare Part
B Claims
Measure
Specifications,
eCQM
Specifications,
MIPS CQMs
Specifications
N/A
137
N/A
MIPS CQMs
Specifications
Structure
N/A
138
N/A
MIPS CQMs
Specifications
Process
226
CMS13
8v8
Medicare Part
B Claims
Measure
Specifications,
cCQM
Specifications,
CMS Web
Interface
Measure
Specifications,
MIPS CQMs
Specifications
18:25 Aug 13, 2019
Jkt 247001
I
(Care
Coordination)
!
(Care
Coordination)
*
**
khammond on DSKBBV9HB2PROD with PROPOSALS2
§
VerDate Sep<11>2014
0028!
0028e
PO 00000
Process
Process
Frm 00479
Measure Title
imd Description
Documentation of Current Medications in the
Medical Record:
Percentage of visits for patients aged 18 years and
older for which the MIPS eligible clinician attests
to documenting a list of current medications using
Patient
all immediate resources available on the date of the
Safety
encounter. This list must include ALL known
prescriptions, over-the-counters, herbals, and
vitaminlmineral!dietary (nutritional) supplements
AND must contain the medications· name, dosage,
frequency and route of administration.
Melanoma: Continuity of Care- Recall System:
Percentage of patients, regardless of age, with a
current diagnosis of melanoma or a history of
melanoma whose information was entered, at least
once within a 12 month period. into a recall system
Commtmicatio
that includes:
nand Care
• A target date for the ne"i complete physical skin
Coordination
exam, AND
• A process to follow up with patients who either
did not make an appointment within the specified
timeframe or who missed a scheduled
appointment
Melanoma: Coordination of Care:
Percentage of patient visits, regardless of age, with
Col1llllunicati
a new occurrence of melanoma that have a
on and Care
treatment plan documented in the chart that was
Coordination
communicated to the physician(s) providing
continuing care within one month of diagnosis.
Preventive Care and Screening: Tobacco Use:
Screening and Cessation Intervention:
Percentage of patients aged 18 years and older who
were screened for tobacco use one or tnore times
within 24 months AND who received tobacco
cessation intervention if identified as a tobacco
user
Community/
Population
Health
Fmt 4701
Sfmt 4725
Three rates are reported:
a. Percentage of patients aged 18 years and older
who were screened for tobacco use one or more
times within 24 months
b. Percentage of patients aged 18 years and older
who were screened for tobacco use and identified
as a tobacco user who received tobacco cessation
intervention
c. Percentage of patients aged 1g years and older
who were screened for tobacco use one or n1ore
times within 24 months AND who received
tobacco cessation intervention if identified as a
tobacco user.
E:\FR\FM\14AUP2.SGM
14AUP2
Measul'!'
Stew
am
Centers for
Medicare &
Medicaid
Services
American
Academy of
Dermatology
American
Academy of
Dermatology
Physician
Consortium
for
Perfom1ance
I'oundation
(PCPT1\l)
EP14AU19.142
NQF
#I
40960
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.S. Dermatology
PREVIOUSLY FINALIZED MEASURES IN THE DER\,lATOL.OGY SET
.
NQF
.#I
Indicator
ecQ
'I
NQF
#
Quality
#
eMS
cCQMIP
N/A
Measure
Type
265
N!A
MIPS CQMs
Specifications
Medicare Part
B Claims
Measure
Specifications,
eCQM
Specifications,
MIPS CQMs
Specifications
Process
Process
Communi cat
ion and Care
Coordination
Community
/Population
Health
*
N/A
317
CMS22
v8
*
N/A
337
N!A
MIPS CQMs
Specifications
Process
Effective
Clinical Care
!
N/A
374
CMS50
v8
eCQM
Specifications,
MIPS CQMs
Specifications
Process
Comtntmicat
ion and Care
Coordination
2803
402
N!A
MIPS CQMs
Specifications
Process
Community/
Population
Health
(Care
Coordination)
!
(Outcome)
NIA
410
N!A
MIPS CQMs
Specifications
Outcome
Person and
Caregiver
Centered
Experience
and
Outcomes
NIA
440
N!A
MIPS CQMs
Specifications
Process
Con1n1unicat
ion and Care
Coordination
*
!
(Care
Coordination)
khammond on DSKBBV9HB2PROD with PROPOSALS2
COllection
Type
.. ·
!
(Care
Coordination)
·...
:.
NatioJlal
Quality
Strategy
Domain
VerDate Sep<11>2014
18:25 Aug 13, 2019
Jkt 247001
PO 00000
Frm 00480
Fmt 4701
Sfmt 4725
Measure Title
and Description
Measure
Steward
.•·
Biopsy Follow-Up:
Percentage of new patients whose biopsy results
have been reviewed and communicated to the
primary care/referrinu; physician and patient
Preventive Care and Screening: Screening for
High Blood Pressure and Follow-Up
DocUI1lented:
Percentage of patients aged 18 years and older seen
during the submitting period who were screened
for high blood pressure AND a recommended
follow-up plan is documented based on the current
blood pressure (RP) reading as indicated.
Psoriasis: Tuberculosis (TB) Prevention for
Patients with Psoriasis, Psoriatic Arthritis and
RheU111atoid Arthritis on a Biological Innnune
Response Modifier:
Percentage of patients. regardless of age. with
psoriasis, psoriatic arthritis and rheumatoid
arthritis on a biological immune response modifier
whose providers are ensuring active tuberculosi-.::
prevention either through yearly negative standard
tuberculosis screening tests or are reviewing the
patient's history to determine if they have had
appropriate management for a recent or prior
positive test.
Closing the Referral Loop: Receipt of Specialist
Report:
Percentage of patients with referrals, regardless of
age, for which the referring provider receives a
report from the provider to whom the patient was
referred.
Tobacco Use and Help with Quitting Among
Adolescents:
The percentage of adolescents 12 to 20 years of
age with a primary care visit during the
measurement year tor whom tobacco use status
was documented and received help with quitting if
identified as a tobacco user.
Psoriasis: Clinical Response to Systemic
Medications:
Percentage of psoriasis vulgaris patients receiving
systemic medication who meet minimal physicianor patient- reported disease activity levels. It is
implied that establishment and maintenance of an
established minimum level of disease control as
measured by physician-and/or patient-reported
outcomes will increase patient satisfaction with
and adherence to treatment
Basal Cell Carcinoma (BCC)/Squamous Cell
Carcinoma (SCC): Biopsy Reporting TimePathologist to Clinician:
Percentage of biopsies with a diagnosis of
cutaneous Rasa] Cell Carcinoma (RCC) and
Squamous Cell Carcinoma (SCC) (including in situ
disease) in which the pathologist communicates
results to the clinician within 7 days from the time
when the tissue specimen was received by the
pathologist
E:\FR\FM\14AUP2.SGM
14AUP2
American
Academy of
Dermatology
Centers for
Medicare &
Medicaid
Services
American
Academy of
Dermatology
Centers for
Medicare &
Medicaid
Services
National
Committee
for Quality
Assurance
American
Academy of
Dermatology
A..tnerican
Academy of
Dermatology
EP14AU19.143
·.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
40961
B.6. Family Medicine
In addition to the considerations discussed in the introductory language of Table B of the appendix ofthis proposed rule, the Family Medicine
specialty set takes additional criteria into consideration, which includes, hut is not limited to: whether the measure retlects current clinical guidelines
ami the coding of the measure includes relevant clinician types. CMS may reassess the appropriateness of individual measures, on a case-by-case
basis, to ensure appropriate inclusion in the specialty set. Measure tables in this set include previously finalized measures that we are maintaining
within the set, measures that arc proposed to be added, and measures that arc proposed for removal, as applicable. W c request comment on the
measures available in the proposed Family Medicine specialty set.
B.6. Family Medicine
PREVIQUSLY FINALI.ZED MEASURES.IN THE FAMILY MEDICINE SET
NQF
Indicator
I #I
eCQ
M ·.
Quality
#
C~iJS
eeQMID
Colleciion
type
Measure
Type
NQF
#
*
s
I
(Outcome)
001
CMS122
v8
*
§
0081!
008le
005
CMS135
v8
§
0067
006
KIA
MIPS C()Ms
Specitlcations
§
*
§
VerDate Sep<11>2014
0070!
0070e
0083!
0083e
Domain
·.
Mea$ure Title
and Description
007
008
18:25 Aug 13, 2019
CMS145
v8
eCQ.\1
Specifications,
MIPS CQMs
Specifications
CMS144
v8
eCQ.\1
Specifications,
MIPS CQMs
Specifications
Jkt 247001
PO 00000
Intermedi
ate
Outcome
Process
Process
Process
Process
Frm 00481
Fmt 4701
Effective
Clinical
Care
Effective
Clinical
Care
Effective
Clinical
Care
Effective
Clinical
Care
Effective
Clinical
Care
Sfmt 4725
Measure
Steward
..
·.
Medicare Part
BClaims
Measure
Specifications.
eC().\1
Specifications
C.\1S Web
Interface
Measure
Specifications,
MIPS CQMs
Specifications
eCQ.\1
Specifications,
MIPS CQMs
Specifications
*
khammond on DSKBBV9HB2PROD with PROPOSALS2
0059!
N/A
National
Quality
Strate;!y
Diabetes: Hemoglobin Ale (HbAlc) Poor
Control (>9%):
Percentage of patient' 18-75 years of age with
diabetes who had hemoglobin A 1c > 9.0% during
the measurement period.
Heart Failure (HF): Angiotensin-Converting
Enzyme (ACE) Inhibitor or Angiotensin
Receptor Blocker (ARB) Therapy for Left
Ventricular Systolic Dysfunction (L VSD):
Percentage of patients aged 18 years and older
with a diagnosis of heart failure (HF) with a
current or prior left ventricular ejection fraction
(L VEl') < 40% who were prescribed ACE
inhibitor or ARB therapy either within a 12month period when seen in the outpatient setting
OR at each hospital discharge.
Coronary Artery Disease (CAD): Antiplatelet
Therapy:
Percentage of patients aged IS years and older
with a diagnosis of coronary artery disease
(CAD) seen within a 12 month period who were
prescribed aspirin or clopidogrel.
Coronary Artery Disease (CAD): Beta-Blocker
Therapy- Prior :\1yocardial Infarction (MI)
or Left Ventricular Systolic Dysfunction
(LVEF<40%):
Percentage of patients aged 18 years and older
with a diagnosis of coronary artery disease seen
within a 12-month period who also have a prior
MI or a current or prior L VEF < 40% who were
prescribed beta-blocker therapy.
Heart Failure (HF): Beta-Blocker Therapy for
Left Ventricular Systolic Dysfunction (LVSD):
Percentage of patient' aged 18 years and older
with a diagnosis of heart failure (HF) with a
current or prior left ventricular ejection fraction
(L VEF) < 40% who were prescribed beta-blocker
therapy either within a 12-month period when
seen in the outpatient setting OR at each hospital
discharge.
E:\FR\FM\14AUP2.SGM
14AUP2
National
Committee for
Qualitv
Assurance
Physician
Consortium for
Performance
In1provement
Foundation
(PCPIIE)
American Heart
Association
Physician
Consortium for
Perfonnance
ln1provement
Foundation
(PCPIIE)
Physician
Consortium for
Performance
In1provement
Foundation
(PCPIIE)
EP14AU19.144
.·
40962
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.6. Family Medicine
PREVIOUSLY FINALIZED MEASURES IN THEFAMILY MEDICINE SET
Indicator
#I
cCQ
M .·
NQF
Q:Oality
#
C:\18
!
(Care
Coordination)
N/A
N/A
0046
!
(Care
Coordination)
khammond on DSKBBV9HB2PROD with PROPOSALS2
VerDate Sep<11>2014
Type
Mea~un
.Type
009
024
039
CMS128
v8
eCQ\1
Specifications
KIA
Medicare Part
BClaims
Measure
Specifications,
MIPS CQMs
Specifications
l\/A
Medicare Part
BClaims
Measure
Specifications,
MIPS CQMs
Specifications
Process
Process
Process
Effective
Clinical
Care
Nil\
Medicare Part B
Claims Measure
Specifications,
MIPS CQMs
Specifications
Process
050
N/A
Medicare Part B
Claims Measure
Specifications,
MIPS CQMs
Specifications
Process
18:25 Aug 13, 2019
Jkt 247001
047
048
PO 00000
Effective
Clinical
Care
/Communic
ation and
Care
Coordinatio
n
Process
N/A
Str.Itt'gy
Domain
Measuro, Title
and D<'.seription
Measure
I
Steward
.··
N/A
0326
National
Q1lality
·.·
Medicare Part B
Claims Measure
Specifications,
MIPS CQMs
Specitlcations
Nil\
!
(Patient
Experience)
Collection
eCQMIDI•
tl
*
.
••
NQF
Frm 00482
Fmt 4701
Anti-Depressant Medication Management:
Percentage of patients 18 years of age and older
who were treated with antidepressant medication,
had a diagnosis of major depression, and who
remained on an antidepressant medication
treatment. Two rates are reported.
a. Percentage of patients who remained on an
antidepressant medication for at least 84 days ( 12
weeks).
b. Percentage of patients who remained on an
antidepressant medication for at least 180 days (6
months).
Communication with the Physician or Other
Clinician Managing On-going Care PostFracture for Men and \Vomen Aged 50 Years
ami Older:
Percentage of patients aged SO years and older
treated for a fracture with documentation of
communication, between the physician treating
the fracture and the physician or other clinician
managing the patient's on-going care, that a
fracture occurred and that the patient was or
should be considered for osteoporosis treatment
or testing. ·1his measure is submitted by the
physician who treats the fracture and who
therefore is held accountable for the
communication.
S
·..
·.
40963
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.6. Family Medicine
PREVIOUSLY FINALIZED MEASURES IN THEFAMILY MEDICINE SET
Indicator
#I
cCQ
M .·
NQF
Q:Oality
#
C:\18
eCQMIDI•
I
*
066
eCQ.\1
CMS146v Specifications,
8
MIPS CQMs
Specifications
Process
Efficiency
and Cost
Reduction
0654
0104e
093
107
*
0034 I
N/A
113
N/A
CMS161
v8
CMS125
v8
CMS130
vR
§
khammond on DSKBBV9HB2PROD with PROPOSALS2
VerDate Sep<11>2014
0058
Measuro, Title
and D<'.seription
Measure
I
Steward
.··
N!A
§
(Appropriate
Use)
Domain
Efficiency
and Cost
Reduction
112
!
Str.Itt'gy
Process
2372!
N/A
§
.Type
eCQ.\1
CMS154v Specifications,
8
MIPS CQMs
Specifications
I
*
Mea~un
065
(Appropriate
Use)
(Appropriate
Use)
Type
0069!
N!A
§
*
Collection
National
Q1lality
·.·
tl
§
!
(Appropriate
Use)
.
••
NQF
116
18:25 Aug 13, 2019
l\/A
Jkt 247001
Medicare Part B
Claims Measure
Specifications,
MIPS CQMs
Specifications
eCQ.\1
Specifications
Medicare Part
BClaims
Measure
Spcci±ications.
eC().\1
Specitlcations,
C\1S Web
Interface
Measure
Specifications,
MIPS CQMs
Specifications
Medicare Part
BClaims
Measure
Specifications,
eCQ.\1
Specifications,
C\1~ Web
Interface
Measure
Specifications,
MIPS CQMs
Specifications
MIPS CQMs
Specifications
PO 00000
Process
Process
Process
Efficiency
and Cost
Reduction
Effective
Clinical
Care
EITective
Clinical
Appropriate Treatment for Children with
Upper Respiratory Infection (URI):
Percentage of children 3 months - 18 years of age
who were diagnosed with upper respiratory
infection (URI) and were not dispensed an
antibiotic prescription on or three days after the
episode.
Appropriate Testing for Children with
Pharyngitis:
Percentage of children 3-18 years of age who were
diagnosed with pharyngitis, ordered an antibiotic
and received a group A streptococcus (strep) test
for the episode.
Acute Otitis Externa (AOE): Systemic
Antimicrobial Therapy- Avoidance of
Inappropriate Use:
Percentage of patients aged 2 years and older with
a diagnosis of AOE who were not prescribed
systemic antimicrobial therapy.
Adtdt Major Depressive Disunler (MDD):
Suidde Risk Assessment:
Percentage of patients aged 18 years and older
with a diagnosis of major depressive disorder
(MDD) with a suicide risk assessment completed
during the visit in which a new diagnosis or
recurrent episode was identified.
Breast Cancer Screening:
Percentage of women S I - 74 years of age who
National
Committee for
Quality
Assurance
Alncrican
Academy of
OtolaryngologyHead and Neck
Surgery
Physician
Consortium for
Performance
In1provement
Foundation
(PCP!~)
National
Committee for
Qualitv
Assurance
Care
had a mammogram to
Process
E±Tective
Clinical
Care
Colorectal Cancer Screening:
Percentage of patients 50-75 years of age who
had appropriate screening for colorectal cancer.
National
Committee for
Quality
Assurance
Process
Efficiency
and Cost
Reduction
Avoidance of Antibiotic Treatment in Adults
with Acute Dronchitis:
The percentage of adults 18--{)4 years of age with
a diagnosis of acute bronchitis who were not
prescribed or dispensed an antibiotic prescription.
National
Committee for
Quality
Assurance
Frm 00483
Fmt 4701
Sfmt 4725
E:\FR\FM\14AUP2.SGM
~creen
for hreast cancer.
National
Committee for
Quality
Assurance
14AUP2
EP14AU19.146
·..
·.
40964
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.6. Family Medicine
PREVIOUSLY FINALIZED MEASURES IN THEFAMILY MEDICINE SET
Indicator
#I
cCQ
M .·
NQF
Q:Oality
#
C:\18
eCQMIDI•
Mea~un
.Type
*
0055!
§
N/A
117
CMS131
v8
*
0062!
119
CMS134
v8
eCQ\1
Specifications,
MIPS CQMs
Specifications
Process
Effective
Clinical
Care
0417
126
K/A
MIPS CQMs
Specifications
Process
Effective
Clinical
Care
CMS69v
8
Medicare Pm1
RCiaims
Measure
Specifications,
eCQ\1
Specifications,
MIPS CQMs
Specifications
Process
Community
/Population
Health
Process
Patient
Safety
Proc~ss
CmnmLmity/
Population
Health
Process
Patient
Safety
§
N/A
0421!
042le
0419!
(Patient Safety) 0419e
I
*
0418!
0418e
128
130
134
Medicare Part B
Claims Measure
Specifications,
CMS68v9 eCQ\1
Specifications,
MIPS CQMs
Specifications
C\1~2v9
I
(Patient
Safety)
VerDate Sep<11>2014
0101
Measuro, Title
and D<'.seription
Measure
I
Steward
.··
Medicare Part B
Claims Measure
Specifications,
eCQ\1
Specifications,
MIPS CQMs
Specifications
*
khammond on DSKBBV9HB2PROD with PROPOSALS2
Collection
Type
National
Q1lality
Str.Itt'gy
Domain
·.·
tl
§
.
••
NQF
!54
N/A
18:25 Aug 13, 2019
Jkt 247001
Medicare Part B
Claims Measure
Specifications,
eCQ\1
Specifications,
C\1~ Web
Interface
Measure
Specifications,
MIPS CQMs
Specifications
Medicare Part D
Claims Measure
Specifications,
MIPS CQMs
Specitlcations
PO 00000
Process
Effective
Clinical
Care
Frm 00484
Fmt 4701
Sfmt 4725
Diabetes: Eye Exam:
Percentage of patients 18 - 75 years of age with
diabetes who had a retinal or dilated eye exam by
an eye care professional during the measurement
period or a negative retinal or dilated eye exam
(no evidence of retinopathy) in the 12 months
prior to the measurement period.
Diabetes: Medical Attention for 1\"ephropathy:
The percentage ofpatients 18-75 years of age
with diabetes who had a nephropathy screening
test or evidence of nephropathy during the
measurement period.
Diabetes Mellitus: Diabetic Foot and Ankle
Care, Peripheral Neuropathy- Neurological
Evaluation:
Percentage of patients aged 18 years and older
with a diagnosis of diabetes mellitus who had a
neurological examination of their lower
extremities within 12 months.
Preventive Care and Screening: Body Mass
Index (BMI) Screening and Follow-Up Plan:
Percentage of patients aged 18 years and older
with a RMI documented during the cunent
encounter or during the previous twelve months
AND with a DMI outside of nom1al parameters. a
follow-up plan is documented during the
encounter or during the previous twelve months
ofthc current encounter.
Normal Parameters:
Age 1g years and older BMI ~ 1g.5 and< 25
kglm 2
Documentation of Current Medications in the
Medical Record:
Percentage of visits for patients aged 18 years and
older for which the MIPS eligible clinician attests
to documenting a list of current medications using
all immediate resources available on the date of the
encounter. This list must include ALL known
prescriptions, over-the-counters, herbals, and
vitamin/mineral/dietary (nutritional) supplements
AND must contain the medications· name, dosage,
frequency and route of administration.
Preventive Care and Screening: Screening for
Depression and Follow-Up Plan:
Percentage of patients aged 12 years and older
screen~d for depression on the date of the
encounter using an age appropriate standardized
depr~sslon scr~enlng tool AND lfposltlve, a
follow-up plan is documented on the date of the
positive screen.
Falls: Risk Assessment:
Percentage of patients aged 65 years and older
with a history of falls that had a risk assessment
for falls completed within 12 months.
E:\FR\FM\14AUP2.SGM
14AUP2
National
Committee for
Quality
Assurance
National
Committee for
Quality
Assurance
Alnerican
Podiatric Medical
Association
Centers for
Medicare &
Medicaid
Services
Cent~rs for
Medicare &
Medicaid
Services
Centers for
Medicare &
Medicaid
Services
National
Committee for
Quality
Assurance
EP14AU19.147
·..
·.
40965
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.6. Family Medicine
PREVIOUSLY FINALIZED MEASURES IN THEFAMILY MEDICINE SET
Indicator
#I
cCQ
M .·
NQF
#
Q:Oality
#
C:\18
eCQMIDI•
Collection
Type
N/A
Medicare Part B
Claims Measure
Specifications,
MIPS CQMs
Specifications
0101
NIA
Medicare Part B
Claims Measure
Specifications,
MIPS CQMs
Specifications
155
*
I
(Patient
Safety)
NA
Mea~un
.Type
National
Q1lality
Str.Itt'gy
Domain
181
Process
Process
Patient
Safety
Medicare Part B
§
*
0028!
0028e
§
0018
I
NIA
I
226
236
(Outcome)
khammond on DSKBBV9HB2PROD with PROPOSALS2
*
I
0022!
(Patient
Safety)
NIA
VerDate Sep<11>2014
Measure
I
Steward
.··
Falls: Plan of Care:
Cotnmunicati Percentage of patients aged 65 years and older
on and Care with a history of falls that had a plan of care for
Coordination falls documented within 12 months.
Claims Measure
Specifications,
*
**
Measuro, Title
and D<'.seription
·.·
I
(Care
Coordination)
.
••
NQF
238
18:25 Aug 13, 2019
eCQ\1
Specifications,
CMS138v
C\1S Web
8
Interface
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Spcci±ications.
MIPS CQMs
Specifications
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v8
CMS156
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Measure
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Specifications,
C\1S Web
Interface
Measure
Specifications,
MIPS CQMs
Specifications
eCQ\1
Specifications_
MIPS CQMs
Specifications
PO 00000
Elder Maltreatment Screen and Follow-Up
Plan:
Percentage of patients aged 65 years and older
with a documented elder maltreatment screen
using an Elder \1altreatment Screening Tool on
the date of encounter AND a documented followup plan on the date of the positive screen.
Preventive Care and Screening: Tobacco l:se:
Screening and Cessation Intervention:
Percentage of patients aged 18 years and older
who were screened for tobacco use one or n1ore
times within 24 months AND who received
tobacco cessation intervention if identified as a
National
Committee for
Quality
Assurance
Centers for
Medicare &
Medicaid
Services
tobacco user
Process
Intermedi
ate
Outcome
Process
Frm 00485
Fmt 4701
Con1n1unity/
Population
Health
Three rates are reported:
a. Percentage of patients aged 18 years and older
who were screened for tobacco use one or n1ore
times within 24 months
b. Percentage of patients aged 18 years and older
who were screened for tobacco usc and identified
as a tobacco user who received tobacco cessation
intervention
c. Percentage of patients aged 18 years and older
who were screened for tobacco use one or n1ore
times within 24 months AND who received
tobacco cessation intervention if identified as a
tobacco user.
Physician
Consortium for
Performance
In1provement
Foundation
(PCPJQ\;)
Effective
Clinical
Care
Controlling High Dlood Pressure:
Percentage of patients 18 - 85 years of age who
had a diagnosis of hypertension and whose blood
pressure was adequately controlled(< 140/90
mmHg) during the measurement period.
National
Committee for
Quality
Assurance
Patient
Safety
Use ufHigh-Risk Medkatiuns in the Elderly:
Percentage of patients 65 years of age and older
who were ordered high-risk medications. Two
rates are submitted.
(I) Percentage of patients who were ordered at
least one high-risk medication.
(2) Percentage of patients who were ordered at
least two ofthc same high-risk medications.
National
Committee for
Quality
Assurance
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
EP14AU19.148
·..
·.
40966
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.6. Family Medicine
PREVIOUSLY FINALIZED MEASURES IN THEFAMILY MEDICINE SET
Indicator.
#I
eCQ
M
NQF
#
Q:Oality
#
C:\18
eCQMID
(Care
Coordination)
*
!
(Opioid)
§
*
!
khammond on DSKBBV9HB2PROD with PROPOSALS2
(Patient
Safety)
VerDate Sep<11>2014
Collection
Type
Proce-.::-.::
cCQ.\1
Specifications
Process
Effective
Clinical
Care
CMS124
v8
eCQ.\1
Specifications
Process
Effective
Clinical
Care
CMS22v
8
Medicare Part
BClaims
Measure
Specitlcations,
eCQ.\1
Specifications,
MIPS CQMs
Specifications
Process
Cotnmunity
/Population
Health
CMS139
v8
eCQ\1
Specifications,
C\1S Web
Interface
Measure
Specifications
Process
Patient
Safety
KIA
MIPS CQMs
Specifications
NIA
305
CMS137
v8
NIA
309
NIA
0101!
N/A
Type
Cotnmunic
ation and
Care
Coordinatio
n
243
0643
Mea~un
National
Q1lality
Stmtegy
Dmllain
.·
*
I
.
••
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317
318
18:25 Aug 13, 2019
Jkt 247001
PO 00000
Frm 00486
Fmt 4701
Sfmt 4725
Measure
Measuro, Title
a11d Desc1iptiou
.
·.. ··
Cardiac Rehabilitation Patient Referral from
an Outpatient Setting:
Percentage of patients evaluated in an outpatient
setting who within the previous 12 months have
experienced an acute myocardial infarction (MI),
coronary artery bypass graft (CABG) surgery, a
percutaneous coronary intervention (PCI). cardiac
valve surgery, or cardiac transplantation, or who
have chronic stable angina (CSA) and have not
already participated in an early outpatient cardiac
rehabilitation/secondary prevention (CR)
program for the qualifying event/diagnosis who
were referred to a CR program.
Initiation and Engagement of Alcohol and
Other Drug Dependence Treatment:
Percentage of patients 13 years of age and older
with a new episode of alcohol or other dmg abuse
or (AOD) dependence who received the
following. Two rates are reported.
Percentage of patients who initiated
treatment within 14 days of the diagnosis.
Percentage of patients who initiated
treatment and who had two or more
additional services with an AOD diagnosis
within 30 days of the initiation visit.
Cervical Cancer Screening:
Percentage of women 21-64 years of age who
were screened for cenrical cancer using either of
the following criteria:
• Women age 21-64 who had cervical cytology
performed every 3 years
• Women age 30-64 who had cervical
cytology/human papillomavims (HPV) co-testing
performed every 5 years.
Preventive Care and Screening: Screening for
High Blood Pressure and Follow-l:p
Documented:
Percentage of patients aged 18 years and older
seen during the submitting period who were
'creened for high blood pressure AND a
recommended follow-up plan ls documented
based on the current blood pressure (BP) reading
as indicated.
.
.
Falls: Screening for Future Fall Risk:
Percentage of patients 65 years of age and older
who were screened for future fall risk during the
measurement period.
E:\FR\FM\14AUP2.SGM
14AUP2
Stewat·d
...
.··
American
College of
Cardiology
Foundation
National
Committee for
Quality
Assurance
National
Committee for
Quality
Assurance
Centers for
Medicare &
Medicaid
Services
National
Committee for
Quality
Assurance
EP14AU19.149
·..
·.
40967
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.6. Family Medicine
·..
·.
PREVIOUSLY FINALIZED MEASURES IN THEFAMILY MEDICINE SET
lnd.icator.
§
I
(Patient
Experience)
*
§
#I
eCQ
M
NQF
#
0005
&
0006
1525
Qtiafity
#
C\18
eCQMID
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(Appropriate
Lse)
NIA
Mea~ure
Type
321
Dmlmin
326
C\1S-approved
Survey Vendor
Patient
Engageme
ntiExperie
nee
KIA
Medicare Part
DClaims
Measure
Specifications.
MIPS CQMs
Specifications
Process
Effective
Clinical
Care
KIA
MIPS CQMs
Specifications
Process
Efficiency
and Cost
Reduction
KIA
MIPS CQMs
Specifications
Process
Efficiency
and Cost
Reduction
1\IA
331
332
Measu& Title
attd Desctiptiou
Q~tality
Stmtegy
Person and
CaregiverCentered
Experience
and
Outcomes
*
I
Collection
Type
National
.·
I
(Appropriate
Cse)
.
••
NQF
.
·.. ··
CAHPS for MIPS Clinician/Group Survey:
The Consumer Assessment of Healthcare
Providers and Systems (CARPS) for MIPS
Clinician/Group Survey is comprised of 10
Summary Survey Measures (SSMs) and measures
patient experience of care within a group
practice. The NQF endo"ement status and
endorsement id (if applicable) for each SSM
utilized in this measure are as follows:
• Getting Timely Care. Appointments, and
Infonnation; ('-Jot endorsed by NQF)
• Ilow well Providers Communicate; (Not
endorsed by NQF)
• Patient's Rating of Provider: ('l()F endorsed#
0005)
• A.ccess to Specialists; (Kot endorsed by NQF)
• Health Promotion and Education; ('lot endorsed
byKQF)
• Shared Decision-Making: ('lot endorsed by
NQF)
• Health Status and Functional Status; (Kot
endorsed by NQF)
• Courteous and Helpful Office Staff; (NQF
endorsed 11 0005)
• Care Coordination; (Not endorsed hy KQF)
• Stewardship of Patient Resources. (Not
endorsed by NQF)
Atrial Fibrillation and Atrial Flutter: Chronit·
Anticoagulation Therapy:
Percentage of patients aged 18 years and older
with nonvalvular atrial fibrillation (AF) or atrial
Hutter who were prescribed warfarin OR another
FDA-approved oral anticoagulant drug for the
prevention of thromboembolism during the
measurement period.
Adult Sinusitis: Antibiotic Prescribed for
Acute Viral Sinusitis (Overuse):
Percentage of patients, aged 18 years and older,
with a diagnosis of acute viral sinusitis who were
prescribed an antibiotic within 10 days after onset
of symptoms.
Adult Sinusitis: Appropriate Choice of
Antibiotic: Amoxicillin With or Without
Clavulanate Prescribed for Patients with
Acute Bacterial Sinusitis (Appropriate Use):
Percentage of patients aged 18 years and older
with a diagnosis of acute bacterial sinusitis that
were prescribed amoxicillin, with or without
clavulanate, a~ a first llne antlblotic at the time of
Measure
Stewat·d
...
.··
Agency for
Ilealthcare
Research &
Quality (AHRQ)
Centers for
Medicare &
Medicaid
Services
Alnerican
College of
Cardiology
A1nerican
Academy of
OtolaryngologyHead and Neck
Surgery
Alnerican
Academy of
OtolaryngologyHead and Neck
Surgery
diagno~is.
khammond on DSKBBV9HB2PROD with PROPOSALS2
(Appropriate
Cse)
VerDate Sep<11>2014
NIA
333
18:25 Aug 13, 2019
KIA
Jkt 247001
MIPS CQMs
Specifications
PO 00000
Efficiency
Frm 00487
Fmt 4701
Efficiency
and Cost
Reduction
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
American
Academy of
OtolaryngologyHead and Neck
Surgery
EP14AU19.150
I
Adult Sinusitis: Computerized Tomography
(CT) for Antfe Sinusitis (Overuse):
Percentage of patients aged 1S years and older,
with a diagnosis of acute sinusitis who had a
computerized tomography (CT) scan of the
paranasal sinuses ordered at the time of diagnosis
or received within 28 days after date of diagnosis.
40968
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.6. Family Medicine
·..
·.
PREVIOUSLY FINALIZED MEASURES IN THEFAMILY MEDICINE SET
Indicator
#I
cCQ
M .·
NQF
Q:Oality
#
C:\18
eCQMIDI•
Collection
Type
N/A
Mea~un
.Type
National
Q1lality
Measuro, Title
and D<'.seription
Str.Itt'gy
Domain
Measure
I
Steward
·.·
tl
*
.
••
NQF
337
J\/A
.··
MIPS CQMs
Specifications
Process
Effective
Clinical
Care
Psoriasis: Tuberculosis (fH) Prevention for
Patients with Psoriasis, Psoriatic Arthritis and
Rheumatoid Arthritis on a Biological Innuune
Response Modifier:
Percentage of patients, regardless of age, with
psoriasis, psoriatic arthritis and rheumatoid
arthritis on a biological immune response
modifier whose providers are ensuring active
tuberculosis prevention either through yearly
Alnerican
Academy of
Dem1atology
negative standard tuberculosis -;creening test-; or
are reviewing the patient's history to detennine if
they have had appropriate management for a
I
(Outcome)
*
I
(Outcome)
*
§
I
2082
0209
0710!
0710e
338
342
370
J\/A
J\/A
MIPS CQMs
Specifications
CMS159
v8
eCQ.\1
Specifications,
C.\1S Web
Interface
Measure
Specifications,
MIPS CQMs
Specifications
CMS50v
8
eCQ.\1
Specifications,
MIPS CQMs
Specifications
(Outcome)
!
(Care
Coordination)
N/A
374
*
I
(Patient
Experience)
I
khammond on DSKBBV9HB2PROD with PROPOSALS2
(Outcome)
VerDate Sep<11>2014
N/A
377
MIPS CQMs
Specifications
CMS90v
9
eCQ.\1
Specifications
Outcome
Effective
Clinical
Care
Outcome
Person and
CaregiverCentered
Experience
and
Outcomes
Outcome
EITective
Clinical
Care
Process
Process
Conununica
tion and
Care
Coordinatio
n
Person and
CaregiverCentered
Experience
and
Outcomes
1879
383
18:25 Aug 13, 2019
J\/A
Jkt 247001
MIPS CQMs
Specifications
PO 00000
Intem1edi
ate
Outcome
Frm 00488
Fmt 4701
Patient
Safety
Sfmt 4725
Closiug the Referral Loop: Receipt of
Specialist Report:
Percentage of patients with referrals, regardless
of age, for which the referring provider receives a
report from the provider to whom the patient was
referred.
Functional Status Assessments for Congestive
Heart Failure:
Percentage of patients 18 years of age and older
with congestive heart failure who completed
initial and follow-Ltp patient-reported fLmctional
~tatus
Health Resources
and Services
Administration
National Hospice
and Palliative
Care
Organization
Minnesota
Community
Measurement
Centers for
Medicare &
Medicaid
Services
Centers for
Medicare &
Medicaid
Services
assessments.
Adherence to Antipsychotic Medications for
Individuals with Schizophrenia:
Percentage of individuab at least 1g year' of age
as of the beginning of the measurement period
with schizophrenia or schizoaffective disorder
who had at least two prescriptions filled for any
antipsychotic medication and who had a
Proportion of Days Covered (PDC) of at least 0.8
for antipsychotic medications during the
measurement period (12 consecutive months).
E:\FR\FM\14AUP2.SGM
14AUP2
Centers for
Medicare &
Medicaid
Services
EP14AU19.151
§
recent or prior positive test
HIV Viral Load Suppression:
The percentage of patients, regardless of age,
with a diagnosis of HIV with a HIV viral load
less than 200 copies/mL at last IIIV viral load test
durin<> the measurement year.
Pain Brought Tinder Control Within 4!'!
Hours:
Patients aged 18 and older who report being
uncomfortable because of pain at the initial
assessment (after admission to palliative care
services) who report pain was brought to a
comfortable level within 48 hours.
Depression Remission at Twelve Months:
The percentage of adolescent patients 12 to 17
years of age and adult patients l S years of age or
older with major depression or dysthymia who
reached remission 12 months(+/- 60 days) after
an index event date.
40969
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.6. Family Medicine
·..
·.
PREVIOUSLY FINALIZED MEASURES IN THEFAMILY MEDICINE SET
Indicator
#I
cCQ
M .·
NQF
Q:Oality
#
C:\18
I
(Outcome)
Collection
eCQMIDI•
Type
Mea~un
.Type
National
Q1lality
Domain
NIA
387
KIA
MIPS CQMs
Specifications
Process
Effective
Clinical
Care
1407
394
KIA
MIPS CQMs
Specifications
Process
I Population
NIA
398
KIA
MIPS CQMs
Specifications
Outcome
EtTective
Clinical
Care
Community
Health
§
NIA
400
KIA
MIPS CQMs
Specifications
Process
§
NIA
401
K/A
MIPS CQMs
Specifications
Proc~ss
EITective
Clinical
Care
2803
402
KIA
MIPS CQMs
Specifications
Process
I Population
NIA
408
KIA
MIPS CQMs
Speclficatlons
Process
EtTective
Clinical
Care
KIA
MIPS CQMs
Specifications
Process
Effective
Clinical
Care
(Opioid)
Measure
I
Steward
.··
Effective
Clinical
Care
I
Measuro, Title
and D<'.seription
Str.Itt'gy
·.·
tl
*
§
.
••
NQF
Community
Health
Annual Hepatitis C Virus (HCV) Screening
for Patients who are Active lu,jection Dru~
Users:
Percentage of patients, regardless of age, who are
active injection dmg users who received
screening for HCV infection within the 12-month
reporting period.
Immunizations for Adolescents:
The percentage of adolescents 13 years of age
who had the recolll1llended immunizations by
their 13th birthday.
Optimal Asthma Control:
Composite measure of the percentage of pediatric
and adult patients whose asthma is wellcontrolled as demonstrated by one of three age
appropriate patient repmied outcome tools and
not at ri~k for exacerbation.
One-Time S.-reening for Hepatitis C Virus
(HCV) for Patients at Risk:
Percentage of patients aged 18 years and older
with one or more of the following: a history of
injection dmg use. receipt of a blood transfusion
prior to 1992, receiving maintenance
hemodialysis, OR birthdate in the years 19451965 who received one-time screening for
hepatitis C vims (HCY) infection.
Hepatitis C: Screening for Hepatocellular
Carcinoma (HCC) in Patients with Cirrhosis:
Percentage of patients aged IS years and older
with a diagnosis of chronic hepatitis C cirrhosis
who underwent imaging with either ultrasound,
contrast enhanced CT or MRI for hepatocellular
carcinoma (HCC) at least once within the 12
month submission period.
Tobacco Use and Help with Quitting Among
Adolescents:
The percentage of adolescents 12 to 20 years of
age with a primary care visit during the
measurement year for whom tobacco use status
was documented <-md received help with quiHing
if identified as a tobacco user.
Opioid Therapy Follow-up Evaluation:
All patients 18 and older prescribed opiates for
longer than six weeb duration who had a followup evaluation conducted at least every three
months during Opioid T11erapy documented in
the medical record.
Donnnentation of Signed Opioid Treatment
Physician
Consortium for
Perfonnance
ln1provement
Foundation
(PCPIIE)
National
Committee for
Quality
Assurance
Minnesota
Community
Measuren1ent
Physician
Consortium for
Performance
In1provement
Foundation
(PCP IIE)
Aln~rican
Ga-;troenterologlc
a! Association
National
Committee for
Quality
Assurance
Alnerican
Academy of
Neurology
Agree1nent:
khammond on DSKBBV9HB2PROD with PROPOSALS2
(Opioid)
VerDate Sep<11>2014
N/A
412
18:25 Aug 13, 2019
Jkt 247001
PO 00000
Frm 00489
Fmt 4701
Sfmt 4725
All patients 18 and older prescribed opiates for
longer than six weeks duration who signed an
opioid treatment agreement at least once during
Opioid Therapy documented in the medical
record.
E:\FR\FM\14AUP2.SGM
14AUP2
A111erican
Academy of
Neurology
EP14AU19.152
I
40970
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.6. Family Medicine
·..
·.
PREVIOUSLY FINALIZED MEASURES IN THEFAMILY MEDICINE SET
Indicator
#I
cCQ
M .·
NQF
Q:Oality
#
C:\18
eCQMIDI•
(Opioid)
N/A
Collection
Type
Mea~un
.Type
National
Q1lality
Str.Itt'gy
Domain
Measuro, Title
and D<'.seriptiou
Measure
I
Steward
·.·
tl
I
.
••
NQF
414
KIA
.··
MIPS CQMs
Specifications
Process
Effective
Clinical
Care
Evaluation or Interview for Risk ofOpioid
Misuse:
All patients 18 and older prescribed opiates for
longer than six weeks duration evaluated for risk
of opioid misuse using a brief validated
instrument (e.g. Opioid Risk Tool, Screener and
Opioid Assessment for Patients with Pain,
revised (SOAPP-R)) or patient interview
documented at least once during Opioid Therapy
A..l11erican
Academy of
Neurology
in lhe medical record.
0053
2152
khammond on DSKBBV9HB2PROD with PROPOSALS2
*
VerDate Sep<11>2014
NIA
41S
431
438
18:25 Aug 13, 2019
KIA
Process
Effective
Clinical
Care
Community
KIA
MIPS CQMs
Specifications
Process
I Population
CMS347
v3
eCQ.\1
Specifications,
C.\1S Web
Interface
Measure
Specifications,
MIPS CQMs
Specifications
Proce-;-;
Effective
Clinical
Jkt 247001
PO 00000
Frm 00490
Health
Care
Fmt 4701
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
National
Committee for
Quality
Assurance
Physician
Consortium for
Performance
In1provement
Foundation
(PCP II)<;)
Centers for
Medicare &
Medicaid
Services
EP14AU19.153
*
Medicare Part
B Claims
Measure
Specifications,
MIPS CQMs
Specifications
Osteoporosis Management in Women \Vho
Had a Fracture:
The percentage of "omen age 50-85 who
~uffered a fracture in the six months prior to the
petfonnance period through June :10 of the
performance period and who either had a bone
mineral density test or received a prescription for
a drug to treat osteoporosis in the six months after
the fracture.
Preventive Care and Screening: Unhealthy
Alcohol Use: Screening & BriefCom1seiing:
Percentage of patients aged 18 years and older
who were screened for unhealthy alcohol use
using a systematic screening method at least once
within the last 24 months AN IJ who received
brief counseling if identified as an unhealthy
alcohol user.
Statin Therapy for the Prevention and
Treatment of Cardiovascular Disease:
Percentage of the following patients -all
considered at high risk of cardiovascular events who were prescribed or were on statin therapy
during the measurement period:
• Adults aged 2 21 years who were previously
diagnosed with or currently have an active
diagnosis of clinical atherosclerotic
cardiovascular disease (ASCVD); OR
• Adults aged 221 years who have ever had a
fa~tlng or direct low-density lipoprotein
cholesterol (LDL-C) level2 190 mg/dL or were
previously diagnosed with or currently have an
active diagnosis of familial or pure
hypercholesterolemia; OR
• Adults aged 40-7 5 years with a diagnosis of
diabetes with a fasting or direct LDL-C level of
70-[g\) mgjdL
40971
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.6. Family Medicine
PREVIOUSLY FINALIZED MEASURES IN THEFAMILY MEDICINE SET
Indicator
#I
cCQ
M .·
NQF
Q:Oality
#
C:\18
I
(Outcome)
(Appropriate
Cse)
§
I
(Efficiency)
I
(Opioid)
(Appropriate
Cse)
khammond on DSKBBV9HB2PROD with PROPOSALS2
*
VerDate Sep<11>2014
.Type
Measuro, Title
and D<'.seriptiou
Str.Itt'gy
Domain
Measure
I
Steward
.··
441
K/A
MIPS CQMs
Specifications
Intermedi
ate
Outcome
Effective
Clinical
Care
N/A
443
KIA
MIPS CQMs
Speclficatlons
Process
Patient
Safety
N/A
444
KIA
MIPS CQMs
Specifications
Process
Efficiency
and Cost
Reduction
0657
464
I\/ A
MIPS CQMs
Specifications
Process
Effective
Clinical
Care
N/A
468
KIA
MIPS CQMs
Speclficatlons
Process
Effective
Clinical
Care
N/A
472
CMS249
v2
eCQ.\1
Specifications
Process
N/A
475
CMS349
v2
eCQ.\1
Specifications
Process
*
I
Mea~un
N/A
I
(Appropriate
Use)
Type
National
Q1lality
·.·
§
I
Collection
eCQMIDI•
tl
*
.
••
NQF
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Efficiency
and Cost
Reduction
Community
/Population
Health
Sfmt 4725
Ischemic Vascular Disease (IVD) All or "'one
Outcome Measure (Optimal Control):
The IVD All-or-None Measure is one outcome
measure (optimal control). The measure contains
four goals. All four goals within a measure must
be reached in order to meet that measure. The
numerator for the all-or-none measure should be
collected from the organization's total IVD
denominator. All-or-None Outcome Measure
(Optimal Control)- Using the IVD denominator
optimal reSLtlts include:
Most recent blood pressure (BP) measurement
is less than or equal to 140/90 mm Hg -- AND
Most recent tobacco status is Tobacco Free -AND
Daily Aspirin or Other Antiplatelet Unless
Contraindicated -- AND
Statin Use Unless Contraindicated
Non-Recommended Cervical Cancer
Screening in Adolescent }'emales:
The percentage of adolescent females 16 20
years of age who were screened unnecessarily for
cervical cancer.
Medication Management for People with
Asthma:
The percentage of patients 5-64 years of age
during the performance period who were
identified as having persistent asthma and were
dispensed appropriate medications that they
remained on for at least 75% of their treatment
period.
Otitis Media with Effusion: Systemic
Antimicrobials -Avoidance oflnappropriate
Use:
Percentage of patients aged 2 months through 12
years with a diagnosis ofOME who were not
prescribed systemic antimicrobials.
Continuity of Pharmacotherapy for Opioid
Use Disorder (OUD):
Percentage of adults aged 1S years and older with
pharmacotherapy for opioid use disorder (OUD)
who have at least 180 days of continuous
treatment.
Appmptiate lise ofDXA Scans in \Vomen
TJndeJ" 65 YeaJ"s Who Do Not Meet the Risk
Factor Profile for Osteoporotic Fracture:
Percentage of female patients 50 to 64 years of
age without select risk factors for osteoporotic
fracture who received an order for a dual-energy
x-ray absorptiomctry (DXA) scan during the
measurement period.
HIY Screening:
Percentage of patients I 5-65 years of age who
have been tested for HI V within that age range.
.
.
.
.
E:\FR\FM\14AUP2.SGM
14AUP2
Wisconsin
Collaborative for
Healthcare
Quality (WCHQ)
National
Committee for
Quality
Assurance
National
Committee for
Quality
Assurance
Alnerican
Academy of
OtolaryngologyHead and Neck
Surgery
Foundation
University of
Southern
California
Centers for
Medicare &
Medicaid
Services
Centers for
Disease Control
and Prevention
EP14AU19.154
·..
·.
40972
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.6. Family Medicine
MEASURES J'ROPOSED FOR
·.
NQF#
Indicator
I
eCQM
NQF#
Quality
.#
CMS
eCQM
lD
.Meas11re
Collection
Type
Type
Measure
!
2624
182
N!A
National
Quality
Measure.Title
An2014
TBD
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N/A
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Frm 00492
Communit
y/
Populatio
n Health
Fmt 4701
Adult Immunization Status:
Percentage of members 19 years of
age and older who are up-to-date on
recommended routine vaccines for
influenza; tetanus and diphtheria
(Td) or tetanus, diphtheria and
acellular pertussis (Tdap ); zoster;
and pneumococcal.
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
renters
or
joisease
'ontrol
f!nd
Prevention
EP14AU19.155
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N/A
CMS Web
Interface
Measure
Specificatio
ns, MIPS
CQMs
Specificatio
ns
frequent assessment
and a plan of care.
'Ibis measure is being
proposed as a new
measure for the 2020
perfom1ance period.
We propose to
include this measure
in the Family
Medicine specialty
set as it is clinically
relevant to this
clinician type.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
40973
B.6. Family Medicine
PREVJ()USLY FINALIZED MEASURES PROPOSED FOR
FRO~ITHE FAMILY..\IEDICINE SET
Note: In this this propose~ rule. CMS proposes the removal of the followingnieasure(s) below from this specificspecialtynwasure set based upon review of updates made
to existing cualitv measure specifications, the proposed addition of new measures for inclusion in MIPS and the feedback pn~vided by specialty societies.
·.
NQF
#I
National
CMS
Collecti(m
Measure
Measui'e
eCQ
Quality
Quality
Rationale for Removal
· Meastu;e Title andDescdption
Stewal"d
M
#
eCQMID
strategy
Type
TYJ>e
NQF
Domain
REMOVAL
#
0653
N!A
0041 I
004le
091
109
110
N!A
Medicare Part
RClaims
Measure
Specifications,
MIPS CQMs
Specifications
N!A
Medicare Part
!:!Claims
Measure
Specifications,
MIPS CQMs
Specifications
CMS147v
9
Medicare Part
BClaims
Measure
Specifications,
eCQM
Specifications,
CMS Web
Inte1face
Specifications,
MIPS CQMs
Specifications
Medicare Part
BCiaims
Process
Effective
Clinical
Care
Process
Person and
Caregiver
Centered
Experience
and
Outcomes
Process
111
CMS127v
8
Specifications,
eCQM
American
Academy of
Otolaryngology
-Head and
Neck Surgery
American
Academy of
Orthopedic
Surgeons
Physician
Consortium for
Performance
Improvement
Foundation
(PCPI®)
1l1is measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year. See
Table C for rationale.
1l1is measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year. See
Table C for rationale.
1l1is measure is being
proposed for removal
beginning with the 2022
MIPS Payment Ycar. Sec
Table C for rationale.
in1munization.
Pneumococcal Vaccination
rvfeasure
NIA
Corrununity
/Population
Health
Acute Otitis Externa (AOE):
Topical Therapy: Percentage of
patients aged 2 years and older
with a diagnosis of AOE who
were prescribed topical
preparations.
Osteoarthdtis (OA): Function
and Pain Assessment:
Percentage of patient visits for
patients aged 21 years and older
with a diagnosis of osteoarthritis
(OA) with assessment for
function and pain.
Preventive Care and
Screening: Influenza
Immunization:
Percentage of patients aged 6
months and older seen for a visit
between October 1 and March
31 who received an influenza
immunization OR who reported
previous receipt of an influenza
Process
Specificati(ms,
Community
/Population
Health
Status for Older Ad nits:
Percentage of patients 65 years
of age and older who have ever
received a pneumococcal
National
Committee for
Quality
vaccme.
Assurance
1l1is measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year. See
Table C for rationale.
MIPS CQMs
Specifications
371
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eCQM
Specifications
Jkt 247001
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Clinical
Care
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Sfmt 4725
Minnesota
Community
Mea~;_;;uren1ent
E:\FR\FM\14AUP2.SGM
14AUP2
"l11is measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year. See
Table C for rationale.
EP14AU19.156
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0712e
Depression Utilization of the
PHQ-9 Tool:
"!he percentage of adolescent
patients 12 to 17 years of age
and adult patients age 18 and
older with the diagnosis of major
depression or dysthymia who
have a completed PIIQ-9 during
each applicable 4 month period
in which there was a qualifying
depression encounter.
40974
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
R6. Family Medicine
REMOVAL
PREVIOUSLY FINALIZED MEASURES PROPOSED FOR
FROM THE FAMILY ..\IEDICINJl. SET
Note: Iuthi$ this prop<:lsedrnle, CMS proposes the rem<:lval ofthe fo116~¥ingnieasure(s) hel<:lw from thi~ specificspecialtynwasure set h<1sed upqn review of)rpdates made
to existing cuality measure specifications, the proposed addition ofnew measures for inclusion in MIPS, and the feedback provided by specialty societies,
...
.'!QF
Qualtty
#
0071
442
khammond on DSKBBV9HB2PROD with PROPOSALS2
N!A
474
VerDate Sep<11>2014
CMS
eCQMID
NiA
N!A
18:25 Aug 13, 2019
Collection
TYI>e
MIPS CQMs
Specifications
MIPS CQMs
Specifications
Jkt 247001
Measure
Type
Process
Process
PO 00000
National
(}uality
Strategy
Mcasui'c
Steward
· Mcasllre Titlt) and Description
Donmm
Etiective
Clinical
Care
Community
/Population
Health
Frm 00494
Fmt 4701
Persistence of Beta-Blocker
Treatment After a Heart
Attack:
The percentage of patients 18
years of age and older during the
measurement year who were
hospitalized and discharged
from July I of the year prior to
the measurement year to June 30
of the measurement year with a
diagnosis of acute myocardial
infarction (AMI) and who were
prescribed persistent betablocker treatment for six months
after discharge.
Zoster (Shingles) Vaccination:
l11e percentage of patients aged
50 years and older who have had
the Shingrix zoster (shingles)
vaccination.
Sfmt 4725
Rationale for Removal
l11is measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year. See
Table C for rationale.
National
Committee for
Quality
Assurance
Centers for
Medicare &
Medicaid
Setv·ices
E:\FR\FM\14AUP2.SGM
14AUP2
l11is measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year. See
Table C for rationale.
EP14AU19.157
#I
cCQ
M
.'!QF
#
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
40975
B.7. Internal Medicine
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed mle, the Internal Medicine
specialty set takes additional criteria into consideration, which includes, but is not limited to: whether the measure ret1ects current clinical guidelines
and the coding of the measure includes relevant clinician types. CMS may reassess the appropriateness of individual measures, on a case-by-case
basis, to ensure appropriate inclusion in the specialty set. Measure tables in this set include previously finalized measures that we are maintaining
within the set, measures that are proposed to be added, and measures that are proposed for removal, as applicable. We request comment on the
measures available in the proposed Intemal Medicine specialty set.
B. 7. Internal Medicine
Indieator
I
eCQM
NQF#
PREVIOt:SLYFINALIZED 'fflASCRES IN THE INTERNAL MEDICINE SET
...
I
1\ational
Quality if;
*
§
!
(Outcome)
001
*
§
0081 I
0081e
005
§
0067
006
*
0070 I
0070e
007
§
*
§
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0059 I
NIA
VerDate Sep<11>2014
0083
I
0083e
008
18:25 Aug 13, 2019
CMS
Collection Typ•
eCQMID
l\feasure
Type
Medicare Part B
Claims .\1easure
Specifications,
eCQM
Specifications,
lntem1ediate
C.\1Sl22v
CMS Web
8
Outcome
Interface
Measure
Specifications,
MIPS CQMs
Specifications
Quality
Strategy
Domain
Effective
Clinical Care
eCQM
C.\1Sl35v Specifications,
8
MIPS CQMs
Specifications
Process
Effective
Clinical Care
MIPS CQMs
Specifications
Process
Effective
Clinical Care
eCQM
C.\1S145v Specifications,
MIPS CQMs
8
Specifications
Process
Effective
Clinical Care
eCQM
Specifications,
MIPS CQMs
Specifications
Process
Effective
Clinical Care
NIA
CMS14
4v8
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Frm 00495
Fmt 4701
Sfmt 4725
Measure Title
and Description
Diabetes: Hemoglobin Ale (HbAlc) Poor
Control (>9% ):
Percentage of patients 18-75 years of age with
diabetes who had hemoglobin Ale> 9.0%
during the measurement period.
Measure
Steward
National
Committee for
Quality
Assurance
Heart Failure (HF): AngiotensinConverting Enzyme (ACE) Inhibitor or
Angiotensin Receptor Blocker (ARB)
Physician
Therapy for Left V entricnlar Systolic
Dysfunction (LVSD):
Consortium for
Percentage of patients aged 18 years and older Performance
with a diagnosis of heart failure (HF) with a
Improvement
current or prior left ventricular ejection fraction Foundation
(LVEF) < 40% who were prescribed ACE
(PCPI®)
inhibitor or ARB therapy either within a 12month period when seen in the outpatient
setting OR at each hospital discharge.
Coronary Artery Disease (CAD):
Antiplatelet Therapy:
American
Percentage of patients aged 18 years and older
Heart
with a diagnosis of coronary artery disease
Association
(CAD) seen within a 12 month period who
were prescribed aspirin or clopidogreL
Coronary Artery Disease (CAD): BetaBlocker Therapy- Prior Myocardial
Physician
Infan·tiou (MI) or Left Ventricular Systolic
Consortium for
Dysfunction (LVEF < 40%):
Performance
Percentage of patients aged 18 years and older
Improvement
with a diagnosis of coronary artery disease
Foundation
seen within a 12-month period who also have
(PCP!®)
a prior MI or a current or prior LVEF < 40%
who were prescribed beta-blocker therapv.
Heart Failure (HF): Beta-Blocker Therapy
for Left V cntricular Systolic Dysfunction
Physician
(LVSD):
Consortium
Percentage of patients aged 18 years and older
for
with a diagnosis of heart failure (III') with a
Perfonnance
current or prior left ventricular ejection
ltnprovetnent
fraction (LVEF) < 40% who were prescribed
Foundation
beta-blocker therapy either within a 12-month
(PCPI®)
period when seen in the outpatient setting OR
at each hospital discharge.
E:\FR\FM\14AUP2.SGM
14AUP2
EP14AU19.158
NQF#
40976
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B. 7. Internal Medicine
.
Indicator
I
eCQM
NQF#
PREVIOt:SLYFINALIZED ~ASCRES IN THE INTERNAL MEDICINE SET
1'\ational
CMS
Measure
Quality
Measure Title
Quality#
Collecl:lon Typ<
Type
Strategy
and Descliptlon
eCQMID
Domain
Anti-Depressant Medication Management:
Percentage of patients 18 years of age and
older who were treated with antidepressant
medication, had a diagnosis of major
depression, and who remained on an
*
N!A
009
CMS12
8v8
I
(Care
Coordinati
on)
N!A
0046
024
039
N/A
N/A
Process
Medicare Part
B Claims
Measure
Specifications,
MIPS CQMs
Specifications
Process
Medicare Part
B Claims
Measure
Specifications,
MIPS CQMs
Specifications
Process
Medicare Part
B Claims
I
(Care
Coordinati
on)
eCQM
Specifications
0326
047
NIA
Measure
Specifications,
MIPS CQMs
Specifications
Process
04S
N/A
I
(Patient
Experience
N!A
oso
N/A
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)
VerDate Sep<11>2014
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Jkt 247001
Measure
Specifications,
MIPS CQMs
Specifications
Medicare Part
BClaims
Measure
Specifications,
MIPS CQMs
Specifications
PO 00000
Communicatio
nand Care
Coordination
Effective
Clinical Care
Communicatio
nand Care
Coordination
antidepressant medication treatment. Two
rates are reported.
a. Percentage of patients who remained on an
antidepressant medication for at least 84 days
(12 weeks).
b. Percentage of patients who remained on an
antidepressant medication for at least 180
days ( 6 months).
Communication with the Physician or
Other Clinician :vlanaging On-going Care
Post-Fracture for Men and Women Aged
50 Years and Older:
Percentage of patients aged 50 years and older
treated for a fracture with documentation of
communication, between the physician
treating the fracture and the physician or other
clinician managing the patient's on-going
care, that a fracture occurred and that the
patient was or should be considered for
osteoporosis treatment or testing. This
measure is submitted by the physician who
treats the fracture and who therefore is held
accountable for the communication.
Screening for Osteoporosis for Women
Aged 65-85 Years of Age:
Percentage of female patients aged 65-85
years of age who ever had a central dualenergy X-ray absorptiometry (DXA) to check
for osteoporosis.
Advance Care Plan:
Percentage of patients aged 65 years and older
who have an advance care plan or surrogate
decision maker documented in the medical
record or documentation in the medical record
that an advance care plan was discussed but
the patient did not wish or was not able to
National
Committee
for Quality
Assurance
National
Committee tor
Quality
Assurance
National
Committee for
Quality
Assurance
National
Committee for
Quality
Assurru1ce
narne a sunogate decision rnaker or provide
Medicare Part
R Claims
N!A
Effective
Clinical Care
MeasU,re
Ste\Vard
Process
Process
Frm 00496
Fmt 4701
EtTective
Clinical Care
Person and
Caregiver
Centered
Experience
and Outcomes
Sfmt 4725
an advance care plan.
Urinary Incontinence: Assessment of
Presence or Absence ofl.Tlinary
Incontinence in Women Aged 65 Years and
Older:
Percentage of female patients aged 65 years
and older who were assessed for the presence
or absence of urinary incontinence within 12
months.
Ulinary Incontinence: Plan of Care for
Urinary Incontinence in 'Vomen Aged 65
Years and Older:
Percentage of female patients aged 65 years
and older with a diagnosis of urinary
incontinence with a documented plan of care
for urinary incontinence at least once within
12 months.
E:\FR\FM\14AUP2.SGM
14AUP2
National
Committee tor
Quality
Assurance
National
Committee for
Quality
Assurance
EP14AU19.159
NQF#
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
40977
B. 7. Internal Medicine
.
I
(Appropria
te Use)
0654
§
I
(Appropria
te Use)
0058
*
0055
/'\!/A
*
0062
IN/A
§
§
0417
0421
*
§
0421e
I
0419
(Patient
Safety)
khammond on DSKBBV9HB2PROD with PROPOSALS2
I
VerDate Sep<11>2014
I
0419e
PREVIOt:SLYFINALIZED ~ASCRES IN THE INTERNAL MEDICINE SET
1'\ational
CMS
Measure
Quality
Measure Title
Quality#
Collecl:lon Typ<
Type
Strategy
and Descliptlon
eCQMID
Domail!.
Medicare Part
Acute Otitis Externa (AOE): Systemic
B Claims
Antimicrobial Therapy- Avoidance of
Efficiency and
Measure
Inappropliate Use:
091
N/A
Process
Cost
Specifications,
Percentage of patients aged 2 years and older
Reduction
MIPS CQMs
with a diagnosis of AOE who were not
Specifications
prescribed systemic antimicrobial therapy.
A voidance of Antibiotic Treatment in
Adults with Acute Bronchitis:
Efficiency and
MIPS CQMs
The percentage of adults 18-64 years of age
Process
Cost
116
N/A
Specifications
with a diagnosis of acute bronchitis who were
Reduction
not prescribed or dispensed an antibiotic
prescription
Medicare Part
Diabetes: Eye Exam:
Percentage of patients 18- 75 years of age
B Claims
Measure
with diabetes who had a retinal or dilated eye
CMS11
Specifications,
Effective
exam hy an eye care professional during the
Process
117
1v8
eCQM
Clinical Care
measurement period or a negative retinal or
Specifications,
dilated eye exam (no evidence of retinopathy)
MIPS CQMs
in the 12 months prior to the measurement
Specifications
period.
Diabetes: Medical Attention for
eCQM
Nephropathy:
CMS13
Specifications,
Effective
The percentage of patients 18-75 years of age
119
Process
4v8
MIPS CQMs
Clinical Care
with diabetes who had a nephropathy
Specifications
screening test or evidence of nephropathy
during the measurement period.
Diabetes Mellitus: Diabetic Foot and Ankle
Care, Peripheral NeuropathyNeurological F:valuation:
MIPS CQMs
Effective
Percentage of patients aged 1g years and older
126
N/A
Process
Specifications
Clinical Care
with a diagnosis of diabetes mellitus who had
a neurological examination oftheir lower
extremities within 12 months.
Preventive Care and Screening: Body Mass
Index (BMI) Screening and Follow-Up
Plan:
Medicare Part
Percentage of patients aged 18 years and older
B Claims
with a DMI documented during the current
Measure
Community/
encounter or during the previous twelve
CMS69
Specifications,
128
Process
Population
months AND with a BMI outside of nonnal
v8
eCQM
parameters, a follow-up plan is documented
Heailh
Specifications,
during the encounter or during the previous
MIPS CQMs
twelve months of the current encounter.
Specifications
N orrnal Parameters:
Age 18 years and older BMI 2 18.5 and< 25
kg/m2
Documentation of Current Medications iu
the Medical Record:
Percentage of visits for patients aged 18 years
Medicare Part
and older for which the MIPS eligible
B Claims
clinician attests to docnmenting a list of
Measure
current medications using all immediate
CMS68
Specifications,
130
Process
Patient Safety
resonrces available on the date of the
eCQM
v9
encounter. TI1is list must include ALL known
Specifications,
prescriptions, over-the-counters, herbals, and
MIPS CQMs
vitamin/mineral/ dietary (nutritional)
Specifications
supplements AND must contain the
medications name. dosage, frequency and
route of administration.
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E:\FR\FM\14AUP2.SGM
14AUP2
MeasU,re
Ste\Vard
American
Academy of
Otolaryngology
-Head and
Neck Surgery
National
Committee for
Quality
Assurance
National
Committee for
Quality
Assurance
National
Committee for
Quality
Assurance
American
Podiatric
Medical
Association
Centers for
Medicare &
Medicaid
Services
Centers for
Medicare &
Medicaid
Services
EP14AU19.160
Indicator
NQF#
I
eCQM
NQF#
40978
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B. 7. Internal Medicine
NQF#
Indicator
I
eCQM
NQF#
0418
*
I
0418e
I
(Patient
Safety)
0101
I
(Care
Coordinati
on)
0101
*
I
(Patient
Safety)
N!A
.
PREVIOt:SLYFINALIZED MEASCRES IN THE INTERNAL MEDICINE SET
1'\ational
CMS
Measure
Quality
Measure Title
Collecl:lon Typ<
Quality#
eCQMID
Type
Strategy
and Description
Domain
Medicare Part
B Claims
Measure
Preventive Care and Screening: Screening
Specifications,
for Depression and Follow-Up Plan:
eCQM
Percentage of patients aged 12 years and older
Community/
CMS2v
Specifications,
screened for depression on the date of the
134
Process
Population
9
CMS Web
encounter using an age appropriate
Health
Interface
standardized depression screening tool A'ID
Measure
if positive, a follow-up plan is documented on
Specifications,
the date of the positive screen.
MIPS CQMs
Specifications
Medicare Part
Falls: Risk Assessment:
B Claims
Percentage of patients aged 65 years and older
Measure
!54
N/A
Process
Patient Safety
with a history of falls that had a risk
Specifications,
assessment for falls completed within 12
MIPS CQMs
months.
Specifications
Medicare Part
B Claims
Falls: Plan of Care:
Communicati
Measure
Percentage of patients aged 65 years and older
155
Process
on and Care
N/A
Specifications,
with a history of falls that had a plan of care
Coordination
MIPS CQMs
for falls documented within 12 months.
Specificalions
Elder Maltreatment Screen and Follow-Up
Medicare Part
Plan:
B Claims
Percentage of patients aged 65 years and older
Measure
with a documented elder maltreatment screen
181
N/A
Process
Patient Safety
Specifications,
using an Elder Maltreatment Screening Tool
MIPS CQMs
on the date of encounter AND a documented
Specifications
follow-up plan on the date of the positive
.
MeasU,re
Stmard
Centers for
Medicare &
Medicaid
Services
National
Committee
for Quality
Assurance
National
Committee
for Quality
Assurm:1ce
Centers for
Medicare &
Medicaid
Services
screen.
Preventive Care and Screenin~: Tobacco
Use: Screening and Cessation Intervention:
Percentage of patients aged 18 years and older
who were screened for lobacco use one or
more times within 24 months AND who
received tobacco cessation intervention if
identified as a tobacco user
Medicare Part
B Claims
Measure
**
§
0028
I
0028e
226
CMS13
8v8
Process
Community/
Population
Health
Measure
khammond on DSKBBV9HB2PROD with PROPOSALS2
Specifications,
MIPS CQMs
Specifications
VerDate Sep<11>2014
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"lbree rates are reported:
a. Percentage of patients aged 18 years and
older who were screened for tobacco use one
or more times within 24 months
b. Percentage of patients aged 18 years and
older who were screened for tobacco usc and
identified as a tobacco user who received
Physician
Consortium
for
Performance
Improvement
Foundation
(PCPI®)
tobacco cessation intervention
c. Percentage of patients aged 18 years and
older who were screened for lobacco use one
or more times within 24 months AND who
received tobacco cessation intervention if
identified as a tobacco user.
Fmt 4701
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14AUP2
EP14AU19.161
*
Specifications,
eCQM
Specifications,
CMS Web
Interface
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
40979
B. 7. Internal Medicine
NQF#
Indicator
I
eCQM
NQF#
.
PREVIOt:SLYFINALIZED MEASCRES IN THE INTERNAL MEDICINE SET
1'\ational
CMS
Measure
Quality
Measure Title
Collecl:lon Typ<
Quality#
eCQMID
Type
Strategy
and Description
Domain
.
MeasU,re
Stmard
Medicare Part
B Claims
Measure
*
§
I
(Outcome)
0018
/N/A
236
CMS16
5v8
Specifications,
eCQM
Specifications,
CMS Web
Interface
Measure
Specifications,
MIPS CQMs
Specificalions
Controlling High Blood Pressure:
Intermediate
Outcome
Effective
Clinical Care
Percentage of patients 18. 85 years of age
who had a diagnosis of hypertension and
whose blood pressure was adequately
controlled(< 140/90 mmHg) during the
measurement period.
National
Committee
for Quality
Assurance
Use of High-Risk :VJ:edications in the
Elderly:
*
!
(Patient
Safety)
0022
/:\1/A
238
CMS15
6v8
eCQM
Specifications,
MIPS CQMs
Specifications
Process
Patient Safety
Percentage of patients 65 years of age and
older who were ordered high-risk
medications. Two rates are submitted.
(I) Percentage of patients who were ordered
at least one high-risk medication.
(2) Percentage of patients who were ordered
at least two of the same high-risk
National
Committee
for Quality
Assurance
n1edications.
Cardiac Rehabilitation Patient Referral
from an Outpatient Setting:
*
!
(Care
Coordinati
on)
0643
243
N/A
MIPS CQMs
Specifications
Process
Communicati
on and Care
Coordination
Percentage of patients evaluated in an
outpatient setting who within the previous 12
months have experienced an acute myocardial
infarction (Ml ), coronary artery bypass graft
(CABG) surgery, a percutaneous coronary
intervention (PCI), cardiac valve surgery, or
cardiac transplantation, or who have chronic
stable angina (CSA) and have not already
participated in an early outpatient cardiac
rehabilitation/secondary prevention (CR)
program for the qualifying event/diagnosis
who were referred to a CR program
Sleep Apnea: Severity Assessment at Initial
Diagnosis:
N!A
277
N/A
MIPS CQMs
Specifications
Process
Effective
Clinical Care
Percentage of patients aged 18 years and older
with a diagnosis of obstmctive sleep apnea
who had an apnea hypopnea index (AHI) or a
respiratory disturbance index (RUI) measured
at the time of initial diagnosis.
A..merican
College of
Cardiology
Foundation
American
Academy of
Sleep
Medicine
Sleep Apnea: Assessment of Adherence to
Positive Airway Pressure Therapy:
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279
18:25 Aug 13, 2019
N/A
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MIPS CQMs
Specifications
PO 00000
Process
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Effective
Clinical Care
Sfmt 4725
Percentage of visits for patients aged 18 years
and older with a diagnosis of obstructive sleep
apnea who were prescribed positive airway
pressure therapy who had documentation that
adherence to positive airway pressure therapy
was objectively measured.
E:\FR\FM\14AUP2.SGM
14AUP2
A..t11erican
Academy of
Sleep
Medicine
EP14AU19.162
khammond on DSKBBV9HB2PROD with PROPOSALS2
N!A
40980
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B. 7. Internal Medicine
Indicator
*I
(Opioid)
§
*
I
khammond on DSKBBV9HB2PROD with PROPOSALS2
(Patient
Safety)
VerDate Sep<11>2014
I
eCQM
NQF#
N!A
N!A
N!A
0101
IN/A
PREVIOt:SLYFINALIZED MEASCRES IN THE INTERNAL MEDICINE SET
1'\ational
CMS
Measure
Quality
Measure Title
Collecl:lon Typ<
Quality#
eCQMID
Type
Strategy
and Descliptlon
Domain
Initiation and Engagement of Alcohol and
Other Dn1g Dependence Treatment:
Percentage of patients 13 year< of age and
older with a new episode of alcohol or other
drug abuse or (AOD) dependence who
received the following. Two rates are
CMS13
eCQM
Effective
reported.
305
Process
7v8
Specifications
Clinical Care
Percentage of patients who initiated
treatment within 14 days of the diagnosis.
Percentage of patients who initialed
treatment and who had two or more
additional services with an AOD diagnosis
within 30 days of the initiation visit.
Cervical Cancer Screening:
Percentage of women 21-64 years of age who
were screened for cervical cancer using either
of the following criteria:
CMS12
eCQM
Effective
• Women age 21-64 who had cervical
309
Process
4v8
Specifications
Clinical Care
cytology performed every 3 years
• Women age 30-64 who had cervical
cylologv/human papilloma virus (HPV) cotesting performed every 5 years.
Preventive f:are and Screening: Screening
Medicare Part
for High Blood Pressure and Follow-Up
B Claims
Documented:
Community/
Measure
Percentage of patients aged I g years and older
CMS22
Specifications,
Process
Population
317
seen during the submitting period who were
v8
eCQM
Health
screened for high blood pressure AND a
Specifications,
recommended follow-up plan is documented
MIPS CQMs
based on the current blood pressure (BP)
Specifications
reading as indicated.
eCQM
Specifications,
Falls: Screening for Future Fall Risk:
CMS13
CMS Web
Percentage of patients 65 years of age and
318
Process
Patient Safety
9v8
Interface
older who were screened for future fall risk
Measure
during the measurement period.
Specifications
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.
.
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National
Committee
for Quality
Assurance
National
Committee
for Quality
Assurance
Centers for
Medicare &
Medicaid
Services
National
Committee for
Quality
Assurance
EP14AU19.163
NQF#
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
40981
B. 7. Internal Medicine
.
Indicator
I
eCQM
NQF#
§
0005
I
&
(Patient
Experience
0006
)
*
§
1525
I
(Appropria
te Use)
N!A
*
I
(Appropria
te Use)
N!A
I
khammond on DSKBBV9HB2PROD with PROPOSALS2
(Appropria
!e Use)
VerDate Sep<11>2014
N!A
PREVIOt:SLYFINALIZED ~ASCRES IN THE INTERNAL MEDICINE SET
1'\ational
CMS
Measure
Quality
Measure Title
Quality#
Collecl:lon Typ<
Type
Strategy
and Descliptlon
eCQMID
Domain
CAHPS for MIPS Clinician/Group Survey:
The Consumer Assessment of Healthcare
Providers and Systems (CAHPS) for MIPS
Clinician/Group Survey is comprised of 10
Summary Survey Measures (SSMs) and
measures patient experience of care within a
group practice. The NQF endorsement status
and endorsement id (if applicable) for each
SSM utilized in this measure are as follows:
• Getting Timely Care, Appointments, and
Information; (Not endorsed by NQF)
• How well Providers Communicate; (Not
Person and
CMSendorsed by NQI')
CaregiverPatient
approved
• Patient's Rating of Provider; C'IQF endorsed
NIA
Centered
Engagement/
321
Survey
II 0005)
Experience
Experience
• Access to Specialists; (Not endorsed by
Vendor
and Outcomes
NQF)
• Health Promotion and Education; (Not
endorsed by NQF)
• Shared Decision-Making; (Not endorsed by
NQF)
• Health Status and Functional Status; (Not
endorsed by NQF)
• Courteous and Helpful Office Staff; (1\QF
endorsed# 0005)
• Care Coordination; (Not endorsed by NQF)
• • Stewardship of Patient Resources. ('lot
endorsed by NQF)
Atrial Fibrillation and Atrial Flutter:
Medicare Par!
Chronic Anticoagulation Therapy:
B Claims
Percentage of patients aged 18 years and older
Measure
Effective
with nonvalvular atrial fibrillation (AF) or
NIA
326
Process
Specifications,
Clinical Care
atrial flutter who were prescribed warfarin OR
another FDA-approved oral anticoagulant
MIPS CQMs
dmg for the prevention ofthromboembolism
Specifications
during the measurement period.
Adult Sinusitis: Antibiotic Prescribed for
Acute Viral Sinusitis (Overuse):
Efficiency and
MIPS CQMs
Percentage of patients, aged 18 years and
Process
Cost
331
NIA
Specifications
older, with a diagnosis of acute viral sinusitis
Reduction
who were prescribed an antibiotic within 10
days after onset of symptoms.
Adult Sinusitis: Appropriate Choice of
Antibiotic: Amoxicillin With or Without
Clavulanate Prescribed for Patients with
Acute Bactelial Sinusitis (Appropliate
Efficiency and
MIPS CQMs
Use):
332
N/A
Process
Cost
Specifications
Percentage of patients aged 18 years and older
Reduction
with a diagnosis of acute bacterial sinusitis
that were prescribed amoxicillin, with or
without Clavulanate. as a tirst line antibiotic
at the time of diagnosis.
Adult Sinusitis: Computerized
Tomography (CT) for Acute Sinusitis
(Overuse):
Efficiency and Percentage of patients aged 18 years and
MIPS CQMs
333
NIA
Efficiency
Cost
older, with a diagnosis of acute sinusitis who
Specifications
Reduction
had a compu!eriLed tomography (CT) scan of
the paranasal sinuses ordered at the time of
diagnosis or received within 28 days after
date of diagnosis.
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Agency for
Health care
Research &
Quality
(AHRQ)
American
College of
Cardiology
American
Academy of
Otolaryngology
-Head and
Neck Surgery
American
Academy of
Otolaryngology
-Head and
Neck Surgery
A..t11erican
Academy of
Otolaryngology
-Head and
Neck Surgery
EP14AU19.164
NQF#
40982
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B. 7. Internal Medicine
.
Indicator
*
§
I
(Outcome)
*
I
(Outcome)
*
§
I
(Outcome)
I
eCQM
NQF#
N!A
2082
0209
0710
I
0710e
I
(Care
Coordinatio
n)
N!A
*
I
(Patient
Experience
N!A
)
I
khammond on DSKBBV9HB2PROD with PROPOSALS2
(Outcome)
VerDate Sep<11>2014
1879
PREVIOt:SLYFINALIZED ~ASCRES IN THE INTERNAL MEDICINE SET
1'\ational
CMS
Measure
Quality
Measure Title
Quality#
Collecl:lon Typ<
Type
Strategy
and Descliptlon
eCQMID
Domain
Psoriasis: Tuberculosis (TB) Prevention for
Patients with Psoliasis, Psoriatic Arthlitis
and Rheumatoid Arthritis on a Biological
Inunnne Response Modilier:
Percentage of patients, regardless of age, with
psoriasis, psoriatic arthritis and rheumatoid
MIPS CQMs
Effective
arthritis on a biological immune response
Process
337
NIA
Specifications
Clinical Care
modifier whose providers are ensuring active
tuberculosis prevention either through yearly
negative standard tuberculosis screening tests
or are reviewing the patient's history to
determine if they have had appropriate
management for a recent or prior positive test
HIV Viral Load Suppression:
The percentage of patients, regardless of age,
MIPS CQMs
Effective
338
NIA
Outcome
with a diagnosis of HIV with a HIV viral load
Clinical Care
Specifications
less than 200 copies/ml, at last HTV viral load
test during the measurement year.
Pain Brought Under Control Within 48
Person and
Hours:
CaregiverPatients aged 18 and older who report being
MIPS CQMs
342
N/A
Outcome
Centered
uncomfortable because of pain at the initial
Specifications
Experience
assessment (after admission to palliative care
and Outcomes
services) who report pain was brought to a
comfortable level within 48 hours.
eCQM
Specifications.
Depression Remission at Twelve Months:
CMS Web
The percentage of adolescent patients 12 to 17
CMS15
Interface
Effective
years of age and adult patients 18 years of age
370
Outcome
9vS
Measure
Clinical Care
or older with major depression or dysthymia
Specifications,
who reached remission 12 months ( +/- 60
MIPS CQMs
days) after an index event date.
Specifications
Closing the Referral Loop: Receipt of
eCQM
Specialist Report:
Communicati
CMS50
Specifications,
Percentage of patients with referrals,
374
Process
on and Care
v8
MIPS CQMs
regardless of age, for which the referring
Coordination
Specifications
provider receives a report from the provider to
whom the patient was referred.
Functional Status Assessments for
Person and
Congestive Heart Failure:
CaregiverPercentage of patients 18 years of age and
CMS90
eCQM
377
Process
Centered
v9
Specifications
older with congestive heart failure who
Experience
completed initial and follow-up patientand Outcomes
reported tl.mctional status assessments.
Adherence to Antipsychotic Medications
for Individuals with Schizophrenia:
Percentage of individuals at least 18 years of
age as of the beginning of the measurement
period with schizophrenia or schizoaffective
MIPS CQMs
Intermediate
383
NIA
Patient Safety
disorder who had at least two prescriptions
Specifications
Outcome
filled for any antipsychotic medication and
who had a Propmtion of Days Covered (PDC)
of at least 0.8 for antipsychotic medications
during the measurement period (12
consecutive months).
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American
Academy of
Dermatology
Health
Resources and
Services
Administration
National
Hospice and
Palliative Care
Organization
Minnesota
Community
Measurement
Centers for
Medicare &
Medicaid
Services
Centers for
Medicare &
Medicaid
Services
Centers for
Medicare &
Medicaid
Services
EP14AU19.165
NQF#
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
40983
B. 7. Internal Medicine
N!A
I
(Outcome)
§
s
N!A
N!A
N!A
2803
I
(Opioid)
I
(Opioid)
I
khammond on DSKBBV9HB2PROD with PROPOSALS2
(Opioid)
VerDate Sep<11>2014
N!A
N!A
N!A
PREVIOt:SLYFINALIZED MEASCRES IN THE INTERNAL MEDICINE SET
1'\ational
CMS
Measure
Quality
Measure Title
Quality#
Collecl:lon Typ<
eCQMID
Type
Strategy
and Description
Domain
Annual Hepatitis C Virus (HCV) Screening
for Patients who are Active Injection Drug
Users:
MIPS CQMs
EtTective
Jg7
N/A
Process
Percentage of patients, regardless of age, who
Specitications
Clinical Care
are active injection drug users who received
screening for HCV infection within the
12-month reporting period.
Optimal Asthma Control:
Composite measure of the percentage of
MIPS CQMs
Effective
pediatric and adult patients whose asthma is
398
N/A
Outcome
well-controlled as demonstrated by one of
Specifications
Clinical Care
three age appropriate patient reported
outcome tools and not at risk for exacerbation.
One-Time Screening for Hepatitis C Virus
(HCV) for Patients at Risk:
Percentage of patients aged 18 years and older
with one or more of the following: a history
MIPS CQMs
Effective
of injection drug use, receipt of a blood
400
N/A
Process
Specifications
Clinical Care
transfusion prior to 1992, receiving
maintenance hemodialysis, OR birthdatc in
the years 1945-1965 who received one-time
screening for hepatitis C virus (HCV)
infection.
Hepatitis C: Screening for Hepatocellular
Carcinoma (HCC) in Patients with
Cirrhosis:
Percentage of patients aged 18 years and older
MIPS CQMs
EtTective
401
N/A
Process
with a diagnosis of chronic hepatitis C
Specifications
Clinical Care
cirrhosis who underwent imaging with either
ultrasonnd, contrast enhanced CT or 'viR! for
hepatocellular carcinoma (HCC) at least once
within the 12 month submission period.
Tobacco Use and Help with Quittin~
Among Adolescents:
Community/
The percentage of adolescents 12 to 20 years
MIPS CQMs
402
N/A
of age with a primary care visit during the
Process
Population
Specifications
Health
measurement year for whom tobacco use
status was documented and received help with
quitting if identified as a tobacco user.
Opioid Therapy Follow-up Evaluation:
All patients 18 and older prescribed opiates
MIPS CQMs
Effective
for longer than six weeks duration who had a
408
NIA
Process
Specifications
Clinical Care
follow-up evaluation conducted at least every
three months during Opioid Therapy
documented in the medical record.
Documentation of Signed Opioid
Treatment Agreement:
All patients 18 and older prescribed opiates
MIPS CQMs
Effective
412
NIA
Process
for longer than six weeks duration who signed
Specifications
Clinical Care
an opioid treatment agreement at least once
during Opioid Therapy documented in the
medical record.
Evaluation or Interview for Risk of Opioid
l\1isuse:
All patients 18 and older prescribed opiates
for longer than six weeks duration evaluated
MIPS CQMs
Effective
for risk of opioid misuse using a brief
414
NIA
Process
Specifications
Clinical Care
validated instrument (e.g. Opioid Risk Tool,
Screener and Opioid Assessment for Patients
with Pain, revised (SOAPP·R)) or patient
interview documented at least once during
Opioid Therapy in the medical record.
.
.
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Physician
Consortium for
Performance
Improvement
Foundation
(PCP!®)
Minnesota
Community
Measurement
Physician
Consortium
for
Performance
Improvement
Foundation
(PCP!®)
.American
Gastro·
enterological
Association
National
Committee
for Quality
Assurance
American
Academy of
Neurology
American
Academy of
Neurology
American
Academy of
Neurology
EP14AU19.166
Indicator
NQF#
I
eCQM
NQF#
40984
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B. 7. Internal Medicine
Indicator
*
NQF#
I
eCQM
NQF#
0053
2152
*
*
I
(Outcome)
N!A
N!A
PREVIOt:SLYFINALIZED MEASCRES IN THE INTERNAL MEDICINE SET
1'\ational
CMS
Measure
Quality
Measure Title
Quality#
Collecl:lon Typ<
eCQMID
Type
Strategy
and Description
Domain
Osteoporosis Management in Women Who
Had a }'racture:
Medicare Part
'!be percentage of women age so-gs who
B Claims
suffered a fracture in the six months prior to
Measure
Effective
418
N/A
Process
the performance period through June 30 of the
Specifications,
Clinical Care
perfonnance period and who either had a
MIPS CQMs
bone mineral density test or received a
Specifications
prescription for a drug to treat osteoporosis in
the six months after the fracture,
Preventive Care and Screening: Unhealthy
Alcohol Use: Screening & Brief
Counseling:
Percentage of patients aged 1g years and older
Community/
MIPS CQMs
Process
Population
N/A
who were screened for tmhealthy alcohol use
431
Specifications
Health
using a systematic screening method at least
once within the last 24 months AI\D who
received brief counseling if identified as an
unhealthy alcohol user,
Statin Therapy for the Prevention and
Treatment of Cardiovascular Disease:
Percentage of the following patients- all
considered at high risk of cardiovascular
events - who were prescribed or were on statin
therapy during the measurement period:
eCQM
• Adults aged 2 21 years who were previously
Specifications,
diagnosed with or currently have an active
CMS Web
diagnosis of clinical atherosclerotic
CMS34
Interface
Effective
438
Process
cardiovascular disease (ASCVD); OR
7v3
Measure
Clinical Care
• Adults aged 221 years who have ever had a
Specifications,
fasting or direct low-density lipoprotein
MIPS CQMs
cholesterol (LDL-C) level:> 190 mg/dL or
Specifications
were previously diagnosed with or currently
have an active diagnosis of familial or pure
hypercholesterolemia; OR
• Adults aged 40-75 years with a diagnosis of
diabetes with a fasting or direct LDL-C level
of70-189 mg/dL
Ischemic Vascular Disease (IVD) All or
None Outcome Measure (Optimal
Control):
The IVD All-or-None Measure is one
outcome measure (optimal control), The
measure contains four goals, All four goals
within a measure must be reached in order to
meet that measure, The numerator for the allor-none measure should be collected from the
organization's total IVD denominator, All-orMIPS CQMs
Intermediate
Effective
None Outcome Measure (Optimal Control)441
N/A
Specifications
Outcome
Clinical Care
Using the IVD denominator optimal results
include:
Most recent blood pressure (BP)
measurement is less than or equal to 140/90
nnn Hg -- Al\D
Most recent tobacco status is Tobacco Free
--AND
Daily Aspirin or Other Antiplatelet Unless
Contraindicated -- AI\D
Statin Use Unless Contraindicated,
.
.
•
MeasU,re
Stmard
National
Committee
for Quality
Assurance
Physician
Consortium
for
Performance
Improvement
Foundation
(PCPI:ID)
Centers for
Medicare &
Medicaid
Services
Wisconsin
Collaborative
for
Healthcare
Quality
.
.
VerDate Sep<11>2014
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EP14AU19.167
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•
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
40985
B. 7. Internal Medicine
.
§
I
(Appropria
te Use)
N!A
§
I
(Efficiency
)
I
(Opioid)
N!A
N!A
*
khammond on DSKBBV9HB2PROD with PROPOSALS2
!
(Appropria
tc Usc)
N!A
*
N!A
VerDate Sep<11>2014
PREVIOt:SLYFINALIZED ~ASCRES IN THE INTERNAL MEDICINE SET
1'\ational
CMS
Measure
Quality
Measure Title
Quality#
Collecl:lon Typ<
eCQMID
Type
Strategy
and Description
Domain
Non-Recommended Cervical Cancer
Screening in Adolescent Females:
MIPS CQMs
The percentage of adolescent females 16-20
443
N/A
Process
Patient Safety
Specifications
years of age who were screened unnecessarily
for cervical cancer.
Medication Management for People with
Asthma:
The percentage of patients 5-64 years of age
MIPS CQMs
Efficiency and during the performance period who were
Process
444
NA
Specifications
Cost Rcducti on identified as having persistent asthma and
were dispensed appropriate medications that
they remained on for at least 75% of their
treatment period.
Continuity of Pharmacotherapy for Opioid
Use Disorder (OUD):
MIPS CQMs
Effective
Percentage of adults aged 18 years and older
Process
468
N/A
Specifications
Clinical Care
with pharmacotherapy for opioid use disorder
(OUD) who have at least 180 days of
continuous treatment.
Appropriate Use ofDXA Scans in Women
Under 65 Years Who Do Not :vleet the Risk
Factor Profile for Osteoporotic Fracture:
CMS24
eCQM
Efficiency and Percentage of female patients 50 to 64 years
472
Process
9v2
Specifications
Cost Reduction of age without select risk factors for
osteoporotic fracture who received an order
for a dual-energy x-ray absorptiometry
(DXA) scan during the measurement period.
HIV Screening:
Community/P
eCQM
Percentage of patients 15-65 years of age who
CMS34
475
Process
opulation
9v2
Specifications
have been tested for HIV within that age
Health
range.
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14AUP2
MeasU,re
Ste\Vard
National
Committee
for Quality
Assurance
National
Committee
for Quality
Assurance
University of
Southern
California
Centers for
Medicare &
Medicaid
Services
Centers for
Disease
Control and
Prevention
EP14AU19.168
Indicator
NQF#
I
eCQM
NOF#
40986
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.7. Internal Medicine
NOF#
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N/A
VerDate Sep<11>2014
.• MEJ\SURES PROPOSED FOR ADDITION TO THE INTERNALMEDICINE SET
National
CMS
Meas••re
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Quality
Measure Title
Measure
Collection
Type
~QM
#
Strategy
SttlWard
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I
Type
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18:25 Aug 13, 2019
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CQMs
Specificatio
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Adult Immunization Status:
Percentage of members 19 years of
age and older who arc up-to-date on
recommended routine vaccines for
intluenza; tetanus and diphtheria
(Td) or tetanus, diphtheria and
acellular pertussis (Tdap ); zoster;
and pneumococcal.
Sfmt 4725
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14AUP2
'enters
or
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This measure is being
proposed as a new
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perfom1ance period.
We propose to
include this measure
in the Internal
Medicine specialty
set as it is clinically
relevant to this
clinician type.
EP14AU19.169
Indicator
NQF#
I
eCQM
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
40987
B7. Internal Medicine
..
PREVIOUSLY FINALIZED MEASURES PROPOSED FOR
REMOVAL FROM THE INTERNAL MEDICil'iE SET ..
In this proposed rule, CMS pmposes the removal of the following measnre(s)!Jelow from this specific specialty measure set based upon review of updates
made to existing quality measure specifications, the proposed addition of new measures for inclusion in MIPS, and the feeack provided by specialty societies.
NQF
#I
National
CMS
Quality
eCQ
Collection
Measure
Measure
Qnalit:f
Rationale (or Removal
Measure Title a11d Description
Type
Stpttegy
Steward
M
#
eCQMID
'Type
NQF
Domain
.
#
American
This measure is being
Medicare Part
Academy
Acute Otitis Externa (AOE):
BClaims
proposed for removal
Effective
Topical Therapy: Percentage of
of
Measure
beginning with the 2022
0653
091
N/A
Process
Clinical
patients aged 2 years and older with a
Otolaryngol
Specifications,
MIPS Payment Year.
ogy- Head
Care
diagnosis of AOE who were
MIPS CQMs
See Table C for
prescribed topical preparations.
and Neck
Specifications
rationale.
Surgery
Medicare Part
BClaims
Physician
Preventive Care and Screening:
Measure
Consortium
T11is measure is being
Influenza Immunization:
Specifications,
for
Percentage of patients aged 6 months
proposed for removal
eCQM
Communit
Performanc
0041/
CMS147v
and older seen for a visit between
beginning with the 2022
110
Specifications,
Process
y/Populati
c
004le
9
October 1 and March 31 who received
MIPS Payment Year.
lmproveme
CMS Web
on Health
See Table C for
an influenza immunization OR who
Interface
nt
reported previous receipt of an
rationale.
Specifications,
Foundation
influenza inununization.
(PCP!®)
MIPS CQMs
Specifications
Medicare Part
BC!aims
T11is measure is being
Pneumococcal Vaccination Status
National
proposed for removal
Measure
Communit for Older Adults:
CMS127v
Specifications,
Committee
beginning with the 2022
Process
y/Populati
Percentage of patients 65 years of age
111
N/A
8
eCQM
for Quality
MIPS Payment Year.
on Health
and older who have ever received a
Specifications,
Assurance
See Table C for
pneumococcal vaccine
MIPS CQMs
rationale.
Specifications
Depression Utilization of the PHQ-9
Tool:
The percentage of adolescent patients
T11is measure is being
12 to 17 years of age and adult
Minnesota
proposed for removal
Effective
eCQM
CMS160v
patients age 18 and older with the
Community beginning with the 2022
Process
Clinical
0712e
371
Measureme
MIPS Payment Year.
8
Specifications
diagnosis of major depression or
Care
dysthymia who have a completed
nt
See Table C for
PHQ-9 during each applicable 4
rationale.
month period in which there was a
qualifying depression encounter.
Persistence of Beta-Blocker
Treatment After a Heart Attack:
The percentage of patients 18 years of
age and older during the measurement
'l11is measure is being
year who were hospitalized and
National
proposed for removal
MIPS CQMs
discharged from July 1 of the year
Process
Effective
Committee
beginning with the 2022
prior to the measurement year to June
0071
442
N/A
Specifications
Clinical
for Quality
MIPS Payment Year.
30 of the measurement year with a
Assurance
See Table C for
Care
diagnosis of acute myocardial
rationale.
infarction (AMI) and who were
prescribed persistent beta-blocker
treatment for six months after
discharge.
'l11is measure is being
Zoster (Shingles) Vaccination:
Centers for
proposed for removal
Communit
MIPS CQMs
The percentage of patients aged 50
Medicare &
beginning with the 2022
Process
y/Populati
N/A
474
N/A
MIPS Payment Year.
Specifications
years and older who have had the
Medicaid
on Health
Shingrix zoster (shingles) vaccination.
Services
See Table C for
rationale.
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EP14AU19.170
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Not~:
40988
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.8. Emergency Medicine
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed rule, the Emergency Medicine
specialty set takes additional criteria into consideration, which includes, but is not limited to: whether the measure reflects current clinical guidelines
and the coding orthe measure includes relevant clinician types. CMS may reassess the appropriateness or individual measures, on a case-hy-case
basis, to ensure appropriate inclusion in the specialty set Measure tables in this set include previously finalized measures that we arc maintaining
within the set, measures that are proposed to be added, and measures that are proposed for removal, as applicable. We request comment on the
measures available in the proposed Emergency Medicine specially set.
B.8. Emergency Medidne
PRFNfOUSJ N FTN A UZF.D MRA SlJRRS TN THR .1\,MF,RGF.NCY MRDIClNF. sET
NQF
eCQ
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NQF
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#.
#
'
CMS
eCQMID
Collection
Type
!
(Appropriate
Use)
:\1/A
066
CMSI46
v8
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Specifications,
MIPS CQMs
Specifications
NIA
Medicare PaJt
B Claims
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Specifications,
MIPS CQMs
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!
(Appropriate
Use)
*
0654
093
(Appropriate
Use)
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VerDate Sep<11>2014
Process
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and Cost
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and Cost
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107
CMS161
v8
eCQM
Specifications
Process
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Clinical
Care
0058
116
NIA
MIPS CQMs
Specifications
Process
EtJiciency
and Cost
Reduction
1\/A
187
NIA
MIPS CQMs
Specifications
Process
Effective
Clinical
Care
NIA
Medicare Part
B Claims
Measure
Specifications,
MIPS CQMs
Specifications
Process
Effective
Clinical
Care
CMS22v
8
Medicare PaJt
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Specifications,
eCQM
Specifications,
MIPS CQMs
Specifications
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1\/A
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Domain
0104e
§
!
QUJ~Iity
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·.
*
§
:'>auonal
Measure
Type
:\1/A
254
317
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/Population
Health
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Measure Title
aud Description
Appropriate Testing fur Children with
Pharyngitis: Percentage of children 3-18 years of
age who were diagnosed with pharyngitis, ordered
an antibiotic and received a group A streptococcus
( strep) test for the episode
Acute Otitis Externa (AOE): Systemic
Antimicrobial Therapy- Avoidance of
Inappropriate Use:
Percentage of patients aged 2 years and older with
a diagnosis of AOE who were not prescribed
systemic antimicrobial therapy.
Adult ~Iajor Depressive Disorder (MDD):
Suicide Risk Assessment:
Percentage of patients aged 18 years and older with
a diagnosis of major depressive disorder (.Y!DD)
with a suicide risk assessment completed during
the visit in which a new diagnosis or recurrent
episode was identified.
Avoidance of Antibiotic Treatment in Adults
with Acnte Bronchitis:
TI1e percentage of adults 18-64 years of age with a
diagnosis of acute bronchitis who were not
prescribed or dispensed an antibiotic prescription.
Stroke and Stroke Rehabilitation: Thrombolytic
Therapy:
Percentage of patients aged 18 years and older with
a diagnosis of acute ischemic stroke who arrive at
the hospital within two hours of time last known
well and fur whom IV alteplase was initialed
within three hours of time last known well.
Ultrasound Detennination of Pregnancy
Location for Pregnant Patients with Abdominal
Pain:
Percentage of pregnant female patients aged 14 to
50 who present to the emergency department (ED)
with a chief complaint of abdominal pain or
vaginal bleeding who receive a trans-abdominal or
trans-vaginal ultrasound to detem1ine pregnancy
location.
Preventive Care and Screening: Screening for
High Blood Pressure and Follow-Up
Documented:
Percentage of patients aged 18 years and older seen
during the submitting period who were screened
for high blood pressure AND a recommended
follow-up plan is documented based on the current
blood pressure (BP) reading as indicated.
E:\FR\FM\14AUP2.SGM
14AUP2
Measure
Steward
'\lational
Committee for
Quality
Assurance
American
Academy of
Otolaryngolog
y-Head and
:\leek Surgery
Physician
Consortium
for
Performance
Improvement
Foundation
(PCP!®)
'\Jational
Committee for
Quality
Assurance
American Heart
Association
American
College of
Emergency
Physicians
Centers for
.Vledicare &
.Vledicaid
Services
EP14AU19.171
#i
Indicator
40989
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.8. Emergency Medicine
PRF.VTOlJSLY FINALf?.RD MEASHRRs IN TJIKRMRRGRNCY MRmCTNR SRT
Indicator ·.
.·
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#
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I\/A
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N/A
MIPS CQMs
Specifications
Efficiency
Efficiency
and Cost
Reduction
N/A
Medicare Part
B Claims
Measure
Specifications,
MIPS CQMs
Specifications
Efficiency
Efficiency
and Cost
Reduction
N/A
Medicare Part
B Claims
Measure
Specifications,
MIPS CQMs
Specifications
Efficiency
Efficiency
and Cost
Reduction
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and Description
Etliciency
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Fmt 4701
.··
Measure
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VerDate Sep<11>2014
.·.
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Specifications
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Measure
Type
I
!
(Appropriate
Use)
Collection ..
Type
~a tiona!
.·
Sfmt 4725
Adult Sinusitis: Antibiotic Prescribed for Acute
Viral Sinusitis (Overuse):
Percentage of patients. aged 18 years and older,
with a diagnosis of acute viral sinusitis who were
prescribed an antibiotic within I 0 days after onset
of symptoms.
Adult Sinusitis: Appropriate Choice of
Antibiotic: Amoxicillin With or Without
Clavulanate Prescribed for Patients with Acute
Bacterial Sinusitis (Appropriate Use):
Percentage of patients aged 18 years and older with
a diagnosis of acute bacterial sinusitis that were
prescribed amoxicillin, with or without
clavulanate. as a first line antibiotic at the time of
diagnosis.
Adult Sinusitis: Computeriud Tomography
(CT) for Acute Sinusitis (Overuse):
Percentage of patients aged 18 years and older.
with a diagnosis of acute sinusitis who had a
computerized tomography (CT) scan of the
paranasal sinuses ordered al the lime of diagnosis
or received within 28 days after date of diagnosis.
Emergency Medicine: Emergency Department
Utilization of CT for Minor Blunt Head
Trauma for Patients Aged 18 Years and Older:
Percentage of emergency department visits for
patients aged I g years and older who presented
with a minor blunt head trauma who had a head CT
for trauma ordered by an emergency care clinician
who have an indication for a head CT.
Emergency Medicine: Emergency Department
Utilization of CT for Minor Blunt Head
Trauma for Patients Aged 2 through 17 Years:
Percentage of emergency department visits for
patients aged 2 through 17 years who presented
with a minor blunt head trauma who had a head CT
for trauma ordered by an emergency care provider
who are classified as low risk according to the
Pediatric Emergency Care Applied Research
Network (PECARN) prediction rules for traumatic
brain ini urv.
E:\FR\FM\14AUP2.SGM
14AUP2
American
Academy of
Otolaryngology
·Head and .\Jeck
Surgery
American
Academy of
Otolaryngology·
Head and l\ eck
Surgery
American
Academy of
Otolaryngology·
Head and 1\cck
Surgery
American
College of
Emergency
Physicians
American
College of
Emergency
Physicians
EP14AU19.172
.·
NQF
#I
eCQ
M
NQF
#
40990
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.S. Emergency Medicine
PREVIOUSLY FINALIZED MEASURES PROPOSED FOR REM 0
vAL FROM THE EMERGENCY MEDICINE SET
Note: In this proposed J::Llle; CMS proposes :removal of the following rile~sure(s J below from this specific specialty measure set ba,sed upon re~ew of updates made to
existing quality measure specifications, the proposed addition of new t:(1eaSJlfes for inclusion in MIPS, and the feedback provided by specialty societies.
·.
eCQJVI ....
KQF#
0653
Qua}ity
#
CMS
eCQMID
Collection·
Type
Measure
Type
...
091
NIA
Medicare
Part B
Claims
Measure
Spccificati
OilS, MIPS
CQMs
Specificati
Process
..·
National
Quality
Strateey
Domain
Measure Title and
Descri'ption
Measure
Steward
Rationale for Removal
Effective
Clinical
Care
Acute Otitis Extema (AOE):
Topical Therapy: Percentage
of patients aged 2 years and
older with a diagnosis of AOE
who were prescribed topical
preparations.
American
Academy
of
Otolaryng
ologyHead and
Neck
Surgery
This measure is being proposed for
removal beginning with the 2022
MIPS Payment Ycar. Sec Table C
for rationale.
Effective
Clinical
Care
Rh Immunoglobulin
(Rhogam) for Rh-Negative
Pregnant Women at Risk of
Fetal Blood Exposure:
Percentage of Rh-negative
pregnant women aged 14-50
years at risk of fetal blood
exposure who receive RhImmunoglobulin (Rho gam) in
the emergency department
(ED).
American
College of
Emergenc
y
Physician
s
This measure is being proposed for
removal beginning with the 2022
MIPS Payment Year. See Table C
for rationale.
ons
!\/A
255
NIA
Medicare
Par! B
Claims
Measure
Specificati
ons, MIPS
CQMs
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Process
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Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
40991
B.9. Obstetrics/Gynecology
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed rule, the Obstetrics/Gynecology
specialty set takes additional criteria into consideration, which includes, but is not limited to: whether the measure reflects current clinical guidelines
and the coding of the measure includes relevant clinician types. CMS may reassess the appropriateness of individual measures, on a case-by-case
basis, to ensure appropriate inclusion in the specialty set Measure tables in this set include previously finalized measures that we arc maintaining
within the set, measures that are proposed to be added, and measures that are proposed for removal, as applicable. We request conm1ent on the
measures available in the proposed Obstetrics/Gynecology specialty set
B.9. Obstetrics/Gynecology
PREVIOUSLY FINALIZED MEASURES IN THE OBSTETRICS/GYNECOLOGY SET
(Care
Coordinatio
n)
0326
N/A
(Patient
Experience
)
*
s
*
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§
VerDate Sep<11>2014
N/A
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050
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128
18:25 Aug 13, 2019
CMS
eCQlVIID
CoUe.ction
Type
National
Quality
Strategy
Domain
Measure
TyJ)e
Measure Title
and Description
Advance Care Plan:
Percentage of patients aged 65 years and older who
have an advance care plan or surrogate decision
maker documented in the medical record or
documentation in the medical record that an
advance care plan was discussed but the patient did
not wish or was not ahle to name a surrogate
decision maker or provide an advance care plan.
Urinary Incontinence: Assessment of Presence
or Absence of Urinary Incontinence in Women
Aged 65 Years and Older:
Percentage of female patients aged 65 years and
older who were assessed tor the presence or
absence of urinary incontinence within 12 months.
Urinary Incontinence: Plan of Care for Urinary
Incontinence in Women Aged 65 Years and
Older:
Percentage of female patients aged 65 years and
older with a diagnosis of urinary incontinence with
a documented plan of care for urinary incontinence
at least once within 12 months.
Measure
Steward
NIA
'vledicare Pan
B Claims
'vleasure
Specifications,
'vl!PS CQMs
Specifications
Process
N/A
'vledicare Pmt
B Claims
'vlcasurc
Specifications,
'vl!PS CQMs
Specifications
Process
Effective
Clinical Care
N/A
'vledicare Part
B Claims
'vleasure
Specifications,
'vl!PS CQMs
Specifications
Process
Person and
CaregiverCentered
Experience
and
Outcomes
C'v!Sl25
vg
v!edicare Pan
B Claims
'vleasure
Specifications,
eCQM
Specifications,
CMS Web
Interface
'vleasure
Specifications,
'vl!PS CQMs
Specifications
Process
Effective
Clinical Care
Breast Cancer Screening:
Percentage of women 51-74 years of age who had
a mammogram to screen for breast cancer.
'lational
Committee for
Quality
Assurance
Community/
Population
Health
Preventive Care and Screening: Body l\1ass
Index (BMI) Screening and Follow-Up Plan:
Percentage of patients aged 18 years and older
with a BMI documented during the cunent
encounter or during the previous twelve months
AND with a BMI outside of normal parameters, a
follow-up plan is documented during the encounter
or during the previous twelve months of the
current encounter.
Nonnal Parameters:
Age 18 years and older BMI :> 18.5 and< 25
kg/m2
Centers for
'vlcdicarc &
'vledicaid
Services
C'v!S69v
8
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Specifications,
'vl!PS CQMs
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Connnuni cat
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Coordination
Fmt 4701
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E:\FR\FM\14AUP2.SGM
14AUP2
'lational
Committee for
Quality
Assurance
'lational
Committee for
Quality
Assurance
'lational
Committee for
Quality
Assurance
EP14AU19.174
Indicator
NQIC
#{
eCQ
M
NQF
#
40992
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.9. Obstetrics/Gynecology
PRRVIOUSJN FJNAJ;JT;F,D 1\J(EASHRF,S IN TF{R ORSTRTRTCS/GYNRCOJ,OGV SF;T
·.
·.···
Tudh.:ator
NQF
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#
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..
:Measure
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Do.main
#
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9
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Specifications.
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Specifications,
:Vl!PS CQMs
Specifications
c:viS138
v8
:Vledicare Part
B Claims
v!easure
Specifications,
eCQM
Specifications,
CMS Web
Intetface
:Vleasure
Specifications,
:Vl!PS CQMs
Specifications
Process
Patient
Safety
Documentation of Current Medications in the
Medical Record:
Percentage of visits for patients aged 18 years and
older for which the MIPS eligible clinician attests
to documenting a list of current medications using
all itmnediate resources available on the date of the
encounter. This list must include ALL known
prescriptions, over-the-counters, herbals, and
vitamin/mineral!dietary (nutritional) supplements
AND must contain the medications • name, dosage,
frequency and route of administration.
Preventive Care and Screening: Tobacco Use:
Screening and Cessation Intervention:
Percentage of patients aged 18 years and older who
Centers for
:Vledicare &
:Vledicaid
Services
were screened for tobacco use one or more times
*
**
§
0028 I
0028e
226
within 24 months AND who received tobacco
cessation intervention if identified as a tobacco
user
Process
rommunityiP
pulation
Iealth
Three rates are reported:
a. Percentage of patients aged 18 years and older
who were screened for tobacco use one or tnore
times within 24 months
h. Percentage of patients aged 18 years and older
who were screened for tobacco use and identified
Physician
Consortium
for
Performance
Improvement
Foundation
(PCP!®)
as a tobacco user who received tobacco cessation
intervention
c. Percentage of patients aged 18 years and older
who were screened for tobacco use one or more
times within 24 months AND who received
tobacco cessation intervention if identified as a
tobacco user.
§
(Outcome)
(Care
Coordinatio
n)
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s
VerDate Sep<11>2014
0018
NIA
I
236
C:V!Sl65
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Intermedi
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Outcome
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:Vl!PS CQMs
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Process
Communi cat
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Coordination
NIA
309
C:V!Sl24
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Specifications
Process
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Clinical Care
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Controlling High Blood Pressure:
Percentage of patients 18 - 85 years of age who
had a diagnosis of hypertension and whose blood
pressure was adequately controlled(< 140190
mmHg) during the measurement period.
'\lational
Committee for
Quality
Biopsy Follow-Up:
Percentage of new patients whose biopsy results
have been reviewed and communicated to the
primary care/referring physician and patient
Cervical Cancer Screening:
Percentage of women 21-64 years of age who were
screened for cervical cancer using either of the
following criteria:
• Women age 21-64 who had cervical cytology
performed every 3 years
• Women age 30-64 who had cervical
cytology/human papillomavirus (HPV) co-testing
performed every 5 years.
American
Academy of
Dermatology
E:\FR\FM\14AUP2.SGM
14AUP2
Assurance
'\lational
Committee for
Quality
Assurance
EP14AU19.175
*
:Vledicare Part
B Claims
:Vleasure
Specifications,
eCQM
Specifications,
CMS Web
Interface
:Vleasurc
Specifications,
:Vl!PS CQMs
Specifications
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
40993
B.9. Obstetrics/Gynecology
Tudh.:ator
§
NQF
#I
eCQ
1\J(
NQF
#
N/A
#
310
eMS
ecQMID
Collection
Type
National
Quality
Strategy
Measure
Type
Do.main
Cv!Sl53
v8
eCQM
Specifications
Process
Community/
Population
Health
Proce"
Community/
Population
Health
Process
Communi cat
ion and Care
Coordination
Measure Title
llml Desc~;iption
Chlamydia Screening for \Vomen:
Percentage of women 16-24 years of age who were
identified as sexually active and who had at least
one test for chlamydia during the measurement
period.
Preventive Care and Screening: Screening for
High Blood Pressure and Follow-Up
Docmnented:
Percentage of patients aged 18 years and older
seen during the submitting period who were
screened for high blood pressure AND a
recommended follow-up plan is documented based
on the current blood pressure (BP) reading as
indicated.
Closing the Refenal Loop: Receipt of Specialist
Report:
Percentage of patients with referrals, regardless of
age. for which the referring provider receives a
report from the provider to whom the patient was
referred.
Tobacco Use and Help with Quitting Among
Adolescents:
The percentage of adolescents 12 to 20 years of
age with a primary care visit during the
measurement year for whom tobacco use status
was documented and received help with quitting if
identified as a tobacco user.
Osteoporosis Management in Women \Vho Had
a Fracture:
T11e percentage of women age 50-85 who suffered
a fracture in the six months prior to the
performance period through June 30 of the
pe1fonnance period and who either had a bone
mineral density test or received a prescription for a
drug to treat osteoporosis in the six months after
the fracture
Performing Cystoscopy at the Time of
Hysterectomy fur Pelvic Organ Prolapse tu
Detect Lower I:rinary Tract Injury:
Percentage of patients who undergo cystoscopy to
evaluate for lower urinary tract injury at the time
of hysterectomy for pelvic organ prolapse.
..
..
:Measure
Steward
'lational
Committee for
Quality
Assurance
*
N/A
317
C.V!S22v
8
.Vledicare Part
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.Vleasure
Specifications,
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N/A
374
C.V!SSOv
8
eCQM
Specifications,
.Vl!PS CQMs
Specifications
N/A
.Vl!PS CQMs
Specifications
Process
Community/
Population
Health
N/A
.Vledicare Part
B Claims
.Vleasure
Specifications,
\TIPS CQMs
Specifications
Process
Effective
Clinical Care
Process
Patient
Safety
Process
Patient
Safety
Pelvic Organ Prolapse: Preoperative Screening
for Uterine "lalignancy:
Percentage of patients who are screened for uterine
malignancy prior to vaginal closure or obliterative
surgery for pelvic organ prolapse.
American
Urogynecologic
Society
Community/
Population
Health
Preventive Care and Screening: Unhealthy
Alcohol Use: Screening & Brief Counseling:
Percentage of patients aged 18 years and older who
were screened for unhealthy alcohol use using a
systematic screening method at least once within
the last 24 months AND who received brief
counseling if identified as an unhealthy alcohol
user.
Physician
Consortium for
Performance
Improvement
Foundation
(PCP!®)
2803
*
(Patient
Safety)
(Patient
Safety)
0053
2063
N/A
2152
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Quality
..
VerDate Sep<11>2014
402
418
422
429
431
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N/A
N/A
N/A
Jkt 247001
.Vledicare Part
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.Vleasure
Specifications,
.Vl!PS CQMs
Specifications
.Vledicare Pmt
B Claims
.Vlcasurc
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Specifications
.Vl!PS CQMs
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PO 00000
Process
Frm 00513
Fmt 4701
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
Centers for
.Vledicare &
.Vledicaid
Services
Centers for
.Vledicare &
.Vledicaid
Services
'lational
Committee for
Quality
Assurance
'lational
Committee for
Quality
Assurance
American
Urogynecolog
ic Society
EP14AU19.176
PRRVIOUSJN FJNAJ;JT;F,D 1\J(EASHRF,S IN TF{R ORSTRTRTCS/GYNRCOJ,OGV SF;T
·.
·.···
40994
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.9. Obstetrics/Gynecology
PRRVIOUSJN FJNAJ;JT;F,D 1\J(EASHRF,S IN TF{R ORSTRTRTCS/GYNRCOJ,OGV SF;T
..
..
.
btdicator
NQF
#I
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Quality
#
CMS
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Type
Measure
Type
National
Qualit)'
Measure Title
Stmtegy
ami Despiption
Measure
Stewud
Do.main
N<.W
#
(Outcome)
(Outcome)
N/A
432
N/A
:Vl!PS CQMs
Specifications
Outcome
Patient
Safety
N/A
433
N!A
\TIPS CQMs
Specifications
Outcome
Patient
Safety
N/A
434
N!A
:Vl!PS CQMs
Specifications
Outcome
Patient
Safety
N/A
443
N/A
:Vl!PS CQMs
Specifications
Process
§
( Appropriat
e Use)
Patient
Safety
cervical cancer.
*
§
(Care
Coordinatio
n)
N/A
448
N!A
:Vl!PS CQMs
Specifications
N/A
472
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VerDate Sep<11>2014
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18:25 Aug 13, 2019
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Process
Process
Process
Frm 00514
Communi cat
ion and Care
Coordination
Efficiency
and Cost
Reduction
Community/
Population
Health
Fmt 4701
Sfmt 4725
Appropriate Workup Prior to Endometrial
Ablation:
Percentage of women, aged 18 years and older,
who undergo endometrial sampling or
hysteroscopy with biopsy and results documented
before undergoing an endometrial ablation.
Appropriate Use of DXA Scans in Women
Under 65 Years Who Do Not Meet the Risk
Factor Profile for Osteoporotic Fracture:
Percentage of female patients 50 to 64 years of age
without select risk factors for osteoporotic fracture
who received an order for a dual-energy x-ray
absorptiometry (DXA) scan during the
measurement period.
HIV Screening:
Percentage of patients 15-65 years of age who
have been tested for HIV within that age range.
E:\FR\FM\14AUP2.SGM
14AUP2
American
Urogynecologic
Society
A1nerican
Urogynecologic
Society
A111erican
Urogynecologic
Society
'lalional
Committee for
Quality
Assurance
Centers for
:Vledicare &
:Vledicaid
Services
Centers for
:Vledicare &
:Vledicaid
s~rvices
Centers for
Disease Control
and Prevention
EP14AU19.177
(Outcome)
Proportion of Patients Sustaining a Bladder
Injury at the Time of any Pelvic Organ
Prolapse Repair:
Percentage of patients undergoing pelvic organ
prolapse who sustains an injury to the bladder
recognized either during or within 30 days after
surgery.
Proportion of Patients Sustaining a Bowel
Injury at the Time of any Pelvic Organ
Prolapse Repair:
Percentage of patients undergoing surgical repair
of pelvic organ prolapse that is complicated by a
bowel injury at the time of index surgery that is
recognized intraoperatively or within 30 days after
surgery.
Proportion of Patients Sustaining A Ureter
Injury at the Time of Pelvic Organ Prolapse
Repair:
Percentage of patients undergoing pelvic organ
prolapse repairs who sustain an injury to the ureter
recognized either during or within 30 days after
surgery.
Non-Recommended Cervical Cancer Screening in
Adolescent Females:
The percentage of adolescent females 16 20 years
of age who were screened unnecessarily for
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
40995
B.9. Obstetrics/Gynecology
Indicator
I
eCQM
N.QF#
Quality
#
·.
CMS
eCQM
ID
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*
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(Outcome
)
N!A
335
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N/A
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ADDITION To THE oBsTETRICS/GYNECoLoGY SET
Measure
Type
Collection
Type
MIPS
CQMs
Specificatio
us
MIPS
CQMs
Specificatio
ns
CMS Web
Interface
Measure
Specificalio
ns, MIPS
CQMs
Specificatio
ns
PO 00000
Outcome
Process
Process
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National
Quality·.·
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Fmt 4701
I
Measure Title
And Description
Measure
SteWard
Maternity Care: Elective Delivery
or Early Induction Without
Medical Indication at~ 37 and<
39 Weeks (Overuse):
Percentage of patients. regardless of
age, who gave birth during a 12month period who delivered a live
singleton at 2 37 and< 39 weeks of
gestation completed who had
elective deliveries or early
inductions without medical
indication.
Maternity Care: Postpartum
}'ollow-up and Care Coordination:
Percentage of patients, regardless of
age, who gave hirth during a 12month period who were seen for
postpartum care within 8 weeks of
giving birth who received a breastfeeding evaluation and education,
postpartum depression screening,
postpartum glucose screening for
gestational diabetes patients, and
family and contraceptive pla~ming.
Adult Immunization Status:
Percentage of members 19 years of
age and older who are up-to-date on
recommended routine vaccines for
influenza; tetanus and diphtheria
(Td) or tetanus, diphtheria and
acellular pertussis (Tdap ); zoster;
and pneumococcal.
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
~enters
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~enters
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renters
or
joisease
bontrol
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Frevention
Rationale for
Inclusion
We propose to
include this measure
in the
Obstetrics/Gynecolog
y specially set as il is
clinically relevant to
this clinician type and
drives quality of care
by assessing the rate
of elective deliveries
before 39 weeks
gestation in the
absence of medical
indication, following
The American
College of Obstetrics
and Gynecology
clinical guidance.
We propose to
include this measure
in the
Obslelrics/Gynecolog
y specialty set as it is
clinically relevant to
this clinician type.
lhis n1easure is being
proposed as a new
measure for the 2020
performance period.
We propose to
include this measure
in the
Obstetrics/Gynecolog
y specialty set as it is
clinically relevant to
this clinician type.
EP14AU19.178
PROPOSED FOR
l'\IQF#
40996
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.9. Obstetrics/Gynecology
REMOVAL
PREVJOUSlN FINAU7:ED MEASURES PROPOSED FOR
FROM THE ORSTETRIC:S/GYNECOJ,O(W SET
Note: Inthis proposed rule; CMS proposes removalofthe following measure(s) below frotrithis specific specialty measure set b!lSed upon rt)view of updates made to
existing quality measure specifications the proposed addition of new p1easures for inclusion in MIPS,
the feedback Provid<1d bv specialty societies .
NQF.#/
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Measure
CoJle<'tion
Type
Medicare Part
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Measure
Specifications,
eCQM
Specifications,
CMS Web
Interface
Specifications,
MIPS CQMs
Specifications
Medicare Part
BClaims
Measure
Specifications,
eCQM
Specifications,
MIPS CQMs
Specifications
MIPS CQMs
Specifications
Jkt 247001
Type
National
Quality
Strategy
Doma.ffi
.
and
Measure Title ant\ Description
Measure
Ste\Varo
Rationale for Reino..,·at
Process
Comtnu
nity/Pop
ulation
Health
Preventive Care and Screening:
Influenza Immunization:
Percentage of patients aged 6
months and older seen for a visit
between October I and March 31
who received an influenza
immunization OR who reported
previous receipt of an influenza
immunization.
Physician
Consortium
for
Performance
Improvement
This measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year.
See Table C for
rationale.
Process
Commu
nity/Pop
ulation
Health
Pneumococcal Y accination Status
for Older Adults:
Percentage of patients 65 years of
age and older who have ever
received a pneumococcal vaccine.
National
Committee for
Quality
Assurance
This measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year.
See Table C for
rationale.
Effective
Clinical
Care
Pelvic Organ Prolapse:
Preoperative Assessment of
Occult Stress Urinary
Incontinence:
Percentage of patients undergoing
appropriate preoperative evaluation
of stress urinary incontinence prior
to pelvic organ prolapse surgery
per American College of Obstetrics
ami Gynecology (ACOG).
American Urogynecologic Society,
and American Urological
Association guidelines.
American
Urogynecolog
ic Society
This measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year.
See Table C for
ralionale.
Process
PO 00000
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Fmt 4701
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14AUP2
EP14AU19.179
I
40997
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.lO. Ophthalmology
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed rule, the Ophthahnology
specialty set takes additional criteria into consideration, which includes, but is not limited to: whether the measure reflects current clinical guidelines
and the coding of the measure includes relevant clinician types. CMS may reassess the appropriateness of individual measures, on a case-by-case
basis, to ensure appropriate inclusion in the specialty set. Measure tables in this set include previously finalized measures that we are maintaining
within the set, measures that are proposed to be added, and measures that are proposed for removal, as applicable. We request comment on the
measures available in the proposed Ophthah11ology specialty set.
B.lO. Ophthalmology
PREVIOUSLY FINALIZED MEASURES IN THE OPHTHALMOLOGY SET
'
I
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CMS
eCQMID
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18:25 Aug 13, 2019
CMS143v
8
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eCQM
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MIPS CQMs
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N/A
Medicare Part
B Claims
Measure
Specifications,
MIPS CQMs
Specifications
Process
,'.
Effective
Clinical Care
Process
Effective
Clinical Care
CMS142v
8
Medicare Part
B Claims
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Specitlcations,
eCQM
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MIPS CQMs
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Process
Communi cat
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CMS131v
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Effective
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Jkt 247001
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Frm 00517
Fmt 4701
Sfmt 4725
Primary Open-Angle Glaucoma (POAG):
Optic l'\erve Evaluation:
Percentage of patients aged 18 years and
older with a diagnosis of primary open-angle
glaucoma (POAG) who have an optic nerve
head evaluation during one or more otTlce
visits within 12 months,
Age-Related Macular Degeneration
(AMD): Dilated :\1acular Examination:
Percentage of patients aged 50 years and older
with a diagnosis of age-related macular
degeneration (AMD) who had a dilated
macular examination performed which
included documentation of the presence or
absence of macnlar thickening or geographic
atrophy or hemorrhage AND the level of
macular degeneration severity during one or
more office visits within the 12 month
performance period.
Diabetic Retinopathy: Communication
with the Physician Managing Ongoing
Diabetes Care:
Percentage of patients aged 18 years and
older with a diagnosis of diabetic retinopathy
who had a dilated macular or fundus exam
pe1formed with documented conununication
to the physician who manages the ongoing
care of the patient with diabetes mellitus
regarding the findings of the macnlar or
fnndus exam at least once within 12 months,
Diabetes: Eye Ellam:
Percentage of patients 18-75 years of age
with diabetes who had a retinal or dilated eye
exam by an eye care professional during the
measurement period or a negative retinal or
dilated eye exam (no evidence of
retinopathy) in the 12 months prior to the
measurement period.
E:\FR\FM\14AUP2.SGM
14AUP2
Physician
Consortium for
Perfom1ance
Improvement
Foundation
(PCPI®)
A.t11erican
Academy of
Ophthalmology
Physician
Consortium for
Performance
Improvement
Poundation
(PCPI®)
National
Committee for
Quality
Assurance
EP14AU19.180
Indicator
NQF
#I 1', Quality
eCQ
#
40998
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.lO. Ophthalmology
.. ·
Indicator
~CQ
M
Quality
#
CM.S
eCQMID
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Type
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Type
NQF
#
!
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*
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N/A
Medicare Part
B Claims
Measure
Specifications,
MIPS CQMs
Specifications
Outcome
CMS133v
8
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MIPS CQMs
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CMS138v
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B Claims
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Frm 00518
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Nation"!l
Quality
Strategy
Doma.in
Measure .Title
and Description
Documentation of Current Medications in
the Medical Record:
Percentage of visits for patients aged 18
years and older for which the MIPS eligible
clinician attests to documentiug a list of
current medications using all immediate
Patient Safety resources available on the date of the
encounter. This list must include ALL known
prescriptions, over-the-counters, herbals. and
vitamin/mineral/dietary (nutritional)
supplements AND must contain the
medications' name, dosage: frequency and
route of administration.
Primary Open-Angle Glaucoma (POAG):
Reduction oflntraocular Pressure (lOP) by
15% OR Documentation of a Plan of Care:
Percentage of patients aged 18 years and older
with a diagnosis of primary open-angle
Communicatio glaucoma (POAG) whose glaucoma treatment
nand Care
has not failed (the most recent lOP was
Coordination
reduced by at least 15% from the preintervention level) OR if the most recent lOP
was not reduced by at least 15% from the preintervention level, a plan of care was
documented within the 12 month performance
period.
Cataracts: 20/40 or Retter Visual Acuity
within 90 Days Foilowing Cataract
Surgery:
Percentage of patients aged 18 years and older
Effective
with a diagnosis of uncomplicated cataract
who had cataract surgery and no significant
Clinical Care
ocular conditions impacting the visual outcome
of surgery and had best-corrected visual acuity
of 20/40 or better (distance or near) achieved
within 90 days following the cataract surgery.
Preventive Care and Screening: Tobacco
Use: SCI"eening and Cessation
Intervention:
Percentage of patients aged 18 years and
older who were screened for tobacco use one
or more times within 24 months AND who
received tobacco cessation intervention if
identified as a tobacco user
Community/
Population
Health
Sfmt 4725
Three rates are reported:
a. Percentage of patients aged 18 years and
older who were screened for tobacco use one
or more times within 24 months
b. Percentage of patients aged 18 years and
older who were screened for tobacco use and
identified as a tobacco user who received
tobacco cessation intervention
c. Percentage of patients aged 18 years and
older who were screened for tobacco use one
or more times within 24 months AND who
received tobacco cessation intervention if
identitied as a tobacco user.
E:\FR\FM\14AUP2.SGM
14AUP2
Measure
Steward
Centers for
Medicare &
Medicaid
Services
American
Academy of
Ophthalmology
Physician
Consortium for
Performance
Improvement
Foundation
(PCPI®)
Physician
Consortium for
Perfom1ance
Improvement
Foundation
(PCPI®)
EP14AU19.181
NQF
#I
PREVIOUSLY FINALIZED MEASURES IN THE OPHTHALMOLOGY SET
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
40999
B.lO. Ophthalmology
PREVIOUSLY FINALIZED MEASURES IN THE OPHTHALMOLOGY SET
Indicator
NQF
#I
cCQ
M
Quality
#
CM.S
eCQMID
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T;fP!"
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Measure Title
Measure
and DescriptioJ1
Stewaid
#
303
N/A
MIPS CQMs
Specifications
Patient
Reported
Outcome
(Care
Coordinatio
n)
:\T!A
374
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!
:\f!A
384
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:\fiA
385
N/A
MIPS CQMs
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MIPS CQMs
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!
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!
(Outcome)
*
!
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(Outcome)
VerDate Sep<11>2014
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14AUP2
American
Academy of
Ophthalmology
Centers for
Medicare &
Medicaid
Services
American
Academy of
Ophthalmology
An1erican
Academy of
Ophthalmology
American
Academy of
Ophthalmology
EP14AU19.182
1536
I
(Outcome)
Cataracts: Improvement in Patient's
Visual Fundion within 90 Days Following
Person and
Cataract Surgery:
CaregiverPercentage of patients aged 18 years and
Centered
older who had cataract surgery and had
Experience
improvement in visual function achieved
and Outcomes within 90 days following the cataract
surgery, based on completing a pre-operative
and post-operative visual function survey.
Closing the Referral Loop: Receipt of
Specialist Report:
Communicatio
Percentage of patients with referrals,
nand Care
regardless of age, for which the referring
Coordination
provider receives a report from the provider
to whom the patient was referred.
Adult Primary Rhegmatogenous Retinal
Detachment Surgety: No Retm11 to the
Operating Room Within 90 Days of
Effective
Surgery:
Clinical Care
Patients aged 18 years and older who had
surgery for primary rhegmatogenous retinal
detachment who did not require a retum to
the operating room within 90 days of surgery.
Adult Primary Rhegmatogenous Retinal
Detachment Surgery: Visual Acuity
Improvement Within 90 Days of Surgery:
Patients aged 18 years and older who had
Effective
surgery for primary rhegmatogenous retinal
Clinical Care
detachment and achieved an improvement in
their visual acuity, from their preoperative
level, within 90 days of surgery in the
operative eye.
Cataract Surgery: Difference Between
Plamied and Final Refraction:
Percentage of patients aged 18 years and
Effective
older who had cataract surgery performed
Clinical Care
and who achieved a final refraction within
+1- 1.0 diopters of their planned (target)
retraction.
41000
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.lO. Ophthalmology
Qt!cality
#
!
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(Outcome
)
VerDate Sep<11>2014
N/A
304
18:25 Aug 13, 2019
MEASURES PROPOSED FoRADDJTJON TO THE OPHTHALMOLOGY SET
·.
Natlonal
CMS
Measu.-e
Collection
Quality
Measu.-e Title
Type
cCQM
Type
And Description
Strateey
ID
Domain
Cataracts: Patient Satisfaction
within 90 Days Following Cataract
Person
Surgery: Percentage of patients
and
MIPS
Patient
aged 18 years and older who had
CaregiverCQMs
Engageme
cataract surgery and were satisfied
Centered
N/A
Speciticatio
nt!Experie
with their care within 90 days
Experienc
following the cataract surgery, based
ns
nee
e and
on completion of the Consumer
Outcomes
Assessment of Health care Providers
and Systems Surgical Care Survev.
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..
Measl).re
Steward
~merican
~cademy
pf
pphthalm
plogy
Rationale for
Inclusion
W c propose to
include this measure
in the Ophthalmology
specialty set as it is
applicable to this
clinician type and
drives quality of care
by assessing patient
satisfaction following
cataract surgery.
EP14AU19.183
Indicator
NQF#
I
eCQM
NQF#
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41001
B.lO. Ophthalmology
REMOVAL
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PREVIOSLY FINALIZED MEASURES PROPOSE!) FOR
FROM THE OPIJTHALMOLOGY SET
Note:. In this proposed rule, CMS proposes removal of the f'ollovv'ing measure(s) below from this specific specialty m,easure set based upon review .of updates tilade to
existing quality measure specifications, the proposed addition of new measures fot inclusion in MIPS; and the feedback provided b specialty societies.
National
CMS ·.
NQF#I
Quality
Measure
Measure
Collection
Quality
eCQ:\1
Rationale for RemoYal
Melt$nre Title and Description
eCQ!VI
Type·
Type
Steward
#
Strategy
NQF#
ID
Domaiu.
Cataracts: Complications within
30 Days Following Cataract
Surgery Requiring Ad ditioual
Surgical Procedures:
Percentage of patients aged 18 years
Physician
and older with a diagnosis of
Consortium
This measure is being
uncomplicated cataract who had
eCQM
for
proposed for removal
cataract surgery and had any of a
0564/
CMS132
Specifications.
Patient
Perfonnance
beginning with the 2022
192
Outcome
specified list of surgical procedures
0564e
v8
MIPS CQMs
Safety
in the 30 days following cataract
Improvement MIPS Payment Year. See
Specifications
surgery which would indicate the
Foundation
Table C for rationale.
occurrence of any of the following
(PCP!®)
major complications: retained
nuclear fragments, endoph!halmitis,
dislocated or wrong power IOL,
retinal detachment, or wound
dehiscence.
Cataract Surgery with IntraOperative Complications
(Unplanned Rupture of Posterior
This measure is being
American
Capsule Requiring Unplanned
proposed for removal
MIPS CQMs
Vitrectomy):
Academy of
Patient
3gg
N/A
N/A
Outcome
beginning with the 2022
Specifications
Safety
Percentage of patients aged 18 years
Ophthalmolo
MIPS Payment Year. See
and older who had cataract smgery
gy
Table C for rationale.
performed and had an unplanned
rupture of the posterior capsule
requiring vitrectomy.
41002
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.ll. Orthopedic Surgery
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed mle, the Orthopedic Smgery
specialty set takes additional criteria into consideration, which includes, but is not limited to: whether the measme reflects current clinical guidelines
and the coding of the measme includes relevant clinician types. CMS may reassess the appropriateness of individual measmes, on a case-by-case
basis, to ensure appropriate inclusion in the specialty set Measure tables in this set include previously finalized measures that we are maintaining
within the set, measures that are proposed to be added, and measures that are proposed for removal, as applicable. We request comment on the
measures available in the proposed Orthopedic Surgery specialty set.
B.ll. Orthopedic Surgery
NQF#
fudicator
I
eCQ)\1
NQF#
!
(Appropriate
Use)
0268
!
(Patient Safety)
N/A
I
(Care
Coordination)
N/A
PREVIOUSLY FINALIZED MEASURES IN THE ORTHOPEDIC SURGERY SET
Collei;tion
National
Measure Title and Description
Quality
CMS
Measure
eCQM
Type
Quality
#
Type
ID
Strategy
..
Domafu
Perioperative Care: Selection of
Prophylactic Antibiotic- liirst OR
Second -Generation Cephalosporin:
Medicare Part
Percentage of surgical patients aged 18
BClaims
years and older undergoing procedures
Measure
Process
Patient Safety with the indications for a first OR
021
N/A
Specifications,
second-generation cephalosporin
MIPS CQMs
prophylactic antibiotic who had an order
Specifications
for a first OR second-generation
cephalosporin for antimicrobial
prophylaxis.
Perioperative Care: Venous
Thromboembolism (VTE) Prophylaxis
(When Indicated in ALL Patients):
Percentage of surgical patients aged 18
years and older undergoing procedures
Medicare Part
for which venous thromboembolism
BClaims
(VTE) prophylaxis is indicated in all
Measure
023
N/A
Process
Patient Safety patients, who had an order for Low
Specifications,
Molecular Weight Heparin (LMWH),
MIPS CQMs
Low· Dose Unfractionated Heparin
Specifications
(LDUH), adjusted-dose warfarin,
fondaparinux or mechanical prophylaxis
to be given within 24 hours prior to
incision time or within 24 hours after
surgery end time.
Communication with the Physician or
Other Clinician Managing On-Going
Care Post-Fracture for Men and
Women Aged 50 Years and Older:
Percentage of patients aged 50 years and
older treated for a fracture with
Medicare Part
do(.;umentalion of (.;Ommunication,
B Claims
Communicatio between the physician treating the
Measure
024
N/A
Process
nand Care
fracture and the physician or other
Specifications,
clinician managing the patient's onCoordination
MIPS CQMs
going care, that a fracture occurred and
Specifications
that the patient was or should be
considered for osteoporosis treatment or
testing. This measure is submitted by the
physician who treats the fracture and
who therefore is held accountable for the
Measure
Steward
A...tnerican
Society of
Plastic
Surgeons
American
Society of
Plastic
Surgeons
National
Committee for
Quality
Assurance
communication.
VerDate Sep<11>2014
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B Claims
Specifications,
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Specifications
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Coordination
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National
Committee for
Quality
Assurance
EP14AU19.185
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!
(Care
Coordination)
Advance Care Plan:
Percentage of patients aged 65 years and
older who have an advance care plan or
surrogate decision maker documented in
the medical record or documentation in
the medical record that an advance care
plan was discussed but the patient did not
wish or was not able to nmne a surrogate
decision maker or provide an advance
care plan.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41003
B.ll. Orthopedic Surgery
-.-.
NQF#
I
..cQM:
NQF#
Jndieator
·.
PREVIOUSLY
CMS
Qnality
#
tJCQM
ID
0421/
0421e
128
CMS69
v8
(Patient Safety)
0419 I
0419e
130
CMS68
v9
*
0418 I
0418e
134
CMS2v
9
0101
154
N/A
*
§
!
!
(Patient Safety)
!
(Care
Coordination)
*
0101
N/A
155
180
N/A
N/A
.·
MEASURES IN THE ORTHOPEDIC SURGERY SET
Measure
National
Measure Title and Description
Quality
Type
strategy
Domain
Preventive Care and Screening: Body
Mass Index (BMI) Screening and
Follow-Up Plan:
Medicare Pmt
Percentage of patients aged 18 yem·s and
B Claims
older with a BMI documented during the
Community/
current encounter or during the previous
Specifications,
eCQM
Process
Population
twelve months AND with a BMI outside
Specifications,
!Iealth
of nom1al parameters, a follow-up plm1 is
MIPS CQMs
documented during the encounter or
Specifications
during the previous twelve months of the
current encounter.
Normal Parameters: Age 18 years and
older BMl > 18.5 and> 25 kg/m2
Documentation of Current
Medications in the Medical Record:
Percentage of visits for patients aged 18
years and older for which the MIPS
Medicm·e Pmt
eligible clinician attests to documenting a
R Claims
list of current medications using all
Specifications,
Patient
immediate resources available on the
eCQM
Process
Safety
date of the encounter. This list must
Specifications,
include ALL known prescriptions, overMIPS CQMs
the-counters, herbals, and
Specifications
vitamin/mineral/dietary (nutritional)
supplements AND must contain the
medications' name, dmage, frequency
and route of administration.
Medicare Part
Preventive Care and Screening:
B Claims
Screening for Depression and FollowSpecifications,
Up Plan:
eCQM
Percentage of patients aged 12 years and
Specifications,
Community/
older screened for depression on the date
CMS Web
Process
Population
of the encounter using an age appropriate
Interface
Health
standardized depression screening tool
Measure
AND if positive, a follow-up plan is
Specifications,
documented on the date of the positive
MIPS CQMs
screen.
Specifications
Medicare Part
Falls: Risk Assessment:
B Claims
Percentage of patients aged 65 years and
Patient
Specifications,
Process
older with a history of falls that had a
Safety
MIPS CQMs
risk assessment tor falls completed
Specifications
within 12 months.
Medicare Part
Falls: Plan of Care:
B Claims
Communi cat
Percentage of patients aged 65 years and
older with a historv of falls that had a
Specifications,
ion and Care
Process
MIPS CQMs
Coordination
plan of care for falls documented within
Specifications
12 months.
Rheumatoid Arthritis (RI\):
Glucocorticoid Management:
Percentage of patients aged 18 years and
older with a diagnosis of rheumatoid
arthritis (RA) who have been assessed
MIPS CQMs
Effective
Process
for glucocorticoid use and, for those on
Specifications
Clinical Care
prolonged doses of prednisone :c> 10 mg
daily (or equivalent) with improvement
FI~ALIZED
Collecti2014
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or no change in disease activity,
documentation of glucocorticoid
management plan within 12 months.
41004
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.ll. Orthopedic Surgery
· ...
NQF#
I
eCQM
NQF#
Jndieator
*
**
0028 I
0028e
§
·.
PREVIOUSLY
CMS
Qnality
#
tJCQM
m
226
CMS13
8v8
.·
MEASURES IN THE ORTHOPEDIC SURGERY SET
Measure
National
Measure Title and Description
Quality
Type
StJ'lltegy
Donfahi
Preventive Care and Screenmg:
Tobacco Use: Screenmg and Cessation
Intervention:
Percentage of patients aged 18 years and
older who were screened for tobacco use
one or more times within 24 months
AND who received tobacco cessation
Medicare Part
intervention if identified as a tobacco
B Claims
user
Specifications,
eCQM
Three rates are reported:
Specifications,
Community/
a. Percentage of patients aged 18 years
CMS Web
Process
Population
and older who were screened for tobacco
Interface
Ilealth
use one or more times within 24 months
Measure
b. Percentage of patients aged 18 years
Specifications,
and older who were screened for tobacco
MIPS CQMs
use and identified as a tobacco user who
Specifications
FI~ALIZED
Collecti2014
NIA
350
351
18:25 Aug 13, 2019
Process
eCQM
Specifications,
CMS Web
Interface
Measure
Specifications,
Process
NIA
MIPS CQMs
Specifications
NIA
MIPS CQMs
Specifications
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Community/
Population
Health
Patient
Safety
Falls: Screenmg for Future Fall Risk:
Percentage of patients 65 years of age
and older who were screened for future
fall risk during the measurement period
Total Knee Replacement: Shared
Decision-Making: Trial of
Conservative (l"on-surgical) Therapy:
Percentage of patients regardless of age
Communicalio undergoing a lola! knee replacement wilh
nand Care
documented shared decision-making with
Coordination
discussion of conservative (non-surgical)
therapy (e.g., non-steroidal antiinflammatory drug (NSAIDs), analgesics,
weight loss, exercise. injections) prior to
the procedure.
Total Knee Replacement: Venous
Thromboembolic and Cardiovascular
Risk Evaluation:
Percentage of patients regardless of age
undergoing a total knee replacement who
Patient
are evaluated for the presence or absence
of venous thromboembolic and
Safety
cardiovascular risk factors within 30 days
prior to the procedure (e.g., History of
Deep Vein Thrombosis (DVT),
Pulmonary Embolism (PE), Myocardial
Infarction (MI), Arrhythmia and Stroke).
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Centers for
Medicare &
Medicaid
Services
National
Committee for
Quality
Assurance
American
Association of
Hip and Knee
Surgeons
American
Association of
Hip and Knee
Surgeons
EP14AU19.187
317
NIA
*
CMS22
v8
Medicare Part
B Claims
Specifications.
eCQM
Specifications,
MIPS CQMs
Specifications
c. Percentage of palienls aged 18 years
and older who were screened for tobacco
use one or more times within 24 months
AND who received tobacco cessation
intervention if identified as a tobacco
user.
Preventive Care and Screenmg:
Screenmg for High Blood Pressure
and Follow-Up Documented:
Percentage of patients aged 18 years and
older seen during the submitting period
who were screened for high blood pressure
AND a recommended follow-up plan is
documented based on the current blood
pressure (BP) reading as indicated.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41005
B.ll. Orthopedic Surgery
!
(Patient
Experience)
!
(Care
Coordination)
!
(Patient
Experience)
NQF#
I
eCQM
NQF#
N/A
N/A
N/A
I
(Patient
Experience)
N/A
2803
!
(Opioid)
N/A
I
N/A
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(Opioid)
VerDate Sep<11>2014
·.
PREVIOUSLY FI~ALIZED M.EASURES IN THE ORTHOPEDIC SURGERY SET
CMS
Collection
Measure
Quality
National
Measure Title and Description
t;CQM
Quality
#
Type
Type
StJ'lltegy
Donfahi
Patient-Centered Surgical Risk
Assess1nent and Connnunication:
Percentage of patients who underwent a
Person and
non-emergency surgery who had their
Caregiverpersonalized risks of postoperative
MIPS CQMs
Centered
Process
complications assessed by their surgical
358
N/A
Specifications
Experience
team prior to surgery using a clinical
and
data-based, patient-specific risk
Outcomes
calculator and who received personal
discussion of those risks with the
surgeon.
Closmg the Referral Loop: Receipt of
eCQM
Specialist Report:
Conu11unicat
CMS50
Specifications,
Percentage of patients with referrals,
374
Process
ion and Care
v8
MIPS CQMs
regardless of age, for which the referring
Coordination
Specifications
provider receives a report from the
provider to whom the patient was referred.
Functional Status Assessment for Total
Person and
Knee Replacement:
CaregiverPercentage of patients 18 years of age
Centered
and older who received an elective
CMS66
eCQM
375
Process
Experience
primary total knee arthroplasty (TKA)
v8
Specifications
and
and completed a functional status
Outcomes
assessment within 90 days prior to the
surgery and in the 270-365 days after the
surgery.
Functional Status Assessment for Total
Person and
Hip Replacement:
CaregiverPercentage of patients 18 years of age
eCQM
CMS56
Centered
and older who received an elective
376
Process
v8
Specifications
Experience
primary total hip arthroplasty (THA) and
and
completed a functional status assessment
Outcomes
within 90 days prior to the surgery and in
the 270-365 days after the surgery.
Tobacco l:se and Help with Quitting
Among Adolescents:
The percentage of adolescents 12 to 20
Community/
MIPS CQMs
years of age with a primary care visit
N/A
Process
Population
402
Specifications
during the measurement year for whom
Health
tobacco use status was documented and
received help with quitting if identified
as a tobacco user.
Opioid Therapy Follow-up
Evaluation:
All patients 18 and older prescribed
MIPS CQMs
Effective
opiates for longer than six weeks
408
N/A
Process
duration who had a follow-up evaluation
Specifications
Clinical Care
conducted at least every three months
during Opioid Therapy documented in
the medical record.
Documentation of Signed Opioid
Treatment Agreement:
All patients 18 and older prescribed
MIPS CQMs
Effective
opiates for longer than six weeks
Process
412
N/A
Specifications
Clinical Care
duration who signed an opioid treatment
agreement at least once during Opioid
Therapy documented in the medical
record.
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College of
Surgeons
Centers for
Medicare &
Medicaid
Services
Centers for
Medicare &
Medicaid
Services
Centers for
Medicare &
Medicaid
Services
National
Committee for
Quality
Assurance
American
Academy of
Neurology
American
Academy of
Neurology
EP14AU19.188
Jndieator
41006
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.ll. Orthopedic Surgery
I
(Opioid)
*
·.
PREVIOUSLY
CMS
Quality
t;CQM
#
m
N/A
414
NIA
0053
418
N/A
*
!
(Outcome)
NIA
459
NIA
*
!
(Outcome)
NIA
460
NIA
*
N/A
461
N/A
N/A
469
N/A
N/A
470
N/A
!
(Outcome)
*
!
(Outcome)
*
!
(Outcome)
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NQF#
I
eCQM
NQF#
VerDate Sep<11>2014
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M.EASURES IN THE ORTHOPEDIC SURGERY SET
Measure
National
Measure Title and Description
Quality
Type
StJ'lltegy
.·
Domain
Evaluation or Interview for Risk of
Opioid Misuse:
All patients 18 and older prescribed
opiates for longer than six weeks
duration evaluated for risk of opioid
MIPS CQMs
Effective
misuse using a brief validated instrument
Process
Specifications
(e.g. Opioid Risk Tool, Screener and
Clinical Care
Opioid Assessment for Patients with
Pain, revised (SOAPP-R)) or patient
interview documented at least once
during Opioid Therapy in the medical
record.
Osteoporosis Management in Women
Who Had a Fracture:
The percentage of women age 50-85 who
Medicare Part B
suffered a fracture in the six months prior
Claims Measure
Effective
to the performance period through June
Specifications,
Process
Clinical Care
30 of the performance period and who
MIPS CQMs
either had a bone mineral density test or
Specifications
received a prescription for a drug to treat
osteoporosis in the six months after the
fracture.
Person and
Average Change in Back Pain Following
Caregiver·
Lumbar Discectomy/Laminotomy:
Patient
MIPS CQMs
Centered
The average change (preoperative to three
Reported
Experience
months postoperative) in back pain for
Specitlcations
Outcome
and
patients 18 years of age or older who had a
Outcomes
lumbar discectomy/laminotomy procedure.
Person and
Average Change in Back Pain Following
Lumbar Fusion:
Caregiver·
Patient
MIPS CQMs
Centered
The average change (preoperative to one
Reported
Experience
year postoperative) in back pain for
Specifications
Outcome
and
patients 18 years of age or older who had a
Outcomes
lumbar fusion procedure
Average Change in Leg Pain Following
Person and
Lumbar Discectomy and/or
Caregiver·
Patient
Laminotomy:
MIPS CQMs
Centered
Reported
The average change (preoperative to three
Experience
Specifications
months postoperative) in leg pain for
Outcome
and
patients 18 years of age or older who had a
Outcomes
lumbar discectomy/laminotomy procedure.
Average Change in Fm1ctional Status
Person and
Following Lumbar Fusion Surgery:
Patient
Caregiver·
TI1e average change (preoperative to
MIPS CQMs
Reported
Centered
postoperative) in functional status using th
Experience
Specifications
Outcome
Oswcstry Disability Index (ODI version
and
2.la) for patients IS years of age and older
Outcomes
who had a lumbar fusion procedure.
Average Change in Functional Status
Person and
Following Total Knee Replacement
Patient
Caregiver·
Surgery:
MIPS CQMs
Reported
Centered
The average change (preoperative to
Specifications
Outcome
Experience
postoperative) in functional status using
and
the Oxford Knee Score (OKS) for
Outcomes
patients age 18 and older who had a
primary total knee replacement
Collection
Type
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Me;tsure
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Academy of
Neurology
National
Committee for
Quality
Assurance
Mitmesota
Community
Measurement
Mitmesota
Community
Measurement
Mitmesota
Community
Measurement
Minnesota
Community
Measurement
Minnesota
Community
Measurement
EP14AU19.189
Jndieator
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41007
B.ll. Orthopedic Surgery
*
!
(Outcome)
*
!
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(Outcome)
VerDate Sep<11>2014
NQF#
I
eCQM
NQF#
N/A
N/A
·.
PREVIOUSLY
CMS
Quality
t;CQM
#
m
471
473
19:12 Aug 13, 2019
N/A
N/A
Jkt 247001
FI~ALIZED
M.EASURES IN THE ORTHOPEDIC SURGERY SET
Measure
National
Measure Title and Description
Quality
Type
StJ'lltegy
Donfahi
Avera ge Change in Fimctional Status
Followh1g Lmnbar
Discectomy/Lammotomy Surgery:
Person and
Patient
TI1e average change (preoperative to
CaregiverMIPS CQMs
Reported
postoperative) in functional status using
Centered
Specifications
Outcome
the Oswcstry Disability Index (ODI
Experience
version 2.la) for patients age 18 and
and Outcomes
older who had lumbar
discectomy/laminotomy procedure.
Collection
Type
MIPS CQMs
Specifications
PO 00000
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Reported
Outcome
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CaregiverCentered
Experience
and Outcomes
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Average Change m Leg Pam l<'ollowing
Lumbar Fusion Surgery:
The average change (preoperative to one
year postoperative) in leg pain for
patients 18 years of age or older who had
a lumbar fusion procedure
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14AUP2
Me;tsnre
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Mitmesota
Community
Measurement
Minnesota
Community
Measurement
EP14AU19.191
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B.ll. Orthopedic Surgery
.·
Indi<:ator
NQF#
I
eCQM
NQF#
MEAl'!UJU:SPROPOSEDI<'ORADDITIONTOTH){ORTHOPEDICSURGERY SET
..
Natlonlll
Mea~ure
C'MS
Measure Title
Measure
Quality
Cplleetion
Quality
Type
<:CQM
And Description
Steward
#
StrateJ!y
TYPt
ID
·
..
·
.··
Domain
.
*
Con1mtmi
Measure
!
(Care
Coordinat
ion)
Functional Outcome Assessment:
Medicare
Part B
Claims
2624
182
N!A
Specificatio
ns,
MIPS
CQMs
Specificatio
ns
cation and
Care
Coordinati
on
Process
Percentage of visits for patients aged
18 years and older with
documentation of a current
tunctional outcome assessment using
a standardized functional outcome
assessment tool on the date of the
encounter AND documentation of a
care plan based on identified
functional outcome deficiencies on
the date of the identified
deficiencies.
~enters
or
~edicare
~
~edicaid
~ervices
Rationale for
Inclusion
This measure is being
proposed for
inclusion into the
Orthopedic Surgery
specialty set as a
replacement for
measure Q109:
Osteoarthritis (OA):
Function and Pain
Assessment. which is
being proposed for
removal. Measure
Ql82 includes the
patient population in
measure Q109, but is
more robust in that it
requires more
frequent assessment
and a plan of care.
Functional Status Change for
Patients with Knee Impairments:
*
I
(Outcome
)
0422
217
N/A
MIPS
CQMs
Spccificatio
ns
Con1muni
Patient
Reported
Outcome
cation and
Care
Coordinati
on
A patient-reported outcome measure
of risk-adjusted change in functional
status for patients aged 14 years+
with lmee impairments. The change
in functional status (FS) is assessed
using the Knee FS patient-reported
outcome measure (PROM) (©2009- !Focus on
2019 Focus on Therapeutic
~herapeuti
Outcomes, Inc.). The measure is
F
adjusted to patient characteristics
Putcmnes,
koown to be associated with FS
nc.
outcomes (risk adjusted) and used as
a performance measure at the patient
level, at the individual clinician, and
at the clinic level to assess quality.
The measure is available as a
computer adaptive test, for reduced
patient burden, or a short form (static
TI1is n1easure is
proposed for
inclusion into the
Orthopedic Surgery
specialty set as it is
clinically relevant
and the denominator
was expanded to
allow for this
clinician type.
measure)
Functional Status Chan~e for
Patients with Hip Impairments:
*
!
0423
218
N/A
Con1muni
Patient
Reported
Outcome
cation and
Care
Coordinati
on
This measure is
proposed for
inclusion into the
Orthopedic Surgery
specialty set as it is
clinically relevant
and the denominator
was expanded to
allow for this
clinician type.
m~asure)
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14AUP2
EP14AU19.190
khammond on DSKBBV9HB2PROD with PROPOSALS2
(Outcome
)
MIPS
CQMs
Speciticatio
ns
A patient-reported outcome measure
of risk-adjusted change in functional
status for patients 14 years+ with hip
impainnents. The change in
functional status (I'S) is assessed
using the Hip FS patient-reported
outcome measure (PROM) (©2009- !Focus on
2019 Focus on Tirerapeutic
~herapeuti
Outcomes, Inc.). The measure is
adjusted to patient characteristics
Putcomcs,
koown to be associated with FS
nc.
outcomes (risk adjusted) and used as
a performance measure at the patient
level, at the individual clinician, and
at the clinic level to assess quality.
Tire measure is available as a
computer adaptive test, for reduced
patient burden, or a short form (static
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41009
B.ll. Orthopedic Surgery
ADDITION TO THE ORTHOPEDIC SURGERY SET
Indi<:ator
NQF#
I
eCQM
NQF#
MEASURES PROPOSED FOR
..
Mea~ure
C'MS
Quality
Cplleetion
<:CQM
Type
#
TYPt
ID
*
!
(Outcome
)
0424
219
N/A
*
!
khammond on DSKBBV9HB2PROD with PROPOSALS2
(Outcome
)
VerDate Sep<11>2014
0425
220
18:25 Aug 13, 2019
N/A
Jkt 247001
MIPS
CQMs
Specificatio
ns
MIPS
CQMs
Specificatio
ns
PO 00000
Patient
Reported
Outcome
Natlonlll
Quality
StrateJ!y
Domain
Con1muni
cation and
Care
Coordinati
on
Con1muni
Patient
Reported
Outcome
Frm 00529
cation and
Care
Coordinati
on
Fmt 4701
Measure Title
And Description
·.. ·
.··
Functional Status Change for
Patients with Lower Leg, Foot or
Ankle Impairments:
A patient-reported outcome measure
ofrisk-adjnsted change in fnnctional
status for patients 14 years+ with
foot. ankle and lower leg
impainnents. The change in
functional status (FS) assessed using
the Fool/ Ankle FS patient-reported
outcome measure (PROM) (CC120092019 Focus on Therapeutic
Outcomes. Inc.). The measure is
adjusted to patient characteristics
known to be associated with I'S
outcomes (risk adjusted) and used as
a performance measure at the patient
level. at the individual clinician. and
at the clinic level to assess quality.
The measure is available as a
computer adaptive lest. for reduced
patient burden, or a short form (static
measure)
Functional Status Change for
Patients with Low Back
Impairments:
A patient-reported outcome measure
of risk-adjusted change in functional
status for patients 14 years+ with
low back impairments. '!he change
in functional status (I'S) is assessed
using the Low Back FS patientreported outcome measure (PROM)
(©2009-2019 Focus on Therapeutic
Outcomes. Inc.). The measure is
adjusted to patient characteristics
known to be associated with FS
outcomes (risk adjusted) and used as
a performance measure at the patient
level, at the individual clinician, and
at the clinic level by to assess
quality. T11e measure is available as
a computer adaptive test, for reduced
patient burden, or a short form (static
measure)
Sfmt 4725
.
E:\FR\FM\14AUP2.SGM
14AUP2
Measure
Steward
!Focus on
!rherapeuti
putcomes.
nc.
!Focus on
~hcrapcuti
Putcomes,
nc.
Rationale for
Inclusion
This measure is
proposed for
inclusion into the
Orthopedic Surgery
specialty set as it is
clinically relevant
and the denominator
was expanded to
allow for this
clinician type.
This measure is
proposed for
inclusion into the
Orthopedic Surgery
specialty set as it is
clinically relevant
and the denominator
was expanded to
allow for this
clinician type.
EP14AU19.192
.·
41010
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.ll. Orthopedic Surgery
ADDITION TO THE ORTHOPEDIC SURGERY SET
.·
Indi<:ator
NQF#
I
eCQM
NQF#
MEASURES PROPOSED FOR
..
Mea~ure
C'MS
Quality
Cplleetion
<:CQM
Type
#
TYPt
ID
*
I
(Outcome
)
0426
221
N!A
MIPS
CQMs
Spccificatio
ns
Patient
Reported
Outcome
Natlonlll
Quality
StrateJ!y
Domain
Con1n1uni
cation and
Care
Coordinati
on
Measure Title
Measure
And Description
Steward
·
..
·
.··
Functional Status Change for
Patients with Shoulder
Impairments:
A patient-reported outcome measure
ofrisk-adjnsted change in fnnctional
status for patients 14 years+ with
shoulder impairments. TI1e change in
functional status (FS) is assessed
using the Shoulder FS patient!Focus on
reported outcome measure (PROM)
~herapeuti
C02009-2019 Focus on Therapeutic
Outcomes, Inc.). The measure is
Putcmnes,
adjusted to patient characteristics
nc.
known to be associated with FS
outcomes (risk adjusted) and used as
a performance measure at the patient
level, at the individual clinician, and
at the clinic level to assess quality.
The measure is available as a
computer adaptive test, for reduced
patient burden, or a short form (static
.
Rationale for
Inclusion
l11is tneasure is
proposed for
inclusion into the
Orthopedic Surgery
specialty set as it is
clinically relevant
and the denominator
was expanded to
allow for this
clinician type.
measure)
Functional Status Change for
Patients with Elbow, Wrist or
Hand Impairments:
A patient-reported outcome measure
of risk-adjusted change in functional
status (FS) for patients 14 years
with elbow, wrist or hand
impainnents. The change in FS is
assessed using the
Elbow/Wrist/Hand FS patient!Focus on
reported outcome measure (PROM) ~herapeuti
(©2009-2019 Focus on Therapeutic
Outcomes, Inc.) The measure is
Putcomes,
adjusted to patient characteristics
nc.
known to be associated with FS
outcomes (risk adjusted) and nsed as
a performance measure at the patient
level, at the individual clinician, and
at the clinic level to assess quality.
TI1e measure is available as a
computer adaptive test, for reduced
patient burden, or a short form (static
measure)
1
!
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(Outcome
)
VerDate Sep<11>2014
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18:25 Aug 13, 2019
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CQMs
Specificatio
ns
PO 00000
Patient
Repmted
Outcome
Frm 00530
Con1m1mi
cation and
Care
Coordinati
on
Fmt 4701
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
EP14AU19.193
*
This n1easure is
proposed for
inclusion into the
Orthopedic Surgery
specialty set as it is
clinically relevant
and the denominator
was expanded to
allow for this
clinician type.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41011
B.ll. Orthopedic Surgery
MEASURKSPROPOSJ{DI<'ORADDIT10NTOTHl£0RTHOPEDICSURGERY SET
Indicator
NQF#
I
eCQM
NQF#
Quality
#
C'MS
eCQM
ID
!
khammond on DSKBBV9HB2PROD with PROPOSALS2
(Outcome
)
VerDate Sep<11>2014
N/A
TBD
18:25 Aug 13, 2019
N/A
Jkt 247001
..
Mea~ure
Q>llection
Type
Typ~,!
MIPS
CQMs
Specificatio
ns
PO 00000
Patient
Reported
Outcome
Frm 00531
Natlonlll
Quality
Stmtegy
Domain
Person
and
CaregiverCentered
Experienc
e and
Outcomes
Fmt 4701
Measure Title
And Descripti;.,n
·.··
.··
.
Measure
Steward
Functional Status Change for
Patients with Ne~k Impainnents:
This is a patient-reported outcome
performance measure (PRO-PM)
consisting of a patient-reported
outcome measure (PROM) of riskadjusted change in functional status
(FS) for patients aged 14+ with neck
impainncnts. The change in FS is
assessed using the Neck FS PROM.* !Focus on
The measure is risk-adjusted to
rrherapeuti
patient characteristics known to be
associated with FS outcomes. It is
putcomes,
used as a perfonnance measure at the nc.
patient. individual clinician, and
clinic levels to assess quality. *The
Neck FS PROM is an item-response
theory-based computer adaptive test
(CAT). In addition to the CAT
version, which provides for reduced
patient response burden, it is
available as a 10-item short form
(static/paper-pencil).
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
Rationale for
.Inclusion
This n1easure is being
proposed as a new
measure for the 2020
perfonnance period.
We propose to
include this measure
in the Orthopedic
Surgery specialty set
as it is clinically
relevant to this
clinician type.
EP14AU19.194
.·
41012
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.ll. Orthopedic Surgery
REMOVAL
PREVIOUSLY FINALIZED MEASURES PROPOSED FQR
.FROM THE ORTHOPEDIC Sl:RGERY SET
Note: In ti;Iis proposed ru[e, CMS proposes the removal of the following weasure(s) he! ow from this specific specialty measure set ~ased upon review ofupdatesmade to
existing quality measure specifications" tl>e proposed addition of new measures for inclusion in MIPS, and the feedback rovi4ed by specialty societies.
NQF
#I
NatiQ.Jmt
Quality
CMS
Collection
Measure
Quality
Measure
eCQ
Measure Title and l)escriptiml
Rationale for Removal
M .·
Type
Type
Steward
#
Strate~~)'
eCQMID
Dmnain
NQF
#.
Medication Reconciliation
Post-Discharge:
The percentage of discharges
from any inpatient facility (e.g.
hospital, skilled nursing facility,
or rehabilitation facility) for
patients 18 years of age and
older seen within 30 days
following discharge in the office
by the physician, prescribing
practitioner. registered nurse, or
Medicare Part
Comtnunic
l11is measure is being
clinical pharmacist providing
National
DClaim
ation and
proposed for removal
on-going care for whom the
Committee for
0097
046
N!A
Specifications,
Process
Care
beginning with the 2022
discharge medication list was
Quality
Coordinatio
MIPS CQMs
MIPS Payment Year. See
reconciled with the current
Assurance
Specifications
n
Table C for rationale.
medication list in the outpatient
medical record.
This measure is submitted as
three rates stratified hy age
group:
• Submission Criteria 1: 18-64
N!A
0420
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N/A
109
131
1n
VerDate Sep<11>2014
N!A
Medicare Part
B Claims
Measnre
Specifications.
MIPS CQMs
Specifications
N!A
Medicare Part
BClaims
Specifications.
MIPS CQMs
Specifications
N!A
MIPS CQMs
Specifications
18:25 Aug 13, 2019
Jkt 247001
Process
Person and
Caregiver
Centered
Experience
and
Outcomes
Comtnunic
Process
Process
PO 00000
ation and
Care
Coordinatio
n
Etlective
Clinical
Care
Frm 00532
Fmt 4701
or age.
Sfmt 4725
American
Academy of
Orthopedic
Surgeons
Centers for
Medicare &
Medicaid
Services
American
College of
Rheumatology
E:\FR\FM\14AUP2.SGM
14AUP2
l11is measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year. See
Table C for rationale.
'l11is measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year. See
Table C for rationale.
l11is measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year. See
Table C for rationale.
EP14AU19.195
years
• Submission Criteria 2: 65 years
and older.
• Total Rate: All patients 18
years of age and older.
Osteoarthritis (OA): Fllllction
and Pain Assessment:
Percentage of patient visits for
patients aged 21 years and older
with a diagnosis of osteoarthritis
(OA) with assessment for
function and pain.
Pain Assessment and FollowUp:
Percentage of visits for patients
aged 18 years and older with
documentation of a pain
assessment using a standardized
tool( s) on each visit AND
documentation of a follow-up
plan when pain is present
Rheumatoid Arthritis (R<\):
Functional Status Assessment:
Percentage of patients aged 18
years and older with a diagnosis
of rheumatoid arthritis (RA) for
whom a functional status
assessment was perfom1ed at
least once within 12 months.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41013
B.ll. Orthopedic Surgery
REMOVAL
PREVIOUSLY FINALIZED MEASURES PROPOSED FQR
.FROM THE ORTHOPEDIC Sl:RGERY SET
Note: In this proposed nile, CMS proposes the removal of the following measure(s) helowfrom this specific specialty measure set based upon review ofupdatesmade to
existino- quality measure specifications" tl>e proposed addition of new measures for inclusion in MIPS, and the feedback rovi9ed by specialty societies•
.
~'Q
M .·
NQF
QUality
#
CMS
eCQMID
N!A
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N!A
Measure
Type
..
#.
NIA
Collection
Type
179
352
353
VerDate Sep<11>2014
N!A
N!A
N!A
18:25 Aug 13, 2019
.·
MIPS CQMs
Specifications
MIPS CQMs
Specifications
MIPS CQMs
Specifications
Jkt 247001
Proces-.::
Process
Process
PO 00000
Nati
NQF
#I
41014
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.12. Otolaryngology
In addition to the considerations discussed in the introductory language of Table B of the appendix ofthis proposed rule, the Otolaryngology
specialty set takes additional criteria into consideration, which includes, hut is not limited to: whether the measure retlects current clinical guidelines
ami the coding of the measure includes relevant clinician types. CMS may reassess the appropriateness of individual measures, on a case-by-case
basis, to ensure appropriate inclusion in the specialty set. Measure tables in this set include previously finalized measures that we are maintaining
within the set, measures that arc proposed to be added, and measures that arc proposed for removal, as applicable. W c request comment on the
measures available in the proposed Otolmyngology specialty set.
B.12. Otolaryngology
PRRVIOHSJ ;v. FINA U/':RD MRASURF,S IN THR OTOLA RYNGOT,OGY 8F,T
Quality
#'
CMS
ti(:.'QM
ID
0268
~/A
Process
Patient
Safety
~/A
Medicare Part
E Claims
Measure
Specifications,
MIPS CQ!v!s
Specification':'
Process
Patient
Safety
047
~/A
Medicare Part
D Claims
Measure
Specifications,
MIPS CQ!v!s
Specifications
Process
Cotnmunica
tion and
Care
Coordinatio
n
065
CMS15
4v8
eCQM
Specifications,
MIPS CQ!v!s
Specifications
Process
Efficiency
and Cost
Reduction
~!A
Medicare Part
E Claims
Measure
Specifications,
MIPS CQ!v!s
Specifications
Process
Efficiency
and Cost
Reduction
CMS69
v8
Medicare Part
E Claims
lvleasure
Specifications,
eCQM
Specifications,
MIPS CQ!v!s
Specifications
Process
Cotnmunity
/Population
Health
021
023
KIA
!
(Care
Coordination)
sI
(Appropriate
Cse)
0326
0069
I
KIA
I
(Appropriate
Cse)
*
khammond on DSKBBV9HB2PROD with PROPOSALS2
§
VerDate Sep<11>2014
0654
0421 I
042le
Quality
Strategy
Donmin
Medicare Part
E Claims
Measure
Specifications,
MIPS CQ!v!s
Specification':'
I
(Patient
Safety)
:Nnffomll
Measure
Type
•
I
(Appropriate
Lse)
Collectim•
Type
093
128
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Frm 00534
Fmt 4701
Sfmt 4725
'deasut-e Title
ru~d. Description
Petioperative Cat·e: Selection of Pmphylactic
Antibiotic- First OR Second-Generation
Cephalosporin:
Percentage of surgical patients aged 18 years and
older undergoing procedures with the indications tor
a tlrst OR second-generation cephalosporin
prophylactic antibiotic who had an order for a first
OR second-generation cephalosporin for
antimicrobial prophylaxis.
Perioperative Care: Y enous Thromboembolism
(VTE) Prophylaxis (When Indicated in ALL
Patients):
Percentage of surgical patients aged 18 years and
older undergoing procedures for which venous
thromboembolism (VTE) prophylaxis is indicated in
all patients, who had an order for Low Molecular
Weight Heparin (LMWH), Low- Dose
Unfractionated Heparin (LDUH), adjusted-dose
warfarin, fondaparinux or mechanical prophylaxis to
be given within 24 hours prior to incision time or
within 24 hours after surgery end time.
Advam·e Care Plan:
Percentage of patients aged GS years and older who
have an advance care plan or surrogate decision
maker documented in the medical record or
documentation in the medical record that an advance
care plan was discussed but the patient did not wish
or was not able to name a surrogate decision maker
or provide an advance care plan.
Appropriate Treatment for Children with Upper
Respiratory Infection (URJ):
Percentage of children 3 months - 18 years of age
who were diagnosed with upper respiratory
infection (URI) and were not dispensed an antibiotic
prescription on or three days after the episode.
Acute Otitis Externa (AOE): Systemic
Antimicrobial Therapy- Avoidance of
Inappropriate Use:
Percentage of patients aged 2 years and older with a
diagnosis of AOE who were not prescribed systemic
antimicrobial therapy.
Preventive Care and Screening: Body Mass
Index (BMI) Screening and Foil ow-Up Plan:
Percentage of patient' aged 18 years and older "ith
a B~11 documented during the current encounter or
during the previous twelve months AND with a
EM! outside of nonnal parameters, a follow-up plan
is documented during the encounter or during the
previous twelve months of the current encounter.
Normal Parameters:
Age 18 vcars and older EM!> 18.5 and< 25 kgim 2
E:\FR\FM\14AUP2.SGM
14AUP2
Measure
Steward
American
Society of
Plastic
Surgeons
American
Society of
Plastic
Surgeons
National
Committee
for Quality
Assurance
National
Committee
for Quality
Assurance
A..Iuerican
Academy of
Otolaryngolog
-Head and Nee
Surgery
Centers for
Medicare &
Medicaid
Services
EP14AU19.197
Indicator
NQF#/
eCQM
NQF#
41015
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.12. Otolaryngology
Imlit,at.or
..
I
(Patient
Safety)
..
NQF#/
<'CQM
NQF#
Quality
#
0419 I
0419e
130
0101
154
0101
155
I
(Patient
Safety)
I
(Care
Coordination)
..
.··.
PREVIOUSLY l"!NA:UZED MEASURES IN THE Ol'OLARYNGOLQGY SET
Nation!ll
.·
.··
CMS
concction
Measure
Quality
'11casurc Title
JYicasurc
CCQM
Type
Type
Strategy
and Description
I·· Steward
ID ..
Domain 1··.
.
..
Documentation of Current Medications in the
Medical Record:
MedicMe P"rt
Percentage of visits for patients aged 18 years and
B Cl"ims
older for which the MIPS eligible clinician attests to
lvfea.o;;;ure
Centers for
documenting a list of current medications using all
Specifications,
Medicare &
CMS68
Patient
Process
immediate resources available on the date of the
v9
eCQM
Safety
Medicaid
encounter. This list must include ALL known
Specifications,
Services
prescriptions, over-the-counters, herbals, and
MIPS CQMs
vitamin/mineral/dietary (nutritional) supplements
Specifications
AND must contain the medications· name, dosage,
frequency and route of administration.
Medicare Part
B Claims
National
Falls: Risk Assessment:
Measure
Patient
Percentage of patients aged 65 years and older with
Committee for
Process
'l/A
Specification':',
Safety
QLtaJity
"history of f"lls th"t h"d" risk "ssessment for f"lls
MIPS CQMs
completed within 12 months.
Assurance
Specifications
MedicMe P"rt
Cotnmunica
B Cl"ims
Falls: Plan of Care:
N"tioml
tion and
lvfea.o;;;ure
Percentage of patients aged 65 years and older with
Committee for
'1/A
Process
Care
Specifications,
a history of falls that had a plan of care for falls
Quality
Coordinatio
Assurance
MIPS CQMs
documented within 12 months.
n
Specifications
Tob~UTO rse:
Sl·rt'ening and Cessation Intt'rvention:
Percentage of patients aged 18 years and older who
were screened for tobacco use one or n1ore titnes
within 24 months A'ID who received tobacco
cessation intervention if identified as a tobacco user.
Prt'\'t"llfivl:" Carl:' and SlTt't'ning:
s
0028 I
0028e
226
CMS13
8v8
I
(C"re
Coonlin"tion)
KIA
KIA
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VerDate Sep<11>2014
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277
279
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'II A
MIPS C()Ms
Specitlcations
'II A
MIPS CQMs
Specifications
'II A
MIPS CQMs
Specifications
Jkt 247001
PO 00000
Process
Cotnmunity
/Population
Health
Process
Cotnmunica
tion and
Care
Coordinatio
n
Proce-;-;
Effective
Clinic"]
Care
Process
Effective
Clinical
Care
Frm 00535
Fmt 4701
Sfmt 4725
Three rates arc reported:
a. Percentage of patients aged 1g years and older
who were screened for tobacco use one or n1ore
times within 24 months
b. Percentage of patients aged 18 years and older
who were screened for tobacco use and identified as
a tobacco user who received tobacco cessation
intervention
c. Percentage of patients aged 18 years and older
who were screened for tobacco use one or n1ore
times within 24 months AND who received tobacco
cessation intervention if identified as a tobacco user.
Biopsy FoRow-l:p:
Percentage of new patients whose biopsy results
have been reviewed and communicated to the
primary care/referring physician and patient
Sleep Apnea: Severity Assessment at Initial
Diagnosis:
Percentage ofp"tient' "ged 18 ye"rs "nd older "ith
a diagnosis of obstructive sleep <-~pnea who had an
apnea hypopnea index (A HI) or a respiratory
disturbance index (RDI) measured at the time of
initial diagnosis.
Sleep Apnea: Assessment of Adherem·e to
Positive Ahway Pressure Therapy:
Percentage of visits for patients aged 18 years and
older with a diagnosis of obstmctive sleep apnea
who were prescribed positive airway pressure
therapy who had documentation that adherence to
positive airway pressure therapy was objectively
measured.
E:\FR\FM\14AUP2.SGM
14AUP2
Physician
Consortium fo
Performance
Improvement
Foundation
(PCPI®)
American
Academy of
Dermatology
American
A.cademy
of Sleep
Medicine
A..Iuerican
Academy
of Sleep
Medicine
EP14AU19.198
*
**
Medicare Part
B Claims
Measure
Specifications,
eCQM
Specification':',
CMS Web
Tntetface
Measure
Specifications,
MIPS CQMs
Specifications
41016
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.12. Otolaryngology
..
*
I
(Patient
Safety)
NQF#/
<'CQM
NQF#
Quality
#
KIA
317
0101
KIA
I
318
I
(Appropriate
Cse)
KIA
331
KIA
332
KIA
333
KIA
357
KIA
358
KIA
374
KIA
398
*
I
(Appropriate
Lse)
I
(Appropriate
Cse)
I
(Outcome)
!
(Patient
Experience)
I
(Care
Coordination)
I
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(Outcome)
VerDate Sep<11>2014
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..
.··.
PREVIOUSLY l"!NA:UZED MEASURES IN THE Ol'OLARYNGOLQGY SET
Nation!ll
.·
.··
CMS
Collection
Measure
Quality
'11casurc Title
JYieasurc
CCQM
Type
Type
Strategy
and Description
I·· Steward
ID ..
Domain 1··.
.
..
Medicare Part
Preventive Care and Screening: Screening for
B Claims
High Hlood Pressure and }'ollow-L p
Measure
Centers for
Documented:
Community
CMS22
Percentage of patients aged 18 years and older seen
Specifications,
Process
Medicare
/Population
v8
eCQM
during the submitting period who were screened for
& Medicaid
Health
Specifications,
high blood pressure AND a recommended follow-up
Services
plan is documented based on the current blood
MIPS CQMs
Specifications
pressure (BP) reading as indicated.
eCQM
Specifications,
National
Falls: Screening for Future Fall Risk:
CMS13
CMS Web
Patient
Percentage of patients 65 years of age and older who
Committee for
Process
were -;creened for future fall risk during the
9v8
Interface
Safety
QLtality
lvleasure
measurement period.
Assurance
Specifications
Adult Sinusitis: Antibiotic Prescribed for Acute
American
Academy
Viral Sinusitis (Overuse):
Efficiency
Percentage of patients, aged 1g years and older, with
MIN\ CQ Ms
of
'II A
and Cost
Process
Specifications
a diagnosis of acute viral sinusitis who were
Otolaryngolog
Reduction
-Head and Nee
prescribed an antibiotic within 10 days after onset of
symptoms.
Surgery
Adult Sinusitis: Appropriate 010ice of
Antibiotic: Amoxicillin With or Without
American
Clavulanate Prescribed for Patients with Acute
Efficiency
Academy of
MIPS CQMs
Bacterial Sinusitis (Appropriate Use):
'II A
Process
and Cost
Otolaryngolog
Percentage of patients aged 18 years and older with
Specifications
Reduction
-Head and Nee
a diagnosis of acute bacterial sinusitis that were
Surgery
prescribed amoxicillin, with or without Clavulanate,
as a first line antibiotic at the time of diagnosis.
Adult Sinusitis: Computerized Tomography (CT)
American
for Acute Sinusitis (Overuse):
Academy
Percentage of patients aged 18 years and older, with
Efficiency
MIN\ CQMs
of
'II A
Efficiency
and Cost
a diagnosis of acute sinusitis who had a
Specifications
Otolaryngolog
Reduction
computerized tomography (CT) scan of the
-Head and Nee
paranasal sinuses ordered at the time of diagnosis or
Surgery
received within 28 days after date of diagnosis.
Effective
Sur!!ical Site Infection (SSI):
American
MIPS CQMs
'II A
Outcome
Clinical
Percentage of patients aged 18 years and older who
College
Specifications
had a surgical site infection (S SI).
of Surgeons
Care
Patient-Centered Surgical Risk Assessment and
Communication:
Person and
Percentage of patients who underwent a nonCaregiveremergency surgery who had their personalized risks
American
MIPS CQMs
Centered
'II A
Process
of postoperative complications assessed by their
College
Specifications
Experience
surgical team prior to surgery using a clinical dataof Surgeons
and
based, patient-specific risk calculator and who
Outcomes
received personal discu~~ion oftho~e risks with the
surgeon.
CmnmLmic
Closing the Referral Loop: Receipt of Specialist
eCQM
Centers for
ation and
Report:
CMS50
Specifications,
Medicare &
Process
Care
Percentage of patients with referrals, regardless of
v8
MIPS CQMs
Medicaid
Coordinatio
age, for which the referring provider receives a report
Services
Specifications
from the provider to whom the patient was referred.
n
Optimal Asthma Contl'ol:
Composite measure of the percentage of pediatric and
Effective
Minnesota
adult patients whose asthma is well-controlled as
MIPS CQMs
'II A
Outcome
Clinical
Community
Specifications
demonstrated by one of three age appropriate patient
Measurement
Care
reported outcome tools and not at risk for
exacerbation.
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Imlit,at.or
..
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B.12. Otolaryngology
NQF#/
<'CQM
NQF#
Quality
#
2803
402
2152
431
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Cse)
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464
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..
.··.
PREVIOUSLY l"!NA:UZED MEASURES IN THE Ol'OLARYNGOLQGY SET
Nation!ll
.·
.··
CMS
concction
Measure
Quality
'11casurc Title
JYicasurc
CCQM
Type
Type
Strategy
and Description
I·· Steward
ID
Domain
.
Tobacco Use and Help with Quitting Among
Adolescents:
National
Cotnmunity
The percentage of adolescents 12 to 20 years of age
MIPS CQMs
Committee for
"!!A
I Population with a primary care visit during the measurement year
Process
Quality
Specifications
Health
for whom tobacco use status was documented and
Assurance
received help with quitting if identified as a tobacco
user.
Physician
Preventive Care and Screening: Unhealthy
Consortium
Alcohol Use: Screening & Brief Counseling:
for
Cotnmunity
Percentage of patients aged 18 years and older who
MIPS C()Ms
"!!A
Proc~-..-..
I PopLtlalion were -;creened for unhe<-11lhy alcohol use using a
Performance
Specifications
~ystematlc screening method at lea.o;;;t once within the
Health
Improvement
la't 24 months A'ID who received brief counseling if Foundation
(PCP!@)
identified as an unhealthv alcohol user.
"!!A
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Specifications
PO 00000
Process
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Fmt 4701
Effective
Clinical
Care
Sfmt 4725
Otitis Media with Effusion: Systemk
Antitnicrohials- Avoidance oflnapprop1iate rse:
Percentage of patients aged 2 months through 12
years with a diagnosis ofOME who were not
prescribed systemic antimicrobials.
E:\FR\FM\14AUP2.SGM
14AUP2
American
Academy of
Otolaryngolo
gy-Head
and Neck
Surgery
Foundation
EP14AU19.200
Imlit,at.or
..
41018
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B.l2. Otolaryngology
Indicatm;
I
eCQM
NQF#
Quality
#
..
PROPOSE)) FOR ADDITION TO THE OTOLARYKGOLOGY.SET
National
ME>.asnre
CMS
Collection
Quality
Measure Title
Type
E'CQM
Type
Strategy
An4 Description
.ID
Domain
•·
.
CMS Web
Interface
Measure
khammond on DSKBBV9HB2PROD with PROPOSALS2
N/A
VerDate Sep<11>2014
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18:25 Aug 13, 2019
N/A
Jkt 247001
Specificatio
ns, MIPS
CQMs
Specificatio
ns
PO 00000
Process
Frm 00538
Communit
y!
Populatio
n Health
Fmt 4701
Adult Immunization Status:
Percentage of members 19 years of
age and older who arc up-to-date on
recommended routine vaccines for
intluenza; tetanus and diphtheria
(Td) or tetanus, diphtheria and
acellular pertussis (Tdap ); zoster;
and pneumococcaL
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
.
Measure
Ste'l'\'ard
rational
~onunitte
~for
puality
~ssurance
Rationale for
Inclusion
This measure is being
proposed as a new
measure for the 2020
perfom1ance period.
We propose to
include this measure
in the
Otolai}1Igology
specialty set as it is
clinically relevant to
this clinician type.
EP14AU19.201
NQF#.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41019
B.12. Otolaryngology
REMOVAL
PREVIOUSLY FINAUZ£D MEASI:RES PROPOSED FOR
FROM THE OTOLARYNGOLOGY SET
Note: In this proposed rule: CMS proposes the removal ofthe following measure(s) below from this specific specialty measure set based upori revie\v of updates made to
.· existin~ quality measure specifications, the roposed addition of new measures for inclusion in lV!IPS, and the feedback provided by specialty s.ocieties.
.·
National
CMS •
NQFII/
Quality
Collection
Measure
Quality
Measure
eCQM
eCQM
Measure Title and Description
Ratiimale for Removal
#
Type
Strate:zy
Steward
Ty~e
ID
NQF#
Domain
091
~/A
Effective
Clinical Care
Academy
of
Otolaryngol
ogy- Head
and Neck
Surgery
Process
Community/
Population
Health
Preventive Care and Screening:
lnlluenza Immunization:
Percentage of patients aged 6
months and older seen for a visit
between October I and March 31
who received an influenza
immunization OR who reported
previous receipt of an influenza
immuni;.aLion.
Physician
Consortium
for
Performanc
e
Improveme
nt
Foundation
(PCP!®)
This measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year. See
Table C for rationale.
Process
Community/
Population
Health
Pneumococcal Vaccination Status
for Older Adults:
Percentage of patients 65 years of
age and older who have ever
received a pnemnococcal vaccine.
National
Committee
for Quality
Assurance
This measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year. See
Table C for rationale.
Process
Sp~cifications
0041;
004le
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VerDate Sep<11>2014
110
CMS147
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Ill
CMS127
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18:25 Aug 13, 2019
Medicare Part
BClaims
Measure
Specifications,
eCQM
Specifications,
CMS Web
Interface
Specifications,
MIPS CQMs
Specifications
Medicare Part
R Claims
Measure
Specifications,
eCQM
Specifications,
MIPS CQMs
Specifications
Jkt 247001
A.Jnerican
Acute Otitis Extema (AOE):
Topical Therapy: Percentage of
patients aged 2 years and older with
a diagnosis of AOE who were
prescribed topical preparations.
PO 00000
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E:\FR\FM\14AUP2.SGM
14AUP2
This measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year. See
Table C for rationale.
EP14AU19.202
0653
Medicare Part
BC!aims
Measure
Specifications,
MIPS CQMs
41020
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.13. Pathology
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed rule, the Pathology specialty set
takes additional criteria into consideration, which includes, but is not limited to: whether the measure reflects current clinical guidelines and the
coding of the measure includes relevant clinician types. CMS may reassess the appropriateness of individual measures, on a case-by-case basis, to
ensure appropriate inclusion in the specialty set. Measure tables in this set include previously finalized measures that we are maintaining within the
set, measures that are proposed to be added, and measures that are proposed for removal, as applicable. We request comment on the measures
available in the proposed Pathology specialty set.
B.13. Pathology
NQF#
!
khammond on DSKBBV9HB2PROD with PROPOSALS2
(Care
Coordination
)
VerDate Sep<11>2014
N!A
PREVIOCSLY FNALIZED MEASURES IN THE PATUOLOGY SET
Measure Title
Quality# ·. CMS
Collection
Measure
National
Type
Type
and Description
. eCQM
Quality
Strategy
ID
·. Dimtain
·.··
.'vledicare Part
B Claims
Melanoma Reporting:
Communication
.'vleasure
Pathology reports for primary malignant cutaneous
397
NIA
Process
and Care
Specifications,
melanoma that include the pT category and a
Coordination
.'v!IPS CQMs
statement on thickness, ulceration and mitotic rate .
Specifications
18:25 Aug 13, 2019
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Fmt 4701
Sfmt 4725
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.Measure
Steward
.·
College of
A.tnerican
Pathologists
EP14AU19.203
lndicatfu-
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41021
B.13. Pathology
Indicator
I
eCQM
NQF#
Quality
#
CM'S
eCQM
lD .··
*
!
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(Care
Co ordinal
ion)
VerDate Sep<11>2014
N/A
440
18:25 Aug 13, 2019
N/A
Jkt 247001
M~U:re
(:Collection
Type
Type
·.
MIPS
CQMs
Specificatio
ns
PO 00000
ADDITION TO TIIE PATHOLOGY SET
Process
Frm 00541
National
Quality
Stratejfy
Domain
Communi
cation and
Care
Coordinati
on
Fmt 4701
Measure Title
And Description
..
Measure
Steward
.•·
Basal Cell Carcinoma
(BCC)/Squamous Cell Carcinoma
(SCC): Biopsy Reporting TimePathologist to Clinician:
Percentage of biopsies with a
diagnosis of cutaneous Basal Cell
Carcinoma (DCC) and Squamous
Cell Carcinoma (SCC) (including in
situ disease) in which the pathologist
communicates results to the clinician
within 7 days from the time when
the tissue specimen was received by
the pathologist.
Sfmt 4725
E:\FR\FM\14AUP2.SGM
Rationale fur:
Inclusion
14AUP2
~merican
~cademy
pf
permatolo
~y
This measure is
proposed for
inclusion into the
Pathology specialty
set as it is applicable
to a subset of
pathologists and
drives care
coordination and
comtnunication.
EP14AU19.204
MEASURES. PlldPOSED FOil
NQF#
41022
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B.13. Pathology
VerDate Sep<11>2014
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EP14AU19.205
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PREVJPlJSLY FJNAJ,JZ]\",D MRASURRS FTNAUZED FOR REMOvAL FRO'w THK PA THQl,OGY SRT
Note; In this tina! rule, .we remove2014
N/A
CMS14
6v8
066
eCQM
Specifications,
MIPS CQMs
Specifications
eCQM
Specifications,
MIPS CQMs
Specifications
Process
0654
0418
I
0418e
0409
093
N/A
134
205
18:25 Aug 13, 2019
CMS2v
9
N/A
Jkt 247001
Specifications,
MIPS CQMs
Specifications
Medicare Part
BClaims
Measure
Specifications,
eCQM
Specifications,
C\1S Web
Interface
Measure
Specifications,
MIPS CQMs
Specifications
MIPS CQMs
Specifications
PO 00000
Frm 00543
National
Quality
Strategy.
Domain
Efficiency
and Cost
Reduction
Measure Title
and Description
...
Appropriate Treatment for Children with
l:pper Respiratory Infection (URI):
Percentage of children 3 months - 18 years
of age who were diagnosed with upper
respiratory infection (URI) and were not
dispensed an antibiotic prescription on or
three days after the episode.
Appropriate Testing for Children with
Pharyngitis:
Percentage of children 3-18 years of age
who were diagnosed with pharyngitis,
ordered an antibiotic and received a group A
streptococcus (strep) test for the episode.
Acute Otitis Externa (AOE): Systemic
Antimicrobial Therapy -Avoidance of
Inappropriate Use:
Percentage of patients aged 2 years and
older with a diagnosis of AOE who were not
I prescribed systemic antimicrobial therapy.
Process
Efficiency
and Cost
Reduction
Process
Efficiency
and Cost
Reduction
Process
Preventive Care and Screening:
Screening for Depression and Follow-Up
Plan:
Community Percentage of patients aged 12 years and
/Population older screened for depression on the date of
Health
the encounter using an age appropriate
standardized depression screening tool AND
if positive, a follow-up plan is documented
on the date of the positive screen.
Process
HIV/AIDS: Sexually Transmitted Disease
Screening for Chlamydia, Gonorrhea,
and Syphilis:
Percentage of patients aged 13 years and
older with a diagnosis of HIVI AIDS for
whom chlamydia, gonorrhea, and syphilis
screenings were performed at least once
since the diagnosis of HIV infection.
Medicare Part
BClaims
Measure
THE PEDIATRICS SET
Fmt 4701
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Clinical
Care
Sfmt 4725
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Measure
Steward
National
Committee for
Quality
Assurance
National
Committee for
Quality
Assurance
A.tnerican
Academy of
OtolaryngologyHead and Neck
Surgery
Centers for
Medicare &
Medicaid
Services
Health
Resources and
Services
Administration
EP14AU19.206
PREVIOUSLY FNALIZED MEASURES IN
41024
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.14. Pediatrics
PREVIOUSLY FNALIZEJ) MEASURES IN TliE PEJ)}ATRICS SET
#I
Indicator
eCQ
M
Quality
#
CMS
eCQM
ID
Collection
Type
Measure
Type
NQF
#
§
*
§
*
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(Opioid)
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VerDate Sep<11>2014
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N/A
240
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7v8
eCQM
Specifications
Process
N/A
305
CMSI3
7v8
eCQM
Specifications
Process
310
CMS15
1vS
eCQM
Specifications
N/A
Measure Title
and ·Description
..·
CMS15
5v8
N/A
National
Quality
Strategy
Domain
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Process
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Measure
Steward
·.
Weight Assessment and Counseling for
Nutrition and Physical Activity for
Children and Adolescents:
Percentage of patients 3-17 years of age
who had an outpatient visit with a Primary
Care Physician (PCP) or
Obstetrician/Gynecologist (OB/GYN) and
Community who had evidence of the following during
I
the measurement period. Tbree rates are
Population
reported.
Health
Percentage of patients with height,
weight, and body mass index (BMI)
percentile documentation.
• Percentage of patients with counseling
for nutrition.
• Percentage of patients with counseling
for physical activity.
Childhood Immunization Status:
Percentage of children 2 years of age who
had four diphtheria, tetanus and acellular
pertussis (DTaP); three polio (IPV), one
Community
measles, mumps and rubella (MMR); three
I
H influenza type B (HiB); three hepatitis B
Population
(Hep B); one chicken pox (VZV); four
Health
pneumococcal conjugate (PCV); one
hepatitis A (Hep A); two or three rotavirus
(RV); and two influenza (flu) vaccines by
their second birthday.
Initiation and Engagement of Alcohol
and Other Drug Dependence Treatment:
Percentage of patients 13 years of age and
older with a new episode of alcohol or other
drug abuse or (AOD) dependence who
received the following. Two rates are
Effective
reported.
Clinical
• Percentage of patients who initiated
Care
treatment within 14 days of the diagnosis.
• Percentage of patients who initiated
treatment and who had two or more
additional services with an AOD
diagnosis within 30 days of the initiation
visit.
Chlamydia Screening for Women:
Community
Percentage of women 16-24 years of age
I
who were identified as sexually active and
Population
who had at least one test for chlamydia
Health
during the measurement period.
.
Sfmt 4725
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14AUP2
National
Committee for
Quality
Assurance
National
Committee for
Quality
Assurance
National
Committee for
Quality
Assurance
National
Committee for
Quality
Assurance
EP14AU19.207
NQF
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41025
B.14. Pediatrics
PREVIOUSLY FNALIZEJ) MEASURES IN TliE PEJ)}ATRICS SET
#I
Indicator
eCQ
M
Quality
#
CMS
eCQM
ID
Collection
Type
Measur:e
Type
NQF
#
N/A
N/A
*
*
!
(Patient Safety)
1365e
*
§
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!
(Outcome)
VerDate Sep<11>2014
0576
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N/A
Measure Title
and ·Description
..·
366
Clv!Sl3
6v9
eCQ!v!
Specifications
379
Clv!S74
v9
eCQ!v!
Specifications
382
Clv!Sl7
7v8
eCQ!v!
Specifications
N/A
MIPS CQMs
Specifications
*
!
(Care
Coordination)
National
Quality
Strategy
Domain
391
394
398
18:25 Aug 13, 2019
N/A
N/A
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Specifications
MIPS CQMs
Specifications
PO 00000
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Process
Process
Process
Process
Outcome
Fmt 4701
Meas.ure
Steward
.··
Follow-Up Care for Children Prescribed
ADHD Medication (ADD):
Percentage of children 6-12 years of age and
newly dispensed a medication for attentiondeficit/hyperactivity disorder (ADIID) who
had appropriate follow-up care. Two rates
are reported.
a) Percentage of children who had one
Effective
follow-up visit with a practitioner with
Clinical
prescribing authority during the 30-Day
Care
Initiation Phase.
b) Percentage of children who remained on
ADHD medication for at least 210 days
and who, in addition to the visit in the
Initiation Phase, had at least two
additional follow-up visits with a
practitioner within 270 days (9 months)
after the Initiation Phase ended.
Primary Caries Prevention Intervention
as Offered by Primary Care Providers,
Effective
including Dentists:
Clinical
Percentage of children, age 0-20 years, who
Care
received a fluoride varnish application
during the measurement period.
Child and Adolescent Major Depressive
Disorder (MDD): Suicide Risk
Assessment:
Patient
Percentage of patient visits for those
Safety
patients aged 6 through 17 years with a
diagnosis of major depressive disorder with
an assessment for suicide risk.
Follow-up After Hospitalization for
Mental Illness (FUH):
T11e percentage of discharges for patients 6
years of age and older who were
hospitalized for treatment of selected mental
Communic illness diagnoses and who had a follow-up
ation/Care
visit with a mental health practitioner. Two
Coordinatio rates are submitted:
n
The percentage of discharges for which
the patient received follow-up within 30
days after discharge.
The percentage of discharges for which
the patient received follow-up within 7
days after discharge.
Immunizations for Adolescents:
Community
The percentage of adolescents 13 years of
/Population
age who had the recommended
Health
immunizations by their 13th birthday.
Optimal Asthma Control:
Composite measure of the percentage of
Effective
pediatric and adult patients whose asthma is
Clinical
well-controlled as demonstrated by one of
Care
three age appropriate patient reported
outcome tools and not at risk for
exacerbation.
.
.
Sfmt 4725
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14AUP2
National
Committee for
Quality
Assurance
Centers for
Medicare &
Medicaid
Services
Physician
Consortium for
Performance
Improvement
Foundation
(PCPIID)
National
Committee for
Quality
Assurance
National
Committee for
Quality
Assurance
Minnesota
Community
Measurement
EP14AU19.208
NQF
41026
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.14. Pediatrics
PREVIOUSLY FNALIZEJ) MEASURES IN TliE PEJ)}ATRICS SET
#I
Indicator
eCQ
M
Quality
#
NQF
#
§
!
(Efficiency)
khammond on DSKBBV9HB2PROD with PROPOSALS2
!
(Appropriate
Use)
VerDate Sep<11>2014
CMS
eCQM
ID
Collection
Type
Measure
Type
Measure Title
and ·Description
..·
2803
402
NA
MIPS CQMs
Specifications
Process
N/A
444
N/A
MIPS CQMs
Specifications
Process
0657
Nation\)}
Quality
Strategy
Domain
464
18:25 Aug 13, 2019
N/A
Jkt 247001
MIPS CQMs
Specifications
PO 00000
Frm 00546
Process
Fmt 4701
Measure
Steward
·.
Tobacco Use and Help with Quitting
Among Adolescents:
Community T11e percentage of adolescents 12 to 20
/Population years of age with a primary care visit during
Health
the measurement year for whom tobacco use
status was documented and received help
with quitting if identified as a tobacco user.
Medication Management for People with
Asthma:
The percentage of patients 5-64 years of age
Efficiency
during the performance period who were
and Cost
identified as having persistent asthma and
Reduction
were dispensed appropriate medications that
they remained on for at least 75% of their
treatment period.
Otitis Media with Effusion: Systemic
Antimicrobials- Avoidance of
Effective
Inappropriate Use:
Clinical
Percentage of patients aged 2 months
Care
through 12 years with a diagnosis ofOME
who were not prescribed systemic
antimicrobials.
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
National
Committee for
Quality
Assurance
National
Committee for
Quality
Assurance
A..tnerican
Academy of
Otolaryngology
-Head and
Neck Surgery
Foundation
(AAOHNSF)
EP14AU19.209
NQF
41027
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.14. Pediatrics
MEASUREs PROPOSED FOR ADDITION To THE.PEDIATRics SET
NQF#
Indicator
I
eCQM
NQF#
Quality
#
CMS
cCQM
ID
*
~
I
(Outcome
0710 I
0710e
370
cvrs 159
v8
khammond on DSKBBV9HB2PROD with PROPOSALS2
)
VerDate Sep<11>2014
18:25 Aug 13, 2019
Jkt 247001
Mll!ISUI"f
Collection
Type
Type
cCQM
Specificatio
ns. CMS
Web
Interface
Speciticatio
ns. MIPS
CQMs
Specificatio
ns
PO 00000
National
Quality
Strate,zy
Domain
Measure Title
A.nd Descriptim~
MeasUre
Steward
Depression Remission at Twelve
Months:
Outcome
Frm 00547
Effective
Clinical
Care
Fmt 4701
jMinnesota
The percentage of adolescent
patients 12 to 17 years of age and
~ommunit
adult patients 18 years of age or
jMcasurcm
older with major depression or
dysthymia who reached remission 12 nt
months (-/- 60 days) after an index
event date.
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
Ration:lle for
Ihclusi~:~n
Wc propose to
include this measure
in the Pediatrics
specialty set as the
denominator was
expanded to include
pediatric patients and
it drives quality by
measuring depression
remu;s1on.
EP14AU19.210
'•
'
41028
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.l4. Pediatrics
PREVIOUSLy FINALIZED MEASL"RES FINALIZED FOR REMOV~L FROM TilE PEDIATRICS SET
Note: In this proposed iule, CMS proposesthe removal ofthe followingmeasure(s) below from this specific specialty measure set 'based upon review ofupdates
VerDate Sep<11>2014
18:25 Aug 13, 2019
Jkt 247001
PO 00000
Frm 00548
Fmt 4701
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
EP14AU19.211
khammond on DSKBBV9HB2PROD with PROPOSALS2
made to existing qualit measure.specifications, the pro qsed addition of new measures for inclusion in MIPS, and the feedback provide4 bv specialty societies.
National
NQF#/
CMS
Measure
Measure
Quality
Collection
Quality
eCQM
.Measure Titleand Description
Rationale fo.t.Removal
#
Steward
eCQMID
Type
Type
Strategy
NQF#
Domain
Medicare Part
American
Acute Otitis Externa (AOE):
This measure is being
BClaims
Topical Therapy: Percentage of
Academy of
Effective
proposed for removal
Measure
patients aged 2 years and older
Otolaryngolo
0653
091
N/A
Process
Clinical
beginning with the 2022
Specifications,
with a diagnosis of AOE who
gy- Head
Care
MIPS Payment Year. See
MIPS CQMs
were prescribed topical
and Neck
Table C for rationale.
Specifications
preparations.
Surgery
Medicare Part
Preventive Care and
BClaims
Screening: Influenza
Measure
Physician
Immunization:
Consortium
This measure is being
Specifications,
Percentage of patients aged 6
eCQM
Community
for
proposed for removal
0041 I
months and older seen for a visit
CMS147v
110
Specifications,
Process
/Population
Performance beginning with the 2022
004le
9
between October I and March 31
CMS Web
Health
Improvement MIPS Payment Year. See
who received an influenza
Interface
Foundation
Table C for rationale.
immunization OR who reported
Specifications,
(PCP!®)
previous receipt of an influenza
MIPS CQMs
immunization.
Specifications
HIV/AIDS: Pneumocystis
This measure is being
Jiroveci Pneumonia (PCP)
Health
proposed for removal
Prophylaxis:
Resources
Effective
eCQM
begi1ming with the 2022
Percentage of patients aged 6
and Services
160
CMS52v8
Process
Clinical
N/A
Specifications
MIPS Payment Year. See
weeks and older with a diagnosis
Care
Administrati
of HIV/ AIDS who were
Table C for rationale.
on
prescribed Pneumocystis j iroveci
pneumonia (PCP) prophylaxis.
Developmental Screening in the
First Three Years of Life:
The percentage of children
screened for risk of
developmental, behavioral and
social delays using a
This measure is being
standardized screening tool in
Oregon
Community the 12 months preceding or on
proposed for removal
MIPS CQMs
Health&
their first, second, or third
Process
/Population
N/A
467
N/A
begim1ing with the 2022
Science
Specifications
MIPS Payment Year. See
Health
birthday. This is a composite
University
measure of screening in the first
Table C for rationale.
three years of life that includes
three, age-specific indicators
assessing whether children are
screened in the 12 months
preceding or on their first,
second or third birthday.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41029
B.l5. Physical Medicine
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed rule, the Physical Medicine
specialty set takes additional criteria into consideration, which includes, but is not limited to: whether the measure reflects current clinical guidelines
and the coding of the measure includes relevant clinician types. CMS may re-assess the appropriateness of individual measures, on a case-by-case
basis, to ensure appropriate inclusion in the specialty set. Measure tables in this set include previously finalized measures that we arc maintaining
within the set, measures that are proposed to be added, and measures that are proposed for removal, as applicable. We request comment on the
measures available in the proposed Physical Medicine specialty set.
B.l5. Physical Medicine
PREVIOUSLY FINALIZED MEASURES I!'\ THE PHYSICAL MEDICINE SET
.·
·.
Quality
#
eMs
eCQM
ID
Collection
Type
National
Quality
Strategy
Domain
Measure
T)'P!!
#
*
§
I
(Patient
Safety)
0326
0421
I
0421
e
0419
I
0419
e
N/A
Medicare Part
BClaims
Measure
Specifications,
MIPS CQMs
Specifications
047
CMS69
v8
Medicare Par!
BClaims
Measure
Specifications,
eCQ!vl
Specifications,
MIPS CQMs
Specifications
128
CMS68
v9
Medicare Part
BClaims
Measure
Specifications,
eCQ!vl
Specifications,
MIPS CQMs
Specifications
130
I
(Patient
Safety)
0101
154
N/A
I
khammond on DSKBBV9HB2PROD with PROPOSALS2
(Care
Coordinati
on)
VerDate Sep<11>2014
0101
Measure Title
and Description
Measure
Stew ai-d
.·
I
(Care
Coordinati
on)
I
155
18:25 Aug 13, 2019
N/A
Jkt 247001
Medicare Part
BClaims
Measure
Specifications,
MIPS CQMs
Specifications
Medicare Part
BClaims
Measure
Specifications,
MIPS CQMs
Specifications
PO 00000
Advance Care Plan:
Percentage of patients aged 65 years and older
who have an advance care plan or surrogate
decision maker documented in the medical
record or documentation in the medical record
that an advance care plan was discussed but the
patient did not wish or was not able to name a
surrogate decision maker or provide an advance
care plan.
Preventive Care and Screening: Body Mass
Index (BMI) Screening and Follow-Up Plan:
Percentage of patients aged 18 years and older
with a BMI documented during the current
encounter or during the previous twelve months
AND with a BMI outside of normal parameters,
a follow-up plan is documented during the
encounter or during the previous twelve months
of the current encounter.
Normal Parameters:
Age 18 years and older BMI 2 18.5 and< 25
kg/m2
Documentation of Current Medications in
the Medical Record:
Percentage of visits for patients aged 18 years
and older for which the MIPS eligible clinician
attests to documenting a list of cmTent
medications using all immediate resources
available on the date of the encounter. 'l11is list
must include ALL known prescriptions, overthe-counters, herbals, and
vitamin/mineral/dietary (nutritional)
supplements A"\JD must contain the
tnedications' natne, dosage, frequency and route
of administration.
National
Committee
for Quality
Assurance
Process
Communicati
on and Care
Coordination
Process
Community/
Population
Health
Process
Patient
Safety
Process
Patient
Safety
Falls: Risk Assessment:
Percentage of patients aged 65 years and older
with a history of falls that had a risk assessment
for falls completed within 12 months.
National
Committee
for Quality
Assurance
Process
Communi cat
ion and Care
Coordination
Falls: Plan of Care:
Percentage of patients aged 65 years and older
with a history of falls that had a plan of care for
falls documented within 12 months.
National
Committee
for Quality
Assurance
Frm 00549
Fmt 4701
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
Centers for
Medicare &
Medicaid
Services
Centers for
Medicare &
Medicaid
Services
EP14AU19.212
Imlkator
NQF
#I
eCQ
M
NQF
41030
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
R 15. Physical Medicine
PREVIOUSLY FINALIZED MEASURES IN THE PHYSICAL MEDICINE SET
Quality
#
CMS
eCQM
ID
N/A
Medicare Part
BClaims
Measure
Specifications,
MIPSCQMs
Specifications
CMS13
8v8
Medicare Part
BClaims
Measure
Specifications,
eCQM
Specifications,
CMS Web
Interface
Measure
Specifications,
MIPSCQMs
Specifications
*
!
(Care
Coordinati
on)
*
**
§
2624
0028
I
0028
e
182
226
Collection
Type
National
Quality
Strategy
Domain
Measure
Type
Process
Communi cat
ion and Care
Coordination
Process
Community/
Population
Health
Process
Community
IP opulati on
Health
Process
Communi cat
ion and Care
Coordination
Medicare Part
BClaims
Measure
*
khammond on DSKBBV9HB2PROD with PROPOSALS2
!
(Care
Coordinati
on)
!
(Opioid)
VerDate Sep<11>2014
N/A
317
CMS22
v8
N/A
374
CMS50
v8
eCQM
Specifications,
MIPSCQMs
Specifications
Process
Community/
Population
Health
Process
Effective
Clinical Care
Specifications.
eCQM
Specifications,
MIPSCQMs
Specifications
2S03
402
N/A
MIPSCQMs
Specifications
N/A
408
N!A
MIPSCQMs
Specifications
18:25 Aug 13, 2019
Jkt 247001
PO 00000
Frm 00550
Fmt 4701
Sfmt 4725
Measure Title
and Description
Functional Outcome Assessment:
Percentage of visits for patients aged 18 years
and older with documentation of a current
functional outcome assessment using a
standardized functional outcome assessment
tool on the date of the encounter A'ID
documentation of a care plan based on
identified functional outcome deficiencies on
the date of the identified deficiencies.
Preventive Care and Screening: Tobacco
Use: Screening and Cessation Intervention:
Percentage of patients aged 18 years and older
who were screened for tobacco use one or more
times within 24 months AND who received
tobacco cessation intervention if identified as a
tobacco user.
Three rates are reported:
a. Percentage of patients aged 18 years and
older who were screened for tobacco use one or
more times within 24 months
b. Percentage of patients aged 18 years and
older who were screened for tobacco use and
identified as a tobacco user who received
tobacco cessation intervention
c. Percentage of patients aged 18 years and older
who were screened for tobacco use one or more
times within 24 months AND who received
tobacco cessation intervention if identified as a
tobacco user.
Preventive Care and Screening: Screening
for High Blood Pressure and Follow-Up
Documented:
Percentage of patients aged l S years and older
seen during the submitting period who were
screened for high blood pressure AND a
recommended follow-up plan is documented
based on the current blood pressure (BP)
reading as indicated.
Closing the Referral Loop: Receipt of
Specialist Report:
Percentage of patients with referrals, regardless
of age, for which the referring provider receives
a report from the provider to whom the patient
was referred.
Tobacco Use and Help with Quitting Among
Adolescents:
The percentage of adolescents 12 to 20 years of
age with a primary care visit during the
measurement year for whom tobacco use status
was documented and received help with quitting
if identified as a tobacco user.
Opioid Therapy Follow-up Rvaluation:
All patients 18 and older prescribed opiates for
longer than six weeks duration who had a
follow-up evaluation conducted at least every
three months during Opioid Therapy
documented in the medical record.
E:\FR\FM\14AUP2.SGM
14AUP2
Measure
Steward
Centers for
Medicare &
Medicaid
Services
Physician
Consortium
for
Performance
Improvement
Foundation
(PCP!®)
Centers for
Medicare &
Medicaid
Services
Centers for
Medicare &
Medicaid
Services
National
Committee for
Quality
Assurance
A.tnerican
Academy of
Neurology
EP14AU19.213
NQF
#I
eCQ
Indicator.
M
NQF
I #
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41031
B.15. Physical Medicine
Indicator
NQF
#I
eCQ
M
NQF
PREVIOUSLY FINALIZED MEASURES IN THE PHYSICAL MEDICINE SET
Quality
#
CMS
eCQM
ID
Collection
Type
National
Quality
Strategy
Domain
Measure
Type
#
!
(Opioid)
N/A
412
N!A
MIPSCQMs
Specifications
Process
Effective
Clinical Care
!
(Opioid)
N/A
414
N!A
MIPSCQMs
Specifications
Process
Effective
Clinical Care
!
(Opioid)
2152
431
NiA
MIPSCQMs
Specifications
Process
Community/
Population
Health
N/A
468
N!A
MIPSCQMs
Specifications
Process
Effective
Clinical Care
Measure Title
and Description
Documentation of Signed Opioid Treatment
Agreement:
All patients 18 and older prescribed opiates for
longer than six weeks duration who signed an
opioid treatment agreement at least once during
Opioid Therapy documented in the medical
record.
Evaluation or Interview for Risk of Opioid
Misuse:
All patients 18 and older prescribed opiates for
longer than six weeks duration evaluated for
risk of opioid misuse using a brief validated
instrument (e.g. Opioid Risk Tool. Screener and
Opioid Assessment for Patients with Pain.
revised (SOAPP-R)) or patient interview
documented at least once during Opioid
Therapy in the medical record.
Preventive Care and Screening: Unhealthy
Alcohol Use: Screening & Brief Counseling:
Percentage of patients aged 18 years and older
who were screened for unhealthy alcohol use
using a systematic screening method at least
once within the last 24 months AND who
received brief counseling if identified as an
unhealthy alcohol user.
Continuity of Pharmacotherapy for Opioid
Use Disorder (OUD):
Percentage of adults aged 18 years and older
with pharmacotherapy for opioid use disorder
(OUD) who have at least 180 days of
Measure
Steward
American
Academy of
Neurology
American
Academy of
Neurology
Physician
Consortium
for
Performance
Improvement
Foundation
(PCPI®)
University of
Southern
California
VerDate Sep<11>2014
18:25 Aug 13, 2019
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PO 00000
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Fmt 4701
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
EP14AU19.214
khammond on DSKBBV9HB2PROD with PROPOSALS2
continuous treatrnent.
41032
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.15. Physical Medicine
·PREVIOUSLY FINALIZED 1\ffiASURES P~QPOSED FOR REMOVAL FROM THE PHYSICAL MEDICINE SET
N oJe: In this this propose.d rule, CMS proposeith~ removal of the following mea8ure(s) below from thi&. specific specialty me<'!S1Jfe set based upon review of updJ~asure Title and Description
Ratinmde for Remo,.al
#
eCQMID
Type
Stratel:)'
Type
Stewal11
M
NQF
Domain
.
N/A
khammond on DSKBBV9HB2PROD with PROPOSALS2
0420
109
131
VerDate Sep<11>2014
N/A
Medicare Part
!:!Claims
Measure
Specifications.
MIPS CQMs
Specifications
NiA
Medicare Part
BClaims
Specifications,
MIPS CQMs
Specifications
18:25 Aug 13, 2019
Jkt 247001
Process
Person and
Caregiver
Centered
Experience
and
Outcomes
Comtnunic
Proces-.::
PO 00000
ation and
Care
Coordinatio
n
Frm 00552
Fmt 4701
Osteoarthritis (OA): Function
and Pain Assessment:
Percentage of patient visits for
patients aged 21 years and older
with a diagnosis of osteoarthritis
(OA) with assessment for
function and pain.
Pain Assessment and FollowUp:
Percentage of visits for patients
aged 18 years and older with
documentation of a pain
assessment using a standardized
tool( s) on each visit AND
documentation of a follow-up
plan when pain is present
Sfmt 4725
American
Academy of
Orthopedic
Surgeons
Centers for
Medicare &
Medicaid
Services
E:\FR\FM\14AUP2.SGM
14AUP2
l11is measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year. See
Table C for rationale.
l11is measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year. See
Table C for rationale.
EP14AU19.215
#
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41033
B.l6. Plastic Surgery
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed rule, the Plastic Surgery specialty
set takes additional criteria into consideration, which includes, but is not limited to: whether the measure reflects current clinical guidelines and the
coding of the measure includes relevant clinician types. CMS may re-assess the appropriateness of individual measures, on a case-by-case basis, to
ensure appropriate inclusion in the specialty set. Measure tables in this set include previously fmalized measures that we are maintaining within the
set, measures that are proposed to be added, and measures that are proposed for removal, as applicable. We request comment on the measures
available in the proposed Plastic Surgery specialty set.
B.16. Plastic Surgery
PREVIOUSLY FINALIZED MEASURES l~ THE PLASTIC SURGERY SET
..
~QF
Indicator
#I
eCQ
M
·.
Qu,.Iity
#
~QF
CMS
eCQM
ID ..
Measure
Type
Collection
Type
National
Quality
Strategy
Domahl
.
Measure Title
and Description
Measure
Steward
#
!
(Appropriate
Use)
0268
021
'II A
Medicare
Part B
Claims
Measure
Specification
s. MIPS
CQMs
Specification
I
(Patient
Safety)
N/A
023
'1/A
Process
Patient
Safety
Process
Patient
Safety
Process
Patient
Safety
s
I
khammond on DSKBBV9HB2PROD with PROPOSALS2
(Patient
Safety)
VerDate Sep<11>2014
0419 I
0419e
130
18:25 Aug 13, 2019
CMS6Sv
9
Jkt 247001
Medicare
Part B
Measure
Specification
s, eCQM
Specification
s. MIPS
CQMs
Specification
s
PO 00000
Frm 00553
Fmt 4701
Sfmt 4725
Perioperative Care: Selection of
Prophylactic Antibiotic- First OR
Second -Generation Cephalosporin:
Percentage of surgical patients aged 18
years and older undergoing procedures
with the indications for a first OR second·
generation cephalosporin prophylactic
antibiotic who had an order for a first OR
second-generation cephalosporin for
antimicrobial prophylaxis.
Perioperative Care: Venous
Thromboembolism (VTE) Prophylaxis
(When Indicated in ALL Patients):
Percentage of surgical patients aged 18
years and older undergoing procedures for
which venous thromboembolism (VTE)
prophylaxis is indicated in all patients,
who had an order for Low Molecular
Weight Heparin (LMWH). Low- Dose
Unfractionated Heparin (LDUH),
adjusted-dose warfarin, fondaparinux or
mechanical prophylaxis to be given within
24 hours prior to incision time or within
24 hours after surgery end time.
Documentation of Current Medications
in the Medical Record:
Percentage of visits for patients aged 18
years and older for which the MIPS
eligible clinician attests to documenting a
list of current medications using all
immediate resources available on the date
of the encounter. This list must include
ALL known prescriptions, over-thecounters. herbals, and
vitamin/mineral/dietary (nutritional)
supplements AND must contain the
medications' name, dosage, frequency and
route of administration.
E:\FR\FM\14AUP2.SGM
14AUP2
American
Society of
Plastic
Surgeons
American
Society of
Plastic
Surgeons
Centers for
Medicare &
Medicaid
Services
EP14AU19.216
Medicare
Part B
Claims
Measure
Specification
s. MIPS
CQMs
Specification
s
41034
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.16. Plastic Surgery
PREVIOUSLY FINALIZED MEASURES IN TliE PLASTIC SURGERY SET
..
NQF
#I
eCQ
M
NQF
#
*
**
~
*
N/A
CMS
eCQM
Collection
Type
ID
Measure
Type
National
QJ:tality
Strategy
Domaiu
Measure T.itle
and De~cription
Measure
Steward
·.
226
317
CMS138
v8
Medicare
PartE
Measure
Specification
s. eCQM
Specification
s. CMS Web
Interface
Measure
Specification
s. MIPS
CQMs
Specification
s
CMS22v
8
Medicare
Part R
Measure
Specification
s. eCQM
Specification
s. MIPS
CQMs
Specification
s
Preventive Care and Screening:
Tobacco Use: Screening and Cessation
Intervention:
Percentage of patients aged 18 years and
older who were screened for tobacco use
one or more times within 24 months AND
who received tobacco cessation
intervention if identified as a tobacco user.
Process
Process
Community/
Population
Health
Community/
Population
Health
Three rates are reported:
a. Percentage of patients aged 18 years
and older who were screened for tobacco
use one or more times within 24 months
b. Percentage of patients aged 18 years
and older who were screened for tobacco
use and identified as a tobacco user who
received tobacco cessation intervention
c. Percentage of patients aged 1S years
and older who were screened for tobacco
use one or more times within 24 months
AND who received tobacco cessation
intervention if identified as a tobacco user.
Preventive Care and Screening:
Screening for High Blood Pressure and
Follow-Up Docmnented:
Percentage of patients aged 18 years and
older seen during the submitting period
who were screened for high blood
pressure AND a recommended follow-up
plan is documented based on the current
blood pressure (BP) reading as indicated.
Unplanned Reoperation within the 30
Day Postoperative Period:
Percentage of patients aged 18 years and
older who had any unplanned reoperation
within the 30 day postoperative period.
Unplanned Hospital Readmission
within 30 Days of Principal Procedure:
Percentage of patients aged 18 years and
older who had an unplanned hospital
readmission within 30 days of principal
procedure.
Physician
Consortium for
Performance
Improvement
Foundation
(PCP!®)
Centers for
Medicare &
Medicaid
Services
!
(Outcome)
N/A
355
N/A
MIPS CQMs
Specification
s
!
(Outcome)
N/A
356
N/A
MIPS CQMs
Specification
s
Outcome
Effective
Clinical Care
!
(Outcome)
N/A
357
N/A
MIPS CQMs
Specification
s
Outcome
Effective
Clinical Care
Surgical Site Infection (SSI):
Percentage of patients aged 18 years and
older who had a surgical site infection
(SSI).
American
College of
Surgeons
Person and
CaregiverCentered
Experience
and
Outcomes
Patient-Centered Surgical Risk
Assessment and Communication:
Percentage of patients who underwent a
non-emergency surgery who had their
personalized risks of postoperative
complications assessed hy their surgical
team prior to surgery using a clinical databased. patient-specific risk calculator and
who received personal discussion of those
risks with the surgeon.
American
College of
Surgeons
!
(Patient
Experience)
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Quality
#
VerDate Sep<11>2014
N/A
358
N/A
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Specification
s
PO 00000
Outcome
Patient
Safety
Process
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E:\FR\FM\14AUP2.SGM
14AUP2
American
College of
Surgeons
American
College of
Surgeons
EP14AU19.217
Indicator
41035
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.l7. Preventive Medicine
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed rule, the Preventive Medicine
specialty set takes additional criteria into consideration, which includes, but is not limited to: whether the measure reflects current clinical guidelines
and the coding of the measure includes relevant clinician types. CMS may reassess the appropriateness of individual measures, on a case-by-case
basis, to ensure appropriate inclusion in the specialty set. Measure tables in this set include previously finalized measures that we are maintaining
within the set, measures that are proposed to be added, and measures that are proposed for removal, as applicable. We request comment on the
measures available in the proposed Preventive Medicine specialty set.
B.l7. Preventive Medicine
PREVIOUSLY FINALIZED M:EASURESIN THE PREVENTIVE MEDICINE SET
collection
Type
Meastire
Type
National
Quality
Strategy
Domain
Medicare Part
BClaims
Measure
Specifications,
eCQM
Specit1cations,
CMS Web
Interface
Measure
Specifications,
MIPS CQMs
Specifications
Intennedi
ate
Outcome
EtTective
Clinical Care
#!
Indicator
·.
eCQ
M
NQF ..
Qnality
#
CMS
eCQMID
#
*
9
!
0059 I
NIA
001
(Outcome)
CMS122
v8
NIA
0046
024
039
0326
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'II A
VerDate Sep<11>2014
047
048
18:25 Aug 13, 2019
Diabetes: Hemoglobin Ale (HbAlc) Poor
Control (> 9% ):
Percentage of patients 18-75 years of age with
diabetes who had hemoglobin Ale> 9.0%
during the measurement period.
N!A
Process
Conununication
and Care
Coordination
N!A
Medicare Part
B Claims
Measure
Specifications,
MIPS CQMs
Specifications
Process
Effective
Clinical Care
N!A
Medicare Part
BClaims
Measure
Specifications,
MIPS CQMs
Specifications
Process
Con1n1unication
and Care
Coordination
N!A
Medicare Part
HClaims
Measure
Specifications,
MIPS CQMs
Specifications
Process
Effective
Clinical Care
!
(Care
Coordinatio
n)
Measure Title
and Descriptiml
Medicare Pa1t
BClaims
Measure
Specifications,
MIPS CQMs
Specifications
!
(Care
Coordinatio
n)
.·
Jkt 247001
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Frm 00555
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Commmrlcation with the Physician or Other
Clinician Managing On-going Care PostFracture for Men and Women Aged 50 Years
and Older:
Percentage of patients aged 50 years and older
treated for a fracture with documentation of
communication, between the physician treating
the fracture and the physician or other clinician
managing the patient's on-going care. that a
fracture occurred and that the patient was or
should be considered for osteoporosis treatment
or testing. This measure is submitted by the
physician who treats the fracture and who
therefore is held accountable for the
conununication.
Screening for Osteoporosis for \Vomen Aged
65-85 Years of Age:
Percentage of female patients aged 65-85 years
of age who ever had a central dual-energy X-ray
absorptiometry (DXA) to check for
osteoporosis.
Advance Care Plan:
Percentage of patients aged 65 years and older
who have an advance care plan or surrogate
decision maker documented in the medical
record or documentation in the medical record
that an advance care plan was discussed but the
patient did not wish or was not able to name a
surrogate decision maker or provide an advance
care plan.
Urinary Incontinence: Assessment of
Presence or Absence of Urinary Incontinence
in Women Aged 65 Years and Older:
Percentage of female patients aged 65 years and
older who were assessed for the presence or
absence of urinary incontinence within 12
months.
E:\FR\FM\14AUP2.SGM
14AUP2
I
Measure
Steward
National
Committee
for Quality
Assurance
National
Committee
for Quality
Assurance
National
Committee
for Quality
Assurance
National
Committee
for Quality
Assurance
National
Committee
for Quality
Assurance
EP14AU19.218
NQF
41036
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.l7. Preventive Medicine
PREVIOUSLY FINALIZED MEASURES IN THE PREVENTIVE MEDICINE SET
Indicator
NQF
#!
eCQ
M
NQF
Quality
#
CMS
eCQMID
.
Collelltion
Typ!!
..
National
Quality
Strategy
Domain
Measure
Type
.·
Measure Title
lllld Description
Measure
steward
#
§
2372 I
'II A
112
CMS125
v8
*
00341
'II A
113
CMS130
v8
§
§
!
(Appropriat
e Use)
*
§
*
khammond on DSKBBV9HB2PROD with PROPOSALS2
§
VerDate Sep<11>2014
Process
Effective
Clinical Care
Breast Cancer Screening:
Percentage of women S 1 - 74 years of age who
had a mammogram to screen for breast cancer.
National
Committee
for Quality
Assurance
Process
Effective
Clinical Care
Colorectal Cancer Screening:
Percentage of patients 50-75 years of age who
had appropriate screening for colorectal cancer.
National
Committee
for Quality
Assurance
005S
116
NIA
MIPS CQMs
Specifications
Process
Efficiency and
Cost Reduction
0062 I
'II A
119
CMS134
v8
eCQM
Specifications,
MIPS CQMs
Specifications
Process
Effective
Clinical Care
0417
126
NIA
MIPS CQMs
Specifications
Process
Effective
Clinical Care
CMS69v
8
Medicare Part
BClaims
Meawre
Specifications,
eCQM
Specifications,
MIPS CQMs
Specifications
Process
Community/
Population
Health
0421 I
042le
128
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Avoidance of Antibiotic Treatment in Adults
with Acute Bronchitis:
The percentage of adults 18-64 years of age
with a diagnosis of acute bronchitis who were
not prescribed or dispensed an antibiotic
prescription.
Diabetes: Medical Attention for
Nephropathy:
The percentage of patients 18-75 years of age
with diabetes who had a nephropathy screening
test or evidence of nephropathy during the
measurement period.
Diabetes Mellitus: Diabetic Foot and Ankle
Care, Peripheral Neuropathy - Neurological
Evaluation:
Percentage of patients aged 18 years and older
with a diagnosis of diabetes mellitus who had a
neurological examination of their lower
extremities within 12 months.
Preventive Care and Screening: Body JVIass
Index (BMI) Screening and Follow-Up Plan:
Percentage of patients aged 18 years and older
with a Blv!I documented during the current
encounter or during the previous twelve months
AND with a B'v!I outside of normal parameters,
a follow-up plan is documented during the
encounter or during the previous twelve months
of the current encounter.
Normal Parameters:
Age 18 years and older BMI :0 18.5 and< 25
kg/m2
E:\FR\FM\14AUP2.SGM
14AUP2
National
Committee
for Quality
Assurance
National
Committee
for Quality
Assurance
American
Podiatric
Medical
Association
Centers for
Medicare &
Medicaid
Services
EP14AU19.219
*
Medicare Part
BClaims
Measure
Specifications,
eCQM
Specifications,
CMS Web
Interface
Measure
Specifications,
MIPS CQMs
Specifications
Medicare Part
BClaims
Measure
Specifications,
eCQM
Specifications,
CMS Web
Interface
Measure
Specifications,
MIPS C()Ms
Specifications
41037
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.l7. Preventive Medicine
PREVIOUSLY FINALIZED MEASURES IN THE PREVENTIVE MEDICINE SET
Indicator
NQF
#I
eCQ
M
NQF
Quality
#
CMS
eCQMID
Collelltion
Type
National
Quality
Stmtegy
Domain
Measure
Type
'
!
*
Measure
0419 I
0419e
0418 I
0418e
130
134
CMS68v
9
CMS2v9
!
(Patient
Safety)
0101
154
NIA
!
(Care
Coordinatio
n)
*
**
0028 I
0028e
155
226
NIA
CMS138
v8
Specifications.
eCQM
Specifications,
MIPS CQMs
Specit1cations
Medicare Part
8 Claims
Measure
Specifications,
eCQM
Specifications,
CMS Weh
Interface
Measure
Specifications,
MIPS CQMs
Specifications
Medicare Part
8Claims
Measure
Specifications,
MIPS CQMs
Specifications
Medicare Part
8Claims
Measure
Specifications,
MIPS CQMs
Specifications
Medicare Part
8 Claims
Measure
Specifications.
eCQM
Specifications,
CMS Web
Interface
Measure
Specifications,
MIPS CQMs
Specit1cations
Process
Process
Patient Safety
Preventive Care and Screening: Screening
for Depression and Follow-Up Plan:
Percentage of patients aged 12 years and older
screened for depression on the date of the
encounter using an age appropriate standardized
depression screening tool AND if positive. a
follow-up plan is documented on the date of the
Community/
Population
Health
Centers for
Medicare &
Medicaid
Services
Centers for
Medicare &
Medicaid
Services
positive screen.
Process
Patient Safety
Comtnunication
Process
and Care
Coordination
Falls: Risk Assessment:
Percentage of patients aged 65 years and older
with a history of falls that had a risk assessment
for falls completed within 12 months,
National
Committee
for Quality
Assurance
Falls: Plan of Care:
Percentage of patients aged 65 years and older
with a history of falls that had a plan of care for
falls documented within 12 months,
National
Committee
for Quality
Assurance
Preventive Care and Screening: Tobacco
Use: Screening and Cessation Intervention:
Percentage of patients aged 18 years and older
who were screened for tobacco use one or more
times within 24 months AND who received
tobacco cessation intervention if identified as a
tobacco user.
Process
Community/
Population
Health
Three rates are reported:
a, Percentage of patients aged 18 years and
older who were screened for tobacco use one or
more times within 24 months
b, Percentage of patients aged 18 years and
older who were screened for tobacco use and
identified as a tobacco user who received
tobacco cessation intervention
c, Percentage of patients aged 18 years and older
who were screened for tobacco use one or more
times within 24 months AND who received
tobacco cessation intervention if identified as a
Physician
Consortium
for
Performance
Improvement
Foundation
(PCPI®)
tobacco user.
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EP14AU19.220
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§
0101
Measure
Stewa1·d
',
Documentation of Current :vledications in the
Medical Record:
Percentage of visits for patients aged 18 years
and older for which the MIPS eligible clinician
attests to documenting a list of current
medications using all immediate resources
available on the date of the encountec This list
must include ALL known prescriptions, overthe-counters, herbals, and
vitaminlmineralidietary (nutritional)
supplements Al\D must contain the
medications" name, dosage, frequency and route
of administration,
Medicare Part
8Claims
(Patient
Safety)
Me11sure Title
,llltd Description
'
#
'
41038
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.l7. Preventive Medicine
PREVIOUSLY FINALIZED MEASURES IN THE PREVENTIVE MEDICINE SET
Quality
#
CMS
eCQMID
Collelltion
Type
.,,
'
National
Quality
Stmtegy
Dolllain
Measure
Type
''
*
!
(Care
Coordinatio
n)
317
CMS22v
8
NIA
374
CMS50v
8
2803
402
NA
khammond on DSKBBV9HB2PROD with PROPOSALS2
431
Community/
Population
Health
eCQM
Specifications,
MIPS CQMs
Specifications
Process
Communication
and Care
Coordination
MIPS CQMs
Specifications
Process
Community/
Population
Health
Process
Community/
Population
Health
eCQM
Specifications,
CMS Web
Interface
Measure
Specifications,
MIPS CQMs
Specifications
Process
Effective
Clinical Care
eCQM
Specifications
Process
Community/
Population
Health
MIPS CQMs
Specifications
*
"\II A
438
*
"\II A
475
CMS349
v2
18:25 Aug 13, 2019
Process
NA
CMS347
v3
VerDate Sep<11>2014
Measure
Stewa1·d
',
Medicare Part
BClaims
Measure
Specifications,
eCQM
Specifications,
MIPS CQMs
Specifications
2152
Me11sure Title
,llltd Description
'
#
"\II A
'
Jkt 247001
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Preventive Care and s~reening: s~reening
for High Blood Pressure and Follow-Up
Documented:
Percentage of patients aged 18 years and older
seen during the submitting period who were
screened for high blood pressure AND a
recommended follow-up plan is documented
based on the current blood pressure (BP) reading
as indicated,
Oosing the Referral Loop: Receipt of
Specialist Report:
Percentage of patients with referrals, regardless
of age, for which the referring provider receives
a report from the provider to whom the patient
was referred.
Tobacco Use and Help with Quitting Among
Adolescents:
The percentage of adolescents 12 to 20 years of
age with a primary care visit during the
measurement year for whom tobacco use status
was documented and received help with quitting
if identified as a tobacco useL
Preventive Care and Screening: Unhealthy
Alcohol Use: Screening & Brief Counseling:
Percentage of patients aged 18 years and older
who were screened for unhealthy alcohol use
using a systematic screening method at least
once within the last 24 months AND who
received brief counseling if identified as an
unhealthy alcohol user.
Statin Therapy for the Prevention and
Treatment of Cardiovascular Disease:
Percentage of the following patients- all
considered at high risk of cardiovascular events
- who were prescribed or were on statin therapy
during the measurement period:
• Adults aged ~ 21 years who were previously
diagnosed with or currently have an active
diagnosis of clinical atherosclerotic
cardiovascular disease (ASCVD): OR
• Adults aged ~21 years who have ever had a
fasting or direct low-density lipoprotein
cholesterol (LDL-C) level~ 190 mgidL or
were previously diagnosed with or currently
have an active diagnosis of familial or pure
hypercholesterolemia; OR
• Adults aged 40-75 years with a diagnosis of
diabetes with a tasting or direct TJ)T .-C level
of70-189 mgldL
HIV Screening:
Percentage of patients 15-65 years of age who
have been tested for HIV within that age range,
E:\FR\FM\14AUP2.SGM
14AUP2
Centers for
Medicare &
Medicaid
Services
Centers for
Medicare &
Medicaid
Services
National
Committee
for Quality
Assurance
Physician
Consortium
for
Performance
Improvement
Foundation
(PCPI®)
Centers for
Medicare &
Medicaid
Services
Centers for
Disease
Control and
Prevention
EP14AU19.221
Indicator
NQF
#I
eCQ
M
NQF
41039
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.17. Preventive Medicine
.MEASURES PROPOSED FOR
NQF#
Indicator
I
eCQM
NQF#
Quality
#
CMS
eCQM
ID
Measnt'l'
Type
Collection
Type
Medicare
Part B
Claims
*
Measure
!
(Care
Coordinat
ion)
ADD ITION TO THE PREVENTIVE
MEDICINE SET
..
2624
182
N!A
Specificatio
ns.
MIPS
CQMs
Specificatio
us
Process
National
Quality
Measure Title
Aud Description
strateey
Domain
Communi
cation and
Care
Coordinati
on
Measure
Steward
Functional Outcome Assessment:
Percentage of visits for patients aged
18 years and older with
documentation of a current
~enters
functional outcome assessment using or
a standardized functional outcome
~edicare
assessment tool on the date of the
~
encounter AND documentation of a ~edicaid
care plan based on identified
~ervices
functional outcome deficiencies on
the date of the identified
deficiencies.
Rationale tor
Inclusion
This measure is being
proposed for
inclusion into the
Preventive Medicine
specially set as a
replacement for
measure Ql09:
Osteoarthritis (OA):
Function and Pain
Assessment. which is
heing proposed for
removal. Measure
Q 182 includes the
patient population in
measure Ql09, but is
more robust in that it
requires more
VerDate Sep<11>2014
TBD
18:25 Aug 13, 2019
N/A
Jkt 247001
PO 00000
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Frm 00559
Communit
y/
Populatio
n Health
Fmt 4701
Adult Immunization Status:
Percentage of members 19 years of
age and older who are up-to-date on
recommended routine vaccines for
influenza; tetanus and diphtheria
(Td) or tetanus, diphtheria and
acellular pertussis (Tdap ); zoster;
and pneumococcal.
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
rational
~ommitte
for
ruality
~ssurance
EP14AU19.222
khammond on DSKBBV9HB2PROD with PROPOSALS2
N/A
CMS Web
Interface
Measure
Specificatio
us, MIPS
CQMs
Specificatio
us
frequent assessment
and a plan of care.
'Ibis measure is being
proposed as a new
measure for the 2020
perfom1ance period.
We propose to
include this measure
in the Preventive
Medicine specialty
set as it is clinically
relevant to this
clinician type.
41040
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.l7. Preventive Medicine
REMOVAL
VerDate Sep<11>2014
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EP14AU19.223
khammond on DSKBBV9HB2PROD with PROPOSALS2
PREVIOUSLY FINALIZED MEASURESFINA.LIZED FOR
FROM THE PREVENTIVE MEDICINE SET
Note: In this ptoposed rule, CMS proposes the removal of the fo\lowing rneasure(s) below from this specific specialty measure set based upon review .of updates
made to existin'] q\lalit measure specifications the pro osed addition of new measures for inclusion in MIPS, and the feedback provided bv specialty societies:
.·
<
National
NQF#J
CMS
Collection
Quality
Measure
QUality
Measure.
eCQM
Meas~ Title and Description
Rationale for Removal
#
eCQMID
Type
Type
Strategy
Steward
NQF#
Domain
Osteoarthritis (OA): Function
Medicare Part
Person and
American
This measure is being
and Pain Assessment:
BClaims
Caregiver
Percentage of patient visits for
Academy
proposed for removal
Measure
Centered
109
N/A
N/A
Process
patients aged 21 years and older
of
beginning with the 2022
Specifications,
Experience
Orthopedic
MIPS Payment Year. See
with a diagnosis of osteoarthritis
MIPS CQMs
and
(OA) with assessment for
Surgeons
Table C for rationale.
Specifications
Outcomes
function and pain
Medicare Part
Preventive Care and
BClaims
Physician
Screening: Influenza
Specifications,
Consortium
Immunization:
for
This measure is being
eCQM
Percentage of patients aged 6
Community
Performanc
proposed for removal
Specifications,
0041/
months and older seen for a visit
CMS147v
110
e
beginning with the 2022
CMS Web
Process
/Population
004le
9
between October 1 and March 31
Interface
Health
Improveme
MIPS Payment Year. See
who received an influenza
nt
Table C for rationale.
Measure
immunization OR who reported
Specifications,
Foundation
previous receipt of an influenza
MIPS CQMs
(PCPT®)
immunization.
Specifications
Medicare Part
Pneumococcal Vaccination
DClaims
This measure is being
National
Status for Older Adults:
Specifications,
proposed for removal
Community
CMS127v
Committee
Percentage of patients 65 years
N/A
111
eCQM
Process
/Population
beginning with the 2022
8
of age and older who have ever
for Quality
Specifications,
Health
MIPS Payment Year. See
Assurance
received a pneumococcal
Table C for rationale.
MIPS CQMs
vaccme.
Specifications
This measure is being
Zoster (Shingles) Vaccination:
Centers for
proposed for removal
Community The percentage of patients aged
MIPS CQMs
Medicare &
50 years and older who have had
beginning with the 2022
Process
/Population
N/A
474
N/A
Medicaid
Specifications
Health
the Shingrix zoster (shingles)
MIPS Payment Year. See
Services
vaccination.
Table C for rationale.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41041
B.18. Neurology
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed rule, the Neurology specialty set
takes additional criteria into consideration, which includes, but is not limited to: whether the measure reflects current clinical guidelines and the
coding or lhe measure includes relevant clinician lypes. CMS may reassess lhe appropriateness or individual measures, on a case-by-case basis, lo
ensure appropriate inclusion in the specialty set. Measure tables in this set include previously finalized measures that we arc maintaining within the
set, measures that are proposed to be added, and measures that are proposed for removal, as applicable. We request comment on the measures
available in the proposed Neurology specially set.
B.18. Neurology
Indicator
NQF
#I
eCQ
M
NQF
...·
.·
Quality
#
.. ·.
PREVIOUSLY FlNALIZED.MEASL'Jms IN TilE NEUROLOGY SET
·..
·.
I
CMS
eL'QMII)
Collection
Type
'2014
0101
NA
155
181
18:25 Aug 13, 2019
NIA
NIA
Jkt 247001
Specifications,
MIPS CQMs
Specifications
Medicare Part
B Claims
Measure
Specifications,
MIPS CQMs
Specifications
Medicare Part
BClaims
Measure
Specifications,
MIPS CQMs
Specifications
Medicare Pa1t
B Claims
Measure
Specifications,
MIPS CQMs
Specifications
PO 00000
Centers for
Medicare &
Medicaid
Services
positive screen.
Falls: Risk Assessment:
Percentage of patients aged 65 years and older
with a history of falls that had a risk a"essment
for falls completed within 12 months.
1\ational
Committee
for Quality
and Care
Coordination
Falls: Plan of Care:
Percentage of patients aged 65 years and older
with a history of falls that had a plan of care for
falls documented within 12 months.
1\ational
Committee
for Quality
Patient Safety
Elder Maltreatment Screen and Follow-Up
Plan:
Percentage of patients aged 65 years and older
with a documented elder maltreatment screen
using an Elder Maltreatment Screening Tool on
the date of encounter AND a documented followup plan on the dale oflhe positive screen.
Patient Safety
Process
ConimunicaLiun
Process
Process
Frm 00561
Fmt 4701
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
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Assurance
Centers for
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Medicaid
Services
EP14AU19.224
"
0418
I
0418e
Medicare Part
BClaims
Meas1rre
Specifications,
eCQM
Specifications,
CMS Web
Interface
41042
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.18. Neurology
lndicat'!l'
M
NQF
#
*
**
s
*
0028
I
0028e
:\!/A
2872e
*
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N/A
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N/A
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:\!/A
286
NIA
MIPS CQMs
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Patient Safety
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Measure Title
and Description
..
Preventive Care and Screening: Tobacco Use:
Screening and Cessation Intervention:
Percentage of patients aged 1g years and older
who were screened for tobacco use one or more
times within 24 months AND who received
tobacco cessation intervention if identified as a
tobacco user
Medicare Part
BClaims
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.
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Frm 00562
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lhree rates are reported:
a. Percentage of patients aged 18 years and older
who were screened for tobacco use one or more
times within 24 months
b. Percentage of patienb aged 18 years and older
who were screened for tobacco use and identified
as a tobacco user who received tobacco cessation
intervention
c. Percentage of patients aged 18 years and older
who were screened for tobacco use one or nwre
times within 24 months AND who received
tobacco cessation intervention if identified as a
tobacco user.
Epilepsy: Counseling for Women of
Child healing Potential with Epilepsy:
All female patients of childbearing potential ( 12 44 years old) diagnosed with epilepsy who were
counseled or referred for counseling for how
epilepsy and its treatment may atl'ect
contraception OR pregnancy at least once a year.
Dementia: Cognitive Assessment:
Percentage of patients, regardless of age, with a
diagnosis of dementia for whom an assessment of
cognition is perfonued and the results reviewed at
least once within a 12-month period.
Dementia Associated Behavioral and
Psychiatiic Symptoms Screening and
Management:
Percentage of patients with dementia for whom
there was a documented screening for behavioral
and psychiatric symptoms, including depression,
and for whom, if symptoms screening was
positive, there was also documentation of
recommendations for management in the last 12
months.
Dementia: Safety Concern Screening and
FoUow-Up for Patients with Dementia:
Percentage of patients with dementia or their
caregiver(s) for whom there was a documented
safety concerns screening in two domains of risk:
1) dangerousness to self or others and 2)
environmental risks; and if safety concerns
screening was positive in the last 12 months, there
was documentation of mitigation
recommendations, including but not limited to
referral to other resources.
E:\FR\FM\14AUP2.SGM
14AUP2
·.·
Measure
Steward
Physician
Consortium
for
Performance
Improvement
Foundation
(PCPI1\l)
American
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l\eurology
EP14AU19.225
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NQF
#l
eCQ
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B.18. Neurology
lndicat'!l'
"
.
Quality
#
CMS.
eCQMm
*
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Experience)
khammond on DSKBBV9HB2PROD with PROPOSALS2
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VerDate Sep<11>2014
Domain
N/A
MIPS CQMs
Specifications
Process
Effective
Clinical Care
"J/A
291
N/A
MIPS CQMs
Specifications
Process
Effective
Clinical Care
"J/A
293
N/A
MIPS CQMs
Specifications
Process
Con1munication
and Care
Coordination
Process
Community/Pop
rilation Health
Process
Con1munication
and Care
Coordination
"J/A
317
CMS22v
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eCQM
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MIPS CQMs
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"J/A
374
CMS50v
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Person and
CaregiverCentered
Experience and
Outcomes
I
I
.
Stmte~tY
290
I
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Type
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386
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MIPS CQMs
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2803
402
N/A
MIPS CQMs
Specifications
Process
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Health
"J/A
408
N/A
MIPS CQMs
Specifications
Process
Effective
Clinical Care
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·.
'
Measure Title
and Description
..
Parkinson's Disease: Psychiatric Symptoms
Assessment for Patients with Parkinson's
Disease:
Percentage of all patients with a diagnosis of
Parkinson's Disease [PD] who were assessed for
psvchiatric symptoms in the past 12 months.
Parkinson's Disease: Cognitive lmpainuent or
Dysflmction Assessment for Patients with
Parkinson's Disease:
Percentage of all patients with a diagnosis of
Parkinson's Disease [PD] who were assessed for
cognitive impairment or dysfunction in the past
12 months.
Parkinson's Disease: Rehabilitative Therapy
Options:
Percentage of all patients with a diagnosis of
Parkinson's Disease (or caregiver(s), as
appropriate) who had rehabilitative therapy
options (i.e., physical, occupational, and speech
therapy) discmsed in the past 12 months
Preventive Care and Screening: Screening for
High Blood Pressure and Follow-Up
Documented:
Percentage of patients aged 18 years and older
seen during the submitting period who were
screened for high blood pressure AND a
recommended follow-up plan is documented
based on the current blood pressure (BP) reading
as indicated.
Closing the Referral Loop: Receipt of
Specialist Report:
Percentage of patients with referrals, regardless of
age, for which the referring provider receives a
report ±rom the provider to whom the patient was
refened.
Amyotrophic Lateral Sclerosis (ALS) Patient
Care Preferences:
Percentage of patients diagnosed with
Amyotrophic Lateral Sclerosis (ALS) who were
offered assistance in planning for end of life
issues (e.g., advance directives, invasive
ventilation, hospice) at least once annually.
Tobacco Use and Help with Quitting Among
Adolescents:
The percentage of adolescents 12 Lo 20 years of
age with a primary care visit during the
measurement year for whom tobacco use status
was documented and received help with quitting
if identified as a tobacco user.
Opioid Therapy Follow-up Evaluation:
All patients I g and older prescribed opiates for
longer than six weeks duration who had a followup evaluation conducted at least every three
months during Opioid Therapy documented in the
medical record.
E:\FR\FM\14AUP2.SGM
14AUP2
·.·
Measure
Steward
A.tn~rican
Academy of
1\curology
American
Academy of
1\eurology
American
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Centers for
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Centers for
Medicare &
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American
Academy of
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1\ational
Committee
for Quality
Assurance
American
Academy of
1\eurology
EP14AU19.226
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NQF
#l
eCQ
M
NQF
#
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B.18. Neurology
PREVIOUSLY 'FlNALIZlW.MEASLRKS IN THE Nl£UltoLOGV SJ£T
.
Quality
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:\1/A
412
Nli\
MIPS CQMs
Specifications
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Effective
Clinical Care
:\1/A
414
N/A
MIPS CQMs
Specifications
Process
Effective
Clinical Care
N/A
Medicare Part
BClaims
Measure
Specifications,
MIPS CQMs
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Efficiency and
Cost Reduction
I
(Efficiency)
:\1/A
2152
419
431
N/A
MIPS CQMs
Specifications
Medicare Part
BClaims
I
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(Outcome)
VerDate Sep<11>2014
.\1/A
435
18:25 Aug 13, 2019
N/A
Jkt 247001
Measure
Specifications,
MIPS CQMs
Specifications
PO 00000
Process
Community/
Population
Health
Patient
Reporte
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Outcom
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Effective
Clinical Care
Frm 00564
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"''ationa!
#
I
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..
Documentation of Signed Opioid Treatment
Agreement:
All patients 18 and older prescribed opiates for
longer tban six weeks duration who signed an
opioid treatment agreement at least once during
Opioid Therapy documented in the medical
record.
Evaluation or Interview for Risk of Opioid
Misuse:
All patients 18 and older prescribed opiates for
longer than six weeks duration evaluated for risk
of opioid misuse using a brief validated
instrument (e.g. Opioid Risk Tool, (Screener and
Opioid Assessment for Patients with Pain,
revised) SOAPP-R) or patient interview
documented at least once during Opioid Therapy
in the medical record.
Overuse of Imaging for the Evaluation of
Primacy Headache:
Percentage of patients for whom imaging of the
head (CT or MRI) is obtained for the evaluation
of primary headache when clinical indications are
not present
Preventive Care and Screenin~: Unhealthy
Alcohol Use: Screening & Brief Counseling:
Percentage of patients aged 1g years and older
who were screened for unhealthy alcohol use
using a systematic screening method at least once
within the last 24 months AI\D who received
brief counseling if identified as an unhealthy
alcohol user.
Qualitv Of Life Assessment For Patients With
Primacy Headache Disorders:
Percentage of patients with a diagnosis of
primary headache disorder whose health related
quality of life (HRQoL) was assessed witb a
tool(s) during at least two visits during the 12
month measurement period AND whose health
related quality of life score stayed tbe same or
improved.
E:\FR\FM\14AUP2.SGM
14AUP2
Measure
Steward
American
Academy of
1\eurology
American
Academy of
Neurology
American
Academy of
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Physician
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(PCPTJ\l)
American
Academy of
Neurology
EP14AU19.227
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NQF
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41045
B.18. Neurology
Indicator
Quality
#
CMS
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ID
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khammond on DSKBBV9HB2PROD with PROPOSALS2
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VerDate Sep<11>2014
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18:25 Aug 13, 2019
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Collection
Type
Type
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CQMs
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PO 00000
ADDITION 1'0 THE NEUROLOGY SET
Process
Frm 00565
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National
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Measure Title
A1td Description
Communi
cation and
Care
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on
Functional Outcome Assessment:
Percentage of visits for patients aged
18 years and older with
docurnentation of a cunent
functional outcome assessment using
a standardized functional outcome
assessment tool on the dale oflhe
encounter AND documentation of a
care plan based on identified
functional outcome deficiencies on
the date ofthe identified
deficiencies.
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set as a replacement
for measure Q282:
Dementia: Functional
Status Assessment,
which is being
proposed for
removal. Measure
Q 182 includes the
patient population in
measure Q282, but is
more robust in that it
requires more
frequent assessment
and a plan of care.
EP14AU19.228
MEASLRES PROPOSED FOR
NQF#
I
eCQM
NQF#
41046
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VerDate Sep<11>2014
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14AUP2
EP14AU19.229
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PREVIOUSLY FINALIZED MEA StiRES PROPOSED FOR REMOVAL FROM THE NEUROLOGY SET
Note: In this proposed rule, CMS proposes the removal elow from this specific specialty measure set based upon review of updates
made to existing quality meagure.specifications, the pro osed addition of new measures for inclusion i11 MIPS, and the feed)Jack provided by specialty societies .
..
.
National
·•
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Meastirt>
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eCQM
Measure Title ll!ld Description
Rationale for Removal
Type
Stratt>gy .·
#
eCQMID
Type
Stt>ward
NQF#.·
Domain
Dementia: Functional Status
This measure is being
Assessment:
American
Effective
Percentage of patients with
proposed for removal
MIPS CQMs
Academy
dementia for whom an
N/A
282
N/A
Process
Clinical
beginning with the 2022
Specifications
of
MIPS Payment Year. See
assessment of functional status
Care
Neurology
was performed at least once in
Table C for rationale.
the last 12 months.
Dementia: Education and
Support of Caregivers for
Patients with Dementia:
Communic
Percentage of patients with
This measure is being
American
ation and
dementia whose caregiver(s)
proposed for removal
Academy
MIPS CQMs
Process
Care
were provided with education on
N/A
288
N/A
beginning with the 2022
Specifications
of
MIPS Payment Year. See
Coordinatio dementia disease management
Neurology
11
and health behavior changes
Table C for rationale.
AND were referred to additional
resources for support in the last
12 months
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41047
B.19. Mental/Behavioral Health
In addition lo the considerations discussed in the introductory language of Table B oflhe appendix of this proposed rule, the Mental/Behavioral
Health specially set lakes additional criteria into consideration, which indudes, but is nollimiled lo: whether the measure reileds cturenl clinical
guidelines and the coding of the measure includes relevant clinician types. CMS may reassess the appropriateness of individual measures, on a caseby-case basis, lo ensure appropriate indttsion in the specially sel. Measure tables in this sel indude previously finalized measures that we are
maintaining within the set, measures that are proposed lo be added, and measures that are proposed for removal, as applicable. We req uesl comment
on the measttres available in the proposed Mental/Behavioral Health specially sel.
B.19. Mental/Behavioral Health
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PREVIOUSLY FINALIZED MEA$lTRES IYTHE MENTAL/BEHAVIORAL HEAL TH.SET
Nati<:mal
CMS
Quality
:\feasun; Title
Quality
Co-llection
Meas"re .·
'
and Description
#
eCQMID
Type
Type
Strategy
Do-lllain
Anti-Depressant Medication :\Ianagement:
Percentage of patients 18 years of age and older who
were treated with antidepressant medication, had a
diagnosis of major depression, and who remained on
an antidepressant medication treatment. Two rates
Effective
CMS128
eCQM
are repmted.
009
Process
Clinical Care
v8
Specifications
a. Percentage of patients who remained on an
antidepressant medication for at least 84 days ( 12
weeks).
b. Percentage of patients who remained on an
antidepressant medication for at least 180 days (6
months).
Adult Major Depressive Disorder (MDD):
Suicide Risk Assessment:
Percentage of patients aged 18 years and older with
eCQM
Effective
CMS161
a diagnosis of major depressive disorder (MOD)
107
Process
v8
Specifications
Clinical Care
with a suicide risk assessment completed during the
visit in which a new diagnosis or recurrent episode
was identified.
Preventive Care and Screening: Body Mass
Medicare Part
Index (BMI) Screening and Follow-Up Plan:
B Claims
Percentage of patients aged 18 years and older with
a BMI documented during the current encounter or
Measure
Community/P
CMS69v
Specifications,
during the previous twelve months AND with a
Process
opulation
128
eCQM
BMI outside of normal parameters. a follow-up plan
8
Health
Specifications,
is documented during the encounter or during the
MIPS CQMs
previous twelve months of the current encounter.
Specifications
Normal Parameters:
Age 18 years and older BMI 2 18.5 and< 25 kg;m2
Documentation of Current Medications in the
Medical Record:
Medicare Part
Percentage of visits for patients aged Jg years and
B Claims
older for which the MIPS eligible clinician attests to
Measure
documenting a list of current medications using all
CMS68v
Specifications,
130
Process
Patient Safety
immediate resources available on the date of the
eCQM
9
encounter. This list must include ALL known
Specifications,
prescriptions. over-the-counters. herbals. and
MIPS CQMs
vitamin/mineral/dietary (nutritional) supplements
Specifications
AND must contain the medications' name, dosage,
frequency and route of administration.
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14AUP2
Measure
Steward
National
Committee for
Quality
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Physician
Consortium for
Perfom1ance
Improvement
Foundation
(PCPI®)
Centers for
Medicare &
Medicaid
Services
Centers for
Medicare &
Medicaid
Services
EP14AU19.230
Indicator
NQF#
I
eCQM
NQF#
41048
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
R 19. Mental/Behavioral Health
Indicator
*
PREVIOUSLY FINALIZED MEASURES I~ THE MENTALIBEHi\VIORAL HEALTH SET
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226
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Medicare Part
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CMS Web
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Specifications,
MIPS CQMs
Specifications
Medicare Part
B Claims
~f~asure
Specifications,
MIPS CQMs
Specifications
Medicare Part
B Claims
Measure
Specifications,
eCQM
Specifications,
CMS Web
Interface
Measure
Specifications,
MIPS CQMs
Specifications
cCQM
Specifications
Measure
Type
Process
Natiomd:
quality
Strategy
Domain
Community/
Population
Health
Process
Patient Safety
Process
Community/
Population
Health
Process
Effective
Clinical Care
283
N/A
MIPS CQMs
Specifications
Process
Et1ective
Clinical Care
N/A
286
N/A
MIPS CQMs
Specifications
Process
Patient Safety
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Jkt 247001
PO 00000
·
:\Ieasure Title
aud DescriptiOn
Preventive Care and Screening: Screening for
Depression and Follow-Up Plan:
Percentage of patients aged 12 years and older
screened for depression on the date of the encounter
using an age appropriate slandardiLed depression
screening tool AND if positive, a follow-up plan is
documented on the date of the positive screen.
Elder Maltreatment Screen and Follow-Up Plan:
Percentage of patients aged 65 years and older with
N/A
*
!
Collection
Type
..
Frm 00568
Fmt 4701
Sfmt 4725
a documented elder maltreatment screen using an
Elder Maltreatment Screening Tool on the date of
encounter AND a documented follow-up plan on the
dale oflhe positive screen.
Preventive Care and Screening: Tobacco Use:
Screening and Cessation Intervention:
Percentage of patients aged 18 years and older who
were screened for tobacco use one or n1ore titnes
within 24 months Al\D who received tobacco
cessation intervention if identified as a tobacco user
Three rates are reported:
a. Percentage ofpalienls aged 18 years and older
who were screened for tobacco use one or more
times within 24 months
b. Percentage of patients aged 18 years and older
who were screened for tobacco use and identified as
a tobacco user who received tobacco cessation
intervention
c. Percentage of patients aged 18 years and older
who were screened for tobacco use one or more
times within 24 months AND who received tobacco
cessation intervention if identified as a tobacco user.
Dementia: Cognitive Assessment:
Percentage of patients, regardless of age, with a
diagnosis of dementia for whom an assessment of
cognition is performed and the results reviewed at
least once within a 12-month period.
Dementia Associated Behavioral and Psychiatric
Symptoms Screening and Management:
Percentage of patients with dementia for whom
there was a documented screening for behavioral
and psychiatric symptoms, including depre«ion,
and for whom, if symptoms screening was positive,
there was also documentation of recommendations
for management in the last 12 months.
Dementia: Safety Concern Screening and FollowUp for Patients with Dementia:
Percentage of patients with dementia or their
caregiver(s) for whom there was a documented
satety concerns screening in two domains of risk: 1)
dangerousness to self or others and 2) environmental
risks: and if safety concerns screening was positive
in the last 12 months, there was documentation of
mitigation recommendations, including but not
limited to referral to other resources.
E:\FR\FM\14AUP2.SGM
14AUP2
Measure
Stew;trd
Centers for
Medicare &
Medicaid
Services
Centers for
Medicare &
Medicaid
Services
Physician
Consortium for
Perforn1ance
Improvement
Foundation
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Physician
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Perforn1ance
Improvement
Foundation
(PCP!®)
American
Academy of
Neurology
American
Academy of
Neurology
EP14AU19.231
..
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R 19. Mental/Behavioral Health
Indicator
PREVIOUSLY FINALIZED MEASURES I~ THE MENTALIBEHi\VIORAL HEALTH SET
.!SQF#
I
eCQM
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317
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VerDate Sep<11>2014
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Specifications
Community!
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Effective
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eCQM
Specifications
Process
N/A
MIPS CQMs
Specifications
Intermedi
ate
Outcome
PO 00000
Strategy
Domain
Outcome
CMS177
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Patient Safety
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·
:\Ieasure T.itle
and Description·
Preventive Care and Screening: Screening for
High Blood Pressure and Follow-Up
Documented:
Percentage of patients aged 18 years and older seen
during the submitting period who were screened for
high blood pressure AKD a recommended rollow-up
plan is documented based on the current blood
pressure (BP) reading as indicated.
Follow-Up Care for Children Prescribed ADHD
Medication (ADD):
Percentage of children 6-12 years of age and newly
dispensed a medication for attentiondeficit/hyperactivity disorder (ADHD) who had
appropriate follow-up care. Two rates are reported.
a. Percentage of children who had one follow-up
visit with a practitioner with prescribing authority
during the 30-Day Initiation Phase.
h. Percentage of children who remained on ADHD
medication for at least 210 days and who, in
addition to the visit in the Initiation Phase, had at
least two additional follow-up visits with a
practitioner within 270 days (9 months) after the
Initiation Phase ended.
Depression Remission at Twelve Months:
The percentage of adolescent patients 12 to 17 years
of age and adult patients 18 years of age or older with
major depression or dysthymia who reached
remission 12 months ( +/- 60 days) after an index
event date.
Closing the Referral Loop: Receipt of Specialist
Report:
Percentage of patients with refeiTals, regardless of
age, for which the referring provider receives a
report from the provider to whom the patient was
refeiTed.
Child and Adolescent Major Depressive Disorder
(MDD): Suicide Risk Assessment:
Percentage of patient visits for those patients aged 6
through 17 years with a diagnosis of major
depressive disorder with an assessment for suicide
risk.
Adherence to Antipsychotic Medications for
Individuals with Schizophrenia:
Percentage of individuals at least 18 years of age as
ofthe beginning of the measurement period with
schizophrenia or schizoaffective disorder who had at
least two prescriptions filled for any antipsychotic
medication and who had a Proportion of Days
Covered (PDC) of at least 0.8 for antipsychotic
medications during the measurement period (12
consecutive months).
E:\FR\FM\14AUP2.SGM
14AUP2
Measure
Stew;trd
Centers ror
Medicare &
Medicaid
Services
National
Committee for
Quality
Assurance
Minnesota
Community
Measurement
Centers for
Medicare &
Medicaid
Services
Physician
Consortium for
Perfom1ance
Improvement
Foundation
(PCPT®)
Centers for
Medicare &
Medicaid
Services
EP14AU19.232
..
41050
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
R 19. Mental/Behavioral Health
..
·
]SQF#
I
eCQM
NQFII
*
I
(Care
Coordinati
on)
0576
2803
2152
I
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(Opioid)
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14AUP2
EP14AU19.233
Indicator
..
PREVIOUSLY FINALIZED MEASURES I~ THE MENTALIBEHi\VIORAL HEALTH SET
National
Qlla:ljty
Measure
Measure
CMS
Collection
QiJality
:\Ieasure T.itlc
..
#
Stew;trd
eCQMID
Type
Type
Strategy
and DescriptiOn
Domain
Follow-up After Hospitalization for :\Iental Illness
(FUll):
The percentage of discharges for patients G years of
age and older who were hospitalized for treatment of National
selected mental illness diagnoses and who had a
Committee for
MIPS CQMs
Comtnunicati
follow-up visit with a mental health practitioner. Two Quality
Process
391
N/A
on! Care
Specifications
rates are submitted:
Assurance
Coordination
• The percentage of discharges for which the patient
received follow-up within 30 days after discharge.
• The percentage of discharges for which the patient
received follow-up within 7 days after discharge.
Tobacco Use and Help with Quitting Among
Adolescents:
National
Community/
The percentage of adolescents 12 to 20 years of age
MIPS CQMs
Committee for
Process
Population
with a primary care visit during the measurement
402
NA
Quality
Specifications
Health
year for whom tobacco use status was documented
Assurance
and received help with quitting if identified as a
tobacco user.
Preventive Care and Screening: Unhealthy Alcoho
Physician
Use: Screening & Brief Counseling:
Consortium for
Community/
Percentage of patients aged 18 years and older who
MIPS CQMs
Perforn1ance
Process
Population
were screened for unhealthy alcohol use using a
431
N/A
Improvement
Specifications
Health
systematic screening method at least once within the
Foundation
last 24 months AND who received brief counseling if
(PCPT®)
identified as an unhealthy alcohol user.
Continuity of Pharmacotherapy for Opioid Use
University of
Disorder (OUD):
MIPS CQMs
Effective
Process
Percentage of adults aged IS years and older with
468
N/A
Southern
Specifications
Clinical Care
pharmacotherapy for opioid use disorder (OUD) who California
have at least 180 days of continuous treatment
41051
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.19. Mental/Behavioral Health
.NQF#
Indicator
I
eCQM
NQF#
MEASURES PROPOSI<;D F.OR ADDITION TO THE ME"'TALJBEHAVIORAL HEAL THSEt
National
CM'S
Measur<'
Collection
Quality
Measure
Measure Titl<'
Quality
Type
eCQM
Type
#
Strateey
And Des.;rlptioll
Stew ani
ID
· ..
Domain
*
Con1muni
Measure
!
(Care
Coordinat
ion)
FuRctional Outcome AssessmeRt:
Medicare
Part B
Claims
2624
182
N/A
Specificatio
ns,
MIPS
CQMs
Specificatio
ns
Process
cation and
Care
Coordinati
on
Percentage of visits for patients aged
18 years and older with
'enters
documentation of a current
functional outcome assessment using or
a standardized functional outcome
~edicare
assessment tool on the date ofthe
~
encounter AND documentation of a ~edicaid
care plan based on identified
~ervices
functional outcome deficiencies on
the date of the identified
deficiencies.
Rationaleti>r
Inclusion
.
This measure is being
proposed for
inclusion into the
Mental/Behavioral
Health specialty set
as a replacement for
measure Q282:
Dementia: Functional
Status Assessment,
which is being
proposed for
removal. Proposed
changes to the
measure requested by
the measure steward
include adding this
clinician type to the
measure so that
measnre Ql82 will
include the patient
population in
measure Q282.
Measure Ql82 is
more robust in that it
requires more
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14AUP2
EP14AU19.234
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frequent assessment
and a plan of care.
41052
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B.l9. Mental/Behavioral Health
PREVIOUSLY :FINALiZED .MEASlJ~SPROPOSED l<'OR REMOVAL J<'ROM THK MENTAL!BI2014
18:25 Aug 13, 2019
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EP14AU19.235
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depression encounter.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41053
B.l9. Mental/Behavioral Health
PREVIOUSLYFINALIZED :MEASURES PROPOSED FOR REMOVAL FROM THE MENTAL/BEHAVIORAL.HEALTH SET
)lote: In this proposed rule, CMS proposes removal ofthe following rneasure(s) below from this specific specialty measure set based upon review ofuJXiates made to
existing quality meast~re specifications, the proposed addition of new measures for inclusion in MIPS, and the feedback provided by specialty societies.
Quality
khammond on DSKBBV9HB2PROD with PROPOSALS2
0711
VerDate Sep<11>2014
#
411
CMS
eCQMID
N/A
18:25 Aug 13, 2019
Collection
'fype
MIPS CQMs
Specifications
Jkt 247001
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Type
Outcome
PO 00000
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l\ationai
Quality
St:rateJzy
Domain
Effective
Clinical
Care
Fmt 4701
Measure
Stewal'd
Measure. Title and Description
...
Depression Remission at Six
Months:
The percentage of adolescent
patients 12 to 17 years of age
and adult patients 18 years of
age or older with major
depression or dysthymia who
reached remission six months
(+I- 60 days) after an index
event date.
Sfmt 4725
E:\FR\FM\14AUP2.SGM
Rationale for Remo"'al
..
Minnesota
Community
Measuremen
t
14AUP2
This measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year.
See Table C for
rationale.
EP14AU19.236
NQF#I
eCQM
l\QF#
41054
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.20. Diagnostic Radiology
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed rule, the Diagnostic Radiology
specialty sellakes additional criteria into consideration, which includes, but is not limited to whether the measure reflects current clinical guidelines
and the coding of the measure includes relevant clinician types. CMS may reassess the appropriateness of individual measures, on a case-by-case
basis, to ensure appropriate inclusion in the specialty set Measme tables in this set include previously finalized measmes that we are maintaining
within the set, measures that are proposed to be added, and measures that are proposed for removal, as applicable. \Ve request connnent on the
measmes available in the proposed Diagnostic Racliology specialty set
B.20. Diagnostic Radiology
NQF#
I
Indicator
.·
eCQM
NQF#
!
(Patient
Safety)
NIA
Qualit:f
#
145
l>REVIOUSLYFINALIZED MEASURES IN THE DIAGNOSTIC RADIOLOGY SET
..
Nati-onal
M~asur
CMS
Quality
Collection
Measure T'itle
·.
e
and Description
Type
eCQMID
Strateey
Type
Donraiu
Radiology: Exposure Dose Indices or Exposure
Medicare Part
Time and Number of Images Reported for
B Claims
Procedures Using J<"Juoroscopy:
Measure
N/A
Process
Final reports for procedures using fluoroscopy that
Specifications,
Patient Safety
document radiation exposure indices, or exposure
MIPS CQMs
time and number of fluorographic images (if
Specifications
Measure Steward
.American
College of
Radiology
radiation exposure indices are nol available).
!
(Care
Coordinat
ion)
NIA
147
NIA
Medicare Part
B Claims
Measure
Specifications,
MIPS CQMs
Specifications
Process
Communicati
on and Care
Coordination
Process
Effective
Clinical Care
Medicare Part
B Claims
0507
195
N/A
~1easure
Specifications,
MIPS CQMs
Specifications
Nuclear Medicine: Correlation with Existing
Imaging Studies for All Patients Undergoing
Bone Scintigraphy:
Percentage of final reports for all patients,
regardless of age, undergoing bone scintigraphy
that include physician documentation of
correlation with existing relevant imaging studies
(e.g., x-ray, Magnetic Resonance Imaging (MRI),
Computed Tomography (CT), etc.) that were
perfom1ed.
Radiology: Stenosis Measurement in Carotid
Imaging Reports:
Percentage of final reports for carotid imaging
studies (neck magnetic resonance angiography
[MRA ], neck computed tomography angiography
[CTA], neck duplex ultrasound, carotid
angiogram) performed that include direct or
indirect reference to measurements of distal
internal carotid diameter as the denominator for
Society of
l\uclear Medicine
and Molecular
Imaging
American
College of
Radiology
stenosis measurement.
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VerDate Sep<11>2014
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360
18:25 Aug 13, 2019
NIA
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Specifications
PO 00000
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14AUP2
American
College of
Radiology
EP14AU19.237
!
(Appropri
ate Use)
Optinlizing PatiPnt ExposnrP to Ionizing
Radiation: Count of Potential High Dose
Radiation Imaging Studies: Computed
Tomography (CT) and Cardiac ~uclear
Medicine Studies:
Percentage of computed tomography (CT) and
cardiac nuclear medicine (myocardial pe1fusion
studies) imaging reports for all patients, regardless
of age, that document a count of known previous
CT (any type ofCT) and cardiac nuclear medicine
(myocardial pertusion) studies that the patient has
received in the 12-month period prior to the
current study.
41055
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.20. Diagnostic Radiology
;
Indicator
!
(Appropri
ale Use)
NQFii
1
1:CQM
NQF#
Quality
#
N/A
364
N/A
405
N/A
406
*
!
(Appropri
ate Use)
!
(Appropri
ate Usc)
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N/A
VerDate Sep<11>2014
436
18:25 Aug 13, 2019
PREVIOUSLY FINALIZED MEASURES IN TilE DIAGNOSTIC RADIOLOGY SET
.·
·.
National
Measur
CMS
COllection
Measure Title
QII:tlity
e
eCQMID
Sti·ategy
Type
aml Desoi ptiou
Type
;
Domain
Optimizing Patient Exposure to Ionizing
Radiation: Appropriateness: Follow-up CT
Imaging for Incidentally Detected Pubnonary
Nodules According to Recommended
Guidelines:
Percentage of final reports for CT imaging studies
Comtnunicati
with a finding of an incidental pulmonary nodule
MIPS CQMs
NIA
for patients aged 35 years and older that contain an
Process
on and Care
Specifications
Coordination
impression or conclusion that includes a
recommended interval and modality for follow-up
(e.g., type of imaging or biopsy) or for no followup, and source of recommendations (e.g.,
guidelines such as Fleischner Society, American
Lung Association, American College of Chest
Physicians).
Appropriate Follow-up Imaging for Incidental
Abdominal Lesions:
Percentage of final reports for abdominal imaging
Medicare Part B
Claims .\Ieasure
studies tor patients aged 18 years and older with
Effective
N/A
Specifications,
Process
one or more of the following noted incidentally
Clinical Care
with follow-up imaging recommended
MIPS CQ.\Is
• Liver lesion<; 0.5 em.
Specifications
• Cystic kidney lesion< 1.0 em.
• Adrenal lesion< 1.0 em
Appropriate Follow-Up Imaging for Incidental
Thyroid Nodules in Patients:
Percentage of final reports for computed
Medicare Part B
tomography (CT), CT angiography (CTA) or
Claims .\Ieasure
magnetic resonance imaging (MRI) or magnetic
Effective
NIA
Speci flcations,
Process
resonance angiogram (MRA) studies oflhe chest
Clinical Care
MIPS CQ.\Is
or neck for patients aged 18 years and older with
no known thyroid disease with a thyroid nodule <
Specifications
1.0 em noted incidentally with follow-up imaging
recommended.
.
N/A
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Claims .\Ieasure
Specifications,
MIPS CQ.\Is
Specifications
PO 00000
Process
Frm 00575
Effective
Clinical Care
Fmt 4701
Sfmt 4725
Radiation Consideration for Adult CT:
Utilization of Dose Lowering Techniques:
Percentage of final reports for patients aged 18
years and older undergoing CT with
documentation that one or more of the following
dose reduction techniques were used:
• Automated exposure control.
• Adjustment of the rnA and/or kV according to
patient size.
• Use of iterative reconstruction technique.
E:\FR\FM\14AUP2.SGM
14AUP2
Measure Steward
.American
College of
Radiology
American
College of
Radiology
American
College of
Radiology
American
College of
Radiology/
American
Medical
AssociationPhysician
Consortium for
Pertormance
Improvement/
National
Committee tor
Quality
Assurance
EP14AU19.238
;
41056
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.20. Diagnostic Radiology
P"REVTOUSJ,V FJNALfZEll MF.ASURKS PROPOSED FOR REMOVAL FROM THR DIAGNOSTIC RADIOLOGY SET
Note: Iri this propos~d rule, CMS proposes the rcmovaJof the following measure(s) bclowfromthis specific spccialtv measure set based lip on review ,of updates made to
existing qu2014
..
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.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41057
B.21. Nephrology
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed rule, the Nephrology specialty set
takes additional criteria into consideration, which includes, but is not limited to: whether the measure reflects current clinical guidelines and the
coding of the measure includes relevant clinician types. CMS may reassess the appropriateness of individual measures, on a case-by-case basis, to
ensure appropriate inclusion in the specialty set. Measure tables in this set include previously finalized measures that we are maintaining within the
set, measures that are proposed to be added, and measures that are proposed for removal, as applicable. We request comment on the measures
available in the proposed Nephrology specialty set.
B.21. Nephrology
PREVIOCSLY FINALIZED MEASt'RES IN THE NEPHROLOGY SET
Quality
#
CMS
eCQMID
*
§
!
(Outcome)
0059!
N/A
001
CMS122
v8
I
(Care
Coordinat
ion)
*
§
0326
0062!
N/A
047
119
N!A
CMS134
v8
Colle~tion
··
Type
Medicare Part
B Claims
Measure
Specifications,
eCQM
Specdications,
CMS Web
Interface
Measure
Specifications,
MIPS CQMs
Specifications
National
Qu~lity
Measure
Type
Intermediate
Outcome
Medicare Part
B Claims
Measure
Specifications,
MIPS CQMs
Specifications
Process
eCQM
Specifications,
MIPS CQMs
Specifications
Process
E;tr..tegy
Domain
Effective
Clinical
Care
Comtnunica
tion and
Care
Coordinatio
n
Effective
Clinical
Care
Medicare Part
B Claims
I
(Patient
Safety)
Measure
0419!
0419e
130
CMS68v
9
*I
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(Care
Coordinat
ion)
VerDate Sep<11>2014
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182
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N!A
Jkt 247001
Specifications,
eCQM
Specifications,
MIPS CQMs
Specifications
Medicare Part
B Claims
Measure
Specifications,
MIPS CQMs
Specifications
PO 00000
Process
Patient
Safety
Comtnunica
Process
Frm 00577
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Care
Coordinatio
n
Fmt 4701
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Measln'e Title
and D~Hiptioi:I
Diabetes: Hemoglobin Ale (HbAlc) Poor
Control (>9% ):
Percentage of patients 18-75 years of age witb
diabetes who had hemoglobin Ale> 9.0% during
the measurement period.
Advance Care Plan:
Percentage of patients aged 65 years and older who
have an advance care plan or surrogate decision
maker documented in the medical record or
documentation in the medical record that an advance
care plan was discussed but the patient did not wish
or was not able to name a surrogate decision maker
or provide an advance care plan
Diabetes: Medical Attention for Nephropathy:
TI1e percentage of patients 18-75 years of age with
diabetes who had a nephropathy screening test or
evidence of nephropathy during the measurement
period.
Documentation of Current Medications in the
Medical Record:
Percentage of visits for patients aged 18 years and
older for which the MIPS eligible clinician attests to
documenting a list of current medications using all
immediate resources available on the date of the
encounter. This list must include ALL known
prescriptions, over-the-counters, herbals, and
vitamin/mioeral!dietary (nutritional) supplements
AND must contain the medications' name, dosage,
frequency and route of administration.
Fm1ctional Outcome Assessment:
Percentage of visits for patients aged 18 years and
older with documentation of a current functional
outcome assessment usiog a standardized functional
outcome assessment tool on the date of the
encounter AND documentation of a care plan based
on identified functional outcome deficiencies on the
date ofthe identified deficiencies.
E:\FR\FM\14AUP2.SGM
14AUP2
Measure
Steward
National
Committee
for Quality
Assurance
National
Committee
for Quality
Assurance
National
Committee
for Quality
Assurance
Centers for
Medicare &
Medicaid
Services
Centers for
Medicare &
Medicaid
Services
EP14AU19.240
Indicator
NQF.
#I
eCQ
M
NQF
#
41058
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.21. Nephrology
PRE:VIOLSLYFINALIZED MEASL~RES IN THE NEPHROLOGY SET
'•
.·
NQF
eCQ
M
NQF
Quality
#
CMS
eCQMID
*
N/A
317
!
0101!
N/A
318
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§
VerDate Sep<11>2014
N/A
Measure
National
Quality
Type
Type
Strateg)'
Measure Title
ru'd Dest'ription
Domain
#
(Patient
Safety)
Collection
400
18:25 Aug 13, 2019
CMS22v
s
CMS139
v8
N/A
Jkt 247001
Medicare Part
B Claims
Measure
Specifications,
eCQM
Specifications,
MIPS CQMs
Specifications
eCQM
Specifications,
CMS Web
Interface
Measure
Specifications
MIPS CQ!vls
Specifications
PO 00000
Measure
Steward
:
Process
i Population
Health
Preventive Care and Screening: Screening for
Hi~h Blood Pressure and Follow-l:p
Documented:
Percentage of patients aged 18 years and older seen
during the suhmitting period who were screened for
high blood pressure AND a recommended follow-up
plan is documented based on the current blood
pressure (BP) reading as indicated.
Process
Patient
Safety
l<'alls: Screening for l<'uture !<'all Risk:
Percentage of patients 65 years of age and older who
were screened for future fall risk during the
measurement period.
Process
Frm 00578
Community
Effective
Clinical
Care
Fmt 4701
Sfmt 4725
One-Time Screening for Hepatitis C Virus
(HCV) for Patients at Risk:
Percentage of patients aged 18 years and older with
one or more of the following: a history of injection
dmg use, receipt of a blood transfusion prior to
1992, receiving maintenance hemodialysis, OR
birthdate in the years 1945-1965 who received onetime screening for hepatitis C vims (HCV)
infection.
E:\FR\FM\14AUP2.SGM
14AUP2
Centers for
Medicare &
Medicaid
Services
National
Committee
for Quality
Assurance
Physician
Consortium
for
Performance
Improvement
Foundation
(PCPI®)
EP14AU19.241
#I
Iodicator
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41059
B.21. Nephrology
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N/A
VerDate Sep<11>2014
Quality
#
TED
18:25 Aug 13, 2019
MEASURES PROJ>OSED FOR ADDITION TO THE NEPHROLOGY SET
.National
Measure
CMS
Collection
Quality
Measnr~ Title
cCQM
Typ~
StratelQ'
And Description
TYJK'.
ID
Domam
N/A
Jkt 247001
CMS Web
Interface
Measure
Specificatio
ns. MIPS
CQMs
Specificatio
ns
PO 00000
Communit
Process
Frm 00579
y!
Populatio
n Health
Fmt 4701
Adult Immunization Status:
Percentage of members 19 years of
age and older who are up-to-date on
recommended routine vaccines for
intluenza; tetanus and diphtheria
(Td) or tetanus. diphtheria and
acellular pertussis (Tdap ); zoster;
and pneumococcaL
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
Measure
Steward
rational
~ommitte
~for
ruality
~ssurance
Rationale for
lnclusion
This measure is being
proposed as a new
measure for the 2020
perfomumce period.
We propose to
include this measure
in the Nephrology
specialty set as it is
clinically relevant to
this clinician type.
EP14AU19.242
Indicator
N.QF#
I
eCQM
NQF#
41060
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.21. Nephrology
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EP14AU19.243
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PREVIOUSLY FINALIZED MEASt:RES PROPOSED FO:ttREMOVAL FROM THE NEPHROLOGY SET
Note: Ill this proposed mle, CMS proposes thS, and thefeedbackpmviged bv specialty societies;
National
NQF#
CMS
Collection
Measure
I
Quality
Measure
Qwllity
eCQM
Measure Title and Description
N.ationale for Removal
Steward
#
Type
Type
Strategy
eCQM
ID
.·
NQ)j#
DQmahi
Medication Reconciliation PostDischarge:
T11e percentage of discharges
from any inpatient facility (e. g.
hospital, skilled nursing facility,
or rehabilitation facility) for
palienls 18 years of age ami older
seen within 30 days following
discharge in the office by the
physician, prescribing
Medicare Part
practitioner, registered nurse, or
Commu
This measure is being
BClaims
Nalional
nication
clinical pharmacist providing onproposed for removal
Measure
Committee
0097
046
N/A
Process
and Care
going care for whom the
beginning with 2022 MIPS
Specifications,
for Quality
Coordin
discharge medication list was
Payment Year See Table
Mil'S C()Ms
Assurance
C for rationale.
ation
reconciled with the current
Specifications
medication list in the outpatient
medical record.
This measure is submitted as three
rates stratitied hy age group:
• Submission Criteria 1: 18-64
years of age.
• Submission Criteria 2: 65 years
and older
• Total Rate: All patients 18 years
of age and older.
Medicare Part
BClaims
Preventive Care and Screening:
Measure
Physician
Influenza Immunization:
Specifications,
Consortium
This measure is being
Percentage of patients aged 6
eCQ:vl
Commu
for
proposed for removal
months and older seen for a visit
0041 I
CMS147v Specifications,
nity/Pop
between October 1 and March 31
110
Process
Performanc
beginning with the 2022
9
CMS Web
ulation
0041e
who received an influenza
e
MIPS Payment Year. See
Interface
Health
lmproveme
Table C for rationale
immunization OR who reported
Measure
previous receipt of an influenza
nt
Specifications,
in1n1unization.
MIPS CQ!vls
Specifications
Medicare Part
BClaims
This measure is being
Pneumococcal Vaccination
Connnu
National
Measure
proposed for removal
Status for Older Adults:
CMS127v Specifications,
nity/Pop
Committee
111
Process
Percentage of patients 65 years of
beginning with the 2022
N/A
8
eCQ:vl
ulation
for Quality
MIPS Payment Year See
age and older who have ever
Specitlcations,
Health
Assurance
received a pneumococcal vaccine.
Table C for rationale.
MIPS CQ!vls
Specifications
Pediatric Kidney Disease:
ESRD Patients Receiving
I>ialysis: Hemoglobin Level < HI
g/dL: Percentage of calendar
This measure is being
months within a 12-month period
Effective
Renal
proposed for removal
MIPS CQ!vls
Intermediate
during which patients aged 17
Clinical
Physicians
beginning with the 2022
1667
328
N/A
years and younger with a
Specifications
Outcome
Care
Assoclatlon
Mil'S Payment Year. See
diagnosis of End Stage Renal
Table C for rationale.
Disease (ESRD) receiving
hemodialysis or peritoneal
dialysis have a hemoglobin level
< 10 g/dL
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41061
B.21. Nephrology
PREVIOUSLY FINALIZED MEASI:RES PROPOSEDFO:ttREMOVAL FROM THE NEPHROLOGY SET
Note: In this proposed rule, CMS proposes the removal ofthe tollowi~g measure(s) below tl·om this. speQitic specialty measure sethased upon review of updates made
I•
to existing qualiW measure specifications•.the PrQJJosed addition of new measures for inclusion in MIPS, arid the feedback provided by sJ)e.;ialty societies .
NQF#
National
C:MS
1
Quality
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Measure Title and Dcscriptilm
~CQM
Rationale for R~inoval
eCQM
Strategy
.Type
Typ2014
18:25 Aug 13, 2019
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Frm 00581
Fmt 4701
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
EP14AU19.244
khammond on DSKBBV9HB2PROD with PROPOSALS2
.
41062
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.22. General Surgery
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed rule, the General Surgery
specialty set takes additional criteria into consideration, which includes, but is not limited to: whether the measure reflects current clinical guidelines
and the coding of the measure includes relevant clinician types. CMS may reassess the appropriateness of individual measures, on a case-by-case
basis, to ensure appropriate inclusion in the specialty set. Measure tables in this set include previously finalized measures that we are maintaining
within the set, measures that are proposed to be added, and measures that are proposed for removal, as applicable. We request comment on the
measures available in the proposed General Surgery specialty set.
B.22. General Surgery
PREVIOUSLY FINALIZED MEASURES 1~ TilE GENERAL SURGERY SET
Quality
#
CMS
eCQM
ID
0268
021
NIA
023
Process
Patient Safety
NIA
Medicare Part
l:l Claims
Measure
Specifications,
MIPS CQMs
Specifications
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NIA
Medicare Part
BClaims
Measure
Specifications,
MIPS CQMs
Specifications
Process
Communicatio
nand Care
Coordination
CMS69
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Specifications,
MIPS CQMs
Specifications
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e Use)
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Process
Frm 00582
Patient Safety
Fmt 4701
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Measure Title
and Description
Perioperative Care: Selection of Prophylactic
Antibiotic- First OR Second-Generation
Cephalosporin:
Percentage of surgical patients aged 18 years and
older undergoing procedures with the indications for
a first OR second-generation cephalosporin
prophylactic antibiotic who had an order for a first
OR second-generation cephalosporin for
antimicrobial prophvlaxis.
Perioperative Care: Venous Thromboembolism
(VTE) Prophylaxis (When Indicated in ALL
Patients):
Percentage of surgical patients aged 18 years and
older undergoing procedures for which venous
thromboembolism (VTE) prophylaxis is indicated in
all patients, who had an order for Low Molecular
Weight Heparin (LMWH), Low- Dose
Unfractionated heparin (LDUH), adjusted-dose
warfarin, fondaparinux or mechanical prophylaxis to
be given within 24 hours prior to incision time or
within 24 hours after surgery end time.
Advance Care Plan:
Percentage of patients aged 65 years and older who
have an advance care plan or surrogate decision
maker documented in the medical record or
documentation in the medical record that an advance
care plan was discussed but the patient did not wish
or was not able to name a surrogate decision maker
or provide an advance care plan.
Preventive Care and Screening: Body Mass
Index (BMI) Screening and Follow-Up Plan:
Percentage of patients aged 18 years and older with
a BMI documented during the current encounter or
during the previous twelve months AND with a
BMI outside of normal parameters, a follow-up plan
is documented during the encounter or during the
previous twelve months of the current encounter.
Normal Parameters:
Age 18 years and older BMI ~ 18.5 and< 25 kglm 2
Documentation of Current Medications in the
Medical Record: Percentage of visits for patients
aged 18 years and older for which the MIPS eligible
clinician attests to documenting a list of current
medications using all immediate resources available
on the date of the encounter. This list must include
ALL known prescriptions, over-the-counters,
herbals, and vitamin/mineral/dietary (nutritional)
supplements AND must contain the medications'
name, dosage, frequency and route of
administration.
E:\FR\FM\14AUP2.SGM
14AUP2
..
Measure
Steward
American
Society of
Plastic
Surgeons
American
Society of
Plastic
Surgeons
l\ational
Committee for
Quality
Assurance
Centers for
Medicare &
Medicaid
Services
Centers for
Medicare &
Medicaid
Services
EP14AU19.245
htdicator
NQ
F#f
eCQ
M
NQ
F#
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41063
B.22. General Surgery
NQ
F#/
Indicatilr
eCQ
M
NQ
Quality
#
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ID
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Type
Type
F#
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Specifications
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Community/
Population
Health
Medicare Part
BClaims
Measure
Specifications,
eCQM
Specifications,
MIPS CQMs
Specifications
Process
Community/
Population
Health
Outcome
Patient Safety
Outcome
EtTective
Clinical Care
Outcome
Effective
Clinical Care
*
317
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I
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355
N/A
N/A
356
N/A
N/A
357
N/A
MIPS CQMs
Specifications
Process
Person and
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Experience
and Outcomes
Process
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nand Care
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!
(Outcome)
!
(Outcome)
I
(Patient
Experience)
VerDate Sep<11>2014
Specifications
MIPS C
PREVIOUSLY FINALIZJl;D MEASURES IN THE GENERAL SURCEIW SET
·.
41064
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.22. General Surgery
Indicator
NQ
F#l
eCQ
M
NQ
F#
2803
PREVIOUSLY Fl'i!ALIZEDMEASURESIN THE GENERAL SURGEJ,tY Sl':T
.·
Xationid
CMS
Collection
Quality
Measure
Measure Title
e.CQM
and DescriptiQu
Type
Type
Strategy
ID
Domain
I
Quality
#
402
'\I/ A
MIPS CQMs
Specifications
Tobacco Use and Help with Quitting Among
Adolescents:
The percentage of adolescents 12 to 20 years of age
with a primary care visit during the measurement
year for whom tobacco use status was documented
and received help with quitting if identified as a
tobacco user.
CommtmityI
Population
Health
Process
Measure
Ste\vard
.\ational
Committee for
Quality
Assurance
B.22. General Surgery
IndicatQr
I
.·
eCQM
1'\Qll#
Quality
#
.CMS
e.CQl\1
Collection
Type
N!A
MIPS
CQ'v!s
Specificatio
ns
N/A
CMS Web
Interface
Measure
Specificatio
ns ..\HPS
CQ:Vls
Specificatio
ns
lD
I
(Outcome
)
N!A
khammond on DSKBBV9HB2PROD with PROPOSALS2
N!A
VerDate Sep<11>2014
354
TBD
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ADDITION TO THE GENERAL sURGERY
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'fype
Outcome
Process
Frm 00584
National
Quality
StJ·ategy
Oomaiu
sET
Measure Title
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Measure
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Patient
Safety
Anastomotic Leak Intervention:
Percentage of patients aged 18 years
and older who required an
anastomotic leak intervention
following gastric bypass or
colectomy surgery.
Atnerican
ollege of
Surgeons
Communit
y!
Populatio
n Health
Adult Immunization Status:
Percentage of members 19 years of
age and older who are up-to-date on
recommended routine vaccines for
influenza: tetanus and diphtheria
(Td) or tetanus. diphtheria and
acellular pertussis (Tdap ); zoster:
and pneumococcaL
National
ommitte
for
Quality
Assurance
Fmt 4701
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
Ratio~tale for
IuclnsioJ)
We propose to
include this measure
in the General
Surgery specialty set
as it is clinically
relevant to this
clinician type.
TI1is tneasure is being
proposed as a new
measure for the 2020
performance period.
We propose to
include this measure
in the General
Surgery specialty set
as il is clinically
relevant to this
clinician type.
EP14AU19.247
MEASURES PROPOSED FOR
l'I~F#
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41065
B.22. General Surgery
REMOVAL
I
PREVIOUSLY FINALIZED MEASURES PROPOSED FOR
FROM THE GENERAL SURGERY SET
Note: .In thi, proposed .ule, .CMS proJ>l1&es the removal the fnllowingtneasure(s). below frnm this snecific specialty nleasmeset ha~ed up2014
264
"!/A
18:25 Aug 13, 2019
MIPS CQMs
Specifications
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TI1e percentage of clinically node
negative (clinical stage TINOMO or
T2"10MO) breast cancer patients
before or after neoadjuvant
systemic therapy, who undergo a
sentinel lymph node (SLN)
procedure.
Sfmt 4725
E:\FR\FM\14AUP2.SGM
American
Society of
Breast
Surgeons
14AUP2
This measure is being
proposed for removal
begi1ming with the 2022
MIPS Payment Year. See
Table for rationale.
EP14AU19.248
khammond on DSKBBV9HB2PROD with PROPOSALS2
N/A
Effective
Clinical
Care
41066
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.23. Vascular Surgery
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed mle, the Vascular Surgery
specialty set takes additional criteria into consideration, which includes, but is not limited to: whether the measure ret1ects current clinical guidelines
and the coding of the measure includes relevant clinician types. CMS may reassess the appropriateness of individual measures, on a case-by-case
basis, to ensure appropriate inclusion in the specialty set. Measure tables in this set include previously finalized measures that we are maintaining
within the set, measures that are proposed to be added, and measures that are proposed tor removal, as applicable. We request comment on the
measures available in the proposed Vascular Surgery specialty set.
B.23. Vascular Surgery
P!iEVIOUSLY FINALIZED MEASURES IN THE VASCt:LAR SURGERY SET
Quality
#
CMS
eCQMID
0268
NIA
021
*
khammond on DSKBBV9HB2PROD with PROPOSALS2
s
VerDate Sep<11>2014
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:\T/A
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MIPS CQMs
Specifications
023
Process
Patient Safety
:\T/A
Medicare Part
B Claims
Measure
Specifications,
MIPS CQMs
Specifications
Process
Communication
and Care
Coordination
!
(Care
Coordinat
ion)
Measure
Medicare Part
B Claims
Measure
Specifications,
MIPS CQMs
Specificatiom
!
(Patient
Safety)
Collection
Measu:re Title
and Description
..
!
(Appropri
ate Use)
·.
.·
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128
18:25 Aug 13, 2019
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PO 00000
Process
Frm 00586
Community/
Population
Health
Perioperative Care: Selection of Prophylactic
Antibiotic- First OR Second-Generation
Cephalosporin:
Percentage of surgical patients aged 18 years and
older undergoing procedures with the indications
for a first OR second-generation cephalosporin
prophylactic antibiotic who had an order for a first
OR second-generation cephalosporin for
antimicrobial prophylaxis.
Perioperative Care: Venous Thromboembolism
(VTF:) Prophylaxis (When Indicated in ALL
Patients):
Percentage of surgical patients aged 18 years and
older undergoing procedures for which venous
thromboembolism (VTE) prophylaxis is indicated
in all patients, who had an order for Low
Molecular Weight Heparin (LMWH), Low- Dose
Unfractionated Heparin (LDUH), adjusted-dose
warfarin, fondaparinux or mechanical prophylaxis
to be given within 24 hours prior to incision time
or within 24 hours after surgery end time.
Advance Care Plan:
Percentage of patients aged 65 years and older who
have an advance care plan or surrogate decision
maker documented in the medical record or
documentation in the medical record that an
advance care plan was discussed hut the patient did
not wish or was not able to name a surrogate
decision maker or provide an advance care plan.
Preventive Care and Screening: Body Mass
Index (BMI) Screening and Follow-Up Plan:
Percentage of patients aged 18 years and older
with a BMI documented during the current
encounter or during the previous twelve months
AND with a DMI outside of normal parameters, a
follow-up plan is documented during the encounter
or dming the previous twelve months of the
Measure
Steward
.·.··.
American
Society of
Plastic
Surgeons
American
Society of
Plastic
Surgeons
National
Committee for
Quality
Assurance
Centers for
Medicare &
Medicaid
Services
current em:ounter.
Normal Parameters:
Age 18 years and older BMI 2 18.5 and< 25
kg/m2
Fmt 4701
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
EP14AU19.249
Indicator
NQF
#I
eCQ
M
NQF
#
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41067
B.23. Vascular Surgery
·· PREVIOLISL ¥ l<'JNAUZED MEASURES lN l'HE VASCLLAR SURGERY SKT
NQF
National
#J
I
(Patient
Safety)
*
**
§
eCQ
M
NQF
#
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#
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226
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!
(Outcome
0018 I
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236
258
khammond on DSKBBV9HB2PROD with PROPOSALS2
18:25 Aug 13, 2019
Me~JSure Title
.and Description
Documentation of Current Medications in the
Medical Record:
Percentage of visits for patients aged 1S years and
older for which the MIPS eligible clinician attests
to documenting a list of current medications using
all immediate resources available on the date ofthe
encounter. This list must include ALL known
prescriptions, over-the-counters, herbals, and
vitamin/mineral/dietary (nutritional) supplements
AND must contain the medications' name, dosage,
frequencv and route of administration.
Preventive Care and Screening: Tobacco Use:
Screening and Cessation Intervention:
Percentage of patients aged 18 years and older who
were screened for tobacco use one or more times
within 24 months AND who received tohacco
cessation intervention if identified as a tobacco
Measure
Steward
CMS138
v8
Process
CMS165
v8
Medicare Part
B Claims
Measure
Specifications,
eCQM
Specificatiom,
CMS Web
Interface
Measure
Specifications,
MIPS CQMs
Specifications
Intennedia
Effective
e
Clinical Care
Outcome
Controllinl! Ili~h Dlood Pressure:
Percentage of patients 18 - 85 years of age who
had a diagnosis of hypeliension and whose blood
pressure was adequately controlled(< 140190
mmHg) during the measurement period.
National
Committee for
Quality
Assurance
Outcome
Rate of Open Repair of Small or Moderate
Non-Rnptured Infrarenal Abdominal Aortic
Anenrysms (AAA) withont Major
Complications (Discharged to Home by PostOperative Day #7):
Percent of patients undergoing open repair of small
or moderate sized non-mptured infrarenal
abdominal aortic aneurysms who do not
experience a major complication (discharge to
home no later than post-operative day #7).
Society for
Vascular
Surgeons
'II A
)
VerDate Sep<11>2014
.·
Medicare Part
B Claims
Measure
Specifications,
eCQM
Specifications,
CMS Web
Interface
Measure
Specificatiom,
MIPS CQMs
Specifications
!
NIA
Strategy
Domain
CMS68v
9
)
(Outcome
Qu~JJity
Measure
Type
Medicare Part
B Claims
Measure
Specifications,
eCQM
Specifications,
MIPS CQMs
Specifications
*
§
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Type
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Patient Satety
Centers for
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user
Frm 00587
Community/
Population
Health
Patient Safety
Fmt 4701
Sfmt 4725
Three rates are reported:
a. Percentage of patients aged 18 years and older
who were screened for tobacco use one or more
times within 24 months
b. Percentage of patients aged 18 years and older
who were screened for tobacco use and identified
as a tobacco user who received tobacco cessation
intervention
c. Percentage of patients aged 18 years aod older
who were screened for tobacco use one or more
times within 24 months AND who received
tobacco cessation intervention if identified as a
tobacco user.
E:\FR\FM\14AUP2.SGM
14AUP2
Physician
Consortiutn
for
Performance
Improvement
foundation
(PCP!®)
EP14AU19.250
Indkator
41068
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.23. Vascular Surgery
·· PREVIOUSL ¥ l<'JNALIZED MEASURKS lN l'HK VASCLLAR SURGERY SKi'
NQF
#J
cCQ
M
NQF
#
Quality
#
CMS
eCQMID
259
'1/A
MIPS CQMs
Specifications
Outcome
Patient Safety
NIA
260
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MIPS CQMs
Specificatiom
Outcome
Patient Safety
Medicare Part
B Claims
Measure
Specifications,
eCQM
Specifications,
MIPS CQMs
Specifications
Process
Community I
Population
Health
!
*
NIA
317
CMS22v
8
NIA
344
'1/A
MIPS CQMs
Specifications
Outcome
Effective
Clinical Care
NIA
357
'1/A
MIPS CQMs
Specifications
Outcome
Effective
Clinical Care
Process
Person and
CaregiverCentered
Experience and
Outcomes
!
(Outcome
)
!
(Outcome
)
!
(Patient
Experienc
e)
NIA
358
'1/A
MIPS CQMs
Specifications
NIA
374
CMS50v
8
eCQM
Specifications,
MIPS CQMs
Specifications
Process
2803
402
'1/A
MIPS CQMs
Specifications
Process
I
khammond on DSKBBV9HB2PROD with PROPOSALS2
(Care
Coordinat
ion)
VerDate Sep<11>2014
Strategy
Domain
N/A
)
(Outcome
)
National
Quality
Measure
Type
Mcosurc Title
.and Description
Measure
Steward
.•
!
(Outcome
Collection
Type
18:25 Aug 13, 2019
Jkt 247001
PO 00000
Frm 00588
Communication
and Care
Coordination
Community/
Population
Health
Fmt 4701
Sfmt 4725
Rate ofEndovascular Aneurysm Repair
(EVAR) of Small or Moderate Non-Ruptured
Infrarenal Abdominal Aortic Aneurysms
(AAA) without Major Complications
(Discharged to Home hy Post Operative Day
#2):
Percent of patients tmdergoing endovascular repair
of small or moderate non-mptured intfarenal
abdominal aortic aneurysms (AAA) that do not
experience a major complication (discharged to
home no later than post-operative day #2).
Rate of Carotid Endarterectomy (CEA) for
Asymptomatic Patients, without Major
Complications (Discharged to Home by PostOperathe Day #2):
Percent of asvmptomatic patients undergoing CEA
who are discharged to home no later than postoperative dav #2.
Preventive Care and Screening: Screening for
High Hlood Pressure and Follow-Up
Documented:
Percentage of patients aged 18 years and older
seen during the submitting period who were
screened for high blood pressure AND a
recommended follow-up plan is documented based
on the current blood pressure (BP) reading as
indicated.
Rate of Carotid A1-tery Stenting (CAS) for
Asymptomatic Patients, Without :\1ajor
Complications (Discharged to Home by PostOperative Day #2):
Percent of asymptomatic patients undergoing CAS
who are discharged to home no later than postoperative day #2.
Surgical Site Infection (SSI):
Percentage of patients aged 18 years and older who
had a surgical site infection (SSI).
Patient-Centered Surgical Risk Assessment and
Communication:
Percentage of patients who underwent a nonemergency surgery who had their personalized
risks of postoperative complications assessed by
their surgical team prior to surgery using a clinical
data-based, patient-specific risk calculator and who
received personal discussion of those risks with the
surgeon.
Closing the Referral Loop: Receipt of Specialist
Report:
Percentage of patients with referrals, regardless of
age, for which the referring provider receives a
report from the provider to whom the patient was
referred.
Tobacco Use and Help with Quittin~ Amon~
Adolescents:
TI1e percentage of adolescents 12 to 20 years of
age with a primmy care visit during the
measurement year for whom tobacco use status
was documented and received help with quitting if
identified as a tobacco user.
E:\FR\FM\14AUP2.SGM
14AUP2
Society for
Vascular
Surgeons
Society for
Vascular
Surgeons
Centers for
Medicare &
Medicaid
Services
Society for
Vascular
Surgeons
American
College of
Surgeons
Atnerican
College of
Surgeons
Centers for
Medicare &
Medicaid
Services
National
Connnittee for
Quality
Assurance
EP14AU19.251
Indi.:ator
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41069
B.23. Vascular Surgery
·· PREVIOUSL ¥ l<'JNALIZED MEASURKS lN l'HK VASCLLAR SURGERY SKi'
NQF
National
Quality
Strategy
#J
!
(Outcome)
*
!
khammond on DSKBBV9HB2PROD with PROPOSALS2
(Outcome)
VerDate Sep<11>2014
cCQ
M
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#
Quality
NIA
420
NIA
#
CMS
eCQMID
Collection
Type
Measure
Type
Mcosurc Title
.and Description
Domain
Measure
Steward
.•
441
18:25 Aug 13, 2019
'II A
MIPS CQMs
Specifications
Patient
Reported
Outcome
Effective
Clinical Care
'1/A
MIPS CQMs
Specitications
lntermed
iate
Outcome
EtTective
Clinical Care
Jkt 247001
PO 00000
Frm 00589
Fmt 4701
Sfmt 4725
Varicose Vein Treatment with Saphenous
Ablation: Outcome Survey:
Percentage of patients treated for varicose veins
(CEAP C2-S) who are treated with saphenous
ablation (with or without adjunctive tributary
treatment) that report an improvement on a disease
specific patient reported outcome survey
instmment after treatment
Ischemic Vascular Disease (IVD) All or None
Outcome Measure (Optimal Control):
The IVD AU-or-None Measure is one outcome
measure (optimal control). The measure contains
four goals. All four goals within a measure must be
reached in order to meet that measure. TI1e
numerator for the all-or-none measure should be
collected from the organization's total IVD
denominator. AU-or-None Outcome Measure
(Optimal Control) - Using the IVD denominator
optimal results include:
Most recent blood pressure (BP) measurement
is less than or equal to 140/90 mm Hg -- A'ID
Most recent tobacco status is Tobacco Free -AND
Daily Aspirin or Other Antiplatelet Unless
Contraindicated -- AJ\D
• Statin Use Unless Contraindicated.
.
.
.
E:\FR\FM\14AUP2.SGM
14AUP2
Society of
Jnterventional
Radiology
V·/isconsin
Collaborative
for Healthcare
Quality
(WCHQ)
EP14AU19.252
Indi.:ator
41070
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.23. Vascular Surgery
REMOVAL
PRRVJOHSLY FIN'ALJZRO MRASt:RRS PROPOSED FOR
FRO"J THR VASCUI;AR SlJRGRRV.SRT
Note: In this proposed rule, CMS proposes the tcruoyal of the following rucasurc(s) below from this specific specialty measure s<::tb)lscduponrcvicw of updates made .to
existingql!ality measure specifications. the proposed additionofnewmeasures for inclusion in .MIPS, and the feedback provided by specialty societies.
'
(
eCQM
NQF#
Quality
#
1543
1540
1534
khammond on DSKBBV9HB2PROD with PROPOSALS2
1523
VerDate Sep<11>2014
345
346
347
417
CMS
eCQM
ID
Colleetion.
Type
N!A
MIPS CQMs
Specifications
N/A
MIPS CQMs
Specifications
NIA
MIPS CQMs
Specifications
NIA
18:25 Aug 13, 2019
MIPS CQMs
Specifications
Jkt 247001
Measure
Type
National
Quality
Stratej!;y
Domain
Outcome
Effective
Clinical
Care
Outcome
Effective
Clinical
Care
Outcome
Patient
Safety
Outcome
PO 00000
Patient
Safety
Frm 00590
Measure Title and• Description
Rate of Asymptomatic Patients
Undergoing Carotid Artery Stenting
(CAS) Who Are Stroke J<'ree or
Discharged Alive:
Percent of asymptomatic patients
undergoing CAS who are stroke free
while in the hospital or discharged alive
following surgery.
Rate of Asymptomatic Patients
Undergoing Carotid Endarterectomy
(CEA) Who Arc Stroke Free or
Discharged Alive:
Percent of asymptomatic patients
undergoing CEA who arc stroke free or
discharged alive following surgery.
Rate ofEndovascular Aneurysm
Repair (EVAR) of SmaU or Moderate
Non-Ruptured Infrarena1 Abdominal
Aortic Aneurysms (AAA) Who Are
Discharged Alive:
Percent of patients undergoing
endovascular repair of small or
moderate non-mptured infrarenal
abdominal aortic aneurysms (AAA)
who are discharged alive.
Rate of Open Repair of SmaU or
Moderate Non-Ruptured Infrarena1
Abdominal Aortic Aneurysms (AAA)
Where Patients Are Dischar~ed
Alive:
Percentage of patients undergoing open
repair of small or moderate nonmptured infrarenal abdominal aortic
aneurysms (AAA) who are discharged
alive.
Fmt 4701
Sfmt 4725
E:\FR\FM\14AUP2.SGM
Measure
Steward
Rationale for.Rmtoval
Society
for
Vascular
Surgeons
This measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year. See
Table C for rationale.
Society
for
Vascular
Surgeons
This measure is being
proposed for removal
begirming with the 2022
MIPS Payment Year. See
Table C for rationale.
Society
for
Vascular
Surgeons
This measure is being
proposed for removal
beginning with the 2022
MIPS Payment Y car. Sec
Table C for rationale
Society
for
Vascular
Surgeons
This measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year. See
Table C for rationale.
14AUP2
EP14AU19.253
'
NQF#
41071
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.24. Thoracic Surgery
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed mle, the Thoracic Surgery
specialty set takes additional criteria into consideration, which includes, but is not limited to: whether the measure reflects current clinical guidelines
and the coding of the measure includes relevant clinician types. CMS may reassess the appropriateness of individual measmes, on a case-by-case
basis, to ensure appropriate inclusion in the specialty set Measure tables in this set include previously finalized measures that we are maintaining
within the set, measures that are proposed to be added, and measmes that are proposed for removal, as applicable. We request comment on the
measures available in the proposed Thoracic Surgery specialty set.
B.24. Thoracic Surgery
PREVIOUSLY FINALIZED MEASURES IN THE THORACIC SURGERY SET
NQ
eCQ
M
NQ
Quality
#
CMS
eCQMlll
.National
Quality
Stratell¥
Domain
Measure
Type
Collecti<>n
Type
F#
!
( Appropriat
e Use)
!
(Patient
Safety)
khammond on DSKBBV9HB2PROD with PROPOSALS2
!
(Care
Coordinatio
n)
Medicare Part
B Claims
0268
N/A
0326
021
023
047
!
(Patient
Safety)
0419
I
0419
e
130
!
(Outcome)
0129
164
VerDate Sep<11>2014
18:25 Aug 13, 2019
N!A
Measure
Specifications,
MIPS CQMs
Specifications
Process
Patient Safety
Process
Patient Safety
N!A
Medicare Part
B Claims
Measure
Specifications,
MIPS CQMs
Specifications
N!A
Medicare Part
B Claims
Measure
Specifications,
MIPS CQMs
Specifications
Process
and Care
Coordination
CMS68
v9
Medicare Part
B Claims
Measure
Specifications,
eCQM
Specifications,
MIPS CQMs
Specifications
Process
Patient Safety
MIPS CQMs
Specifications
Outcome
N!A
Jkt 247001
PO 00000
Communication
Frm 00591
Effective
Clinical Care
Fmt 4701
Sfmt 4725
:Measure Titl<\
and Description
Perioperative Care: Selection of Prophylactic
Antibiotic- First OR Second-Generation
Cephalosporin:
Percentage of surgical patients aged 18 years
and older undergoing procedures with the
indications for a first OR second-generation
cephalosporin prophylactic antibiotic who had
an order for a first OR second-generation
cephalosporin for antimicrobial prophylaxis.
Perioperative Care: Venous
Thromhoemholism (VTR) Prophylaxis
(When Indicated in ALL Patients):
Percentage of surgical patients aged 18 years
and older undergoing procedures for which
venous thromboembolism (VTE) prophylaxis is
indicated in all patients, who had an order for
Low Molecular Weight Heparin (LMWH).
Low- Dose Unfractionated Heparin (LDUH),
adjusted-dose warfarin, fondaparinux or
mechanical prophylaxis to be given within 24
hours prior to incision time or within 24 hours
after surgery end time.
Advance Care Plan:
Percentage of patients aged 65 years and older
who have an advance care plan or surrogate
decision maker documented in the medical
record or documentation in the medical record
that an advance care plan was discussed but the
patient did not wish or was not able to name a
surrogate decision maker or provide an advance
care plan.
Documentation of Current Medications in
the Medical Record:
Percentage of visits for patients aged 18 years
and older for which the MIPS eligible clinician
attests to documenting a list of current
medications using all immediate resources
available on the date ofthe encounter. This list
must include ALL known prescriptions, overthe-counters, herbals, and
vitamin/mineral/ dietary (nutritional)
supplements A'ID must contain the
medications' name, dosage, frequency and route
of administration.
Coronary Artery Bypass Graft (CABG):
Prolonged Intubation:
Percentage of patients aged 18 years and older
undergoing isolated CABO surgery who require
postoperative intubation> 24 hours.
E:\FR\FM\14AUP2.SGM
14AUP2
·.
Measure
Steward
American
Society of
Plastic
Surgeons
American
Society of
Plastic
Surgeons
National
Committee for
Quality
Assurance
Centers for
Medicare &
Medicaid
Services
Society of
Thoracic
Surgeons
EP14AU19.254
}l'#/
Indicator
41072
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.24. Thoracic Surgery
l'REVIOUSLY FIJ"iALIZED MEASURES IN TilE THORACIC SURGERY SET
.
NQ
1#1
Indicator
eCQ
M
NQ
F#
Quality
#
CMS
eCQMID
Collection
Type
National
Quality
Strategy
Doltlaii1
Measure
Type
..
0114
167
N!A
MIPS C()Ms
Specifications
Outcome
!
(Outcome)
0115
168
N!A
MIPS CQMs
Specifications
Outcome
Coronary Artery Bypass Graft (CABG):
Postoperative Renal Failure:
Percentage of patients aged IS years and older
undergoing isolated CABG surgery (without
pre-existing renal failure) who develop
postoperative renal failure or require dialysis.
Coronary Artery Bypass Graft (CABG):
Surgical He-Exploration:
Percentage of patients aged 18 years and older
undergoing isolated CABG surgery who require
a return to the operating room (OR) during the
current hospitalization for mediastinal bleeding
with or without tamponade, graft occlusion,
valve dysfunction, or other cardiac reason.
Preventive Care and Screening: Tobacco
l:se: Screening and Cessation Intervention:
Percentage of patients aged 18 years and older
who were screened for tobacco use one or more
times within 24 months AND who received
tobacco cessation intervention if identitied as a
tobacco user
EtTective
Clinical Care
Effective
Clinical Care
Medicare Part
B Claims
Measure
*
**
§
Measure
. Steward
·.
!
(Outcome)
0028
I
0028
c
Measure Title
and Description
226
CMS13
8v8
Specifications,
eCQM
Specifications,
CMS Web
Interface
Measure
Specifications,
MIPS CQMs
Specifications
Process
Community/Pop
ulation Health
Three rates are reported:
a. Percentage of patients aged 18 years and
older who were screened for tobacco use one or
more times within 24 months
b. Percentage of patients aged 18 years and
older who were screened for tobacco use and
identified as a tobacco user who received
Society of
Thoracic
Surgeons
Society of
Thoracic
Surgeons
Physician
Consortium
for
Performance
Improvement
Foundation
(PCP!®)
tobacco cessation intervention
c. Percentage of patients aged 18 years and older
who were screened for tobacco use one or more
N/A
317
Process
Community
/Population
Health
Person and
CaregiverCentered
Experience and
Outcomes
!
(Patient
Experience)
NIA
358
N!A
MIPS CQMs
Specifications
Process
!
(Care
Coordinatio
n)
NIA
374
CMS50
v8
eCQM
Specifications,
MIPS CQMs
Specifications
Process
VerDate Sep<11>2014
18:25 Aug 13, 2019
Jkt 247001
PO 00000
Communication
Frm 00592
and Care
Coordination
Fmt 4701
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
Centers for
Medicare &
Medicaid
Services
American
College of
Surgeons
Centers for
Medicare &
Medicaid
Services
EP14AU19.255
khammond on DSKBBV9HB2PROD with PROPOSALS2
*
CMS22
v8
Medicare Part
B Claims
Measure
Specifications,
eCQM
Specifications,
MIPS C()Ms
Specifications
times within 24 months AND who received
tobacco cessation intervention if identified as a
tobacco user.
Preventive Care and Screening: Screening
for High Blood Pressure and l<'ollow-Up
Documented:
Percentage of patients aged 18 years and older
seen during the submitting period who were
screened for high blood pressure AND a
recommended follow-up plan is documented
based on the current blood pressure (BP)
reading as indicated.
Patient-Centered Surgical Risk Assessment
and Commimkation:
Percentage of patients who underwent a nonemergency surgery who had their personalized
risks of postoperative complications assessed by
their surgical team prior to surgery using a
clinical data-based, patient-specific risk
calculator and who received personal discussion
of those risks with the surgeon.
Closing the Referral Loop: Receipt of
Specialist Report:
Percentage of patients with referrals, regardless
of age, for which the referring provider receives
a report from the provider to whom the patient
was referred.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.24. Thoracic Surgery
Indicator
Quality
#
CMS
eCQMID
F~ALIZED
Collection
Type
!
khammond on DSKBBV9HB2PROD with PROPOSALS2
(Outcome)
VerDate Sep<11>2014
National
Quality
Strategy
Domain
Measure
Type
F#
s
MEASURES IN TilE THORACIC SURGERY SET
.·
2803
402
NIA
MIPS CQMs
Specifications
0119
445
NIA
MIPS CQMs
Specifications
18:25 Aug 13, 2019
Jkt 247001
PO 00000
.
'\1ea~ure Title
and Descdption
Measure
. Stewa•"!l
..·
Process
Community/
Population
Health
Outcome
Effective
Clinical Care
Frm 00593
Fmt 4701
Sfmt 4725
Tobacco llse and Help with Quitting Among
Adolescents:
The percentage of adolescents 12 to 20 years of
age with a primary care visit during the
measurement year for whom tobacco use status
was documented and received help with quitting
if identified as a tobacco user.
Risk-Adjusted Operative Mortality for
Coronary Artery Bypass Graft (CABG):
Percent of patients aged 18 years and older
undergoing isolated CABG who die, including
both all deaths occurring during the
hospitalization in which the CABG was
performed, even if after 30 days, and those
deaths occurring after discharge from the
hospital, but within 30 days of the procedure.
E:\FR\FM\14AUP2.SGM
14AUP2
National
Committee for
Quality
Assurance
Society of
Thoracic
Surgeons
EP14AU19.256
l'REVIOUSLY
NQ
1#1
eCQ
M
NQ
41073
41074
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.24. Thoracic Surgery
VerDate Sep<11>2014
18:25 Aug 13, 2019
Jkt 247001
PO 00000
Frm 00594
Fmt 4701
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
.
EP14AU19.257
khammond on DSKBBV9HB2PROD with PROPOSALS2
PREVIOUSLY FINALIZED MEAStJRESl'ROPOSED FOil REMOVAL FROM THE THORACICSURGER\' SET
Note; In this proposed rul~, CMS proposes the remowi! the following measure(s) belowf~om.this. specific specialty measure set based upon rev~ew .of updates made to
existing quality measure specifications, the propos<>d addition of new measures for inclusion in .MIPS, and th<> feedback provided by specialty societies.
NQF#
Nl!'tioual
CMS
I
Quality
Collection
Measure
Qnality
.Measm·e Title and
Measm-e
RaUortale fOl' Removal
eCQM
#
'(ype
Type
strjitegy
Description
Steward
eCQ!Y,I
ID
·.·.
J'I[QF#
Domain
Coronary Artery Bypass Graft
(CABG): Deep Sternal Wound
Infection Rate:
This measure is being
Percentage of patients aged 18
Effective
Society of
proposed for removal
years and older undergoing isolated
MIPS CQMs
0130
165
N/A
Outcome
Clinical
Thoracic
beginning with the 2022
Specifications
CABG surgery who, within 30
Care
Surgeons
MIPS Payment Year. See
days postoperatively, develop deep
Table C for rationale.
sternal wound infection involving
muscle, bone, and/or mediastinum
requiring operative intervention.
Coronary Artery Bypass Graft
(CABG): Stroke:
Percentage of patients aged 18
years and older undergoing isolated
This measure is being
proposed for removal
Effective
CABG surgery who have a
Society of
MIPS CQMs
Outcome
0131
166
N/A
Clinical
postoperative stroke (i.e., any
Thoracic
beginning with the 2022
Specifications
Surgeons
MIPS Payment Year. See
Care
confirmed neurological deficit of
abrupt onset caused by a
Table C for rationale.
disturbance in blood supply to the
brain) that did not resolve within
24 hours.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41075
B.25. Urology
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed mle, the Urology specialty set
takes additional criteria into consideration, which includes, but is not limited to: whether the measure reflects current clinical guidelines and the
coding of the measure includes relevant clinician types. CMS may reassess the appropriateness of individual measures, on a case-by-case basis, to
ensure appropriate inclusion in the specialty set. Measure tables in this set include previously finalized measures that we are maintaining within the
set, measures that are proposed to be added, and measures that are proposed for removal, as applicable. We request comment on the measures
available in the proposed Urology specialty set.
B.25. Urology
Quality
#
!
(Patient
Safely)
N/A
023
0326
047
!
(Care
Coordinat
ion)
N/A
048
N/A
050
!
(Patient
Experienc
e)
*
§
!
khammond on DSKBBV9HB2PROD with PROPOSALS2
(Appropri
ate Use)
VerDate Sep<11>2014
03S9!
0389e
102
18:25 Aug 13, 2019
P.&EVIOUSLY FINALIZED MEASURES IN THE UROLOGY SET
_\rational
CMS
Quality
Measure Title
Collection
Measure
eCQM
Type
Strategy
and Deseriptiou
Type
ll)
Domain
Perioperative Care: Venous
Thromboembolism (VTE) Prophylaxis
Medicare
(When Indicated in ALL Patients):
Part B
Percentage of surgical patients aged 18 years
Claims
and older undergoing procedures for which
Measure
venous thromboembolism (VTE) prophylaxis
Patient
NIA
is indicated in all patients, who had an order
Specification
Process
Safety
s, MIPS
for Low Molecular Weight Heparin (LMWH),
CQMs
T.ow- Dose 1Jnfractionated Heparin (T Dl JH),
adjusted-dose wmfarin, fondaparinux or
Specification
s
mechanical prophylaxis to be given within 24
hours prior to incision time or within 24 hours
after surgery end time.
Medicare
Advance Care Plan:
Part B
Percentage of patients aged 65 years and older
Claims
who have an advance care plan or surrogate
Measure
Communicati decision maker documented in the medical
N/A
Specification
Process
on and Care
record or documentation in the medical record
s, MIPS
Coordination
that an advance care plan was discussed but
CQMs
the patient did not wish or was not able to
Specification
name a surrogate decision maker or provide an
s
advance care plan.
Medicare
L rinary Incontinence: Assessment of
Part B
Presence or Ahsence of Urinary
Claims
Incontinence in Women Aged 65 Years and
Measure
Effective
Older:
N/A
Specification
Process
Clinical Care
Percentage of female patients aged 65 years
s, MIPS
and older who were assessed for the presence
CQMs
or absence of urinary incontinence within 12
Specification
months.
s
Medicare
l:rinary Incontinence: Plan of Care for
Part B
L rinary Incontinence in Women Aged 65
Person and
Claims
CaregiverYears and Older:
Measure
Centered
Percentage of female patients aged 65 years
NIA
Specification
Process
Experience
and older with a diagnosis of urinary
s, MIPS
and
incontinence with a documented plan of care
CQMs
Outcomes
for urinary incontinence at least once within
Specification
12 months.
s
Prostate Cancer: Avoidance of Overuse of
Bone Scan for staging Low Risk Prostate
Cancer Patients:
eCQM
Percentage of patients, regardless of age, with
Specification
Efficiency
a diagnosis of prostate cancer at low (or very
CMS129
s, MIPS
low) risk of recurrence receiving interstitial
Process
and Cost
v9
CQMs
Reduction
prostate brachytherapy, OR external beam
Specification
radiotherapy to the prostate, OR radical
s
prostatectomy, OR cryotherapy who did not
have a bone scan perforrred at any time since
diagnosis of prostate cancer.
Jkt 247001
PO 00000
Frm 00595
Fmt 4701
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
Measu~
Steward
American
Society of
Plastic
Surgeons
National
Committee for
Quality
Assurance
National
Committee for
Quality
Assurance
National
Committee for
Quality
Assurance
Physician
Consortium for
Perforrrance
Improvement
Foundation
(PCPIIE)
EP14AU19.258
Indicator
NQF#
I
eCQM
NQF#
41076
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.25. Urology
PREVIOUSLY FINALIZED MEASURES IN THE UROLOGY SET
Indicator
!
eCQM
NQF#
0390
*
§
*
§
khammond on DSKBBV9HB2PROD with PROPOSALS2
!
(Patient
Satety)
VerDate Sep<11>2014
0062!
NIA
0421!
0421e
0419!
0419e
Quality
#
104
119
128
130
18:25 Aug 13, 2019
CMS
eCQM
lD.
~ational
Collection
Type
'
N!A
MIPS CQMs
Specificalion
s
CMS134
v8
eCQM
Specification
s, MIPS
CQMs
Specification
s
CMS69v
8
CMS68v
9
Jkt 247001
Measure
Type
Medicare
Part B
Claims
Measure
Specification
s, eCQM
Specification
s,
MIPS CQMs
Specification
s
Medicare
Part B
Claims
Measure
Specification
s, cCQM
Specitlcation
s, MIPS
CQMs
Specification
s
PO 00000
Quality
Strategy
Dolmiin
Process
Etlective
Clinical Care
Process
Effective
Clinical Care
Measure Title
;md Description
Prostate Cancer: Combination Androgen
Deprivation Therapy for High Risk or Very
High Risk Prostate Cancer:
Percentage of patients, regardless of age, with
a diagnosis of prostate cancer at high or very
high risk of recurrence receiving external
beam radiotherapy to the prostate who were
prescribed androgen deprivation therapy in
combination with external beam radiotherapy
to the prostate.
Diabetes: Medical Attention for
Process
Community/
Population
Health
Process
Patient
Safety
Frm 00596
Fmt 4701
Sfmt 4725
l'\ ephropathy: The percentage of patients 18-
75 years of age with diabetes who had a
nephropathy screening test or evidence of
nephropathy during the measurement period.
Preventive Care and Screening: Body Mass
Index (BMI) Screening and Follow-Up
Plan:
Percentage of patients aged 18 years and older
with a BMI documented duriog the current
encounter or during the previous twelve
months AND with a BMI outside of normal
parameters, a follow-up plan is documented
during the encounter or during the previous
twelve months of the current encounter.
l'\ ormal Parameters:
Age 18 years and older BMI 2 18.5 and< 25
kg/m 2
Documentation of Current Medications in
the Medical Record:
Percentage of visits for patients aged 18 years
and older for which the MIPS eligible clinician
attests to documenting a list of current
medications using all immediate resources
available on the date of the encounter. This list
must include ALL known prescriptions, overthe-counters, herbals, and
vitamin/mineral/ dietary (nutritional)
supplements A"\JD must contain the
medications· name, dosage, frequency and
route of administration.
E:\FR\FM\14AUP2.SGM
14AUP2
Measuno
Steward·
American
Urological
Associalion
Education and
Research
National
Committee for
Quality
Assurance
Centers for
Medicare &
Medicaid
Services
Centers for
Medicare &
Medicaid
Services
EP14AU19.259
NQF#
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41077
B.25. Urology
PREVIOUSLY FINALIZED MEASURES IN THE UROLOGY SET
Indicator
f
eCQM
NQF#
Quality
#
CMS
eCQM
lD.
**
0028!
0028e
226
CMS138
v8
!
(Care
Coordinat
ion)
N/A
265
N!A
MIPS CQMs
Specification
s
CMS22v
8
Medicare
Part B
Claims
Measure
Specification
s, eCQM
Specification
s, MIPS
CQMs
Specification
s
§
*
!
(Patient
Experienc
c)
NIA
N/A
317
358
NIA
I
(Care
Coordinat
ion)
!
(Patient
Safety)
VerDate Sep<11>2014
N/A
N/A
374
429
18:25 Aug 13, 2019
CMS50v
8
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Measure
Type
'
Medicare
Part B
Claims
Measure
Specification
s, eCQM
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s, CMS Web
Interface
Measure
Specification
s, MIPS
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khammond on DSKBBV9HB2PROD with PROPOSALS2
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Type
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s, MIPS
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s
Medicare
Part B
Claims
Measure
Specification
s, MIPS
CQMs
Specification
s
PO 00000
Measure Title
;md Description
Quality
Strategy
Dolmiin
Measure
Steward·
Preventive Care and Screening: Tobacco
l:se: Screening and Cessation h1tervention:
Percentage of patients aged 18 years and older
who were screened for tobacco use one or
more times within 24 months AND who
received tobacco cessation intervention if
identified as a tobacco user.
Process
Community/
Population
Health
Process
Communicati
on and Care
Coordination
Process
Preventive Care and Screening: Screening
for High Blood Pressure and Follow-Up
Documented:
Percentage of patients aged 1S years and older
seen during the submitting period who were
screened for high blood pressure AND a
recommended follow-np plan is docnmented
based on the current blood pressure (BP)
reading as indicated.
Community
/Population
Health
Process
Person aud
CaregiverCentered
Experience
and
Outcomes
Process
Communicati
on and Care
Coordination
Process
Patient
Safety
Frm 00597
Fmt 4701
Sfmt 4725
Three rates are reported:
a. Percentage of patients aged 18 years and
older who were screened for tobacco use one
or more times within 24 months
b. Percentage of patients aged 18 years aud
older who were screened for tobacco use and
identified as a tobacco user who received
tobacco cessation intervention
c. Percentage of patients aged 18 years and
older who were screened for tobacco use one
or more times within 24 months AND who
received tobacco cessation intervention if
identified as a tobacco user.
Biopsy Follow-Up:
Percentage of new patients whose biopsy
results have been reviewed and communicated
to the primary care/referring physician and
patient.
Patient-Centered Surgical Risk Assessment
and Communication:
Percentage of patients who underwent a nonemergency surgery who had their personalized
risks of postoperative complications assessed
by their surgical team prior to surgery using a
clinical data-based, patient-specific risk
calculator and who received personal
discussion of those risks with the surgeon.
Closing the Referral Loop: Receipt of
Specialist Report:
Percentage of patients with referrals,
regardless of age, for which the referring
provider receives a report from the provider to
whom the patient was referred.
Pelvic Organ Prolapse: Preoperative
Screening for Uterine Malignancy:
Percentage of patients who are screened for
uterine malignancy prior to vaginal closure or
obliterative surgery for pelvic organ prolapse.
E:\FR\FM\14AUP2.SGM
14AUP2
Physician
Consortium for
Performance
Improvement
Foundation
(PCPI!E)
American
Academy of
Dermatology
Centers for
Medicare &
Medicaid
Services
American
College of
Surgeons
Centers for
Medicare &
Medicaid
Services
American
Urogynecologic
Society
EP14AU19.260
NQF#
41078
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.25. Urology
Indicator
!
(Outcome
!
eCQM
NQF#
Quality
#
..
PREVIOUSLY FINALIZED MEASURES IN THE UROLOGY SET
'l2014
18:25 Aug 13, 2019
MIPS CQMs
Specification
Jkt 247001
PO 00000
Frm 00598
Fmt 4701
Effective
Clinical Care
Sfmt 4725
Preventive Care and Screening: Unhealthy
Alcohol Use: Screening & Brief Counseling:
Percentage of patients aged 18 years and older
who were screened for unhealthy alcohol use
using a systematic screening method at least
once within the last 24 months AND who
received brief counseling if identified as an
unhealthy alcohol user.
Proportion of Patients Sustainin~ a Bladder
Injury at the Time of any Pelvic Organ
Prolapse Repair:
Percentage of patients undergoing pelvic organ
prolapse who sustains an injury lo the bladder
recognized either during or within 10 days
after surgery.
Proportion of Patients Sustaining a Bowel
Injmy at the time of any Pelvic Organ
Prolapse Repair:
Percentage of patients undergoing surgical
repair of pelvic organ prolapse that is
complicated by a bowel injury at the time of
index surgery that is recognized
intraoperatively or within 30 days after
surgery.
Proportion of Patients Sustaining a Ureter
Injury at the Time of Pelvic Organ Prolapse
Repair:
Percentage of patients undergoing pelvic organ
prolapse repairs who sustain an injury to the
ureter recognized either during or within 30
days after surgerv.
Bone Density Evaluation for Patients with
Prostate Cancer and Receiving Androgen
Deprivation Therapy:
Patients determined as having prostate cancer
who arc currently starting or undergoing
androgen deprivation therapy (AUT), for an
anticipated period of 12 months or greater
(indicated by HCPCS code) and who receive
an initial bone density evaluation. The bone
density evaluation must be prior to the start of
ADT or within 3 months of the start of ADT.
E:\FR\FM\14AUP2.SGM
14AUP2
Measuno
Steward·
Physician
Consortium for
Performance
Improvement
Foundation
(PCPIIE)
American
Urogynecologic
Society
American
Urogynecologic
Society
American
Urogynecologic
Society
Oregon Urology
Institute
EP14AU19.261
NQF#
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41079
B.25. Urology
Quality
#
MJl:ASU.RES PROPOSED .FOR ADDITIONTO'l'Hit UROLOGY SliT
·.
National
CMS
cCQM
ID
I
khammond on DSKBBV9HB2PROD with PROPOSALS2
(Outcome
)
VerDate Sep<11>2014
N/A
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18:25 Aug 13, 2019
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Type
Typ
Indicator
NQJ?.#
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eCQl\1
NQJ?#
41080
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.25. Urulugy
AL
PREVIOl!SLY FINALIZED NIEA$URES PROPOSED FOR.REMOV
FROM THE UROLoGY SET
Note: In this proposed rule, CMS proposes the removal the follqwing measure(s) below from 1his specific specialty. measure set bOsed addition of new measures for inclusion in :vi IPS; and the feedback provided by specialty societies.
·..
National
NQF#
I>
CMS
I
Quality
Measm·e Title and
Measure
Collection
Measure
Quality.
Rationale fQI' Removal
eCQM
#
Type
])escription
eCQM
/Strategy
Steward
TyPe
ID
·.
NQF#
Domain
Pain Assessment and }'ollow-Up:
Medicare Part
Percentage of visits for patients
B Claims
Communi
This measure is being
aged 18 years and older with
Centers for
Measure
cation and
proposed for removal
documentation of a pain
Medicare &
0420
131
N/A
Specifications,
Process
Care
beginning with the 2022
assessment using a standardized
Medicaid
MIPS CQMs
Coordinati
MIPS Payment Year. See
Services
tool( s) on each visit AI\D
Table C for rationale.
Specifications
on
documentation of a follow-up plan
when pain is present.
Pelvic Organ Prolapse:
Preoperative Assessment of
Occult Stress Urinary
Incontinence:
VerDate Sep<11>2014
428
N/A
18:25 Aug 13, 2019
Jkt 247001
Process
PO 00000
Effective
Clinical
Care
Frm 00600
Fmt 4701
Percentage of patients undergoing
appropriate preoperative evaluation
of stress urinary incontinence prior
to pelvic organ prolapse surgery
per American College of Obstetrics
and Gynecology (ACOG),
American Urogynecologic Society,
and American Urological
Association guidelines
Sfmt 4725
E:\FR\FM\14AUP2.SGM
American
Urogynecol
ogic
Society
14AUP2
This measure is being
proposed for removal
beginning with the 2022
MIPS Payment Ycar. Sec
Table C for rationale.
EP14AU19.263
khammond on DSKBBV9HB2PROD with PROPOSALS2
N/A
MIPS CQMs
Specifications
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41081
B.26a. Oncology/Hematology
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed rule, the Oncology/Hematology
specialty set takes additional criteria into consideration, which includes, but is not limited to: whether the measure reflects current clinical guidelines
and the coding of the measure includes relevant clinician types. CMS may reassess the appropriateness of individual measures, on a case-by-case
basis, to ensure appropriate inclusion in the specialty set. The Oncology specialty set has been updated to include Hematology and has been
renamed as Oncology/Hematology. Measure tables in this set include previously finalized measures that we are maintaining within the set, measures
that are proposed to be added, and measures that are proposed for removal, as applicable. Vve request comment on the measures available in the
proposed Oncology specialty set.
B.26a. Oncology/Hematology
PREVIOUSLY FINALIZED MEASURES IN TliE ONCOLOGYIHEMAJ'OLOGY SET
Indh:ator
NQF
#I
eCQ
M
NQF
#
Quality
#
CMS
cCQMID
0326
047
N/A
*
§
!
(Appropri
ate Use)
!
(Patient
Safety)
0389 I
0389e
0419 I
0419e
Measure
Type
102
130
Medicare Part
D Claims
Measure
Specifications.
MIPS CQMs
Specifications
CMS129v
9
cCQM
Specifications,
MIPS CQMs
Specifications
CMS68v9
Medicare Part
BClaims
Measure
Specifications,
eCQM
Specifications,
MIPS CQMs
Specifications
Communlcatlon
Process
Process
§
!
01S4 I
0384c
143
CMS157v
8
Stcw~trd
eCQM
Specifications,
MIPS CQMs
Specifications
144
N/A
MIPS CQMs
Specifications
and Care
Coordination
Efficiency and
Cost Reduction
Advance Care Plan:
Percentage of patients aged 65 years and
older who have an advance care plan or
surrogate decision maker documented in the
medical record or documentation in the
medical record that an advance care plan was
discussed but the patient did not wish or was
not able to name a surrogate decision maker
or provide an advance care plan.
Prostate Cancer: A voidance of Overuse of
Bone Scan for Staging Low Risk Prostate
Cancer Patients:
Percentage of patients, regardless of age,
with a diagnosis of prostate cancer at low (or
very low) risk of recurrence receiving
interstitial prostate brachytherapy, OR
external beam radiotherapy to the prostate,
OR radical prostatectomy, OR cryotherapy
who did not have a bone scan performed at
any time since diagnosis of prostate cancer.
Documentation of Current ~ledications in
the Medical Record:
Percentage of visits for patients aged 18 years
and older for which the MIPS eligible clinician
attests to documenting a list of current
medications using all immediate resources
available on the date of the encounter. This list
must include ALL known prescriptions, overthe-counters, herbals, and
vitamin/mineral/dietary (nutritional)
supplements AND must contain the
medications' name, dosage, frequency and
route of administration.
National
Committee
for Quality
Assurance
Physician
Consortium
for
Performance
Improvement
Foundation
(PCPI®)
Centers for
Medicare &
Medicaid
Services
Process
Person and
Caregiver
Centered
Experience and
Outcomes
Oncology: Medical and Radiation- Pain
Intensity Quantified:
Percentage of patient visits, regardless of
patient age, with a diagnosis of cancer
currently receiving chemotherapy or radiation
therapy in which pain intensity is quantified.
Physician
Consortium
for
Performance
Improvement
Foundation
(PCPI®)
Person and
Caregiver
Centered
Experience and
Outcomes
Oncology: Medical and Radiation- Plan
of Care for Moderate to Severe Pain:
Percentage of patients, regardless of age,
with a diagnosis of cancer currently receiving
chemotherapy or radiation therapy who
report having moderate to severe pain with a
plan of care to address pain documented on
or before the date of the second visit with a
American
Society of
Clinical
Oncology
Process
clinician.
VerDate Sep<11>2014
18:25 Aug 13, 2019
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PO 00000
Frm 00601
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Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
EP14AU19.264
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I
01S1
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Patient Safety
*
(Patient
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M.ea~ure Title
and Description
Process
*
(Patient
Experienc
e)
National
Quality
Stra.tcgy
Domain
· ..
!
(Care
Coordinat
ion)
Collection
Type
41082
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.26a. Oncology/Hematology
PREVIOUSLY FINALIZED MEASURES IN THE ONCOLOGY!HEMATOLOGY SET
*
**
§
0028 I
0028e
Quality
#
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,',
Collection
Type
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'
Measure Title
and Description
,',
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',
226
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Process
*
N/A
317
CMS22v8
!
(Care
Coordinat
ion)
N/A
374
CMS50v8
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Specifications,
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Process
2803
402
NiA
MIPS CQ!v!s
Specifications
Process
VerDate Sep<11>2014
National
Quality
Strategy
Domain
Preventive Care and Screening: Tobacco
Use: Screening and Cessation
Intervention:
Percentage of patients aged 18 years and
older who were screened for tobacco use one
or more times within 24 months AND who
received tobacco cessation intervention if
identified as a tobacco useL
Medicare Part
B Claims
Measure
Specifications,
eCQM
Specifications,
MIPS CQ!v!s
Specifications
2152
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431
18:25 Aug 13, 2019
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Specifications
PO 00000
Community/
Population
Health
Community/
Population
Health
Conu11unication
Process
Frm 00602
Fmt 4701
and Care
Coordination
Community/Po
pulation Health
Community/
Population
Health
Sfmt 4725
Three rates are reported:
a, Percentage of patients aged 18 years and
older who were screened for tobacco use one
or more times within 24 months
b, Percentage of patients aged 18 years and
older who were screened for tobacco use and
identified as a tobacco user who received
tobacco cessation intervention
c, Percentage of patients aged 18 years and
older who were screened for tobacco use one
or more times within 24 months AND who
received tobacco cessation intervention if
identified as a tobacco useL
Preventive Care and Screening: Screening
for High Blood Pressure and Follow-Up
Documented:
Percentage of patients aged 18 years and
older seen during the submitting period who
were screened for high blood pressure AND
a recommended follow-up plan is
documented based on the current blood
pressure (BP) reading as indicated,
Closing the Referral Loop: Receipt of
Specialist Report:
Percentage of patients with referrals,
regardless of age, for which the referring
provider receives a report from the provider
to whom the patient was referred,
Tobacco Use and Help with Quitting
Among Adolescents:
The percentage of adolescents 12 to 20 years
of age with a primary care visit during the
measurement year for whom tobacco use
status was documented and received help
with quitting if identified as a tobacco useL
Preventive Care and Screening: Unhealthy
Alcohol Use: Screening & Brief
Counseling:
Percentage of patients aged 18 years and
older who were screened for unhealthy
alcohol use using a systematic screening
method at least once within the last 24
months AND who received brief counseling
if identified as an unhealthy alcohol useL
E:\FR\FM\14AUP2.SGM
14AUP2
Physician
Consortium
for
Performance
Improvement
Foundation
(PCP!®)
Centers for
Medicare &
Medicaid
Services
Centers for
Medicare &
Medicaid
Services
National
Committee
for Quality
Assurance
Physician
Consortium
for
Performance
Improvement
Foundation
(PCPI®)
EP14AU19.265
lnilicator-
NQF
#I
eCQ
M
,NQF
#
41083
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.26a. Oncology/Hematology
Quality
#
1858
450
'
CMS
eCQJ\:IID
Collection
Type
Measure
Type
National
Quality
Stmtegy
Domain
Measure Title
and Description
!
(Appropri
ate Use)
§
',
N/A
MIPS CQ!v!s
Specifications
(Appropri
ale Use)
(Appropri
ate Use)
(Outcome
Process
Effective
Clinical Care
451
N/A
1860
452
N/A
MIPS CQ!v!s
Specifications
Process
Patient Safety
0210
453
N/A
MIPS CQ!v!s
Specitlcations
Process
Effective
Clinical Care
0213
455
N/A
MIPS CQ!v!s
Specifications
Outcome
Effective
Clinical Care
0216
457
N/A
MIPS CQ!v!s
Specifications
Outcome
Effective
Clinical Care
§
!
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Clinical Care
1859
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!
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MIPS CQ!v!s
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VerDate Sep<11>2014
Measure
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Jkt 247001
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Frm 00603
Fmt 4701
Sfmt 4725
Trastuzumab Received By Patients With
AJCC Stage I (Tlc)- III And HER2
Positive Breast Cancer Recei'>ing
Adjuvant Chemotherapy:
Percentage of female patients (aged 18 years
and older) with AJCC stage I (Tlc)- III,
human epidermal growth factor receptor 2
(HER2) positive breast cancer receiving
adjuvant chemotherapy who are also
receiving trastuzumab,
RAS (KRAS and NRAS) Gene Mutation
Testing Performed for Patients with
Metastatic Colorectal Cancer who Receive
Anti-epidermal Growth Factor Receptor
(EGFR) Monoclonal Antibody Therapy:
Percentage of adult patients (aged 18 or over)
with metastatic colorectal cancer who receive
anti-epidermal growth factor receptor
monoclonal antibody therapy for whom RAS
(KRAS and NRAS) gene mutation testing
was perfom1ed
Patients with Metastatic Colorectal
Cancer and RAS (KRAS or NRAS) Gene
Mutation Spared Treatment with Antiepidermal Growth Factor Receptor
(EGFR) Monoclonal Antibodies:
Percentage of adult patients (aged 18 or over)
with metastatic coloreclal cancer and RAS
(KRAS or NRAS) gene mutation spared
treatment with anti-EGFR monoclonal
antibodies,
Percentage of Patients who Died from
Cancer Receiving Chemotherapy in the
Last 14 Days of Life (lower score- better):
Percentage of patients who died trom cancer
receiving chemotherapy in the last 14 days of
lik
Percentage of Patients who Died from
Cancer Admitted to the Intensive Care
Unit (ICU) in the Last 30 Days of Life
(lower score- better):
Percentage of patients who died from cancer
admitted to the TCT) in the last 30 days of
lik
Percentage of Patients who Died from
Cancer Admitted to Hospice for Less than
3 Days (lower score- better):
Percentage of patients who died from cancer,
and admitted to hospice and spent less than 3
days there,
E:\FR\FM\14AUP2.SGM
14AUP2
American
Society of
Clinical
Oncology
American
Society of
Clinical
Oncology
American
Society of
Clinical
Oncology
American
Society of
Clinical
Oncology
American
Society of
Clinical
Oncology
American
Society of
Clinical
Oncology
EP14AU19.266
lnilicator-
PREVIOUSLY FINALIZED MEASURES IN THE ONCOLOGY!HEMATOLOGY SET
NQF
#I
cCQ
M
NQF
#
41084
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.26a. Oncology/Hematology
khammond on DSKBBV9HB2PROD with PROPOSALS2
*
VerDate Sep<11>2014
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PREVIOU~LY .FiNALIZED
MEASUI:U£S IN THKONCQLOQY!HEMATOLOGY Sl£T
'
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#
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cCQJ\:IID
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Type
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Type
·.··
Natbmal
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Measure Title
and Description
Measure
Sfuward
...
",
Bone Density Evaluation for Patients with
Prostate Cancer aud Receiving Androgen
Deprivation Therapy:
462
18:25 Aug 13, 2019
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3
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Specifications
PO 00000
Process
Frm 00604
Fmt 4701
Effective
Clinical Care
Sfmt 4725
Patients determined as having prostate cancer
who arc currently starting or undergoing
androgen deprivation therapy (ADT), for an
anticipated period of 12 months or greater
(indicated by HCPCS code) and who receive
an initial bone density evaluation. The bone
density evaluation must be prior to the start
of ADT or witbin 3 months of the start of
ADT.
E:\FR\FM\14AUP2.SGM
14AUP2
Oregon
Urology
Institute
EP14AU19.267
Inilicator-
NQF
#I
eCQ
M
,NQF
#
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41085
B.26a. Oncology/Hematology
Indicator
NQF#
I
eCQl\1
NQF.#
N/A
MEASURES PROPOSED FOR ADDITION TO THE ONCOLOGYlliEMATOLOGY
Nation;d
Me~~Sure
CMS
Measure Title
Collection
Quality
Quality
cCQM
Type
Type
#
Strateey
Anti Description
ID
·..
Domain
Hematology: Myelodysplastic
Syndrome (MDS) and Acute
Leukemias: Baseline C)1ogenetic
Testing Performed on Done
MIPS
Marrow:
Effective
CQMs
067
N/A
Process
Clinical
Percentage of patients aged IS years
Specificatio
Care
and older with a diagnosis of
ns
myelodysplastic syndrome (MDS) or
an acute leukemia who had baseline
cytogenetic testing pe1fonned on
SET
MeaSure
Steward
~rnerican
~ociety of
~ematolo
~y
bone marrow.
N/A
N/A
N/A
069
070
TED
N/A
N/A
N/A
MIPS
CQMs
Specifieatio
ns
MIPS
CQMs
Specificatio
ns
CMS Web
Interface
Measure
Specificatio
ns, MIPS
CQMs
Specificatio
Process
Process
Process
Effective
Clinical
Care
Hematology: Multiple Myeloma:
Treatment with Bisphosphonates:
Percentage of patients aged 18 years
and older with a diagnosis of
multiple myeloma, not in remission,
who were prescribed or received
intravenous bisphosphonate therapy
within the 12-month reporting
period.
Effective
Clinical
Care
Hematology: Chronic
Lymphocytic Leukemia (CLL):
Baseline Flow Cytometry:
Percentage of patients aged 18 years
and older, seen within a 12-month
reporting period, with a diagnosis of
chronic lymphocytic leukemia
(CLL) made at any time during or
prior to the reporting period who had
haseline flow cytometry studies
performed and documented in the
chart.
Communit
y/
Populatio
n Health
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liS
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Adult lllllllnnizatiuu Status:
Percentage of members 19 years of
age and older who are up-to-date on
recommended routine vaccines for
influenza; tetanus and diphtheria
(Td) or tetanus, diphtheria and
acellular pertussis (Tdap ); zoster;
and pneumococcaL
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
~merican
~ociety of
~ematolo
~y
Physician
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~for
~erfonnan
e
mprovem
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IFoundatio
p(PCPI
..
41086
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.26a. Oncology/Hematology
Note;
PRRVIOUSJ.V FINAUZRDMF,ASllRRS PROPOSF:J) FORREMOVAL FROMTHR ONCOJ,OLf~VIHRMATOLOGV SF.T
Iri this proposed rule, CMS proposes the removal oftl!e fQIIowing measu~e( s) below from this specific. specialty measure set based upon review of updates rna~
to existing quality measure specifications, the proposed, addition of new
NQF#f
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VerDate Sep<11>2014
#
110
111
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449
454
456
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eCQM
ID
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v9
CMS127
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N/A
N/A
Colle<:ti(}ll
Type
Medicare Part
B Claims
Measure
Specifications,
eCQM
Specifications,
CMS Web
Interface
Measure
Specifications,
MIPS CQMs
Specifications
Medicare Part
BClaims
Measure
Specifications,
eCQM
Specifications,
MIPS CQMs
Specifications
Medicare Part
BClaims
Measure
Specifications,
MIPS CQMs
Specifications
MIPS CQMs
Specifications
N/A
MIPS CQMs
Specifications
N/A
MIPS CQMs
Specifications
18:25 Aug 13, 2019
Jkt 247001
Measm·e
Type
me~ures
National
Quality
.Strat~gy
Domain
for inclusion in MIPS, and.the feedback provided by specialty sqcieties.
Measw'c
Measw·e Title and De~crlptiou
.·
Steward
Rationale fol' Removal
I
Process
Commu
nity/Pop
ulation
Health
Preventive Care and Screening:
Influenza Immunization:
Percentage of patients aged 6 months
and older seen for a visit between
October I and March 31 who
received an influenza immunization
OR who reported previous receipt of
an influenza immunization
Physician
Consortiu
mfor
Performan
ce
Improvem
ent
Foundatio
n
(PCPI®)
This measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year. See
Table C for rationale.
Process
Commu
nity/Pop
ulation
Health
Pnenmococcal Vaccination Status
for Older Adults: Percentage of
patients 65 years of age and older
who have ever received a
pneumococcal vaccine
National
Committe
e for
Quality
Assurance
This measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year. See
Table C for rationale.
Process
Effective
Clinical
Care
Process
Efficienc
yand
Cost
Reductio
n
Outcome
Effective
Clinical
Care
Process
EITeclive
Clinical
Care
PO 00000
Frm 00606
Radical Prostatectomy Pathology
Reporting:
Percentage of radical prostatectomy
pathology repmis that include the pT
category, the pN category. the
Gleason score and a statement about
margin status.
HER2 Negative Ol' Undocumented
Hl'east Cancel' Patients Spal'ed
Tl'eatment with HER2-Tal'geted
Thernpies:
Percentage of female patients (aged
18 years and older) with breast
cancer who are human epidermal
growth factor receptor 2 (HER2)ineu
negative who are not administered
HER2-targeted therapies.
Pel'centage of Patients who Died
from Cancel' with More than One
Rmergency Department Visit in
the Last 30 Days of Life (lower
score- better):
Percentage of patients who died trom
cancer with more than one
emergency department visit in the
last 30 days oflife.
Percentage of Patients who Died
from Cancel' Not Admitted to
Hospice (lower scol'e- better):
Percentage of patients who died from
cancer not admitted to hospice.
Fmt 4701
Sfmt 4725
E:\FR\FM\14AUP2.SGM
College of
A.Jnerican
Pathologis
ts
This measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year. See
Table C for rationale.
American
Society of
Clinical
Oncology
This measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year. See
Table C for rationale.
American
Society of
Clinical
Oncology
This measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year. See
Table C for rationale.
A.n1erican
Society of
Clinical
Oncology
This measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year. See
Table C for rationale.
14AUP2
EP14AU19.269
I
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41087
B.26a. Oncology/Hematology
PREVIOUSLy FINALIZED1VIEASURES PROPOSED FORREM 0 vAL FROM THE ONCOLOLGYIHEMATOLOGY SET
Note; In this proposed nile, CMS proposes the removal of tile tbllowingmeasnre(s) below from this specii1c specialty measure set based tipon review ofupdates made
to existing quality measure specil:lcations, the pr.oposed ad2014
Quality
#
474
CMS
eCQM
ID
N/A
18:25 Aug 13, 2019
Collection
Type
MIPS CQMs
Specifications
Jkt 247001
Measu:re
Type
Process
PO 00000
National
Quality
Strategy
Domain
Commu
nity/Pop
ulation
Health
Frm 00607
.·
1\fea.sure Title 11nd Description
Zoster (Shingles) Vaccination:
The percentage of patients aged 50
years and older who have had the
Shingrix zoster (shingles)
vaccination.
Fmt 4701
Sfmt 4725
E:\FR\FM\14AUP2.SGM
Measu:re
Steward
Centers
for
Medicare
&
Medicaid
Services
14AUP2
Rationale for Removal
This measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year. See
Table C for rationale.
EP14AU19.270
I
41088
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.26b. Radiation Oncology
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed rule, the Radiation Oncology
specialty set takes additional criteria into consideration, which includes, but is not limited to: whether the measure reflects current clinical
guidelines and the coding of the measure includes relevant clinician types. CMS may reassess the appropriateness of individual measures, on a
case-by-case basis, to ensure appropriate inclusion in the specialty set. Measure tables in this set include previously finalized measures that we are
maintaining within the set, measures that are proposed to be added, and measures that are proposed for removal, as applicable. We request
conunent on the measures available in the proposed Radiation Oncology specialty set.
B.26b. Radiation Oncology
PREVIOUSLY FINALIZED MEASURES IN THER~DIATION ONCOLOGY SET
NQF
Ihdicator
Quality
#
C:MS
eCQMID
*
§
I
(Appropriat
e Use)
0389 I
03g9e
102
Collection
Type
CMS129
v9
cCQM
Specifications,
.\1IPS CQMs
Specifications
CMS157
v8
eCQM
Specifications,
.'v!IPS CQMs
Specifications
Ml)ruinre
Type
Process
Efficiency
and Cost
Reduction
Process
Person and
Caregiver
Centered
Experience
and Outcome
*
§
!
(Patient
Experience
0384 I
0384e
143
)
*
!
(Patient
Experience
0383
144
NIA
.'v!IPS CQMs
Specifications
Process
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)
VerDate Sep<11>2014
18:25 Aug 13, 2019
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PO 00000
Frm 00608
Person and
Caregiver
Centered
Experience
and Outcome
Fmt 4701
Sfmt 4725
Mea$nre Title
and Description
Prostate Cancer: Avoidance of Overuse of
Hone Scan for Staging Low Risk Prostate
Cancer Patients:
Percentage of patients, regardless of age, with a
diagnosis of prostate cancer at low (or very low)
risk of recurrence receiving interstitial prostate
brachytherapy, OR external beam radiotherapy
to the prostate, OR radical prostatectomy, OR
cryotherapy who did not have a bone scan
performed at any time since diagnosis of
prostate cancer.
Oncology: Medical and Radiation - Pain
Intensity Quantified:
Percentage of patient visits, regardless of patient
age, with a diagnosis of cancer currently
receiving chemotherapy or radiation therapy in
which pain intensity is quantified.
Oncology: Medical and Radiation - Piau of
Care for l\Ioderate to Severe Pain:
Percentage of patients, regardless of age, with a
diagnosis of cancer currently receiving
chemotherapy or radiation therapy who report
having moderate to severe pain with a plan of
care to address pain documented on or before
the date of the second visit with a clinician.
E:\FR\FM\14AUP2.SGM
14AUP2
Measure
Steward
Physician
Consortium for
Performance
Improvement
Foundation
(PCPI®)
Physician
Consmtium for
Performance
Improvement
Foundation
(PCPI®)
American
Society of
Clinical
Oncology
EP14AU19.271
National
QualitY
Strategy
Dpmain
#I
eCQ
M
NQF
#
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41089
B.27. Infectious Disease
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed rule. the Infectious Disease
specialty set takes additional criteria into consideration, which includes, but is not limited to: whether the measure reflects current clinical guidelines
and the coding of the measure includes relevant clinician types. CMS may reassess the appropriateness of individual measures, on a case-by-case
basis, to ensure appropriate inclusion in the specialty set. Measure tables in this set include previously finalized measures that we are maintaining
within the set, measures that are proposed to be added, and measures that are proposed for removal, as applicable. We request comment on the
measures available in the proposed Infectious Disease specialty set.
B.27. Infectious Disease
PRI£V IOUSLY F'INALIZJ£0 Ml£ASURES IN THE lNFECTIOUS DISEASJ<: SET
Indicator
NQF
#I
eCQ
M
..
•'
Quality
#
CMS
eCQM.m
Collection
Type
Measure
Type
NQF
Niitional
Quality
Strategy
Domain
.·
Measure Title
and Description
Measure
Steward
#
!
(Patient
Safety)
0419 I
0419e
130
CMS68v
9
Medicare Part
BClaims
Measure
Specifications,
eCQM
Specifications,
MIPS CQMs
Specifications
Process
Documentation of Current Medications
in the Medical Record:
Percentage of visits for patients aged 18
years and older for which the MIPS eligible
clinician attests to documenting a list of
current medications using all immediate
resources available on the date of the
encounter. This list must include AT J,
Patient
Safety
known prescriptions, over-the-counters,
Centers for
Medicare &
Medicaid
Services
herbals, and vitamin/mineral/dietary
(nutritional) supplements AND must
contain the medications' name, dosage,
§
!
(Outcome)
0409
205
N/A
MIPS CQMs
Specifications
Process
Etlective
Clinical Care
2082
338
N/A
MIPS CQMs
Specifications
Outcome
Effective
Clinical Care
2079
340
N/A
MIPS CQMs
Specifications
Process
EHiciency
and Cost
Reduction
N!A
475
CMS349
v2
eCQM
Specifications
Process
Community/
Population
Health
§
!
(Efficiency
)
khammond on DSKBBV9HB2PROD with PROPOSALS2
*
VerDate Sep<11>2014
18:25 Aug 13, 2019
Jkt 247001
PO 00000
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E:\FR\FM\14AUP2.SGM
14AUP2
Health Resources
and Services
Administration
Health Resources
and Services
Administration
Health Resources
and Services
Administration
Centers for
Disease Control
and Prevention
EP14AU19.272
§
frequency ami route of administration.
HIV/AIDS: Sexually Transmitted Disease
Screening for Chlamydia, Gonorrhea,
and Syphilis:
Percentage of patients aged 13 years and
older with a diagnosis of HIVI AIDS for
whom chlamydia, gonorrhea, and syphilis
screenings were performed at least once
since the diagnosis of HIV infection.
HIV Viral Load Suppression:
T11e percentage of patients, regardless of
age, with a diagnosis of HIV with a HIV
viral load less than 200 copies/mL at last
HIV viral load lest during the measurement
year.
HIV Medical Visit Frequency:
Percentage of patients, regardless of age
with a diagnosis of HIV who had at least
one medical visit in each 6 month period of
the 24 month measurement period, with a
minimum of 60 days between medical
visits.
HIV Screening:
Percentage of patients 15-65 years of age
who have been tested for HIV within that
age range.
41090
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.27. Infectious Disease
hidieator
I
eCQM
NQF#
MEASURES PROPOSED ]?OR ADDITION TO THE INFECTIOUS DISEASE SET
National
CMS
··Mea11ure
Quality.
Quality
Measure Title
Measure
Collection.
eCQM
Type
#
Type
Anll Descripnan
Steward
Strategy
ID
Domain
.
CMS Web
Interface
Measure
khammond on DSKBBV9HB2PROD with PROPOSALS2
N/A
VerDate Sep<11>2014
TED
18:25 Aug 13, 2019
N/A
Jkt 247001
Specificatio
ns. MIPS
CQMs
Specificatio
ns
PO 00000
Process
Frm 00610
Commnnit
y!
Populatio
n Health
Fmt 4701
Adult Immunization Status:
Percentage of members 19 years of
age and older who arc up-to-date on
recommended routine vaccines for
intluenza; tetanus and diphtheria
(Td) or tetanus. diphtheria and
acellular pertussis (Tdap ); zoster;
and pneumococcaL
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
rational
~onunitte
~for
puality
~ssurance
Rationale far
Inclusion
This n1easure is being
proposed as a new
measure for the 2020
performance period.
We propose to
include this measure
in the Infectious
Disease specialty set
as it is clinically
relevant to this
clinician type.
EP14AU19.273
NQF#
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41091
B.27. Infectious Disease
PRF,VIOUSJ ;V Fll'\AUZRJ) MRA STJRRS PROJ>OSRD FOR REM 0 VAL FROM THE INFRCTIOifS DISRASR SRT
Note:. In this proposed tule, CMS proposes the removal ofthe following tn41asi1re(s) below from this specific specialty measure set based upon review of updates made
to existing qualitY measure s ecifications, the proposed addition of new measures for inclusion in MIPS, and the feedback provided by specialty societies.
National
NQF#/
CMS
Measure Title and
Measure
Collection
Measure
Qllality
Quality
eCQM
eCQM
Rationale for.Removal
#
Type
Description
Steward
Type
Str~tegr .
NQF#
ID
Damain
Medicare Part
B Claims
Preventive Care and
Measure
Screening: Influenza
Specifications,
Immuni•ation: Percentage of Physician
This measure is being
eCQM
patients aged 6 months and
Consortium for
Commtmity
proposed for removal
0041 I
CMS147
Specifications,
older seen for a visit between
Performance
110
Process
/Population
beginning with the 2022
004le
v9
CMS Web
October I and March 31 who
Improvement
Health
MIPS Payment Year. See
Interface
received an influenza
Foundation
Table C for rationale.
Measure
immunization OR who
(PCPI®)
Specifications,
reported previous receipt of
MIPS CQMs
an influenza immunization.
Specifications
Medicare Part
B Claims
Pneumococcal Vaccination
Titis measure is being
Measure
Status for Older Adults:
National
proposed for removal
Community
Specifications,
Committee for
Percentage of patients 65
CMS127
N!A
111
Process
/Population
beginning with the 2022
v8
eCQM
years of age and older who
Quality
Health
MIPS Payment Year. See
Specifications,
have ever received a
Assurance
Table C for rationale.
MIPS CQMs
pneumococcal vaccine.
Specifications
NIA
407
NIA
Medicare Part
B Claims
Measure
Specifications,
MIPS CQMs
Specifications
Process
HTective
Clinical
Care
Appropriate Treatment of
Methicillin-Snsceptihle
Staphylococcus Aureus
(MSSA) Bacteremia:
Percentage of patients with
sepsis due to MSSA
bacteremia who received
beta-lactam antibiotic (e.g.
Nafcillin, Oxacillin or
Cefazolin) as definitive
therapy.
mfectious
Diseases
Society of
America
This measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year. See
Table C for rationale.
We agree with specialty
society feedback to remove
this measure from this
specialty set. Most infectious
disease physicians consult on
0657
464
NIA
MIPS CQMs
Specifications
Process
Effective
Clinical
Care
Otitis Media with Effusion:
Systemic AntimicrobialsA voidance of Inappropriate
Use: Percentage of patients
aged 2 months through 12
years with a diagnosis of
OME who were not
prescribed systemic
antimicrobials.
patients in the inpatient
setting. This measure applies
to the outpatient setting and is
reported by primary care,
American
Academy of
Otolaryngology
- Ilead and
Neck Surgery
Foundation
(AAOHNSF)
pediatricians, or other
physicians to assess
appropriate testing for
children with otitis media with
effusion, hence this measure
does not support the inpatient
sdting wher~ th~ majority of
eligible clinicians within this
specialty practice. We agree
with specialty society
feedback that this measure is
neither an applicable nor a
clinically relevant quality
measure to assess the clinical
performance of Infectious
Disease physicians only
VerDate Sep<11>2014
18:25 Aug 13, 2019
Jkt 247001
PO 00000
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Fmt 4701
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E:\FR\FM\14AUP2.SGM
14AUP2
EP14AU19.274
khammond on DSKBBV9HB2PROD with PROPOSALS2
working within outpatient
settings.
41092
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.27. Infectious Disease
PREVIOUSLY FIJ'\ALIZED MEASURES PROPOSED FOR REM 0
VAL FROM THE INFECTIOUS DISEASE SET
Note:. ln this proposed tule, CMS proposes the retnoval ofthe following ID41Milre(s) below from this specific specialty measure set based upon reviewofupdates made
to existing quality meast)fe s ecifications, the proposed addition o(new measures tor inclusion in MIPS, apd the feedback provided by specialty societies.
.
National
CMS
Collection
Measure
Measure Titkand
Measure
Quality
Quality
eCQM
Rationale for Removal
Type
Type
Strategy
Steward
Description
# ..
ID
..
Domain
Zostel' (Shingles)
T11is measure is being
Centers for
Community Vaccination:
proposed for removal
MIPS CQMs
I
The percentage of patients
Medicare &
N!A
474
NIA
beginning wilh lhe 2022
Process
Specifications
Population
aged 50 years and older who
Medicaid
MIPS Payment Year. See
Services
Health
have had the Shingrix zoster
Table C for rationale.
(shingles) vaccination.
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18:25 Aug 13, 2019
Jkt 247001
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14AUP2
EP14AU19.275
..
NQF#/
tCQM
NQF#
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41093
B.28. Neurosurgical
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed rule, the Neurosurgical
specialty set takes additional criteria into consideration, which includes, but is not limited to: whether the measure reflects current clinical
guidelines and the coding of the measure includes relevant clinician types. CMS may reassess the appropriateness of individual measures, on a
case-by-case basis, to ensure appropriate inclusion in the specialty set. Measure tables in this set include previously finalized measures that we are
maintaining within the set, measures that are proposed to be added, and measures that are proposed for removal, as applicable. We request
comment on the measures available in the proposed Neurosurgical specialty set.
B.28. Neurosurgical
.
·.
PREVIOUSLY FINALIZED MEASURES IN THE NEUROSURGICAL SE1'
NQF
j:nditator
!
(Appropri
ate Use)
!
(Patient
Safety)
0268
N/A
Quality
#
021
023
CMS
.eCQMID
C()llection
Type
'\fauonal
Quality
Strategy
Domain
Meas11re.
Type
N/A
Medicare Part
8 Claims
Measure
Specifications,
MIPS CQ!vls
Specifications
Process
Patient Safety
N!A
Medicare Pmt
8 Claims
Measure
Specifications,
MIPS CQ!vls
Specifications
Process
Patient Safety
..
Medicare Part
8 Claims
!
khammond on DSKBBV9HB2PROD with PROPOSALS2
(Patient
Safety)
VerDate Sep<11>2014
Measure
0419;
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130
CMS68v
9
N/A
187
N!A
18:25 Aug 13, 2019
Jkt 247001
Specifications,
eCQM
Specifications,
MIPS CQ!vls
Specifications
MIPS CQ!vls
Specifications
PO 00000
Process
Patient Safety
Process
Effective
Clinical Cm·e
Frm 00613
Fmt 4701
Sfmt 4725
Measure Title
and Description
Perioperative Care: Selection of Prophylactic
Antibiotic- First OR Second-Generation
Cephalosporin:
Percentage of surgical patients aged 18 years and
older undergoing procedures with the indications D
a first OR second-generation cephalosporin
prophylactic antibiotic who had an order for a first
OR second-generation cephalosporin for
antimicrobial prophylaxis.
Perioperative Care: Venous
Thromboembolism (VTE) Prophylaxis (When
Indicated in ALL Patients):
Percentage of surgical patients aged 18 years mid
older undergoing procedures for which venous
thromboembolism (VTE) prophylaxis is indicated i
all patients, who had an order for Low Molecular
Weight Heparin (LMWH), Low- Dose
Unfraetionated Heparin (LDUH), adjusted-dose
warfarin, fondaparinux or mechanical prophylaxis t
be given within 24 hours prior to incision time or
within 24 hours after surgery end time.
Documentation of Current Medications in the
Medical Record:
Percentage of visits for patients aged 18 years and
older for which the MIPS eligible clinician attests t
documenting a list of current medications using all
immediate resources available on the date of the
encounter. This list must include ALL known
prescriptions, over-the-counters, herbals, and
vitamin/mineral/dietary (nutritional) supplements
AND must contain the medications' name, dosage,
frequencv and route of administration.
Stroke and Stroke Rehabilitation:
Thrombolytic Therapy:
Percentage of patients aged 18 years and older
with a diagnosis of acute ischemic stroke who
aiTive at the hospital within two hours of time last
known well and for whom IV altcplasc was
initiated within three hours of time last known
well.
E:\FR\FM\14AUP2.SGM
14AUP2
Measure
Steward
A...tnerican
Society of
Plastic
Surgeons
American
Society of
Plastic
Surgeons
Centers for
Medicare &
Medicaid
Services
American Heart
Association
EP14AU19.276
#.1
eCQ
M
NQF
#
41094
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.28. Neurosurgical
PREYI()USLY FINA-LIZED MEASI.!RESJN THE NEUROSURGICAL SET
.··
...
Quality
#
CMS
eC(,!MID
Measure
Type
§
0028!
0028e
226
CMS138
v8
NIA
409
N!A
MIPS CQ!vls
Specifications
Outcome
NIA
413
N!A
MIPS CQ!vls
Specifications
Intermedia Effective
te
Clinical Care
Outcome
MIPS CQ!vls
Specifications
Patient
Reported
Outcome
N!A
MIPS CQ!vls
Specifications
Patient
Reported
Outcome
Person and
CaregiverCentered
Experience
and Outcomes
N!A
MIPS CQ!vls
Specifications
Patient
Reported
Outcome
Person and
CaregiverCentered
Experience
and Outcomes
N!A
MIPS CQ!vls
Specifications
)
!
(Outcome
)
*I
(Outcome
)
*
(Outcome
)
*
(Outcome
)
*
!
(Outcome)
VerDate Sep<11>2014
N/A
NIA
NIA
NIA
Me;:~sure Title
and Desctiption
M.easure
Steward
Preventive Care and Screening: Tobacco Use:
Screening and Cessation Intervention:
Percentage of patients aged 18 years and older
who were screened for tobacco use one or more
times within 24 months AND who received
tobacco cessation intervention if identified as a
tobacco user.
Medicare Part
B Claims
Measure
Specifications,
eCQM
Specdications,
CMS Web
Interface
Measure
Specifications,
MIPS CQMs
Specifications
!
(Outcome
'l!athntal
Quality
Strategy
Domain
..·
#
*
**
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Collection
Type
..··
459
460
461
469
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N/A
Jkt 247001
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Patient
Reported
Outcome
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Population
Health
Effective
Clinical Care
Person and
Caregiver-
Centered
Experience
and Outcomes
Person and
CaregiverCentered
Experience
and Outcomes
Fmt 4701
Sfmt 4725
Three rates are reported:
a. Percentage of patients aged 18 years and older
who were screened for tobacco use one or more
times within 24 months
b. Percentage of patients aged 18 years and older
who were screened for tobacco use and identified
as a tobacco user who received tobacco cessation
intervention
c. Percentage of patients aged 18 years and older
who were screened for tobacco use one or more
times within 24 months AND who received
tobacco cessation intervention if identified as a
tobacco user.
Clinical Outcome Post Endovascular Stroke
Treatment:
Percentage of patients with a mRs score of 0 to 2
at 90 days following endovascular stroke
inkrvention.
Door to Puncture Time for Endovascular
Stroke Treatment:
Percentage of patients undergoing endovascular
stroke treatment who have a door to puncture
time ofless than two hours.
Average Change in Back Pain Following
Lnmbar Discectomy/Laminotomy:
The average change (preoperative to three months
postoperative) in back pain for patients 18 years
of age or older who had a lumbar
discectomy/laminotomy procedure.
Average Change in Back Pain Following
Lnmbar Fusion:
The average change (preoperative to one year
postoperative) in back pain for patients 18 years of
age or older who had a lumbar fusion procedure.
Average Change in Leg Pain Following Lnmbar
Discectomy and/or Laminotomy:
The average change (preoperative to three months
postoperative) in leg pain for patients 18 years of
age or older who had a lumbar
discectomy/laminotomy procedure.
Average Change in Functional Status Following
Lnmbar Fusion Surgery:
The average change (preoperative to postoperative)
in functional status using the Oswestry Disability
Index (ODI version 2.1a) for patients 18 years of a
and older who had a lumhar tusion procedure.
E:\FR\FM\14AUP2.SGM
14AUP2
Physician
Consortium for
Performance
Improvement
foundation
(PCP!®)
Society of
Interventional
Radiology
Society of
Interventional
Radiology
Minnesota
Community
Measurement
Minnesota
Community
Measurement
Minnesota
Community
Measurement
Minnesota
Community
Measurement
EP14AU19.277
lndkator
NQJ.I
#I
eCQ
M
NQF
41095
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.28. Neurosurgical
PREYI()USLY FINA-LIZED MEASI.!RESJN THE NEUROSURGICAL SET
...
NQJ.I
~ati.i>nal
#I
.··
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VerDate Sep<11>2014
N/A
N/A
Measure Title
aud Description
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#
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khammond on DSKBBV9HB2PROD with PROPOSALS2
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473
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Jkt 247001
MIPS CQ!vls
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Patient
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Outcome
MIPS CQ!vls
Specifications
Patient
Reported
Outcome
PO 00000
Frm 00615
Person and
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Experience
and Outcomes
Person and
CaregiverCentered
Experience
and Outcomes
Fmt 4701
Sfmt 4725
Average Change in Functional Status Following
Lumbar Uiscectomy/Laminotomy Surgery:
The average change (preoperative to postoperative)
in functional status using the Oswestry Disability
Index (ODI version 2.1a) for patients age 18 and
older who had lumbar discectomy/laminotomy
procedure.
Average Change in Leg Pain Following Lumbar
Fusion Surgery:
The average change (preoperative to one year
postoperative) in leg pain for patients 18 years of
age or older who had a lumbar tusion procedure
E:\FR\FM\14AUP2.SGM
14AUP2
Minnesota
Community
Measurement
Mirmesota
Community
Measurement
EP14AU19.278
fudi('ator
.·
41096
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.28. Neurosurgical
VerDate Sep<11>2014
18:25 Aug 13, 2019
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EP14AU19.279
khammond on DSKBBV9HB2PROD with PROPOSALS2
PRRVJOTJSJ,Y lUNA azEn MRASURFS PROPOSF,D FOR REMOvAL FROM THE NF,TJROSJJRGTC'AJ, SF:T
Note: In this proposed rule, CMS propos"s the removalofthe tO.U2014
Diabetes Mellitus: Diabetic Foot and Ankle
Care, Peripheral Neuropathy- Neurological
Evaluation:
Percentage of patients aged 18 years and older with
a diagnosis of diabetes mellitus who had a
neurological examination of their lower extremitie<
within 12 months.
Diabetes Mellitus: Diabetic Foot and Ankle
Care, Ulcer Prevention - Evaluation of
Footwear:
Percentage of patients aged 18 years and older with
a diagnosis of diabetes mellitus who were evaluated
for proper footwear and sizing.
Preventive Care and Screening: Body Mass
Index (BMI) Screening and Follow-Up Plan:
Percentage of patients aged 18 years and older with
a BMI documented during the current encounter or
during the previous twelve months AND with a
BMI outside of normal parameters, a follow-up
plan is documented during the encounter or during
the previous twelve months ofthe current
encounter.
Nonnal Parameters: Age 18 years and older BMI ~
18.5 and< 25 kg!m 2
Measure
Steward
American
Podiatric
Medical
Association
0417
126
N!A
0416
127
N!A
MIPS CQMs
Specifications
Process
Effective
Clinical
Care
CMSG9v
8
Medicare Part
R Claims
Measure
Specifications,
eCQM
Specifications,
MIPS CQMs
Specifications
Process
Community/
Population
Health
Process
Patient
Safety
Falls: Risk Assessment:
Percentage of patients aged 65 years and older with
a history of falls that had a risk assessment for falls
completed within 12 months.
l\ational
Committee for
Quality
Assurance
Process
Communica
tion and
Care
Coordinatio
n
Falls: Plan of Care:
Percentage of patients aged 65 years and older with
a history of falls that had a plan of care for falls
documented within 12 months.
l\ational
Committee for
Quality
Assurance
0421!
042le
128
0101
154
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!
(Care
Coordinat
ion)
Measqre Title
and Description
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(Patient
Safety)
Process
Effective
Clinical
Care
·.
0101
155
18:25 Aug 13, 2019
N!A
Jkt 247001
Medicare Part
B Claims
Measure
Specifications,
MIPS CQMs
Specifications
Medicare Part
BClaims
Measure
Specifications,
MIPS CQMs
Specifications
PO 00000
Frm 00617
Fmt 4701
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
A.t11erican
Podiatric
Medical
Association
Centers for
Medicare &
Medicaid
Services
EP14AU19.280
.. ·
41098
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.29. Podiatry
PREVIOUSLY FINALIZED MEASURES IN THE PODL~TRYSET
'
National
·Quality
Strategy
Domain
#I
Indicator
eCQ
M
NQF
#
*
**
§
!
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(Patient
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VerDate Sep<11>2014
0028!
0028e
0101!
N/A
Quality
#
226
318
18:25 Aug 13, 2019
CMS
eCQMID
Collection
TYJ:le
Measure
Type
Measure Title
and Description
Preventive Care and Screening: Tobacco Use:
Screening and Cessation Intervention:
Percentage of patients aged 18 years and older who
were screened for tobacco use one or more times
within 24 months Al\D who received tobacco
cessation intervention if identified as a tobacco
user.
CMS138
v8
Medicare Part
BClaims
Measure
Specifications,
eCQM
Specifications,
CMS Web
Interface
Measure
Specifications,
MIPS CQMs
Specifications
Process
Community/
Population
Health
CMS139
v8
eCQM
Specifications,
CMS Web
Interface
Measure
Specifications
Process
Patient
Safety
Jkt 247001
PO 00000
Frm 00618
Fmt 4701
Sfmt 4725
Three rates are reported:
a. Percentage of patients aged 18 years and older
who were screened for tobw.,;(.;o use one or more
times within 24 months
b. Percentage of patients aged 18 years and older
who were screened for tobacco use and identified as
a tobacco user who received tobacco cessation
intervention
c. Percentage of patients aged 18 years and older
who were screened for tohacco use one or more
times within 24 months AND who received tobacco
cessation intervention if identified as a tobacco
user.
Falls: Screening for l<'uture !<'all Risk:
Percentage of patients 65 years of age and older
who were screened for future fall risk during the
measurement period.
E:\FR\FM\14AUP2.SGM
14AUP2
.Measure
S~ard
Physician
Consortium
for
Performance
Improvement
Foundation
(PCPHID)
1\ational
Committee for
Quality
Assurance
EP14AU19.281
NQF
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41099
B.30. Hospitalists
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed rule, the Hospitalists specialty
set takes additional criteria into consideration, which includes, but is not limited to: whether the measure reflects current clinical guidelines and the
coding of the measure includes relevant clinician types. CMS may reassess the appropriateness ofindividualmeasmes, on a case-by-case basis, to
ensure appropriate inclusion in the specialty set. Measure tables in this set include previously finalized measures that we are maintaining within the
set, measures that are proposed to be added, and measures that are proposed for removal, as applicable. We request comment on the measures
available in the proposed Hospitalists specialty set.
B.30. Hospitalists
PREVIOUSLY FINALIZED MEASURES IN THE HOSPITALISTS SET.
'
Quality
#
NQF
#
*
s
*
§
0081!
008le
0083!
0083e
005
oos
CMS
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ID
0326
047
khammond on DSKBBV9HB2PROD with PROPOSALS2
(Patient
Safely)
VerDate Sep<11>2014
Measure Title
;lnd DescriptiQn
Quality
Strategy
CMS144
v8
Process
Effective
Clinical Care
NIA
Medicare
Part B
Claims
Measure
Specification
s, MIPS
CQMs
Specification
s
Process
Communi cat
ion and Care
Coordination
Medicare
PartE
Claims
Measure
Specification
s, MIPS
CQMs
Specification
s
Process
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18:25 Aug 13, 2019
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076
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Fmt 4701
Effective
Clinical Care
Patient
Safety
Sfmt 4725
Heart Failure (HF): AngiotensinConverting Enzyme (ACE) Inhibitor or
Angiotensin Receptor Blocker (ARB)
Therapy for Left V entricnlar Systolic
Dysfunction (LVSD):
Percentage of patients aged 18 years and
older with a diagnosis of heart failure (HF)
with a current or prior left ventricular
ejection fraction (LVEF) < 40% who were
prescribed ACE inhibitor or ARB therapy
either within a 12-month period when seen
in the outpatient setting OR at each
hospital discharge.
Heart Failure (HF): Beta-Blocker
Therapy for Left V entricnlar Systolic
Dysfunction (LVSD):
Percentage of patients aged 18 years and
older with a diagnosis of heart failure (HF)
with a current or prior left ventricular
ejection fraction (LVEF) < 40% who were
prescribed beta-blocker therapy either
within a 12-month period when seen in the
outpatient setting OR at each hospital
discharge.
Advance Care Plan:
Percentage of patients aged 65 years and
older who have an advance care plan or
surrogate decision maker documented in the
medical record or documentation in the
medical record that an advance care plan
was discussed but the patient did not wish o
was not able to name a surrogate decision
maker or provide an advance care plan.
Prevention of Central V enons Catheter
(CVC) - Related Bloodstream
Infections:
Percentage of patients, regardless of age,
who undergo central venous catheter
(CVC) insertion for whom CVC was
inserted with all elements of maximal
sterile barrier technique, hand hygiene,
skin preparation and, if ultrasound is used,
sterile ultrasound techniques followed.
E:\FR\FM\14AUP2.SGM
14AUP2
Physician
Consortium for
Performance
Improvement
Foundation
(PCPI®)
Physician
Consortium for
Performance
Improvement
Foundation
(PCPI®)
National
Committee for
Quality
Assurance
American Society
of
Anesthesiologists
EP14AU19.282
Indicator
NQF
#I
eCQ
M
41100
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.30. Hospitalists
..
PREVIOUSLY FINALIZED MEASURES IN THE HOSPITALISTS SET
.
..
NQF
#I
khammond on DSKBBV9HB2PROD with PROPOSALS2
!
(Patient
Safety)
VerDate Sep<11>2014
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Type
eollection
Type
Measure Title
and Description
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.·
110
18:25 Aug 13, 2019
CMS68v
9
Jkt 247001
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Part B
Claims
Measure
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Specification
s, MIPS
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Specification
s
PO 00000
Documentation of Current Medications
in the Medical Record:
Process
Frm 00620
Fmt 4701
Patient
Safety
Sfmt 4725
Percentage of visits for patients aged 18
years and older for which the MIPS
eligible clinician attests to documenting a
list of current medications using all
immediate resources available on the date
of the encounter. This list must include
ALL known prescriptions, over-thecounters, herbals, and
vitamin/mineral/dietary (nutritional)
supplements AND must contain the
medications' name, dosage, frequency and
route of administration.
E:\FR\FM\14AUP2.SGM
14AUP2
Centers for
Medicare &
Medicaid
Services
EP14AU19.283
Indicator
National
Quality
Strategy
Domain
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41101
B.30. Huspitalists
PREVIon;Lv FINALIZED MEAsuREs PRoPosEn FoR REMOVAL FRo~I THE HOsPITALisTs sET
Note: In this proposed rule, CMS p>oposes the removal ofthe following measure(s) below from this specific·specialty measure set based .upori review of updates made
to existing quality measures <;lcificatio!lS, the proposed additiot:t of new measures for inclusion in MIPS, ~d the feedback provided by specialty societies.
Quality
#
khammond on DSKBBV9HB2PROD with PROPOSALS2
N!A
VerDate Sep<11>2014
407
CMS
eCQM
ID
NIA
18:25 Aug 13, 2019
National
Colledion
Type
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B Measure
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MIPS CQMs
Specifications
Jkt 247001
Measure
Type
Process
PO 00000
Qwuity
Strategy
Domain
Effective
Clinical
Care
Frm 00621
Fmt 4701
Measure Title and
Description
Appropriate Treatment of
Methicillin-Snsceptible
Staphylococcns Aurens
(MSSA) Bacteremia:
Percentage of patients with
sepsis due to MSSA
bacteremia who received
beta-lactam antibiotic (e.g.
Nafcillin, Oxacillin or
Cefazolin) as definitive
therapy.
Sfmt 4725
Measure
Steward
Infectious
Diseases
Society of
A.Jnerica
E:\FR\FM\14AUP2.SGM
14AUP2
1
·Rationale fur.Removal
This measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year. See
Table C for rationale.
EP14AU19.284
NQF#/
eCQM
NQF#
41102
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.31. Rheumatology
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed mle, the Rheumatology
specialty set takes additional criteria into consideration, which includes, but is not limited to: whether the measure ret1ects current clinical guidelines
and the coding of the measure includes relevant clinician types. CMS may reassess the appropriateness ofindividualmeasures, on a case-by-case
basis, to ensure appropriate inclusion in the specialty set. Measure tables in this set include previously finalized measures that we are maintaining
within the set, measures that are proposed to be added, and measures that are proposed for removal, as applicable. We request col1ll1lent on the
measures available in the proposed Rheumatology specialty set.
B.31. Rheumatology
lndicatoJ·
NQF
#I
Quality
#
eCQ
M
NQF
PREVIOUSLY FINALISED MEASURES IN THE RHEUMATOLOGY SET
ColleetiQn
Measu1·e
Natimml
Measure Title and. Dese!iptimt
eMS
eCQMID
Type
Type
Quality
Strategy
Domain
Measm·e
Stew am
.#
N!A
0046
024
Process
Part B Claims
Measure
Specifications,
MIPS CQMs
Specifications
039
Process
Part B Claims
Measure
Specifications,
MIPS CQMs
Specifications
Process
CMS69v
8
Medicare Part
D Claims
Measure
Specificatiom,
eCQM
Specifications,
MIPS CQMs
Specifications
Process
Community/
Population
Health
CMS68v
9
Medicare Part
B Claims
Measure
Specifications,
eCQM
Specifications,
MIPS CQMs
Specifications
Process
Patient
Safety
'II A
'II A
!
(Care
Coordinat
ion)
*
§
!
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VerDate Sep<11>2014
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0421e
0419/
0419e
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128
130
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'II A
Jkt 247001
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ion and Care
Coonlinalion
Effective
Clinical Care
Communi cat
ion and Care
Coordination
Fmt 4701
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14AUP2
National
Committee
forQnality
Assuram:e
National
Cotrunittee
for Quality
Assurance
National
Cotrunittee
for Quality
Assurance
Centers for
Medicare &
Medicaid
Services
Centers for
Medicare &
Medicaid
Services
EP14AU19.285
Part B Claims
Measure
Specificatiom,
MIPS CQMs
Specifications
!
(Care
Coordinat
ion)
Communication with the Physician or Other
Clinician Managing On-going Care PostFracture for Men and Women Aged 50 Years
and Older:
Percentage of patients aged 50 years and older
treated for a fracture with documentation of
communication, between the physician treating the
fracture and the physician or other clinician
managing lhe palienl's on-going care, lhal a fraclure
occurred and that the patient was or should be
considered for osteoporosis treatment or testing.
This measure is submitted by the physician who
treats the fracture and who therefore is held
accountable for the communication.
Screening for Osteoporosis for Women Aged 6585 Years of Age:
Percentage of female patients aged 65-85 years of
age who ever had a central dual-energy X-ray
absorptiometry (DXA) to check for osteoporosis.
Advance Care Plan:
Percentage of patients aged 65 years and older who
have an advance care plan or surrogate decision
maker documented in the medical record or
documentation in the medical record that an advance
care plan was discussed but the patient did not wish
or was not able to nan1e a surrogate decision maker
or provide an advance care plan.
Preventive Care and Screening: Body Mass
Index (BMI) Screening and Follow-Up Plan:
Percentage of patients aged 18 years and older with
a B'v!I documented during the current encounter or
during the previous twelve months AND with a
BMI outside of normal parameters, a follow-up plan
is documented during the encounter or during the
previous twelve months ofthe current encounter.
Normal Parameters: Age 18 years and older BMI 2
18.5 and < 25 kg/m2
Documentation of Current Medications in the
Medical Record:
Percentage of visits for patients aged 18 years and
older for which the MIPS eligible clinician attests to
documenting a list of current medications using all
immediate resources available on the date of the
encounter. This list must include ALL known
prescriplions, over-lhe-counlers, herbals, and
vitamin/mineral/dietary (nutritional) supplements
AND must contain the medications' name, dosage,
frequencv and route of administration.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41103
B.31. Rheumatology
Indicator
NQF
#I
Quruity
#
eCQ
M
NQF
#
*
NIA
PREVIOUSLY l2014
18:25 Aug 13, 2019
Jkt 247001
PO 00000
Process
Intennediat
e Outcome
Frm 00623
Community/
Population
Health
Effective
Clinical Care
Fmt 4701
Sfmt 4725
Three rates are reported:
a. Percentage of patients aged 18 years and older
who were screened for tobacco usc one or more
times within 24 months
b. Percentage of patients aged 18 years and older
who were screened for tobacco use and identified as
a tobacco user who received tobacco cessation
intervention
c. Percentage of patients aged 18 years and older
who were screened for tobacco use one or more
times within 24 months AND who received tobacco
cessation intervention if identified as a tobacco user.
Controlling High Blood Pressure:
Percentage of patients 18 - 85 years of age who had
a diagnosis of hypertension and whose blood
pressure was adequately controlled (< 140/90
mmHg) during the measurement period.
E:\FR\FM\14AUP2.SGM
14AUP2
Physician
Consortiutn
for
Performance
Improvement
Foundation
(PCP!®)
National
Committee for
Quality
Assurance
EP14AU19.286
*
**
within 24 months AN lJ who received tobacco
cessation intervention if identified as a tobacco user
41104
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.31. Rheumatology
*
!
(Patient
Safety)
*
NQF
#I
cCQ
M
NQF
#
00221
NIA
Qn:llity
#
PREVIOUSLY l2014
Measure
Steward
18:25 Aug 13, 2019
Jkt 247001
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Use of High-Risk :\1edications in the Elderly:
Percentage of patients 65 years of age and older who
were ordered high-risk medications. Two rates are
submitted.
(1) Percentage of patients who were ordered at least
one higb-risk medication.
(2) Percentage of patients who were ordered at least
two of the same hiah-risk medications.
Preventive Care and Screening: Screening for
High Blood Pressure and Follow-Up
Documented:
Percentage of patients aged 18 years and older seen
during the submitting period who were screened for
high blood pressme AND a recommended follow-up
plan is documented based on the current blood
pressure (BP) reading as indicated.
Closing the Referral Loop: Receipt of Specialist
Report:
Percentage of patients with referrals, regardless of
age, for which the referring provider receives a
report from the provider to whom the patient was
referred.
Tobacco Use and Help with Quitting Among
Adolescents:
The percentage of adolescents 12 to 20 years of age
with a primary care visit dming the measurement
year for whom tobacco use status was documented
and received help with quitting if identified as a
tobacco user.
E:\FR\FM\14AUP2.SGM
14AUP2
National
Committee for
Quality
Assurance
Centers for
Medicare &
Medicaid
Services
Centers for
Medicare &
Medicaid
Services
National
Connuittee for
Quality
Assurance
EP14AU19.287
Indicator
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41105
B.31. Rheumatology
lndieator
I
eCQM
NQF#
khammond on DSKBBV9HB2PROD with PROPOSALS2
N/A
VerDate Sep<11>2014
MEASURES PROPOSED FOR ADDITION TO THE RHEUMATOLOGY SET
NQF#
Qu~tlity
#
TED
18:25 Aug 13, 2019
C'MS
cCQM
ID
N/A
Jkt 247001
Measure
Type
Collection
Type
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ns, MIPS
CQMs
Specificatio
ns
PO 00000
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Quality
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Domain
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Process
Frm 00625
y!
Populatio
n Health
Fmt 4701
Measure Title
And De;,cription
~l
.·
41106
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.31. Rheumatology
VerDate Sep<11>2014
18:25 Aug 13, 2019
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14AUP2
EP14AU19.289
khammond on DSKBBV9HB2PROD with PROPOSALS2
PRRVIOTJSJ;Y FINAJ:tT-RDMF:ASURRS PROPOSF:DFOR REMOVAL FROM T.HR RHF-TJMATOLOGY SF:T
Not¢: In this proposed rule, CMS proposes the removal ofthe following measure(s) .below from this specific specialty measure set based upon review of updates made
· w existing quality measure specifications, the p.roposed addition of new measures for inclusion in MIPS, and the fee.dbacR: provided by specialty societies.
. ..
.
·.·
National
NQF#I
CMS
Measute
Measure
QuaJity
C2014
N/A
N!A
Measure Title
. and Description
Measure
Steward
Domain
#
*
Quality
strategy
·.
378
CMS75v8
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s
379
CMS74v
9
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s
18:25 Aug 13, 2019
Jkt 247001
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Outcome
Community/
Population
Health
Process
Effective
Clinical Care
Frm 00627
Fmt 4701
Sfmt 4725
Children Who Have Dental Decay or
Cavities:
Percentage of children, age 0-20 years,
who have had tooth decay or cavities
during the measurement period.
Primary Caries Prevention Intervention
as Offered by Primary Care Providers,
including Dentists:
Percentage of children, age 0-20 years,
who received a fluoride vamish
application during the measurement
period.
E:\FR\FM\14AUP2.SGM
14AUP2
Centers for
Medicare &
Medicaid
Services
Centers for
Medicare &
Medicaid
Services
EP14AU19.290
mdicator
NQF
#I
eCQ
M.
NQF
41108
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.33. Physical Therapy/Occupational Therapy
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed rule, the Physical
Therapy /Occupational Therapy specialty set takes additional criteria into consideration, which includes, but is not limited to: whether the measure
reflects current clinical guidelines and the coding of the measure includes relevant clinician types. CMS may reassess the appropriateness of
individual measures, on a case-by-case basis, to ensure appropriate inclusion in the specialty set. Measure tables in this set include previously
finalized measures that we are maintaining within the set, measures that are proposed to be added, and measures that are proposed tor removal, as
applicable. We request comment on the measures available in the proposed Physical Therapy/Occupational Therapy specialty set.
B.33. Physical Therapy/Occupational Therapy
PREVIOHSLVFJNAUZRD MRASU~RSJNTHRl'HVSTCAJ, THRRAPV/OCC{JPATIONAT,THRRAPYSET ··
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.
·.
NQF
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41109
B.33. Physical Therapy/Occupational Therapy
PREVIOUSLY FINALIZED MEASURES I'll THE PHYSICAL THERAPY/QCCUPATIONAL THERAPY SET
·.·
lndic,.tor
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!
(Outcome
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!
(Outcome
)
*
!
(Outcome
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and Care
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and Care
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Functional Status Change for Patients with
Hip Impainuents:
A patient-reported outcome measure of riskadjusted change in functional status for patients
14 years+ with hip impairments. The change in
functional status (FS) is assessed using the Hip
FS patient-reported outcome measure (PROM)
('1:12009-2019 Focus on Therapeutic Outcomes,
Inc.). The measure is adjusted to patient
characteristics known to be associated with FS
outcomes (risk adjusted) and used as a
performance measure at the patient level, at the
individual clinician, and at the clinic level to
assess quality. The measure is available as a
computer adaptive test, for reduced patient
burden, or a short fom1 (static measure).
Functional Status Change for Patients with
Lower Leg, Foot or Ankle lmpainnents:
A patient-reported outcome measure of riskadjusted change in functional status for patients
14 years+ with foot, ankle and lower leg
impairments. TI1e change in functional status
(l'S) assessed using the l'oot/Ankle l'S patientreported outcome measure (PROM) (©20092019 Focus on Therapeutic Outcomes, Inc.).
The measure is adjusted to patient
characteristics known to be associated with FS
outcomes (risk adjusted) and used as a
performance measure at the patient level, at the
individual clinician, and at the clinic level to
assess quality. TI1e measure is available as a
computer adaptive test, for reduced patient
burden, or a short fom1 (static measure).
}'unctional Status Change for Patients with
Low Back lmpainnents:
A patient-reported outcome measure of riskadjusted change in functional status for patients
14 years+ with low back impairments. The
change in functional status (FS) is assessed
using the Low Back FS patient-reported
outcome measure (PROM) (©2009-2019 Focus
on 'therapeutic Outcomes, Inc.). The measure
is adjusted to patient characteristics known to
be associated with l'S outcomes (risk adjusted)
and used as a performance measure at the
patient level, at the individual clinician, and at
the clinic level by to assess quality. The
measure is available as a computer adaptive
test, for reduced patient burden, or a short form
Focus on
'therapeutic
Outcomes, Inc.
Focus on
Therapeutic
Outcomes, Inc.
Focus on
'therapeutic
Outcomes, Inc.
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(static measure).
41110
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.33. Physical Therapy/Occupational Therapy
PREVIOUS.LY FINALIZED MEASl:RES IN THE PHYSICAL THERAPYIO:CCUPATIONAL THERAPY SET
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IndicQ:tor
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Measure
Stew~rd
,.
''
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Conununication
and Care
Coordination
Functional Status Change for Patients with
Shoulder lmpainnents:
A patient-repmted outcome measure of ri,kadjusted change in functional status for patients
14 years+ with shoulder impaim1ents. The
change in functional status (FS) is assessed
using the Shoulder FS patient-reported
outcome measure (PROM) (©2009-2019 Focus
on Therapeutic Outcomes, Inc.). The measure is
adjusted to patient characteristics known to be
associated with FS outcomes (risk adjusted)
and used as a performance measure al lhe
patient level, at the individual clinician, and at
the clinic level to assess quality. The measure
is available as a computer adaptive test, for
reduced patient burden, or a short form (static
Focus on
Therapeutic
Outcomes, Inc.
rnem;ure).
!
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)
VerDate Sep<11>2014
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EP14AU19.293
*
Functional Status Change for Patients with
Elbow, Wrist or Hand Impainnents:
A patient-reported outcome measure of riskadjusted change in functional status (FS) for
patients 14 years+ with elbow, wrist or hand
impairments. The change in FS is assessed
using the Elbow/Wrist/Hand FS patientreported outcome measure (PROM) (©20092019 Focus on Therapeutic Outcomes, Inc.)
The measure is adjusted to patient
characteristics known to be associated with FS
outcomes (risk adjusted) and used as a
performance measure at the patient level, at the
individual clinician, and allhe clinic levello
assess quality. The measure is available as a
computer adaptive test, for reduced patient
burden, or a short form (static measure).
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41111
B.33. Physical Therapy/Occupational Therapy
ADDITION TO THE PHYS~CAL THERAPY/OCCUPATIONAL THERAPY SET
0417
0416
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VerDate Sep<11>2014
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155
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N/A
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Measure
Type
MIPS
CQMs
Speciticatio
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MIPS
CQMs
Specificatio
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Medicare
Part B
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Process
Process
Process
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Frm 00631
.National
Quality
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Domain
Measure Title
Aitd Description
Measure
steward
Effective
Clinical
Care
Diabetes Mellitus: Diabetic Foot
and Ankle Care, Peripheral
Neuropathy- 1'1 curological
Evaluation:
Percentage of patients aged 18 years
and older with a diagnosis of
diabetes mellitus who had a
neurological examination of their
lower extremities within 12 months.
Effective
Clinical
Care
Diabetes Mellitus: Diabetic Foot
and Ankle Care, Ulcer Prevention
-Evaluation of l<'ootwear:
Percentage of patients aged 18 years
and older with a diagnosis of
diabetes mellitus who were
evaluated for proper footwear and
sizing.
Communit
y/Populati
on Health
Preventive Care and Screening:
Screening for Depression and
Follow-Up Plan: Percentage of
patients aged 12 years and older
screened for depression on the date
of the encounter using an age
appropriate standardized depression
screening tool AND if positive, a
follow-up plan is documented on the
date of the positive screen.
Patient
Safety
Con1muni
calion and
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Falls: Risk Assessment:
Percentage of patients aged 65 years
and older with a history of falls that
had a risk assessment for falls
completed within 12 months.
"'ational
r:ommitte
for
puality
Falls: Plan of Care:
Percentage of palienls aged 65 years
and older with a history of falls that
had a plan of care for falls
documented within 12 months.
"'ational
~ommille
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
~ssurance
~for
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~ssurance
Rationale for
Inclusion
We propose to
include this measure
into the Physical
T11erapy/Occupationa
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set based upon
stakeholder feedback
requesting inclusion
in a specialty set for
lhis clinician lvpe.
We propose to
include this measure
in the Physical
Therapy/Oceupationa
I T11erapy specialty
set as it is clinically
relevant to this
clinician type.
We propose lo
include this measure
into the Physical
Therapy/Occupationa
I 'lherapy specialty
set based upon
stakeholder feedback
requesting inclusion
in a specialty set for
this clinician type.
We propose to
include this measure
into the Physical
Therapy/Occupaliona
I Therapy specialty
set based upon
stakeholder feedback
requesting inclusion
in a specialty set for
this clinician tvpe.
We propose to
include this measure
into the Physical
T11erapy/Occupationa
I Therapy specialty
set based upon
stakeholder feedback
requesting inclusion
in a specialty set for
lhis clinician lvpe.
EP14AU19.294
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MEASURES PROPOSED FOR
NQ.FJI
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eCQM
Type
#
ID
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41112
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.33. Physical Therapy/Occupational Therapy
ADDITION TO THE PHYS~CAL THERAPY/OCCUPATIONAL THERAPY SET
*
!
(Patient
Safety)
N/A
181
N/A
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Type
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eCQM
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Web
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Specificatio
Measure Title
And Description
Measure
Stew.ard
Elder Maltreatment Screen and
Follow-Up Plan:
Percentage of patients aged 65 years
and older with a documented elder
maltreatment screen using an Elder
Maltreatment Screening tool on the
date of encounter AND a
documented follow-up plan on the
date of the positive screen.
Preventive Care and Screening:
Tobacco Use: Screenin~ and
Cessation Intervention: Percentage
of patients aged 18 years and older
who were screened for tobacco use
one or more times within 24 months
A.\JU who received tobacco
cessation intervention if identified as
a tobacco user.
Process
Process
Communit
y/Populati
on Health
Effective
Clinical
Care
Tirree rates are reported:
a. Percentage of patients aged 18
years and older who were screened
for tobacco use one or nwre tirnes
within 24 months
b. Percentage of patients aged 18
years and older who were screened
for tobacco nse and identified as a
tobacco user who received tobacco
cessation intervention
c. Percentage of patients aged 18
years and older who were screened
for tobacco use one or more times
within 24 months AND who
received tobacco ce~sation
intervention if identified as a tobacco
user.
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NQ.F#
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eCQM
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Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41113
B.33. Physical Therapy/Occupational Therapy
!
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(Outcome
)
VerDate Sep<11>2014
N/A
TBD
18:25 Aug 13, 2019
N/A
Jkt 247001
MIPS
CQMs
Specificatio
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PO 00000
Patient
Reported
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Frm 00633
Person
and
CaregiverCentered
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Fmt 4701
This is a patient-reported outcome
performance measure (PRO-PM)
consisting of a patient-reported
outcome measure (PROM) of riskadjusted change in functional status
(FS) for patients aged 14+ with neck
impainncnts. The change in FS is
assessed using the Neck FS PROM.* !Focus on
The measure is risk-adjusted to
rrherapeuti
patient characteristics known to be
associated with FS outcomes. It is
putcomes,
used as a performance measure at the nc.
patient. individual clinician, and
clinic levels to assess quality. *The
Neck FS PROM is an item-response
theory-based computer adaptive test
(CAT). In addition to the CAT
version, which provides for reduced
patient response burden, it is
available as a 10-item short form
(static/paper-pencil).
Sfmt 4725
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14AUP2
This n1easure is being
proposed as a new
measure for the 2020
performance period.
We propose to
include this measure
in the Physical
lherapy/Occupationa
lT11erapy specialty
set as it is clinically
relevant to this
clinician type.
EP14AU19.296
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eC'QM
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Aitd Description
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ll
steward
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NQF#
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Functional Status Change for
Patients with Ne~k Impairments:
41114
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.33. Physical Therapy/Occupational Therapy
REMOVAL
PREVIOUS I ,v FlNA LIZRn MRASTJRRS PROPOSRD FOR
FROM THR PHYSICAl, THF,RA PYIOCCTJPA TIONAL THRRAPV SET
Note: In this proposed rule, CMS. proposes 1he removal ~f1he tollowing measure(s) below .fiom this. specitlc specialty measure set based upon review of updates made
to e){isting quality measure specifications, 1he proposed addition of11ew measures for. inclusion i11 MIPS:, and 1he feedback provided by specialty societies.
.
..
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Type
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nication
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nication
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Measure T!tle and Delicription
Measure
Stewanl
Rationale for Removal
·.
Pain Assessment and Follow-Up:
Percentage of visits for patients aged
IS years and older with
documentation of a pain asse<&ment
using a standardized tool(s) on each
visit AND documentation of a
follow-up plan when pain is present
Functional Status Change for
Patients with General Orthopedic
Impairments:
A patient-reported outcome measure
of risk-adjusted change in functional
slalus (FS) for palienls aged 14
years+ with general orthopedic
impairments (neck, cranium,
mandible, thoracic spine, ribs or
other general orthopedic
impairment). The change in FS is
assessed using the General
Orthopedic FS PROM (patient
reported outcome measure) (<~Focus
on Therapeutic Outcomes, Inc} The
measure is adjusted to patient
characteristics known to be
associated with FS outcomes (risk
adjusted) and used as a performance
measure at the patient level, at the
individual clinician, and at the clinic
level to assess quality. T11e measure
is available as a computer adaptive
test for reduced patient burden, or a
short form (static survey).
Fmt 4701
Sfmt 4725
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Centers
for
Medicare
&
Medicaid
Services
Focus on
'lherapeut
IC
Outcomes
, Inc.
14AUP2
This measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year. See
Table C for rationale.
This measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year. See
Table C for rationale.
EP14AU19.297
NQF#I
eCQl\f
NQF#
National
Quality
Strategy
. Domllirt
41115
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.34. Geriatrics
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed rule, the Geriatrics specialty
set takes additional criteria into consideration, which includes, but is not limited to: whether the measure reflects current clinical guidelines and the
coding ofthe measure includes relevant clinician types. CMS may reassess the appropriateness of individual measures, on a case-by-case basis, to
ensure appropriate inclusion in the specialty set. Measure tables in this set include previously finalized measures that we are maintaining within the
set, measures that are proposed to be added, and measures that are proposed for removal, as applicable. We request co111111ent on the measures
available in the proposed Geriatrics specialty set
B.34. Geriatrics
PREVIOUSLY FINALIZED MEASURES IN THf:CERIA TRICS SET
M
'
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#
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#
0046
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238
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Type
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Type
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Process
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Frm 00635
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Patient Safety
Patient Safety
Patient Safety
Fmt 4701
Sfmt 4725
Measure Title
and Desniption.
Screening for Osteoporosis for Women Aged
65-85 Years of Age:
Percentage offcmalc patients aged 65-85 years of
age who ever had a central dual-energy X-ray
ahsorptiometry (DXA) to check for osteoporosis,
Advance Care Plan:
Percentage of patients aged 65 years and older
who have an advance care plan or surrogate
decision maker documented in the medical record
or documentation in the medical record that an
advance care plan was discussed but the patient
did not wish or was not able to name a surrogate
decision maker or provide an advance care plan,
Urinary Incontinence: Plan of Care for
Urinary Incontinence in Women Aged 65
Years and Older:
Percentage of female patients aged 65 years and
older with a diagnosis of urinary incontinence
with a documented plan of care for urinary
incontinence at least once within 12 months,
Docmnentation of CniTent ~ledications in the
Medical Record:
Percentage of visits for patients aged 18 years
and older for which the MIPS or eligible clinician
attests to documenting a list of current
medications using all immediate resources
available on the date of the encounter, This list
must include ALL known prescriptions, over-thecounters, herbals, and vitamin/mineral/dietary
(nutritional) supplements AND must contain the
medications' name, dosage, frequency and route
of administration,
Elder Maltreatment Sueen and Follow-Up
Plan:
Percentage of patients aged G5 years and older
with a documented elder maltreatment screen
using an Elder Maltreatment Screening Tool on
the date of encounter AND a documented followup plan on the date of the positive screen,
Use of High-Risk Medications in the Elderly:
Percentage of patients 65 years of age and older
who were ordered high-risk medications, Two
rates are submitted,
(1) Percentage of patients who were ordered at
least one high-risk medication,
(2) Percentage of patients who were ordered at
least two ofthe same high-risk medications,
E:\FR\FM\14AUP2.SGM
14AUP2
I
Measure
Steward
l\ational
Committee for
Quality
Assurance
l\ational
Committee for
Quality
Assurance
l\ational
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Quality
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Medicare &
Medicaid
Services
Centers for
Medicare &
Medicaid
Services
l\ational
Committee for
Quality
Assurance
EP14AU19.298
Indicator
NQF
#i
eCQ',
41116
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.34. Geriatrics
PREVIOUSLY FINALIZED MEASURES IN THE CERIA1'RICS SET
2872e
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VerDate Sep<11>2014
National
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Type
eCQM
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Effective
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Process
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CMS15
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N/A
412
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414
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Dementia: Cognitive Assessment:
Percentage of patients, regardle" of age, with a
diagnosis of dementia for whom an assessment of
cognition is performed and the results reviewed at
least once within a 12-month period.
Dementia Associated Behavioral and
Psychiatric Symptoms Screening and
l\Ianagement:
Percentage of patients with dementia for whom
there was a documented screening for behavioral
and psychiatric symptoms, including depression,
and for whom, if symptoms screening was
positive, there was also documentation of
recommendations for management in the last 12
months.
Dementia: Safety Concen1 Screening and
Follow-Up for Patients with Dementia:
Percentage of patients with dementia or their
caregiver(s) for whom there was a documented
safety concerns screening in two domains of risk:
I) dangerousness to self or others and 2)
environmental risks; and if safety concerns
screening was positive in the last 12 months,
there was documentation of mitigation
reconnnendations, including but not limited to
referral to other resources.
Depression Remission at Twelve Months:
The percentage of adolescent patients 12 to 17
years of age and adult patients 18 years of age or
older with major depression or dysthymia who
reached remission 12 months (+1- 60 days) after
an index event date.
Opioid Therapy Follow-up Evaluation:
All patients 18 and older prescribed opiates for
longer than six weeks duration who had a followup evaluation conducted at least every three
months during Opioid Therapy documented in
the medical record.
Documentation of Signed Opioid Treatment
Agreement:
All patients 1g and older prescribed opiates for
longer than six weeks duration who signed an
opioid treatment agreement at least once during
Opioid Therapy documented in the medical
record.
Evaluation or Interview for Risk of Opioid
Misuse:
All patients 18 and older prescribed opiates for
longer than six weeks duration evaluated for risk
of opioid misuse using a brief validated
instrument (for example Opioid Risk Tool,
Screener and Opioid Assessment for Patients
with Pain, revised (SOAPP-R) or patient
interview documented at least once during Opioid
Therapy in the medical record.
E:\FR\FM\14AUP2.SGM
14AUP2
Physician
Consortium
for
Performance
Improvement
Foundation
(PCPI
ludic11tor
NQF
#I
eCQ
M
NQF
#
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41117
B.34. Geriatrics
PREVIOUSLY FINALIZED MEASt:RES IN THE GERIAl"RICS SET
Indicator
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!
National
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Percentage of Patients who Died from Cancer
Admitted to the Intensive Care Unit (ICU) in
the Last 30 Days of Life (lower score- better):
Percentage of patients who died from cancer
admitted to the ICU in the last 30 days of life.
Effective
Clinical Care
Outcome
Measure
Steward
A..tnerican
Society of
Clinical
Oncology
B. 34. Geriatrics
Indicator
I
eCQM
NQF#
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41118
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B. 34. Geriatrics
..
:\IEASl:JRES PROPOSED FOR
NQF#
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eCQM
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Percentage of visits
for patients aged 18
years and older with
documentation of a
current functional
Process
Patient
Reported
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Communication
and Care
Coordination
Person and
Caregivercentered
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Sfmt 4725
outcome assessment
using a standardized
functional outcome
assessment tool on
the date of the
encounter AND
documentation of a
care plan based on
identified functional
outcome deticiencies
on the date of the
identified
deficiencies.
International
Prostate Symptom
Score (IPSS) or
American
Urological
AssociationSymptom Index
(AUA-SI) change 612 months after
diagnosis of Benign
Prostatic
Hyperplasia:
Percentage of
patients with an
office visit within the
measurement period
and with a new
diagnosis of
clinically significant
Benign Prostatic
Hyperplasia who
have International
Prostate Symptoms
Score (IPSS) or
American Urological
Association
Symptom Index
(AUA-SI)
documented at time
of diagnosis and
again 6-12 months
later with an
improvement of 3
points.
E:\FR\FM\14AUP2.SGM
tor
~edicare &
~edicaid
fServices
~enters
This mem;ure is being
proposed for inclusion
into the Geriatrics
specialty set as a
replacement for measure
Q282: Dementia:
Functional Status
Assessment, which is
being proposed for
removaL Measure Q 182
will include the patient
population in measure
Qzgz. Measure Qlg2 is
more robust in that it
requires more frequent
assessment and a plan of
care.
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f-Jrology
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14AUP2
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performance period. W c
propose to include this
measure in the Geriatrics
specialty set as it is
clinically relevant to this
clinician type.
EP14AU19.301
·.·
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41119
B. 34. Geriatrics
Indicator
khammond on DSKBBV9HB2PROD with PROPOSALS2
NIA
VerDate Sep<11>2014
Quality
#
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18:25 Aug 13, 2019
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Type
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Type
Process
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National
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Strateey
Domain
Community/
Population
Health
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M~asure
Title
SET
And Description
.
Measure
Steward
Adult
llllllluuizatiou
Status:
Percentage of
members 19 years of
age and older who
are up-to-date on
rational
recommended
~ommi!lee
or Quality
routine vaccines for
influenza; tetanus
~ssurance
and diphtheria (Td)
or tetanus. diphtheria
and acellular
pertussis (Tdap);
zoster; and
pneumococcaL
E:\FR\FM\14AUP2.SGM
14AUP2
Rationale for Indush!ll
This measure is being
proposed as a new
measure for the 2020
perfom1ance period, We
propose to include this
measure in the Geriatrics
specialty set as it is
clinically relevant to this
clinician type,
EP14AU19.302
'
NQF#
I
eCQM
NQF#
41120
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.34. Geriatrics
VerDate Sep<11>2014
18:25 Aug 13, 2019
Jkt 247001
PO 00000
Frm 00640
Fmt 4701
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
EP14AU19.303
khammond on DSKBBV9HB2PROD with PROPOSALS2
PREVIOlli\T,VFINALJZRD MEASURES fROPOSRD FOR REMOVAL FROM THR GERIATRICS SRT
Note: In this propoJ>ed rule, CMS.pr()poses the remov;ll of the following measure(s) below from this specific specialty measure set based upon review of updates made
to existing quality measure s ecificatjons, the pt()posed addition of.new measures for inclusion in MIPS, and the feedback provided by specialty societies.
National
N,QF #I
CMS
Measure Title and
Measure
Collection
Mea~2014
18:25 Aug 13, 2019
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Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
EP14AU19.304
khammond on DSKBBV9HB2PROD with PROPOSALS2
PREVIQUSL y FINALIZED MEASURES fROPOSED FOR
FROM IRE GERIATRICS SET
.Note: In this propo.sed rule, CMSpr()posesthe remov;il of the following measure(s) below from this specific specialty measure set based upon review of updates made
to existing quality. measure specifications, the proposed addition of new measures for inclusion in MIPS, and the feedhacl:c provided by specialty societies.
National
NQF#/
CMS
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Collection
Quality
Quality
Measure Title mtd
Measure
.eCQM
Rationale for Reumval
eCQM
Type
Type
Strategy
Desniptiou
#
Stewaxd
~QF>#
ID
..
Domain
i
Dementia: Functional Status
This measure is heing
Assessment:
Effective
Percentage of patients with
American
proposed for removal
MIPS CQMs
NIA
NIA
n2
dementia for whom an
beginning with the 2022
Academy of
Process
Clinical
Specifications
Neurology
MIPS Payment Year. See
Care
assessment of functional
status was performed at least
Table C for rationale.
once in the last 12 months.
Dementia: Education and
Suppmt of Caregivei'S fm·
Patients with Dementia:
Percentage of patients with
Communic
This measure is being
dementia whose caregiver(s)
ation and
American
proposed for removal
MIPS CQMs
were provided with education
NIA
NIA
ns
Process
Care
beginning with the 2022
Academy of
on dementia disease
Specifications
Neurology
Coordinatio
MIPS Payment Year. See
management and health
n
Table C for rationale.
behavior changes AND were
referred to additional
resources for support in the
last 12 months.
Zoster (Shingles)
T11is measure is being
Centers for
Vaccination:
Community
proposed for removal
MIPS CQMs
T11e percentage of patients
Medicare &
N!A
474
NIA
Process
/Population
beginning with the 2022
Specifications
aged 50 years and older who
Medicaid
Health
MIPS Payment Year. See
have had the Shingrix zoster
Services
Table C for rationale.
(shin<>les) vaccination.
41122
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.35. Urgent Care
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed rule, the Urgent Care
specialty set takes additional criteria into consideration, which includes, but is not limited to: whether the measure reflects current clinical
guidelines and the coding of the measure includes relevant clinician types. CMS may reassess the approptiateness of individual measures, on a
case-by-case basis, to ensure appropriate inclusion in the specialty set. Measure tables in this set include previously finalized measures that we
are maintaining within the set, measures that are proposed to be added, and measures that are proposed tor removal, as applicable. We request
comment on the measLrres available in the proposed Urgent Care specialty set.
B.35. Urgent Care
Iudicator
.
Quality
#
CMS ·.
eCQM
ID
s
!
(Appropri
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Quality
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eCQM
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MIPS CQMs
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and Cost
Reduction
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MIPS CQMs
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MIPS CQMs
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Efficiency
and Cost
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Process
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and Cost
Reduction
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Frm 00642
Patient
Safety
Fmt 4701
Sfmt 4725
URG.KNTT~ARJ<:
SB'f
..
Measure Title
and.Description
Appropriate Treatmeut for Childreu with Upper
Respiratory Iufcctiou (URI):
Percentage of children 3 months - 18 years of age
who were diagnosed with upper respiratory infection
(URI) and were not dispensed ao antibiotic
prescription on or three days after the episode.
Appropriate Tcstiug for Childrcu with
Pharyngitis:
Percentage of children 3-18 years of age who were
diagnosed with pharyngitis, ordered an antibiotic and
received a group A streptococcus (strep) test for the
episode.
Acute Otitis Externa (AOE): Systemic
Autimicrobial Therapy - Avoidauce of
Iuappropriate Use:
Percentage of patients aged 2 years and older with a
diagnosis of AOE who were not prescribed systemic
antimicrobial therapy.
A voidauce of Autibiotic Treatmeut iu Adults With
Acute Brouchitis:
The percentage of adults 18--64 years of age with a
diagnosis of acute bronchitis who were not prescribed
or dispensed an antibiotic prescription.
Documeutatiou of Curreut Medicatious ill the
Medical Record:
Percentage of visits for patients aged 18 years and
older for which the MIPS eligible clinician attests to
documenting a list of current medications using all
immediate resources availahle on the date of the
encounter. This list must include ALL known
prescriptions, over-the-counters, herbals, and
vitaillinlmineralldietary (nutritional) supplements
AND must contain the medications' name, dosage,
frequency and mule of administration.
E:\FR\FM\14AUP2.SGM
14AUP2
~Ieasure
Steward
'lational
Committee for
Quality
Assurance
'lational
Committee for
Quality
Assurance
A1nerican
Academy of
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foundation
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Quality
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Centers for
:Vledicare &
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Services
EP14AU19.305
PRKVlOLSL\'lilNAL:IZJ£D Ml£ASURJ!:S lNTHJ!:
NQF
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Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41123
B.35. Urgent Care
PRRVJOt:ST,V FINALIZRDMRASHRRS TN THF, URGENT CARl'; SRT
NQF
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NQF
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#
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Type
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Type
#
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331
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*
!
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112
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!
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VerDate Sep<11>2014
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Specifications
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333
N!A
MIPS CQMs
Specifications
2803
402
N!A
MIPS CQMs
Specifications
18:25 Aug 13, 2019
Jkt 247001
PO 00000
National
Quality
Strategy
DQmalu
Measure Title
a11d Descripti
#1
Indicutor
41124
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.35. Urgent Care
PRRVJOt:ST,V FINALIZRDMRASHRRS TN THF, IfRGRNT CARll; SRT
Indicator
eCQ
M
NQF
.·
Quality
#
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eCQM
ID
Measure
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Type
Type
#
2152
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MIPS CQMs
Specifications
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VerDate Sep<11>2014
0657
464
18:25 Aug 13, 2019
N/A
Jkt 247001
MIPS CQMs
Specifications
PO 00000
Str;ltegy
Domaiu
Measure Title
aud Descrlpti
NQF
#{
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41125
B.35. Urgent Care
..
PREVIOUSLY FINALIZED MEASURES PROPOSED FOR
FROM THE URGENT CARE SET
Note: In this this proposed rule, CMS proposes the.removal of the followingmeasure(s) below from thi~ spe:cific specl(llty measure set based upon review of updates made
to existing quality measure specifications, the proposed addition of new measwes tO.. mclusio11 in MIPS and the feedback provided bv specialty societies.
·
NQF
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..
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Mea'Sure Title andDescdption
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Strategy
M
#
eCQMID
Type
Type
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NQF
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REMOVAL
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131
VerDate Sep<11>2014
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Medicare Part
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Specifications,
MIPS CQMs
Specifications
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Medicare Part
B Claims
Specifications,
MIPS CQMs
Specifications
18:25 Aug 13, 2019
Jkt 247001
Process
Effective
Clinical
Care
Conununic
Proces-.::
PO 00000
ation and
Care
Coordinatio
n
Frm 00645
Fmt 4701
Acute Otitis Externa (AOE):
Topical Therapy:
Percentage of patients aged 2
years and older with a diagnosis
of AOE who "ere prescribed
topical preparations.
Pain Assessment and FollowUp:
Percentage of visits for patients
aged I 8 years and older with
documentation of a pain
assessment using a standardized
tool( s) on each visit AN lJ
documentation of a follow-up
plan when pain is present
Sfmt 4725
American
Academy of
Otolaryngology
-Head and
Neck Surgery
1l1is measure is being
proposed for removal
beginning with the 2022
MIPS Pavment Year. See
Table C for rationale.
Centers for
Medicare &
Medicaid
Service-.::
1l1is measure is being
proposed for removal
beginning with the 2022
MIPS Payment Year. See
Table C for rationale.
E:\FR\FM\14AUP2.SGM
14AUP2
EP14AU19.308
.
#
41126
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.36. Skilled Nursing Facility
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed rule, the Skilled Nursing
Facility specialty set takes additional criteria into consideration, which includes, but is not limited to: whether the measure ret1ects current clinical
guidelines and the coding of the measure includes relevant clinician types. CMS may reassess the appropriateness of individual measures, on a
case-by-case basis, to ensure appropriate inclusion in the specialty set. Measure tables in this set include previously finalized measures that we
are maintaining within the set, measures that are proposed to be added, and measures that are proposed for removal, as applicable. We request
conum:nt on the measures available in the proposed Skilled Nursing Facility specialty set.
B.36. Skilled Nursing Facility
PREVIOUSLY FINALIZED MEASURES IN THE SKILLED NURSING FACILITY SET
NQF
§
*
§
*
§
eCQ
M
NQF
#
0067
0070;
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0083;
0083e
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#
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VerDate Sep<11>2014
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047
N/A
118
154
18:25 Aug 13, 2019
Measure
Type
Process
Process
~ational
Ql.Ullij;y
Stntegy
Domain
EITeclive
Clinical
Care
Effective
Clinical
Care
Process
Effective
Clinical
Care
Medicare Part
B Claims
Measure
Specifications,
MIPS CQ!vls
Specifications
Process
Communic
ation and
Care
C oordinatio
n
N/A
MIPS CQMs
Specifications
Process
Effective
Clinical
Care
N/A
Medicare Part
B Claims
Measure
Specifications,
MIPS CQ!vls
Specifications
Process
Patient
Safety
!
(Care
Coordinat
ion)
.Collection
Type
Jkt 247001
PO 00000
Frm 00646
Fmt 4701
Sfmt 4725
Measure Title
aJid Dekription
Coronary Artery Disease (CAD): Antiplatelet
Therapy:
Percentage of patients aged 18 years and older with a
diagnosis of coronary artery disease (CAD) seen
within a 12 month period who were prescribed aspirin
or clopidogrel.
Coronary Artery Disease (CAD): Beta-Blocker
Therapy- Prior Myocardial Infarction (MI) or
Left V entricnlar Systolic Dysfunction (LVEF <
40%):
Percentage of patients aged 18 years and older with a
diagnosis of coronary artery disease seen within a 12month period who also have a prior MI or a current or
prior LVEF < 40% who were prescribed beta-blocker
therapy.
Heart Failure (HF): Beta-Blocker Therapy for
Left Ventricnlar Systolic Dysfunction (LVSD):
Percentage of patients aged 18 years and older with a
diagnosis of heart failure (HF) with a current or prior
left ventricular ejection traction (LV EF) < 40% who
were prescribed beta-blocker therapy either within a
12-month period when seen in the outpatient setting
OR at each hospital discharge.
Advance Care Plan:
Percentage of patients aged 65 years and older who
have an advance care plan or surrogate decision
maker documented in the medical record or
documentation in the medical record that an advance
care plan was discussed but the patient did not wish
or was not able to name a surrogate decision maker or
provide an advance care plan.
Coronary Artery Disease (CAD): AngiotensinConverting Enzyme (ACE) Inhibitor or
Angiotensin Receptor Blocker (ARB) TherapyDiabetes or Left Ventricular Systolic Dysfunction
(LVEF < 40%):
Percentage of patients aged 18 years and older with a
diagnosis of coronary artery disease seen within a 12
month period who also have diabetes OR a current or
prior Left Ventricular Ejection Fraction (L VEF) <
40% who were prescribed ACE inhibitor or ARB
therapy.
Falls: Risk Assessment:
Percentage of patients aged 65 years and older with a
history of falls that had a risk assessment for falls
completed within 12 months.
E:\FR\FM\14AUP2.SGM
14AUP2
M(lasnre
SteWani
American
Heart
Association
Physician
Consortium
for
Performance
Improvement
Foundation
(PCPI®)
Physician
Consortium
For
Performance
Improvement
Foundation
(PCPI®)
National
Committee
for Quality
Assurance
A.tnerican
Heart
Association
National
Committee
for Quality
Assurance
EP14AU19.309
#I
lndkator
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41127
B.36. Skilled Nursing Facility
PREVIOUSLY FINALIZED MEASURES IN THE SKILLED NURSING FACILITY SET
Quality
#
CMS
eCQMID
*I
(Patient
Safety)
*
*
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VerDate Sep<11>2014
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N/A
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ISS
181
317
326
18:25 Aug 13, 2019
N/A
N!A
CMS22v
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Jkt 247001
).lational
Quality
Strategy
Domain
Measure Title
and Descriptiop
Communic
ation and
Care
Coordinatio
n
Falls: Plan uf Care:
Percentage of patients aged 6S years and older with a
history of falls that had a plan of care for falls
documented within 12 months.
National
Committee
for Quality
Assurance
Patient
Safety
Elder Maltreatment Screen and Follow-Up Plan:
Percentage of patients aged 6S years and older with a
documented elder maltreatment screen using an Elder
Maltreatment Screening Tool on the date of encounter
AND a documented follow-up plan on the date of the
Centers for
Medicare &
Medicaid
Measure
Type
.·
!
(Care
Coordinat
ion)
COllection
Type
Measure
Steward
.·.
Medicare Part
B Claims
Measure
Specifications,
MIPS CQMs
Specifications
Medicare Part
B Claims
Measure
Specifications.
MIPS CQMs
Specifications
Medicare Part
H Claims
Measure
Specifications,
eCQM
Specitications,
MIPS CQMs
Specifications
Medicare Part
B Claims
Measure
Specifications,
MIPS CQMs
Specifications
PO 00000
Process
Process
Service~
positive screen.
Process
Process
Frm 00647
Community
/Population
Health
Preventive Care and Screening: Screening for
High Blood Pressure and Follow-Up Documented:
Percentage of patients aged 18 years and older seen
during the submitting period who were screened for
high blood pressure AND a recommended follow-up
plan is documented based on the current blood
pressure (BP) reading as indicated.
Centers for
Medicare &
Medicaid
Services
EtTective
Clinical
Care
Atrial Fibrillation and Atrial Flutter: Chronic
Anticoagulation Therapy:
Percentage of patients aged I g years and older with
nonvalvular atrial fibrillation (AF) or atrial flutter
who were prescribed warfarin OR another I'D Aapproved oral anticoagulant drug for the prevention of
thromhoemholism during the measurement period.
American
College of
Cardiology
Fmt 4701
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
EP14AU19.310
lndicatvr
NQF
#I
eCQ
M
NQF
#
41128
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B. 36. Skilled Nursing Facility
lndkator
I
eCQM
NQF#
khammond on DSKBBV9HB2PROD with PROPOSALS2
N/A
VerDate Sep<11>2014
MEASURES PROPOSED FOR ADDITION TO TIJE SKILLED ~URSING FACILITY SET
.··
National
CMS
MP.asure
Col)ection
Quality
Measure TUie
Measure
Quality
eCQM
Type
Type
Strategy
Stewilrd
And Description
#
ID
Dmriain
.
TED
18:25 Aug 13, 2019
N/A
Jkt 247001
CMS Web
Interface
Measure
Specificatio
ns, MIPS
CQMs
Specificatio
ns
PO 00000
Communit
Process
Frm 00648
y!
Populatio
n Health
Fmt 4701
Adult Immunization Status:
Percentage of members 19 years of
age and older who arc up-to-date on
recommended routine vaccines for
intluenza; tetanus and diphtheria
(Td) or tetanus, diphtheria and
acellular pertussis (Tdap ); zoster;
and pneumococcaL
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
rational
~onunitte
~for
puality
~ssurance
Rationale for
Inclusion
This n1easure is being
proposed as a new
measure for the 2020
performance period.
We propose to
include this measure
in the Skilled Nursing
Facility specialty set
as it is clinically
relevant to this
clinician type.
EP14AU19.311
NQF#
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41129
B.36. Skilled Nursing Facility
VerDate Sep<11>2014
18:25 Aug 13, 2019
Jkt 247001
PO 00000
Frm 00649
Fmt 4701
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
EP14AU19.312
khammond on DSKBBV9HB2PROD with PROPOSALS2
PREVIOUSLY FINALIZED MEASIJRES PROPOSED FOR REMOVAL FROM TIIESKILLED NURSING FACILITY SET
Note: In this proposed rnle, CMS proposes ihe removal of the following measure(s} belmv fromihis specific specialty measure set based upon review of updates.made
to existing qualitymeasure.specifications, the proposed additio.n of new measures for inclusion in MIPS, and the feedback provided by specialty societies.
National
NQF#/
CMS
Quality
Con~tlon
Measure
Measure Title and
Measure
Qna:lity
eCQM
Rationale for Removal
~CQM ..
#
Type
Strate!!)'
Description
Steward
Type
I))
NQF#
..
Domain
Medicare Part
B Claims
Preventive Care and
Measure
Screening: Inlluen•a
Specifications,
Physician
lnummization:
This measure is being
Consortium for
eCQM
Percentage of patients aged 6
proposed for removal
Community
0041 I
CMS147 Specifications,
months and older seen for a
Performance
110
Process
/Population
beginning with the 2022
004le
v9
CMS Web
visit between October I and
Improvement
Health
MIPS Payment Year. See
Foundation
Interface
March 31 who received an
Table C for rationale.
(PCPI®)
Measure
influenza immunization OR
Specifications,
who reported previous receipt
MIPS CQMs
of an influenza immunization.
Specifications
Zoster (Shingles)
T11is measure is being
Vaccination:
Centers for
proposed for removal
Community
MIPS CQMs
Medicare &
The percentage of patients
N!A
474
NIA
Process
/Population
beginning with the 2022
Specifications
aged 50 years and older who
Medicaid
Health
MIPS Payment Year. See
Services
have had the Shingrix zoster
Table C for rationale.
(shin<>les) vaccination.
41130
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.37. Endocrinology
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed rule, the Endocrinology
specialty set takes additional criteria into consideration, which includes, hut is not limited to: whether the measure retlects current clinical
guidelines and lhe coding of the measure includes relevanl clinician lypes. CMS may reassess the appropriateness of individual measures, on a
case-by-case basis, to ensure appropriate inclusion in the specialty set. Measure tables in this set include previously fmalized measures that are
proposed tor this new measure set. We request comment on the measures available in the proposed Endocrinology specialty set.
B.37. Endocrinology
MEASrREs PROPOSED FOR ADDITION:ro
SET
. THE EN])OCRINOLOGY
.
Indicator
eCQ
M
NQF
II
Quality
#
d.7QMW
!
(Outcome
)
0059
/N/A
0046
*
§
khammond on DSKBBV9HB2PROD with PROPOSALS2
§
VerDate Sep<11>2014
0055
/N/A
0066
Type
Measure
I··· Type
..
*
§
Collection
C~IS
001
039
117
liS
18:25 Aug 13, 2019
CMS12
2v8
Medicare Part
B Claims
Measure
Specifications
,eCQM
Specifications
, CMS Web
Interface
Measure
Specifications
, MIPS CQMs
Specifications
N/A
Medicare Pmt
R Claims
Measure
Specifications
, MIPS CQMs
Specifications
CMSl3
lv8
Medicare Part
B Claims
Measure
Specifications,
eCQM
Specifications,
MIPS CQMs
Specifications
NIA
MIPS CQMs
Specifications
Jkt 247001
PO 00000
National
QU.ality
Strategy
Dolllllin
Effective
Intermediat
Clinical
e Outcome
Care
Process
Process
Process
Frm 00650
Measure Title
and Description
..
..
Diabetes: Hemoglobin Ale
(HbAlc) Poor Control (>9% ):
Percentage of patients 18-75 years of
age with diabetes who had
hemoglobin Ale> 9.0% during the
measurement period.
Effective
Clinical
Care
Screening for Osteoporosis for
Women Aged 65-85 Years of Age:
Percentage of female patients aged
65-85 years of age who ever had a
central dual-energy X-ray
absorptiometry (DXA) to check for
osteoporosis.
Effective
Clinical
Care
Diabetes: Eye Exam:
Percentage of patients 18-75 years
of age with diabetes who had a retinal
or dilated eye exam by an eye care
professional dming th~ measurement
period or a negative retinal or dilated
eye exam (no evidence of
retinopathy) in the 12 months prior to
the measurement period.
EJiective
Clinical
Care
Coronary Artery Disease (CAD):
Angiotensin-Converting Enzyme
(ACE) Inhibitor or Angiotensin
Receptor Blocker (ARB) Therapy Diabetes or Left Ventricular
Systolic Dysfunction (LVEF <
40%):
P~rcentage of patients aged 18 years
and older with a diagnosis of
coronary artery disease seen within a
12 month period who also have
diabetes OR a current or prior Left
Ventricular Ejection Fraction (LVEF)
< 40% who were prescribed ACE
inhibitor or ARB therapy.
Fmt 4701
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
Measure
Steward
Rationale for
bicbisi.on
·..
National
Committee
for Quality
Assurance
National
Committee
for Quality
Assurance
National
Committee
for Quality
Assurance
We propose to include
this measure in the
Endocrinology
specialty set as it is
clinically relevant to
this clinician type.
We propose to
include this mea-..ure
in the Endocrinology
specialty set based
upon stakeholder
feedback requesting
inclusion in a
specialty set for this
clinician type.
We propose to
include this measure
in the Endocrinology
specialty set based
upon stakeholder
feedback requesting
inclusion in a
specialty set for this
clinician type.
We propose to
include this measure
in the Endocrinology
specialty set based
A.merican
upon stakeholder
Heatt
feedback requesting
Association
inclusion in a
specialty set for this
clinician type.
EP14AU19.313
·.
NQF
#I
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41131
B.37. Endocrinology
MEASI:RES PROPOSED FOR
·.
NQF
#I
Indicator
eCQ
M
N(}.F
#
*
§
0062
/NIA
0417
Q~alit:y
#
119
126
CMS
Collection
Type
eCQMID
ADD ITION TO THE ENDOCRINOLOGY SET ·.
JVleasure
~'JIC
..
National
Measure 'Title
and. Description
Qnality
Strategy
Measure
mmmin
CMS13
4v8
N/A
eCQM
Specifications
, MIPS CQMs
Specifications
MIPS CQMs
Specifications
Process
Process
Rationale for
Inclusion
Steward
·· ..
EJiective
Clinical
Care
Diabetes: Medical Attention for
Nephropathy:
The percentage of patients 18-75
years of age with diabetes who had a
nephropathy screening test or
evidence of nephropathy during the
n1easuretnent period.
Effective
Clinical
Care
Diabetes Mellitus: Diabetic Foot
and Ankle Care, Peripheral
Neuropathy- Neurological
Evaluation: Percentage of patients
aged 1g years and older with a
diagnosis of diabetes mellitus who
had a neurological examination of
their lower extremities within 12
months.
National
Committee
for Quality
Assurance
We propose to
include this measure
in the Endocrinology
specialty set based
upon stakeholder
feedback requesting
inclusion in a
specialty set for this
clinician type.
We propose to
include this measure
in the Endocrinology
American
specialty set based
Podiatric
upon stakeholder
Medical
feedback requesting
Association inclusion in a
specialty set for this
clinician type.
Preventivt' Cart" and SL-reening:
~
l2g
CMS69
v8
Process
Communit
y/Populatio
n Health
MIPS CQMs
Specifications
I
(Patient
khammond on DSKBBV9HB2PROD with PROPOSALS2
~afety)
VerDate Sep<11>2014
0419
I
0419e
130
18:25 Aug 13, 2019
CMS6g
v9
Medicare Part
B Claims
Measure
Specitications
,eCQM
Specifications
, MIPS CQMs
Specifications
Jkt 247001
PO 00000
Process
Frm 00651
Patient
Safety
Fmt 4701
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
Centers for
Medicare &
Medicaid
Services
Centers for
Medicare &
Medicaid
Services
We propose to
include this measure
in the Endocrinology
specialty set based
upon stakeholder
feedback requesting
inclusion in a
specialty set for this
clinician type.
We propose to
include this measure
in the Endocrinology
specialty set based
upon stakeholder
feedback requesting
inclusion in a
specialty set for this
clinician type.
EP14AU19.314
*
0421
I
0421e
Medicare Part
B Claims
Measure
Specifications
.eCQM
Specitications
Rody '1ass Index (RMI) Screening
and Follow-Up Plan:
Percentage of patients aged 18 years
and older with a DMI documented
during the current encounter or
during the previous twelve months
AND with a BMI outside of normal
parameters. a follow-up plan is
documented during the encounter or
during the previous twelve months of
the current encounter.
Normal Parameters:
Age 18 years and older Blv!I 2 18.5
and < 25 kg/m 2
Documentation of Current
Medications in the Medical
Record:
Percentage of visits for patients aged
18 years and older for which the
MIPS eligible clinician attests to
documenting a list of current
medications using all immediate
resources available on the date of the
encounter. l11i~ list must include
AT J, known prescriptions, over-thecmmters, herbals. and
vitamin/mineral/dietary (nutritional)
supplements A'ID must contain the
medications' name, dosage,
ffcqucncy and route of
administration.
41132
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.37. Endocrinology
MEASI:RES PROPOSED FOR
·.
NQF
#I
Indicator
eCQ
M
NQ.F
Q~alit:y
#
CMS
#
*
0418
I
0418c
134
Collection
Type
eCQMID
CMS2v
9
Medicare Part
B Claims
Measure
Specifications
,eCQM
Specifications
, CMS Web
Interface
Measure
Specifications
, MIPS CQMs
Specifications
ADD ITION TO THE ENDOCRINOLOGY SET ·.
JVleasure
~'JIC
Process
..
National
Measure 'Title
and. Description
Qnality
Strategy
D2014
NIA
374
18:25 Aug 13, 2019
CMS50
v8
eCQM
Specifications
, MIPS CQMs
Specifications
Jkt 247001
PO 00000
Process
Conmmnit
yl
Population
Health
Effective
Intermediat Clinical
e Outcome Care
Process
Frm 00652
Conmumic
ation and
Care
Coordinati
on
Fmt 4701
Three rates are reported:
a. Percentage of patients aged 18
years and older who were screened
for tobacco use one or more times
within 24 months
b. Percentage of patients aged 18
years and older who were screened
for tobacco u-;e and identified as a
tobacco user who r~ceived tobacco
cessation inten'ention
c. Percentage of patients aged 18
years and older who were screened
for tobacco use one or more times
within 24 months AND who received
tobacco cessation intervention if
identified as a tobacco user.
Controlling High Blood Pressure:
Percentage of patients 1g - gs years
of age who had a diagnosis of
hypertension and whose blood
pressure was adequately controlled (<
140190 mmHg) during the
measurement period.
Closing the Referral Loop: Receipt
of Specialist Report:
Percentage of patients with referrals,
regardless of age, for which the
referring provider receives a report
from the provider to whom the
patient was referred.
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
Physician
Consmtium
for
Perfonnanc
e
Improveme
nt
Foundation
(PCPI®)
National
Committee
for Quality
Assurance
Centers for
Medicare &
Medicaid
Services
We propose to
include this measure
in the Endocrinology
specialty set based
upon stakeholder
feedback requesting
inclusion in a
specialty set for this
clinician type.
W c propose to
include this measure
in the Endocrinology
specialty set based
upon stakeholder
feedback requesting
inclusion in a
specialty set for this
clinician type.
We propose to
include this measure
in the Endocrinology
specialty set based
upon stakeholder
feedback requesting
inclusion in a
specialty set for this
clinician type.
EP14AU19.315
*
**
Medicare Part
l:lClaims
Measure
Specifications
,eCQM
Specifications
, CMS Web
Interface
Measure
Specifications
, MIPS CQMs
Specifications
Percentage of patients aged 18 years
and older who were screened for
tobacco use one or more times within
24 months AND who received
tobacco cessation intervention if
identified as a tobacco user
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41133
B.37. Endocrinology
ADD ITION TO THE ENDOCRINOLOGY SET ·.
NQF
Indicator
*
#I
eCQ
M
NQF
#
0053
Quality
#
418
MEASI:RES PROPOSED FOR
·.
.··
M<'asnre
Collection
CMS
Type
cL'QMm
Type
N/A
Medicare Part
B Claims
Measure
Specifications
. MIPS CQMs
Specifications
Process
..
National
Quality
Meastire Title
and .Description
Strategy
D2014
N/A
462
18:25 Aug 13, 2019
CMS64
5v3
eCQM
Specifications
Jkt 247001
PO 00000
Process
Frm 00653
Effective
Clinical
Care
Fmt 4701
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
Centers for
Medicare &
Medicaid
Services
Oregon
Urology
Institute
We propose to
include this measure
in the Endocrinology
specialty set based
upon stakeholder
feedback requesting
inclusion in a
specialty set for this
clinician type.
We propose to
include this measure
in the Endocrinology
specialty set based
upon stakeholder
feedback requesting
inclusion in a
specialty set for this
clinician type.
EP14AU19.316
*
CMS34
7v3
eCQM
Specifications
, CMS Web
Interface
Measure
Specifications
, MIPS CQMs
Percentage of the following patients all considered at high risk of
cardiovascular events -who were
prescribed or were on statin therapy
during the tneasurement period:
• Adults aged 2' 21 years who were
previously diagnosed with or
currently have an active diagnosis of
clinical atherosclerotic
cardiovascular disease (ASCVD):
OR
• Adults aged 2'21 years who have
ever had a fasting or direct lowdensity lipoprotein cholesterol
(T ,DI rC) level 2 190 rngidT, or
were previously diagnosed with or
currently have an active diagnosis
of familial or pure
hypercholesterolemia OR
• Adults aged 40-75 years with a
diagnosis of diabetes with a fasting
or direct LDL-C level of70-189
mgidL.
Hone Density Evaluation for
Patients with Prostate Cancer and
Receiving Androgen Deprivation
Therapy:
Patients determined as having
prostate cancer who are currently
starting or undergoing androgen
deprivation therapy (ADT), for an
anticipated period of 12 months or
greater (indicated hy HCPCS code)
and who receive an initial bone
density evaluation. T11e bone density
evaluation must be prior to the start
of ADT or within 3 months of the
start of ADT.
41134
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.37. Endocrinology
MEASl:RES PROPOSED FOR ADD IT ION TO THE ENDOCRINOLOGY SET ·.
Indi<-aior
#I
cL'Q
M
NQF
QuaJit:y
#
Collection
Type
CM!i
cC'QMID
.
khammond on DSKBBV9HB2PROD with PROPOSALS2
Mcailure
Steward
TBD
Adult Immunization Status:
CMS Web
Interface
1\;feasure
Specifications
Process
18:25 Aug 13, 2019
Jkt 247001
PO 00000
Frm 00654
Communit
y/Populatio
n Health
Fmt 4701
Rationale for
InClusion
·.
·.
, MIPS CQMs
Specifications
VerDate Sep<11>2014
Mcastirc Title
and Description
Stratt!J!Y
Domain
#
N/A
.··
National
Quality
l\>leasure
Type
Percentage of members 19 years of
age and older who are up-to-date on
recon1n1ended routine vaccines for
influenza; tetanus and diphthe1ia (Td)
or tetanus, diphtheria and acellular
pertussis (Tdap ); zoster; and
pneumococcaL
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
National
Con1miUee
for Quality
Assurance
This measure is being
proposed as a new
measure for the 2020
performance period.
Vle propose to include
this memmre in the
Endocrinology
specialty set as it is
clinically relevant to
this clinician type.
EP14AU19.317
·.
NQF
41135
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.38. Nutritionillietician
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed mle, the
Nutrition/Dietician specialty set takes additional criteria into consideration, which includes, but is not limited to: whether the measure reflects
current clinical guidelines and the coding of the measure includes relevant clinician types. CMS may reassess the appropriateness of individual
measures, on a case-by-case basis, to ensure appropriate inclusion in the specialty set. Measure tables in this set include previously fmalized
measures that are proposed tor this new measure set. We request comment on the measures available in the proposed Nutrition/Dietician
specialty set.
B.38. Nutritionillietician
ludic
a tor
NQF
#I
eCQ
M
NQF
Quality
#
CMS
eCQMJD
#
*
§
!
(Outc
ome)
*
§
0059/
N!A
0421/
042lc
001
128
CMS122
v8
0419/
0419c
130
khammond on DSKBBV9HB2PROD with PROPOSALS2
Medicare Part
BClaims
Measure
Specifications,
eCQM
Specifications
CMS Web
Interface
Measure
Specifications,
MIPS CQMs
Specifications
CMS69v
8
CMS68v
9
Medicare Part
BClaims
Measure
Specifications,
cCQM
Specifications,
MIPS CQMs
Specifications
)
VerDate Sep<11>2014
Type;
Medicare Part
BClaims
Measure
Specifications,
cCQM
Specifications,
MIPS CQMs
Specifications
!
(Patie
nt
Safety
Collection
18:25 Aug 13, 2019
Jkt 247001
PO 00000
.
ADDITION TO THE NLTRITIONJDIETICIAN SET
Measur
..
e
Type
Quality
Strategy
Measure Title
and Description
Domain
Community
/Population
Health
Process
Patient
Safety
Frm 00655
Fmt 4701
Mea.~nr.e
Steward
Diabetes: Hemoglobin Ale
(IIbAlc) Poor Control (>9%):
Percentage of patients 18-75 years of
age with diabetes who had
hemoglobin Ale> 9.0% dnring the
rneasurernent period.
Intermedia Effective
te
Clinical
Outcome
Care
Process
'
National
Preventive Care and Screening:
Body Mass Index (BMI) Screening
and Follow-Up Plan:
Percentage of patients aged 18 years
and older with a BMI documented
during the current encounter or
during the previous twelve months
AND with a BMI outside of normal
parameters, a follow-up plan is
documented during the encounter or
dnring the previous twelve months
of the cuiTent encounter.
Normal Parameters:
Age 18 years and older BMI 2' 18. 5
and< 25 kg/m 2
Documentation of Current
Medications in the Medical
Record:
Percentage of visits for patients aged
18 years and older for which the
MIPS eligible clinician attests to
documenting a list of current
medications using all immediate
resources available on the date of the
encounter. This list must include
ALL known prescriptions, over-thecounters, herbals, and
vitamin/mineral/dietary (nutritional)
snpplements AND mnst contain the
medications· name. dosage,
freqnency and ronte of
administration.
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
Rationale for
Inclusio11
National
Committee
for Quality
Assurance
W c propose to include
this measure in the
N utriti on/Dietician
specialty set as it is
clinically relevant to
this clinician type.
Centers for
Medicare &
Medicaid
Services
We propose to include
this measure in the
N utriti on/Dicti cian
specialty set as it is
clinically relevant to
this clinician type.
Centers for
Medicare &
Medicaid
Services
We propose to include
this measure in the
N utriti on/Dicti cian
specialty set as it is
clinically relevant to
this clinician type.
EP14AU19.318
l\lEASURES PROPOS.ED FOR
.•
41136
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.38. N utritiun/Dietidan
1\'IRASTTRF,S PROPOSlW. FOR
l'IQF
Indic
a tor
#I
eCQ
M
NQF
Quality
#
CMS
eCQMID
Collection
Type
A DDTTJON TO THE NI:TRITTON/DIRTICIAN SRT
Measur
e
Type
#
*
!
(Patie
nt
Safety
)
§
NIA
NIA
N/A
lSI
239
CMS155
v8
Medicare Part
R Claims
Measure
Specifications,
MIPS CQMs
Specifications
eCQM
Specifications
Nationlil
Quality
Measure Title
and l>escription
Strategy
l>omain
Process
Patient
Safety
Process
Community
I
Population
Health
Measure
Steward
Elder Maltreatment Screen and
Follow-lip Plan:
Percentage of patients aged 65 years
and older with a documented elder
maltreatment screen using an Elder
Maltreatment Screening tool on the
date of encounter AND a
documented follow-up plan on the
date of the positive screen.
Weight Assessment and Counseling
for Nuhition and Physical Acthity
for Children and Adolescents:
Percentage of patients 3·17 years of
age who had an outpatient visit with a
Primary Care Physician (PCP) or
Ohstetrician/Gynecologist (OR/GYN)
and who had evidence of the
following during the measurement
period. Three rates are reported.
Percentage of patients with height,
weight, and body mass index
(BMI) percentile documentation.
Percentage of patients with
counseling for nutrition.
Percentage of patients with
counseling for physical activity.
Preventive Care and Screening:
Unhealthy Alcohol I:se: Screening
& Brief Counseling:
Percentage of patients aged 18 years
and older who were screened for
unhealthy alcohol use using a
systematic screening method at least
once within the last 24 months AND
who received brief counseling if
identified as an unhealthy alcohol
user.
.
.
Rati~nlile for
Inclusion
Centers for
Medicare &
Medicaid
Services
We propose to include
this measure in the
Nutrition/Dietician
specialty set as it is
clinically relevant to
this clinician type.
National
Committee
for Quality
Assurance
We propose to include
this measure in the
N utriti on/Dietician
specialty set as it is
clinically relevant to
this clinician type.
•
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Specifications
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I
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EP14AU19.319
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2152
Physician
Consortium
for
We propose to include
Performanc
this measure in the
c
N utriti on/Dietician
h11proveme
specialty set as it is
nt
clinically relevant to
Foundatio
this clinician type.
n
(PCP!@)
41137
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.39. Pulmonology
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed rule, the Puh11onology
specialty set takes additional criteria into consideration, which includes, but is not limited to: whether the measure reflects current clinical
guidelines and the coding of the measure includes relevant clinician types. CMS may reassess the appropriateness of individual measures, on
a case-by-case basis, to ensure appropriate inclusion in the specialty set. Measure tables in tllis set include previously finalized measures that
are proposed for this new measure set. We request comment on the measures available in the proposed Puh11onology specialty set.
B.39. Pulmonology
lndic
ator
NQF
#!
eCQ
Quality
M
#
CMS
l•eCQM Ill
Collectilm
Type
N/A
Medicare
Part B
Claims
Measure
Specification
s, MIPS
CQMs
Specification
s
Measnr
e
'l'ype
NQF
#
!
(Care
Coord
0326
047
inatio
n)
0102
052
N/A
Medicare
Part B
Claims
Measure
Specification
s, MIPS
CQMs
Specification
s
Process
National
Measure Title
and nescription
Qniility
Strategy
Domain
Communic
ation and
Care
Coordinatio
n
Process
Effective
Clinical
Care
Process
Community
!Population
Health
Frm 00657
Fmt 4701
Medicare
Part B
Claims
Measure
*
khammond on DSKBBV9HB2PROD with PROPOSALS2
§
•.
MEASURES PROPOSEDFORADDITION TO l'HE PULMONOLOGY SET
0421 I
0421c
VerDate Sep<11>2014
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8
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Specification
s, eCQM
Specification
s, MIPS
CQMs
Specification
s
Jkt 247001
PO 00000
Measure
Steward
Advance Care Plan:
Percentage of patients aged 65 years
and older who have an advance care
plan or surrogate decision maker
documented in the medical record or
documentation in the medical record
that an advance care plan was
discussed but the patient did not
wish or was not able to name a
surrogate decision maker or provide
an advance care plan.
Chronic Obstructive Pubnonary
Disease (COPU): Long-Acting
Inhaled Bronchodilator Therapy:
Percentage of patients aged 18 years
and older with a diagnosis of COPD
(FEVl/FVC < 70%) and who have
an FEV1less than 60% predicted
and have symptoms who were
prescribed a long-acting inhaled
bronchodilator.
Preventive Care and Screening:
Body Mass Index (BMI) Screening
and Follow-Up Plan:
Percentage of patients aged 18 years
and older with a BMI documented
during the current encounter or
during the previous twelve months
AND with a DMI outside of nom1al
parameters, a follow-up plan is
documented during the encounter or
during the previous twelve months
of the current encounter.
Korrnal Parameters:
Age 18 years and older B\1I :c> 18.5
and < 25 kg/m 2
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
National
Committee
for Quality
Assurance
Rationale for
Inclusion
We propose to include
this measure in the
Pulmonology specialty
set as it is clinically
relevant to this
clinician type.
American
Thoracic
Society
We propose to include
this measure in the
Pulmonology specialty
set as it is clinically
relevant to this
clinician type.
Centers for
Medicare &
Medicaid
Services
We propose to include
this measure in the
Pulmonology specially
set as it is clinically
relevant to this
clinician type.
EP14AU19.320
..
41138
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.39. Pulmonology
MEASURES J,>ROPOSED FOR ADDITION TO THE PULMONOLOGY SET
NQF
I
#j
ludic
.lltor
eCQ
M
NQF
#
Quality
#
Measur
CMS
eCQMID
!
(Patie
nt
Safety
0419 I
0419e
130
CMS68v
9
)
Collection
Type
Medicare
Part R
Claims
Measure
Specification
s, eCQM
Specification
s, MIPS
CQMs
Specification
s
e
Type
Process
National
Quality
Strategy
Domain
Measure Title
and Descrlptil}n
Measure
SteWard
Documentation of Current
Medications in the Medical
Record:
Percentage of visits for patients aged
1S years and older for which the
MIPS eligible clinician attests to
documenting a list of current
medications using all immediate
resources available on the date of the
encounter. This list must include
ALL known prescriptions, over-thecounters, herbals, and
vitamin/mineralldietary (nntritional)
snpplements AND must contain the
medications' name, dosage,
frequency and route of
administration.
Preventive Care and Screening:
Tobacco llse: Screening and
Cessation Intervention:
Percentage of patients aged 18 years
and older who were screened for
Patient
Safety
Rationale for
Inclusion
Centers for
Medicare &
Medicaid
Services
We propose to in dude
this measure in the
Pulmonology specialty
set as it is clinically
relevant to this
clinician type.
Physician
Consortium
for
Pcrformanc
e
lmproveme
nt
Foundation
(PCPI®)
We propose to include
this measure in the
Pulmonology specialty
set as it is clinically
relevant to this
clinician type.
tobacco use one or more times
within 24 months AND who
received tobacco cessation
intervention if identified as a tobacco
Medicare
Part B
Claims
user.
Measure
*
**
9
0028 I
0028e
226
CMS138
v8
Specification
s, eCQM
Specification
s, CMS Web
lntertace
Measure
Specification
s, MIPS
CQMs
Specification
s
Process
Community
I
Population
Health
Three rates are reported:
a. Percentage of patients aged 18
years and older who were screened
for tobacco use one or more times
within 24 months
b. Percentage of patients aged 18
years and older who were screened
for tobacco use and identified as a
tobacco user who received tobacco
cessation intervention
c. Percentage of patients aged 18
years and older who were screened
for tobacco use one or more times
within 24 months AND who
received tobacco cessation
intervention if identified as a tobacco
user.
s
!
khammond on DSKBBV9HB2PROD with PROPOSALS2
(Outc
orne)
0018 I
NIA
VerDate Sep<11>2014
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v8
Intermedia Effective
e
Clinical
Outcome
Care
Measure
Specification
s, MIPS
CQMs
Specification
s
18:25 Aug 13, 2019
Jkt 247001
PO 00000
Frm 00658
Fmt 4701
Controlling High Blood Pressure:
Percentage of patients 1X- X5 years
of age who had a diagnosis of
hypertension and whose blood
pressure was adequately controlled
(< 140190 mmHg) during the
measurement period.
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
National
Committee
for Quality
Assurance
We propose to include
this measure in the
Pulmonology specialty
set as it is clinically
relevant to this
clinician type.
EP14AU19.321
*
Medicare
Part B
Claims
Measure
Specification
s, eCQM
Specification
s, CMS Web
Interface
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41139
B.39. Pulmonology
ludic
.ator
eCQ
M
NQF
#
Quality
#
CMS
eCQMID
0022
I
NIA
NIA
NIA
!
(Care
Coord
inatio
n)
!
(Outc
ome)
NIA
NIA
khammond on DSKBBV9HB2PROD with PROPOSALS2
2152
VerDate Sep<11>2014
238
CMS156
v8
NIA
MIPS CQMs
Specification
s
277
NIA
MIPS CQMs
Specification
s
CMSSOv
8
eCQM
Specification
s, MIPS
CQMs
Specification
s
279
374
Type
eCQM
Specification
s, MIPS
CQMs
Specification
s
*I
(Patie
nt
Safety
)
Collection •
398
431
18:25 Aug 13, 2019
NIA
NIA
MIPS CQMs
Specification
s
MIPS CQMs
Specification
s
Jkt 247001
PO 00000
Measur
e
Type
National
Quality
Strategy
Domain
Process
Patient
Safety
Process
Effective
Clinical
Care
Measure Title
and Description
Process
Effective
Clinical
Care
Process
Communic
ation and
Care
Coordinatio
n
Outcome
Effective
Clinical
Care
Community
Process
Frm 00659
I
Population
Health
Fmt 4701
L se of High-Risk Medications in
the Elderly:
Percentage of patients 65 years of
age and older who were ordered
high-risk medications. Two rates are
submitted.
(I) Percentage of patients who were
ordered at least one high-risk
medication.
(2) Percentage of patients who were
ordered at least two of the same
high-risk medications.
Sleep Apnea: Severity Assessment
at Initial Diagnosis:
Percentage of patients aged IS years
and older with a diagnosis of
obstructive sleep apnea who had an
apnea hypopnea index (AHI) or a
respiratory disturbance index (RDI)
measured at the time of initial
diagnosis.
Sleep Apnea: Assessment of
Adherence to Positive Airway
Pressure Therapy:
Percentage of visits for patients aged
18 years and older with a diagnosis
of obstructive sleep apnea who were
prescribed positive airway pressure
therapy who had documentation that
adherence to positive airway
pressme therapy was objectively
measured.
Closing the Referral Loop: Receipt
of Specialist Report:
Percentage of patients with referrals,
regardless of age, for which the
referring provider receives a report
from the provider to whom the
patient was referred.
Optimal Asthma Control:
Composite measme of the
percentage of pediatric and adult
patients whose asthma is wellcontrolled as demonstrated by one of
three age appropriate patient
reported outcome tools and not at
risk for exacerbation.
Preventive Care and Screening:
Lnhealthy Alcohol IJse: Screening
& Brief Counseling:
Percentage of patients aged 18 years
and older who were screened for
unhealthy alcohol use using a
systematic screening method at least
once within the last 24 months AND
who received brief counseling if
identified as an unhealthy alcohol
user.
Sfmt 4725
E:\FR\FM\14AUP2.SGM
Measure ·.
SteWard
Rationale for
Inclusion
National
Committee
for Quality
Assurance
We propose to include
this measure in the
Pulmonology specialty
set as il is clinically
relevant to this
clinician type.
American
Academy o
Sleep
Medicine
We propose to include
this measure in the
Pulmonology specially
set as it is clinically
relevant to this
clinician type.
American
Academy o
Sleep
Medicine
We propose to include
this measure in the
Pulmonology specialty
set as it is clinically
relevant to this
clinician type.
Centers for
Medicare &
Medicaid
Services
We propose to include
this measure in the
Pulmonology specialty
set as it is clinically
relevant to this
clinician type.
Minnesota
Community
Measureme
nt
We propose to include
this measure in the
Pulmonology specialty
set as it is clinically
relevant to this
clinician type.
Physician
Consortiu
mfor
Perforrnan
ce
lmprovem
ent
Foundatio
n
(PC PilE)
We propose lo
include this measure
in the Pulmonology
specialty set as it is
clinically relevant to
this clinician type.
14AUP2
EP14AU19.322
MEASURES J,>ROPOSED FOR ADDITION TO THE PULMONOLOGY SET
NQF
#I
41140
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.39. Pulmonology
• MEAS'ORES J)ROPOSED FOR ADDITION TO THE PULMONOtOGY SET
NQF
ludic
!)tor
#i
eCQ
M
NQF
I
Quality
#
CMS
eCQMID
Collection
Type
.··
Measur
National
. Quality
Strategy
Domain
Measure Title
and Description
Process
Efficiency
and Cost
Reduction
Medication Management for
People with Asthma:
The percentage of patients 5-64
years of age during the performance
period who were identified as having
persistent asthma and were
dispensed appropriate medications
that they remained on for at least
75% of their treatment period.
Frm 00660
Fmt 4701
e
Type
Measure
SteWard
Rationale for
Inclusion
#
I
khammond on DSKBBV9HB2PROD with PROPOSALS2
(Effie
iency)
N/A
VerDate Sep<11>2014
444
18:25 Aug 13, 2019
N/A
MIPS CQMs
Specification
s
Jkt 247001
PO 00000
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
National
Committee
for Quality
Assurance
We propose to include
this measure in the
Pulmonology specialty
set as it is clinically
relevant to this
clinician type.
EP14AU19.323
§
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41141
B.40. Chiropractic Medicine
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed rule, the Chiropractic
Medicine specialty set takes additional criteria into consideration, which includes, but is not limited to: whether the measure reflects current
clinical guidelines and the coding of the measure includes relevant clinician types. CMS may reassess the appropriateness of individual
measures, on a case-by-case basis, to ensure appropriate inclusion in the specialty set. Measure tables in this set include previously fmalized
measures that are proposed tor this new measure set. We request comment on the measures available in the proposed Chiropractic Medicine
specialty set.
B.40. Chiropractic Medicine
MEA,SURES PROPOSED FOR ADDITION TO THE CHIROPRACTIC MEDICINE SET
fudic
at<1r
NQF
#I
eCQ
M
NQF
Quali
ty#
CMS
eCQMID
Collection
Type
Measu
re
Type
#
Natiooal
Quality
Measure Title
and Description
Strategy
Domain
Measure
Steward
Rationale for
fuclusion
Centers for
Medicare &
Medicaid
Services
We propose to include
this measure in the
Chiropractic 'v!edicine
specialty set as it is
clinically relevant to
this clinician type.
Focus on
Therapeutic
Outcomes,
Inc.
We propose to include
this measure in the
Chiropractic 'v!edicine
specialty set as it is
clinically relevant to
this clinician type.
·.
Functional Outcome Assessment:
*
!
(Care
Coord
inatio
n)
2624
182
N/A
Medicare Part
BClaims
Measure
Specifications,
MIPS CQMs
Specifications
Process
Communi
cation and
Care
Coordinat
10n
Percentage of visits for patients
aged 18 years and older with
documentation of a current
functional outcome assessment
using a standardized functional
outcome assessment tool on the
date of the encounter AND
documentation of a care plan based
on identified functional outcome
deficiencies on the date of the
identified deficiencies.
*
khammond on DSKBBV9HB2PROD with PROPOSALS2
!
(Outc
orne)
0422
VerDate Sep<11>2014
217
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N/A
MIPS CQMs
Specifications
Jkt 247001
PO 00000
Communi
Patient
cation and
Reported Care
Outcome Coordinat
10n
Frm 00661
Fmt 4701
A patient-reported outcome
measure of risk-adjusted change in
functional status for patients aged
14 years+ with knee impairments.
The change in functional status
(FS) is assessed using the Knee FS
patient-reported outcome measure
(PROM) (©2009-2019 Focus on
Therapeutic Outcomes, Inc.). The
measure is adjusted to patient
characteristics known to be
associated with FS outcomes (risk
adjusted) and used as a
performance measure at the patient
level, at the individual clinician,
and at the clinic level to assess
quality. The measure is available as
a computer adaptive test, for
reduced patient burden, or a short
form (static measure).
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
EP14AU19.324
Functional Status Change for
Patients with Knee Impairments:
41142
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.40. Chiropractic Medicine
...
MEASURES PROPOSED FOR ADDITION TO THECliiROPRACTIC MEDICINE. SET
··.
Measu
Quali
ty#
CMS
eCQMID
Collection
Type
Comn1uni
0423
218
N/A
MIPS CQMs
Specifications
*
!
(Outc
orne)
0424
219
NIA
MIPS CQMs
Specifications
Patient
cation and
Reported Care
Outcome Coordinat
ion
Communi
Patient
cation and
Reported Care
Outcome Coordinat
khammond on DSKBBV9HB2PROD with PROPOSALS2
IOU
VerDate Sep<11>2014
.
Measure Title
and Description
Measure
Steward
Rationale for
Inclusion
Focus on
Therapeutic
Outcomes,
Inc.
We propose to include
this measure in the
Chiropractic Medicine
specialty set as it is
clinically relevant to
this clinician type.
Focus on
Therapeutic
Outcomes,
Inc.
We propose to include
this measure in the
Chiropractic Medicine
specialty set as it is
clinically relevant to
this clinician type.
·.
..
*
!
(Outc
orne)
J"e
Type
National
Quality
Strategy
Dol11llin
18:25 Aug 13, 2019
Jkt 247001
PO 00000
Frm 00662
Fmt 4701
Functional Status Change for
Patients with Hip Impainnents:
A patient-reported outcome
measure of risk-adjusted change in
functional status for patients 14
years+ with hip impairments. The
change in functional status (FS) is
assessed using the Hip FS patientreported outcome measure (PROM)
(©2009-2019 Focus on Therapeutic
Outcomes, Inc.). T11e measure is
adjusted to patient characteristics
known to be associated with FS
outcomes (risk adjusted) and used
as a performance measure at the
patient level, at the individual
clinician, and at the clinic level to
assess quality. The measure is
available as a computer adaptive
test, for reduced patient burden, or
a short form (static measure).
Functional Status Change for
Patients with Lower Leg, Foot or
Ankle Impainnents:
A patient-reported outcome
measure of risk-adjusted change in
functional status for patients 14
years+ with foot, ankle and lower
leg impairments. T11e change in
functional status (FS) assessed
using the Foot/Ankle FS patientreported outcome measure (PROM)
(©2009-2019 Focus on Therapeutic
Outcomes, Inc.). T11e measure is
adjusted to patient characteristics
known to be associated with FS
outcomes (risk adjusted) and used
as a performance measure at the
patient level, at the individual
clinician, and at the clinic level to
assess quality. The measure is
available as a computer adaptive
test, for reduced patient burden, or
a short form (static measure).
Sfmt 4725
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14AUP2
EP14AU19.325
Indic
ator
NQF
#I
eCQ
M
NQF
#
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41143
B.40. Chiropractic Medicine
.
·· .
Measu
Quali
ty#
CMS
eCQMID
Collection
Type
0425
220
NIA
MIPS CQMs
Specifications
Communi
Patient
cation and
Reported Care
Outcome Coordinat
IOU
*
!
(Outc
orne)
0426
221
NIA
MIPS CQMs
Specifications
Communi
Patient
cation and
Reported Care
Outcome Coordinat
khammond on DSKBBV9HB2PROD with PROPOSALS2
IOU
VerDate Sep<11>2014
.
Measure Title
and Description
Measure
Steward
Rationale for
Inclusion
Focus on
Therapeutic
Outcomes,
Inc.
We propose to include
this measure in the
Chiropractic Medicine
specialty set as it is
clinically relevant to
this clinician type.
Focus on
Therapeutic
Outcomes,
Inc.
We propose to include
this measure in the
Chiropractic Medicine
specialty set as it is
clinically relevant to
this clinician type.
·.
..
*
!
(Outc
orne)
J"e
Type
National
Quality
Strategy
Dol11llin
18:25 Aug 13, 2019
Jkt 247001
PO 00000
Frm 00663
Fmt 4701
Functional Status Change for
Patients with Low Back
Impainnents:
A patient-reported outcome
measure of risk-adjusted change in
functional status for patients 14
years+ with low back impairments.
The change in functional status
(FS) is assessed using the Low
Back FS patient-reported outcome
measure (PROM) ('~2009-2019
Focus on Therapeutic Outcomes,
Inc.). The measure is adjusted to
patient characteristics known to be
associated with FS outcomes (risk
adjusted) and used as a
performance measure at the patient
level, at the individual clinician,
and at the clinic level by to assess
quality. The measure is available as
a computer adaptive test, for
reduced patient burden, or a short
form (static measure).
Functional Status Change for
Patients with Shoulder
Impainnents:
A patient-reported outcome
measure of risk-adjusted change in
functional status for patients 14
years+ with shoulder impairments.
The change in functional status
(FS) is assessed using the Shoulder
FS patient-reported outcome
measure (PROM) ('~2009-2019
Focus on Therapeutic Outcomes,
Inc.). The measure is adjusted to
patient characteristics known to be
associated with FS outcomes (risk
adjusted) and used as a
performance measure at the patient
level, at the individual clinician,
and at the clinic level to assess
quality. The measure is available as
a computer adaptive test, for
reduced patient burden, or a short
form (static measure).
Sfmt 4725
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14AUP2
EP14AU19.326
Indic
ator
NQF
#I
eCQ
M
NQF
#
...
MEASURES PROPOSED FOR ADDITION TO THE CliiROPRACTIC MEDICINE. SET
41144
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.40. Chiropractic Medicine
...
MEASURES PROPOSED FOR ADDITION TO THECliiROPRACTIC MEDICINE. SET
*
!
(Outc
ome)
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!
(Outc
ome)
0427
N/A
VerDate Sep<11>2014
··.
Measu
Quali
ty#
CMS
eCQMID
Collection
Type
J"e
Type
National
Quality
Strategy
Dl:mmin
.
Measure Title
and Description
Measure
Steward
Rationale for
Inclusion
·.
..
222
TBD
NIA
N/A
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Specifications
MIPS CQMs
Specifications
Jkt 247001
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Communi
Patient
cation and
Reported Care
Outcome Coordinat
JOn
Person
and
Patient
Caregiver
Reported -Centered
Outcome Experienc
e and
Outcomes
Frm 00664
Fmt 4701
Functional Status Change for
Patients with Elbow, Wrist or
Hand Impairments:
A patient-reported outcome
measure of risk-adjusted change in
functional status (FS) for patients
14 years+ with elbow, wrist or
hand impairments. The change in
FS is assessed using the
Elbow/Wrist/Hand FS patientreported outcome measure (PROM)
(©2009-2019 Focus on Therapeutic
Outcomes, Inc.) The measure is
adjusted to patient characteristics
known to be associated with FS
outcomes (risk adjusted) and used
as a performance measure at the
patient level, at the individual
clinician, and at the clinic level to
assess quality. The measure is
available as a computer adaptive
test, for reduced patient burden, or
a short form (static measure).
Functional Statns Change for
Patients with Neck Impairments:
This is a patient-reported outcome
performance measure (PRO-P\1)
consisting of a patient-reported
outcome measure (PROM) of riskadjusted change in functional status
(FS) for patients aged 14+ with
neck impairments. The change in
FS is assessed using the Neck FS
PROM.* The measure is riskadjusted to patient characteristics
known to be associated with FS
outcomes. It is used as a
performance measure at the patient,
individual clinician, and clinic
levels to assess quality. *The Neck
FS PROM is an item-response
theory-based computer adaptive
test (CAT). In addition to the CAT
version, which provides for
reduced patient response burden, it
is available as a I 0-item short form
(static/paper-pencil).
Sfmt 4725
E:\FR\FM\14AUP2.SGM
We propose to include
Focus on
this measure in the
Therapeutic Chiropractic Medicine
Outcomes,
specialty set as it is
Inc.
clinically relevant to
this clinician type.
This measure is being
proposed as a new
measure for the 2020
Focus on
performance period.
Therapeutic We propose to include
Outcomes, this measure in the
Inc.
Chiropractic Medicine
specialty set as it is
clinically relevant to
this clinician type.
14AUP2
EP14AU19.327
Indic
ator
NQF
#I
eCQ
M
NQF
#
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41145
B.41. Clinical Social Work
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed rule, we are soliciting
conunent on applicable measmes for a Clinical Social Work specialty set, which takes additional criteria into consideration, which includes,
but is not limited to: whether the measure reilects current clinical guidelines and the coding of the measure includes relevant clinician types.
CMS may reassess the appropriateness of individual measures, on a case-by-case basis, to ensure appropriate inclusion in the specialty set.
Measure tables in tlli.s set include previously finalized measures that may be proposed tor this new measure set in the event clinical social
workers are proposed for inclusion in the definition of a MIPS eligible clinician in future rulemaking. We request conunent on the measures
available in the Clinical Social Work specialty set.
B.41. Clinical Social Work
NQJ<'#.t
eCQM
NQF#
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(Patie
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Safety
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0418 I
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nt
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NA
181
)
*
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Ratiou;lil' for
Inclusion
We propose to include
this measure in the
Clinical Social Work
specialty set as it is
clinically relevant to
this clinician type.
We propose to include
this measure in the
Clinical Social Work
specialty set as it is
clinically relevant to
this clinician type.
We propose to include
this measure in the
Clinical Social Work
specialty set as it is
clinically relevant to
this clinician type.
We propose to include
this measure in the
Clinical Social Work
specialty set as it is
clinically relevant to
this clinician type.
EP14AU19.328
Indk
ator
MEASURES PROPOSED FOR ADDITION TO THE CLINICAL SOCIAL WORK SET
MeasNational
•' CJ\1S
Cl)llection
Measure Title
un
Quality
MP.asnre
eCQM
and Description
Sfe\Vltrd
Type
Type
Strategy
ID
Domain.·.·.
Documentation of Current
Medications in the Medical
Record:
Percentage of visits for patients
aged 18 years and older for which
Medicare Part
the MIPS eligible clinician attests
BClaims
to documenting a list of current
Centers for
Measure
medications using all immediate
Proce
CMS68
Specifications,
Patient
Medicare &
resources available on the date of
ss
Safety
Medicaid
v9
eCQM
the encounter. This list must
Services
Specifications,
include ALL known prescriptions,
MIPS CQMs
over-the-counters, herbals, and
Specifications
vitamin/mineral/dietary
(nutritional) supplements AND
must contain the medications'
name, dosage, frequency and route
of administration.
Medicare Part
Preventive Care and Screening:
BClaims
Screening for Depression and
Measure
Follow-Up Plan:
Specifications,
Percentage of patients aged 12
Centers for
eCQM
Community
years and older screened for
CMS2v
Specifications,
Medicare &
i
Process
depression on the date of the
9
CMS Web
Population
Medicaid
encounter using an age appropriate
Services
Interface
Health
standardized depression screening
Measure
tool AND if positive, a follow-up
Specifications,
plan is documented on the date of
MIPS CQMs
the positive screen.
Specifications
Elder Maltreatment Screen and
Follow-Up Plan:
Medicare Part
Percentage of patients aged 65
Centers for
BClaims
years and older with a documented
Medicare &
Measure
Patient
N/A
Process
elder maltreatment screen using an
Medicaid
Specifications,
Safety
Elder Maltreatment Screening Tool
MIPS CQMs
Services
on the date of encounter AND a
Specifications
documented follow-up plan on the
date of the positive screen.
Functional Outcome Assessment:
Percentage of visits for patients
aged 18 years and older with
Medicare Part
documentation of a current
Communic
functional outcome assessment
Centers for
BClaims
ation and
using a standardized functional
Measure
Medicare &
Process Care
N/A
Specifications,
outcome assessment tool on the
Medicaid
Coordinatio
MIPS CQMs
date of the encounter AND
Services
n
Specifications
documentation of a care plan based
on identified functional outcome
deficiencies on the date of the
identified deficiencies.
41146
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.41. Clinical Social Work
*
**
§
NQ}f'#/
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...
.··
Rationale for
Inclusion
We propose to include
this measure in the
Clinical Social Work
specialty set as it is
clinically relevant to
this clinician type.
We propose to include
this measure in the
Clinical Social Work
specialty set as it is
clinically relevant to
this clinician type.
We propose to include
this measure in the
Clinical Social Work
specialty set as it is
clinically relevant to
this clinician type.
EP14AU19.329
ludic
ator
MEASURES PROPOSED FOR ADDITION TO THE CLINIC'AL. SOCIAL WORK SET
Meas
Nati~n!ll
CMS
Collection
ure
Quality
Measure Title
Measure
eCQM
Type
Type
Strategy
and Description
Steward
lD
Domain
Preventive Care and Screening:
Tobacco Use: Screening and
Cessation Intervention:
Percentage of patients aged 18
years ami older who were screened
for tobacco use one or more times
within 24 months AND who
received tobacco cessation
Medicare Part
intervention if identified as a
BClaims
tobacco user.
Physician
Measure
Consortium
Specifications,
Three rates are reported:
for
eCQM
a. Percentage of patients aged 18
Community
Performanc
Clv!Sl3
Specifications,
years and older who were screened
Process /Population
e
8v8
Clv!S Web
for tobacco use one or more times
Health
Improveme
Interface
within 24 months
nt
b. Percentage of patients aged 18
Measure
Foundation
Specifications,
years and older who were screened
(PCPI®)
MIPS CQMs
for tobacco use and identified as a
Specifications
tobacco user who received tobacco
cessation intervention
c. Percentage of patients aged 18
years and older who were screened
for tobacco use one or more times
within 24 months AND who
received tobacco cessation
intervention if identified as a
tobacco user.
Physician
Consortium
Dementia: Cognitive Assessment:
Percentage of patients, regardless
for
Effective
of age, with a diagnosis of
Performanc
eCQM
Clv!Sl4
Process Clinical
dementia for whom an assessment
e
9v8
Specifications
Care
of cognition is performed and the
Improveme
nt
results reviewed at least once
within a 12-month period.
Foundation
(PCPI®)
Dementia Associated Behavioral
and Psychiatric Symptoms
Screening and Management:
Percentage of patients with
dementia for whom there was a
Effective
documented screening for
American
MIPS CQMs
KIA
Process Clinical
behavioral and psychiatric
Academy o
Specifications
Care
symptoms, including depression,
Neurology
and for whom, if symptoms
screening was positive, there was
also documentation of
recommendations for management
in the last 12 months.
41147
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.41. Clinical Social Work
NQ}i'#/
eCQM
NQF#
Qu
alit
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!
(Patie
nt
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)
*
§
!
(Outc
orne)
N/A
0710 i
0710e
286
370
*
!
(Patie
nt
Safety
)
!
(Outc
orne)
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...
.··
Rationale for
Inclusion
We propose to include
this measure in the
Clinical Social Work
specialty set as it is
clinically relevant to
this clinician type.
We propose to include
this measure in the
Clinical Social Work
specialty set as it is
clinically relevant to
this clinician type.
W c propose to include
this measure in the
Clinical Social Work
specialty set as it is
clinically relevant to
this clinician type.
We propose to
include this measure
in the Clinical Social
Work specialty set as
it is clinically
relevant to this
clinician type.
We propose to include
this measure in the
Clinical Social Work
specialty set as it is
clinically relevant to
this clinician type.
EP14AU19.330
ludic
ator
MEASURES PROPOSED FOR ADDITION TO THE CLINICAL. SOCIAL WORK SET
Meas
Nation!ll
CMS
Collection
ure
Quality
Measure Title
Measure
eCQM
Type
Type
Strateg:y
and Description
Steward
ID
Domain
Dl'ml'ntia: Safl'ty Concl'ru
Screening and Follow-Up for
Patients with Dementia:
Percentage of patients with
dementia or their carcgivcr(s) for
whom there was a documented
safely concerns screening in two
American
MIPS CQMs
Patient
domains of risk: 1) dangerousness
Process
I\/A
Academy o
Specifications
Safety
to self or others and 2)
Neurology
environmental risks; and if safety
concerns screening was positive in
the last 12 months, there was
documentation of mitigation
recommendations, including but
not limited to referral to other
resources.
Depression Remission at Twelve
eCQM
Months:
Specifications,
The percentage of adolescent
CMS Web
Minnesota
Effective
patients 12 to 17 years of age and
Community
CMS15
Interface
Outcom
Clinical
adult patients 18 years of age or
9v8
Measure
e
Measureme
Care
older with major depression or
Specifications,
nt
dysthymia who reached remission
MIPS CQMs
12 months(+/- 60 days) after an
Specifications
index event date.
Physician
Child and Adolescent Major
Consortium
Depressive Disorder (MDD):
for
Suicide Risk Assessment:
Perforrnanc
Clv!Sl7
eCQ!vl
Patient
Percentage of patient visits for
Process
e
7v8
Specifications
Safety
those patients aged 6 through 17
Improveme
years with a diagnosis of major
nt
depressive disorder with an
Foundation
assessment for suicide risk
(PCP!®)
Adherence to Antipsychotic
Medications for Individuals with
Schizophrenia:
Percentage of individuals at least
18 years of age as of the beginning
Centers
of the measurement period with
Interme
for
schizophrenia or schizoaffective
MIPS CQMs
diate
Patient
Medicare
I\/A
disorder who had at least two
&
Specifications
Outcom Safety
prescriptions filled for any
e
Medicaid
antipsychotic medication and who
Services
had a Proportion of Days Covered
(PDC) of at least 0.8 for
antipsychotic medications during
the measurement period ( 12
consecutive months).
Tobacco Use and Help with
Quitting Among Adolescents:
The percentage of adolescents 12 to
National
Community
20 years of age with a primary care
MIPS CQMs
Committee
I
NA
Process
visit during the measurement year
Specifications
Population
for Quality
for whom tobacco use status was
Assurance
Health
documented and received help with
quitting if identified as a tobacco
user.
41148
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.41. Clinical Social Work
NQ}i'#/
eCQM
NQF#
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...
.··
Rationale for
Inclusion
We propose to include
this measure in the
Clinical Social Work
specialty set as it is
clinically relevant to
this clinician type.
EP14AU19.331
ludic
ator
MEASURES PROPOSED FOR ADDITION TO THE CLINIC'AL. SOCIAL WORK SET
Meas
Nation!ll
CMS
Collection
ure
Quality
Measure Title
Measure
eCQM
Type
Strategy
and Description
Steward
Type
ID
Domain
Preventive Care and Screening:
Unhealthy Alcohol Use: Screening Physician
Consortium
& Brief Counseling:
Percentage of patients aged 18
for
Community
years and older who were screened
Performanc
MIPS CQMs
I
I\/A
Process
for unhealthy alcohol use using a
e
Specifications
Population
systematic screening method at
Improveme
Health
least once within the last 24 months
nt
AND who received brief
Foundation
counseling if identified as an
(PCP!®)
unhealthy alcohol user.
41149
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.42. Audiology
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed rule, the Audiology
specialty set takes additional criteria into consideration, which includes, but is not limited to: whether the measure reflects current clinical
guidelines and the coding of the measure includes relevant clinician types. CMS may reassess the appropriateness of individual measures, on
a case-by-case basis, to ensure appropriate inclusion in the specialty set. Measure tables in this set include previously finalized measures that
are proposed for this new measure set. We request comment on the measures available in the proposed Audiology specialty set.
B.42. Audiology
lnilic
ato.r
!
(Patie
nt
Safety
)
*
!
(Patie
nt
Safety
I
eCQM
NQF#
0419 I
0419e
0418 I
0418e
0101
Qua
Jity
#
130
134
MEASURES PROPOSED FOR ADDITION TO THE AUDIOLOGY SET
..
Measu
National
eMs
Measure
Collection
Quality
Mellflure Title
re
eCQM
Type
Type
and Description
Steward
Strdtegy
ID
Domain
Documentation of Current
Medications in the Medical
Record:
Percentage of visits for patients
aged 18 years and older for
Medicare Part
which the MIPS eligible
BClaims
clinician attests to documenting
Centers
for
Measure
a list of current medications
Specifications,
Patient
using all immediate resources
Medicare
CMS68
Process
&
v9
eCQM
Safety
available on the date of the
Specifications,
encounter. This list must include
Medicaid
MIPS CQMs
ALL known prescriptions, overServices
the-counters, herbals, and
Specifications
vitamin/mineral/dietary
(nutritional) supplements AND
must contain the medications'
name, dosage, frequency and
route of administration.
Preventive Care and
Medicare Part
Screening: Screening for
BClaims
Depression and Follow-Up
Measure
Plan:
Specifications,
Centers
Percentage of patients aged 12
eCQM
Community
for
years and older screened for
CMS2v
Specifications,
Medicare
I
Process
depression on the date of the
9
CMS Web
Population
&
encounter using an age
Interface
Health
Medicaid
appropriate standardized
Measure
Services
depression screening tool AND
Specifications,
if positive, a follow·up plan is
MIPS CQMs
documented on the date of the
Specifications
positive screen.
154
NIA
Medicare Part
BClaims
Measure
Specifications,
MIPS CQMs
Specifications
N/A
Medicare Part
RClaims
Measure
Specifications,
MIPS CQMs
Specifications
)
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Process
Patient
Safety
Falls: Risk Assessment:
Percentage of patients aged 65
years and older with a history of
falls that had a risk assessment
for falls completed within 12
months.
Process
Communic
ation and
Care
Coordinatio
n
l<'alls: Plan of Care:
Percentage of patients aged 65
years and older with a history of
falls that had a plan of care for
falls documented within 12
months.
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Rationale for Inclusion
.··
We propose to include
this measure in the
Audiology specialty set
based upon past
stakeholder feedback
requesting inclusion in a
specialty set for this
clinician type.
We propose to include
this measure in the
Audiology specialty set
based upon past
stakeholder feedback
requesting inclusion in a
specialty set for this
clinician type.
We propose to include
this measure in the
National
Audiology specialty set
Committe
based upon past
e for
stakeholder feedback
Quality
requesting inclusion in a
Assurance
specialty set for this
clinician type.
We propose to include
this measure in the
National
Audiology specialty set
Committe
based upon past
e for
stakeholder feedback
Quality
requesting inclusion in a
Assurance
specialty set for this
clinician type.
14AUP2
EP14AU19.332
NQF#
41150
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.42. Audiology
I
eCQM
NQF#
Qua
Jity
#
*
!
(Patie
nt
Safety
)
NA
181
*
!
(Care
Coord
inatio
n)
*
**
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·.
Rationale for Inclusion
We propose to include
this measure in the
Audiology specialty set
as it is clinically
relevant.
We propose to include
this measure in the
Audiology specialty set
as it is clinically relevan
and the measure owner
is proposing to expand
the denominator to
include this clinician
type.
We propose to include
this measure in the
Audiology specialty set
based upon past
stakeholder feedback
requesting inclusion in a
specialty set for this
clinician type.
EP14AU19.333
NQF#
Indie
a tor
MEASURES PROPOSED FOR ADDITION TO THE AUDIOLOGY SET
Measu
National
CMS
Quality
Collection
Measure
re
Measu:r:e Title
eCQM
Type
Type
Strategy
Steward
and Description
ID
Domain
Elder Maltreatment Screen
and Follow-Up Plan:
Medicare Part
Percentage of patients aged 65
Centers
BClaims
years and older with a
for
Measure
documented elder maltreatment
Medicare
Patient
NIA
Process
Specifications,
Safety
screen using an Elder
&
Maltreatment Screening Tool on
Medicaid
MIPS CQMs
Specifications
the date of encounter AND a
Services
documented follow-up plan on
the date of the positive screen.
Functional Outcome
Assessment:
Percentage of visits for patients
aged 18 years and older with
Centers
Medicare Part
Communic
documentation of a current
BClaims
for
ation and
functional outcome assessment
Measure
Medicare
Process
Care
using a standardized functional
NIA
Specifications,
&
Coordinatio
outcome assessment tool on the
MIPS CQMs
Medicaid
n
date of the encounter AND
Services
Specifications
documentation of a care plan
based on identified functional
outcome deficiencies on the date
of the identified deficiencies.
Preventive Care and
Screening: Tobacco Use:
Screening and Cessation
Intervention:
Percentage of patients aged 18
years and older who were
screened for tobacco use one or
more times within 24 months
AND who received tobacco
cessation intervention if
Medicare Part
identified as a tobacco user
BClaims
Physician
Measure
Three rates are reported:
Consortiu
Specifications,
a. Percentage of patients aged 18
mfor
eCQM
Community
years and older who were
Performan
CMS13
Specifications,
I
Process
screened for tobacco use one or
ce
8v8
Population
CMS Web
more times within 24 months
Improvem
Interface
Health
b. Percentage of patients aged 18
ent
Measure
years and older who were
Foundatio
Specifications,
screened for tobacco use and
n (PCPI®)
MIPS CQMs
identified as a tobacco user who
Specifications
received tobacco cessation
intervention
c. Percentage of patients aged 18
years and older who were
screened for tobacco use one
or more times within 24
months AND who received
tobacco cessation intervention
if identified as a tobacco user
41151
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.42. Audiology
!
(Care
Coord
inatio
n)
!
(Patie
nt
Safety
NQF#
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eCQM
NQF#
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0101 I
N/A
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·.
Rationale for Inclusion
We propose to include
this measure in the
Audiology specialty set
based upon past
stakeholder feedback
requesting inclusion in a
specialty set for this
clinician type.
We propose to include
this measure in the
Audiology specialty set
as it is clinically
relevant.
EP14AU19.334
Indie
a tor
MEASURES PROPOSED FOR ADDITION TO THE AUDIOLOGY SET
Measu
National
CMS
Quality
Collection
Measure
re
Measu:r:e Title
eCQM
Type
Type
Strategy
Steward
and Description
ID
Domain
Referral for Otologic
Evaluation for Patients with
Acute or Chronic Dizziness:
Medicare Part
Communic
Percentage of patients aged birth
BClaims
Audiology
ation and
and older referred to a physician
Measure
Quality
N/A
Process
Care
(preferably a physician specially
Specifications,
Consortiu
Coordinatio trained in disorders of the ear)
MIPS CQMs
m
n
for an otologic evaluation
Specifications
subsequent to an audio logic
evaluation after presenting with
acute or chronic dizziness
eCQM
Falls: Screening for Future
National
Specifications,
Fall Risk:
Committe
CMS13
CMS Web
Patient
Percentage of patients 65 years
e for
Process
9v8
Interface
Safety
of age and older who were
Quality
Measure
screened for future fall risk
Assurance
Specifications
during the measurement period.
41152
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
B.43. Speech Language Pathology
In addition to the considerations discussed in the introductory language of Table B of the appendix of this proposed mle, the Speech
Language Pathology specialty set takes additional criteria into consideration, which includes, but is not limited to: whether the measure
reflects current clinical guidelines and the coding of the measure includes relevant clinician types. CMS may reassess the appropriateness of
individual measures, on a case-by-case basis, to ensure appropriate inclusion in the specialty set. Measure tables in this set include previously
finalized measures that are proposed for this new measure set. We request comment on the measures available in the proposed Speech
Language Pathology specialty set.
B.43. Speech Language Pathology
IndicatOr
Quality ..
#
CMS
eCQMIJ)
Collection
TYPe
ADDITION TO THKSPliliCH LANGUAGE PATHOLOGY SliT
Measure
Type
#
!
(Patient
Safety)
0419 I
0419c
130
CMS68v
')
*
!
(Patient
Safety)
NIA
181
'II A
*
!
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Coordinat
ion)
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'II A
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Medicare
Part B
Claims
Measure
Specificatio
ns,cCQM
Specificatio
ns, MIPS
CQMs
Specificatio
ns
Medicare
Part B
Claims
Measure
Specificatio
ns, MIPS
CQMs
Specificatio
ns
Medicare
Part B
Claims
Measure
Spccificatio
ns,
MIPS
CQMs
Specificatio
ns
PO 00000
Process
Process
Process
Frm 00672
Natiolml
Quality
Measure Title
and Description
Stmtegy
Domafu
Measure
Steward
Documentation of Current
Medications iu the Medical
Record:
Percentage of visits for patients aged
18 years and older for which the
MIPS eligible clinician attests to
documenting a list of current
medications using all immediate
resources available on the date of the
encounter. This list must include
ALL known prescriptions, over-thecounters, herbals, and
vitamin/mineralidietary (nutritional)
supplements AND must contain the
medications name. dosage.
frequency and route of
administration.
Patient
Safety
Patient
Safety
Elder l\-Ialtreatment Screen and
Follow-Up Plan:
Percentage of patients aged 65 years
and older with a documented elder
maltreatment screen using an Elder
Maltreatment Screening Tool on the
date of encounter AND a
documented follow-up plan on the
date of the positive screen.
Commu
nication
and Care
Coordin
ation
Functional Outcome Assessment:
Percentage of visits for patients aged
18 years and older with
documentation of a current
functional outcome assessment using
a standardized functional outcome
assessment tool on the date of the
encounter AND documentation of a
care plan based on identified
functional outcome deficiencies on
the date of the identified
deficiencies.
Fmt 4701
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14AUP2
Rationale for Inclusion
We propose to include
this measure in the
Centers
Speech Language
for
Pathology specialty set
Medicare
based upon past
&
stakeholder feedback
Medicaid
requesting inclusion in a
Services
specialty set for this
clinician type.
Centers
for
Medicare
&
Medicaid
Services
Centers
for
Medicare
&
Medicaid
Services
We propose to include
this measure in the
Speech Language
Pathology specialty set
based upon stakeholder
feedback requesting
inclusion in a specialty se
for this clinician type.
The rneasure owner is
also proposing to add
coding for this clinician
type for the 2020
performance period.
We propose to include
this measure in the
Speech Language
Pathology specialty set
based upon stakeholder
feedback requesting
inclusion in a specialty se
for this clinician type.
The tneasure owner is
also proposing to add
coding for this clinician
type for the 2020
performance period.
EP14AU19.335
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NQF
#I
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M
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41153
B.43. Speech Language Pathology
Indicat~r
Quality
#
CMS
eCQMID
Collection
Type
ADDITION TO THE SPEECH LANGUAGE PATHOLOGY SET
Measqre
Type
*
**
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Measure Title
and Des<;ripti~m
Domain
#
Medicare
Part B
Claims
Measure
Specificatio
ns,eCQM
Specificatio
ns, CMS
Web
Interface
Measure
Specificatio
ns, MIPS
CQMs
Specificatio
ns
National
Quality
Strateu
Measun:
Steward
Preventive Care and Screening:
Tobacco Use: Screening and
Cessation Intervention:
Percentage of patients aged 18 years
and older who were screened for
tobacco use one or more tin1es
within 24 months AND who
received tobacco cessation
intervention if identified as a tobacco
user
Process
Frm 00673
Commu
nity/
Populati
on
Health
Fmt 4701
Three rates are reported:
a. Percentage of patients aged 18
years and older who were screened
for tohacco use one or more times
within 24 months
b. Percentage of patients aged l g
years and older who were screened
for tobacco use and identified as a
tobacco user who received tobacco
cessation intervention
c. Percentage of patients aged 18
years and older who were screened
for tobacco use one or tnore titnes
within 24 months AND who received
tobacco cessation intervention if
identified as a tobacco user.
Sfmt 4725
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14AUP2
Physicia
n
Consmti
umfor
Performa
nee
Improve
ment
Foundati
on
(PCPI
MEASURES PROPOSED FOR
NQF
#I
eCQ
M
NQF
41154
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
TABLE C: Previously Finalized Quality Measures Proposed for Removal in the 2022 MIPS Payment Year and Future Years
In this proposed rule, we propose to remove 55 previously fmalized quality measures from the MIPS Program for the 2022 MIPS payment
year and future years. These measures are discussed in detail below. Our measure removal criteria was discussed in the CY 2019 final rule
(83 FR 59763 through 59765).
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Further considerations are given in the evaluation of the measure's performance data, to determine whether there is or no longer is variation in
performance. As discussed in the CY 2019 PFS final rule (83 FR 59761 through 59763), additional criteria that we use for the removal of
measures also includes extremely topped out measures, which means measures that are topped-out with an average (mean) performance rate
between 98-100 percent.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41155
TABLE C: Previously Finalized Quality Measures Proposed for Removal in the 2022 MIPS Payment Year and Future Years
Quality
#
CMSeCQM
ID '
Collection
Type
Measu)'e
Type
National
Quality
Strate2.r
Domain
Measure Title
and Description
Measure
Steward
Medication Reconciliation
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Specificatio
ns, MIPS
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Spccificatio
ns
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ication
a11d Care
Coordina
tion
Frm 00675
Rationale for Removal
,'
Post-Discharge:
The percentage of discharges
from any inpatient facility
(e,g. hospital, skilled nursing
facility, or rehabilitation
facility) for patients 18 years
of age and older seen within
30 days following discharge
in the otlice by the physician,
prescribing practitioner,
registered nurse, or clinical
pharmacist providing ongoing care for whom the
discharge medication list was
reconciled with the current
medication list in the
outpatient medical record,
'lhis measure is submitted as
three rates stratified by age
group:
• Submission Criteria 1: 1864 years of age,
• Submission Criteria 2: 65
years and oldcL
• Total Rate: All patients 18
years of age and oldeL
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Committ
ee for
Quality
Assuran
cc
E:\FR\FM\14AUP2.SGM
W c propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program because this measure is
duplicative of previously finalized measure
Ql30: Documentation of Current
Medications in the Medical Record that
also addresses assessment of current
medications at the time of a patient and
eligible clinician encounteL T11is measure
is not only duplicative but includes
measure logic that has demonstrated to be
historically challenging for implementation
by eligible clinicians. This measure is a
legacy measure from the Physician Quality
Reporting Initiative that was implemented
initially as a Medicare Part B claims only
measure, With the expansion of collection
methods being used in the program,
unforeseen implementation challenges
have arisen, We believe measure Q130 is
the best measure to support the quality
outcome of current medications being
documented in the medical record, In the
event that the measure is retained in the
MIPS prograJll based on stakeholder
comments, we propose to add this measure
to the following specialty sets as it is
clinically relevant to these clinician types:
Pulmonology and Clinical Social Wmk
14AUP2
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NQF#
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TABLE C: Previously Finalized Quality Measures Proposed for Removal in the 2022 MIPS Payment Year and Future Years
NQF#
Quality
#
0091
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II}
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..
.··
Collection
Type
Medicare
PartB
Claims
Measure
Specificatio
us, MIPS
CQMs
Specificatio
us
MIPS
CQMs
Speciticatio
ns
Jkt 247001
Measure.
'Ty]Je
Process
Process
PO 00000
...
National
Quality
Strategy
Domain
·.
Measure Title
and. Description
Measure
Steward
Effective
Clinical
Care
Chronic Obstructive
Pulmonary Disease
(COPD): Spirometry
Evaluation:
Percentage of patients aged
18 years and older with a
diagnosis ofCOPD who had
spirometry results
documented.
America
n
Thoracic
Society
E1Tective
Clinical
Care
Hematology:
Myeludysplastic Syndrome
(MDS): Documentation of
Iron Stores in Patients
Receiving Erythropoietin
Therapy:
Percentage of patients aged
18 years and older with a
diagnosis of myelodysplastic
syndrome (MDS) who are
receiving erythropoietin
therapy with documentation
of iron stores within 60 days
prior to initiating
erythropoietin therapy.
America
n
Society
of
Hematol
ogy
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Rationdle for .Removal
..
We propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program to ensure measures are not
duplicative and present an opportunity to
provide a meaningful impact to quality.
We prefer the more robust, previously
finalized measure Q52: Chronic
Obstructive Pulmonary Disease (COPD):
Long-Acting Inhaled Bronchodilator
Therapy that assesses appropriate
management of COPD by prescribing a
long-acting inhaled bronchodilator for
symptomatic patients based on spirometry
test results that demonstrate FEVl/FVC <
70 percent, FEVl < 60 percent, and
patient's assessed COPD symptoms.
Measure Q51 represents the process
having the spirometry results reviewed
and documented which is essentially a
component of measure Q52. Therefore,
we prefer to have eligible clinicians report
the more robust measure Q52 which
address spirometry results to provide the
best option in pharmacological treatment.
In the event that the measure is retained
in the MIPS program based on stakeholder
comments, we propose to add this
measure to the following specialty set as it
is clinically relevant to this clinician type:
Pulmonology.
We propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program because we believe that
documentation of iron stores would be
considered a standard of care during
administration of erythropoietin therapy.
We believe this measure does not align
with the meaningful measure initiative.
'!here is limited adoption of the quality
measure and does not allow for the creation
of benchmarks to provide a meaningful
impact to quality improvement. The
limited adoption over multiple program
years suggests this is not an important
clinical topic for MIPS eligible clinicians.
In the event that the measure is retained in
the MIPS program based on stakeholder
comments, we propose to add this measure
to the following specialty set as it is
clinically relevant to this clinician type:
Oncology/ Hematology.
14AUP2
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TABLE C: Previously Finalized Quality Measures Proposed for Removal in the 2022 MIPS Payment Year and Future Years
NQF#i
eCQM
NQF#
..
.··
Quality
#
CMSeCQM
II}
Collection
Type
Measure.
'Ty]Je
Medicare
PartE
Claims
Measure
0653
091
N/A
Specificatio
us, MIPS
CQMs
Specificatio
ns
Process
National
Quality
Strategy
Domain
Effective
Clinical
Care
...
Measure Title
and. Description
Measure
Steward
Rationdle for .Removal
..
·.
Acute Otitis Externa
(AOE): Topical Thempy:
Percentage of patients aged 2
years and older with a
diagrosis of AOF who were
prescribed topical
preparations.
America
n
Acadcm
y of
Otolaryn
go logyHead
and
Neck
Surgery
We propose the removal ofthis measure
(finalized in 81 FR 77558 through 77G75)
as a quality measure from the MIPS
program because it represents the clinical
equivalency of previously finalized
measure Q93: Acute Otitis Extema (AOE):
Systemic Antimicrobial Therapy Avoidance oflnappropriate Use. In the
circumstance an eligible clinician does not
prescribe an antibiotic, most likely a
topical therapy would be prescribed.
However, the eligible clinician is able to
prescribe both an antibiotic and topical and
remain numerator compliant for this
measure which does not address the
overuse of systetnic antimicrobial use.
Person
Measure
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us, MIPS
CQMs
Specificatio
us
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PO 00000
and
Caregive
rCentered
Experien
ce and
Outcome
s
Frm 00677
Osteoartlnitis (OA):
Function and Pain
Assessment:
Percentage of patient visits
for patients aged 21 years and
older with a diagnosis of
osteoarthritis (OA) with
assessment for function and
pain.
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n
Academ
y of
Orthopc
die
Surgeon
s
E:\FR\FM\14AUP2.SGM
14AUP2
EP14AU19.340
Medicare
PartE
Claims
Therefore, we believe this measure is not
providing a meaningful impact to quality
improvement
We propose the removal ofthis measure
(finalized in Sl FR 7755S through 77675)
as a quality measure from the MIPS
program because this measure is
duplicative of previously finalized measure
Ql82: Functional Outcome Assessment
that also addresses functional assessment
and possibly pain depending on which
standardized tool utilized. In the
circumstance we do not finalize removal of
this measure, we would maintain this
measure with the following substantive
change(s) based on the measure steward's
input: add coding for physical therapists
and occupational therapists to the list of
denominator eligible encmmters as well as
add this measure to the Physical Therapy/
Occupational Therapy specialty set The
measure steward states and we agree that
for individuals with osteoarthritis (OA),
physical therapists and occupational
therapists provide various interventions
with the goals of improving muscle
performance, activity and participation,
and promoting physical activity. Despite
these revisions offered by the measure
steward, we believe that it is impmtant to
reduce duplicity within the program and
prefer the more robust measure Ql82
which also supports physical and
occupation therapist, more frequent
functional assessment, and care plan for
identified functional deficiencies.
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TABLE C: Previously Finalized Quality Measures Proposed for Removal in the 2022 MIPS Payment Year and Future Years
cCQM
NQF#
Quality
#
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0041 I
0041e
VerDate Sep<11>2014
110
CMSe-
CQM
ID
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..
.··
Collection
Type
Medicare
PartE
Claims
Measure
Specificatio
ns,eCQM
Specificatio
us, CMS
Web
Interface
Measure
Specificatio
us, MIPS
CQMs
Specificatio
us
Jkt 247001
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Ty).Je
Process
PO 00000
...
National
Quality
Strategy
Dmnalu.·
Connnun
ity/Popul
ation
Health
Frm 00678
Measure Title
and Description
·.
Preventive Care and
Screening: Influenza
Innnunization:
Percentage of patients aged 6
months and older seen for a
visit between October 1 and
March 31 who received an
influenza immunization OR
who reported previous receipt
of an influenza immunization.
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Steward
Physicia
11
Consorti
umfor
Perform
ance
Improve
ment
Foundati
on
(PCP!®)
E:\FR\FM\14AUP2.SGM
Rationdle for .Removal
We propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program because it is duplicative of
measure A3: Adult Immunization Status
proposed in this proposed rule. This new
measure, if finalized, is a more robust
immunization measure which requires
multiple age-appropriate preventive
immunizations. We are proposing to
remove this measure to be consistent with
ensuring measures are not duplicative and
present an opportunity to provide a
meaningful impact to quality.
In the circumstance we do not finalize
removal of this measure. we would
maintain this measure with the following
substantive change( s) based on the measure
steward's input: the numerator instructions
would be revised to read: "Due to the
changing nature of the CDC/ACIP
recommendations regarding the live
attenuated influenza vaccine (LAIV) for a
particular flu season, this measure will not
include the administration of this specific
formulation ofthe tlu vaccination. Given
the variance of the time frames for the
annual update cycles, program
in1plementation, and publication of revised
recommendations from the CDC/ACIP, it
has been determined that the coding for
this measure will specifically exclude this
formulation. so as not to inappropriately
include this form of the vaccine for flu
seasons when CDC/ACIP explicitly advise
against it However, it is recommended that
all eligible professionals or eligible
clinicians review the goidclincs for each
flu season to determine appropriateness of
the LAIV and other formulations of the flu
vaccine. If the LAIV is recommended for
administration for a particular flu season,
an eligible professional or clinician may
consider one of the following options: 1)
satisfy the numerator hy reporting previous
receipt, 2) report a denominator exception,
either as a patient reason (e.g .. for patient
preference) or a system reason (e.g., the
institution only carries LAIV)." This would
allow clinical discretion and alignment
with current performance period's
CDC! ACIP guidelines without negatively
affecting clinicians providing LAIV.
14AUP2
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TABLE C: Previously Finalized Quality Measures Proposed for Removal in the 2022 MIPS Payment Year and Future Years
NQF#
Quality
#
N/A
111
CMSeCQM
II}
CMS127
vS
..
.··
Collection
Type
Medicare
PmtB
Claims
Measure
Specificatio
ns,eCQM
Specificatio
ns, MIPS
CQMs
Specificatio
Measure.
'Ty]Je
Process
...
National
Quality
Measure Title
and. Description
Strategy
Domain
·.
Commu
nity/Pop
ulation
Health
Pneumococcal Vaccination
Status for Older Adults:
Percentage of patients 65
years of age and older who
have ever received a
pneumococcal vaccine.
Measure
Steward
Rationdle for .Removal
National
Committ
ee for
Quality
Assuran
ce
We propose the removal ofthis measure
(finalized in 81 FR 77558 through 77G75)
as a quality measure from the MIPS
program because it is duplicative of
measure A3: Adult Immunization Status
proposed in this proposed mle.
This new measure, if finalized, is a more
robust inununization tneasure which
requires multiple age-appropriate
preventive immunizations. In addition,
measure Q 111 does not align with the
current ACIP guidelines, but was retained
for certain collection types to provide a
measure selection option that addresses ail
important population health matter. The
proposed measure requires patients to
receive both the 13-valent pneumococcal
conjugate vaccine (PCV13) and the 23valent pneumococcal polysaccharide
vaccine (PPSV23) at least 12 months apart,
with the first occurrence after the age of
60, whereas measure Q 111 only requires
the patient to receive either PCV13 or
PPSV23 vaccine. In the event, we do not
finalize the proposal to remove the
measure, we would expand the
denominator to include nursing home and
domiciliary settings as this would be an
applicable patient population.
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cCQM
NQF#
Quality
#
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VerDate Sep<11>2014
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ID
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..
.··
Collection
Type
Medicare
PartE
Claims
Measure
Specificatio
ns, MIPS
CQMs
Specificatio
ns
Jkt 247001
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Ty).Je
Process
PO 00000
...
National
Quality
Strategy
Measure Title
and Description
Dmnalu.·
·.
Commu
nication
and Care
Coordin
ation
Pain Assessment and
FoUow-Up:
Percentage of visits for
patients aged l g years and
older with documentation of a
pain assessment using a
standardized tool( s) on each
visit AND documentation of a
follow-up plan when pain is
present
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Steward
Centers
for
Medicar
e&
Medicai
d
Services
E:\FR\FM\14AUP2.SGM
Rationdle for .Removal
We propose the removal of this measure
(finalized in Sl FR 7755S through 77675)
as a quality measure from the MIPS
program due to the controversy
surrounding the potential correlation
between assessment of pain and increase in
prescriptions for opioid medications. After
consideration of previous stakeholder
feedback, we believe this measure may
have the unintended consequence of
encouraging excessive prescribing of
pharmacologic therapies to assist with pain
management In the circumstance we do
not finalize removal of this measure, we
would maintain this measure with the
following substantive change(s) based on
the measure steward's input: expand the
denominator to include coding for
audiology and speech language pathology
MIPS eligible clinicians and remove the
denominator exception allowing for
patients with severe mental and/or physical
incapacities to be excluded tfom the
numerator. The measure steward submitted
this substantive change based on a
literature search the supports the need for
in1provcd pain assessment and follow up in
patients with dementia. In addition, we
propose to add this measure to the
following specialty measure sets in the
event the measure is retained in the .Y!IPS
program based on stakeholder comments as
it is clinically relevant to these clinician
types: Chiropractic Medicine, Clinical
Social Work, Audiology and Speech
Language Pathology. Despite these
revisions oiTered by the measure steward,
we believe that it is important to ensure
that the MIPS quality measures support the
safety of patients and have a meaningful
in1pact on quality management of pain by
all eligible clinicians.
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TABLE C: Previously Finalized Quality Measures Proposed for Removal in the 2022 MIPS Payment Year and Future Years
NQF#i
cCQM
NQF#
Quality
#
0508
146
CMSeCQM
ID
NIA
..
.··
Collection
Type
Medicare
Part B
Claims
Measure
Specificatio
ns, MIPS
CQMs
Specificatio
ns
Measure.
Type
Process
National
Quality
Strategy
Domain.·
Efficienc
y and
Cost
Reductio
n
...
Measure Title
and Description
·.
Radiology: Inappropriate
Use of"Probab1y Henign"
Assessment Category in
Screening Mammograms:
Percentage of final reports for
screening n1amn1ogran1s that
are classified as "probably
benign''.
Measure
Steward
America
n
College
of
Radiolog
y
Rrttiondle for .Removal
We propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program because it is considered a standard
of care that has limited opportunity to
itnprove clinical outcomes. Performance on
this measure is extremely high and
unvarying making this measure extremely
topped out as discussed in the CY 2019
PFS final rule (83 FR 59761 through
59763).
The average performance for this inverse
measure is 0.3 percent for the Medicare
Part B Claims specifications collection
type and 0. 5 percent for the MIPS CQMs
specifications collection type. For an
inverse measure, a lower calculated
performance rate indicates better clinical
care or control. As such, the Medicare Part
B Claims and MIPS CQMs specifications
collection types are considered exiremely
topped out Average performance rates are
based on the current MIPS benchmarking
data located at httns .'.',
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TABLE C: Previously Finalized Quality Measures Proposed for Removal in the 2022 MIPS Payment Year and Future Years
cCQM
NQF#
Quality
#
CMSeCQM
ID
..
.··
Collection
Type
Measure.
'fy).Je
...
National
Quality
Strategy
Dmnalu.·
Measure Title
and Description
·.
HIV/AIDS: Pneumocystis
Pneumonia (PCP)
Prophylaxis:
Percentage of patients aged 6
weeks and older with a
diagnosis ofHIV/AIDS who
were prescribed
Pneumocystis jiroveci
pneumonia (PCP)
prophylaxis.
Measure
Steward
Jiru~eci
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ns
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tration
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Rationale for .Removal
We propose the removal of this measure
(finalized in Sl FR 7755S through 77675)
as a quality measure from the MIPS
program because it does not align with the
meaningful measure initiative. There is
limited adoption of the quality measure and
does not allow for the creation of
benchmarks to provide a meaningful
impact to quality improvement T11e
limited adoption over multiple program
years suggests this is not an important
clinical topic for MIPS eligible clinicians.
In the circumstance we do not finalize
removal of this measure, we would
maintain this measure with the following
substantive change( s) based on the measure
steward's input: update the numerator with
addition of Pneumocystis Jiroveci
Pneumonia (PCP) Prophylaxis and
parenteral pentamidine and oral
clindamycin with primaquine to Population
one. For Population two and three, we
would add intravenous pentamidine to the
"Pneumocystis Jiroveci Pneumonia (PCP)
Prophylaxis'' value set In alignment with
these updates, lhe measure steward has
proposed to update and create definitions
related to CD4 Count Tests to include oral
clindamycin and primaquine for population
1 and update logic in all three numerators
to allow for 'Medication Active'
documentation in addition to 'Medication,
Order' documentation for appropriate
capture of either an active or ordered
medication. Additionally, we would adopt
the measure steward's substantive change
to rcrnove Leucovoin as a rned.ication
option and add oral Clindamycin to align
wilh guideline updates. Additionally, we
would update logic for denominator
exceptions in population 1 to reflect "3
months or less after''. Additionally, if the
measure is not finalized for removal from
the MIPS program, we propose to remove
the measure from the AllergyI
Immunology specialty set since this
measure is not applicable to this specialty
as Allergy/Immunology specialists do not
diagnose, treat or manage HI VI AIDS
patients. In addition, if the measure is
retained in the MIPS program based on
stakeholder comments we propose to add
this measure to the following specialty set
as it is clinically relevant to this clinician
type: Pulmonology. Despite these
revisions, we hell eve this mea"ure is not
providing a meaningful impact to quality
improvement due to lack of adoption by
eligible clinicians.
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TABLE C: Previously Finalized Quality Measures Proposed for Removal in the 2022 MIPS Payment Year and Future Years
NQF#i
eCQM
NQF#
..
.··
Quality
#
0130
165
CMSeCQM
II}
N/A
Collection
Measure.
Type
'Ty).Je
MIPS
CQMs
Specificatio
ns
Outcome
National
Quality
Strategy
Domain
Effective
Clinical
Care
...
Measure Title
and Description
Measure
Steward
Rationdle for .Removal
..
·.
Coronary Artery Bypass
Gmft (CABG): Deep
Sternal Wound Infection
Rate:
Percentage of patients aged
18 years and older
undergoing isolated CABG
surgery who, within 30 days
postoperatively, develop deep
stcmal wound infection
involving muscle, bone,
Society
of
Thoracic
Surgeon
s
and/or mediastinum requiring
operative intervention.
We propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program because it is considered a standard
of care that has limited opportunity to
improve clinical outcomes. Perfonnance on
this measure is exiremely high and
unvarying making this measure extremely
topped out as discussed in the CY 2019
PFS final mle (83 FR 59761 through
59763).
The average performance for this inverse
measure is 0.5 percent for the MIPS CQMs
specifications collection type For an
inverse measure, a lower calculated
performance rate indicates better clinical
care or controL As such, the MIPS CQMs
specifications collection type is considered
extremely topped out The average
performance rate is based on the current
MIPS benchmarking data located at
httns
content sl.ama:ron:~ws.com.'unlomls.'J42'2D
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TABLE C: Previously Finalized Quality Measures Proposed for Removal in the 2022 MIPS Payment Year and Future Years
cCQM
NQF#
Quality
#
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VerDate Sep<11>2014
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ID
N/A
18:25 Aug 13, 2019
..
.··
Collection
Type
MIPS
CQMs
Specificatio
ns
Jkt 247001
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'Ty).Je
Process
PO 00000
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Quality
Strategy
Domain
Eftective
Clinical
Care
Frm 00684
...
Measure Title
and Description
·.
Rheumatoid Arthritis (RA):
Functional Status
Assessment:
Percentage of patients aged
18 years and older with a
diagnosis of rheumatoid
arthritis (RA) for whom a
functional status assessment
was performed at least once
within 12 months.
Fmt 4701
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Steward
A.Jnerica
n
College
of
Rheumat
ology
E:\FR\FM\14AUP2.SGM
Rationale for .Removal
We propose the removal of this measure
(finalized in Sl FR 7755S through 77675)
as a quality measure from the MIPS
program hecause this is duplicative of
previously finalized measure Ql82:
Functional Outcome As-.::essment. Mea-.::ure
Ql82 does not limit the functional tools
utilized for functional assessment,
therefore ensuring rheumatologists are able
to submit this measure. Additionally,
measure Q 182 is more robust in quality
with inclusion of a follow up plan for
identified functional outcome deficiencies.
In the circumstance we do not finalize
removal ofthis measure, we would
maintain this measure with the following
substantive change(s) based on the measure
steward's input: revise the numerator
statement to: Patients for whom a
standardized functional status assessment
using an ACR-preferred, patient-reported
functional status assessment tool was
performed at least once within 12 months.
Additionally, we would update the
Functional Status Assessment definition to
the following: T11is measure assesses if
physicians are using a standardized
descriptive or numeric scale, standardized
questionnaire, or notation of tool to
assessment ofthe impact of RA on patient
activities of daily living. Examples of tools
used to assess functional status include but
are not limited to: Health Assessment
Questionnaire (HAQ), Modified HAQ,
HAQ-2, and American College of
Rheumatology's Classification of
Functional Status in Rheumatoid Arthritis.
Functional status should be assessed using
a measurement tool assigned preferred
status by the A CR. T11e instmments listed
are the ACR-preferred tools that fulfill the
measure requirements: PROMIS Physical
Function 10-item (PRO:Vl!S PFlOa),
Health Assessment Questionnaire-II
(HAQ-II), and \iulti-Dimensional Health
Assessment Questionnaire (MD-HAQ).
Despite these revisions offered by the
measure steward, we believe that it is
important to reduce duplicity within the
program and prefer the more robust
measure Q 182 which supports more
frequent functional assessment and follow
up plan for identified functional
deficiencies.
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NQF#
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#
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185
CMSeCQM
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.··
Collection
Type
MIPS
CQMs
Specificalio
ns
MIPS
CQMs
Specitlcatio
ns
Jkt 247001
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Type
Process
Process
PO 00000
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Quality
Strategy
Donialn
...
Measure Title
and Description
Etlective
Clinical
Care
.··
Rheumatoid Arthritis (RA):
Assessment and
Classification of Disease
Prognosis:
Percentage of patients aged
18 years and older with a
diagnosis of rheumatoid
arthritis (RA) who have an
assessment and classification
of disease prognosis at least
once within 12 months.
Commu
nication
and Care
Coordin
ation
Colonoscopy Interval for
Patients with a History of
Adcnomatous PolypsAvoidance uflnapprupriate
Use:
Percentage of patients aged
18 years ami older receiving a
surveillance colonoscopy,
with a history of prior
adenomatons polyp(s) in
previous colonoscopy
findings, which had an
interval of 3 or more years
since their last colonoscopy.
Frm 00685
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Steward
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n
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of
Rheumat
ology
America
n
Gastroen
terologic
al
Aswciat
!On
E:\FR\FM\14AUP2.SGM
Ratiomlle for .Removal
We propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program because previously finalized
measure Q177: Rheumatoid Arthritis (RA):
Periodic Assessment of Disease Activity
assesses the same patient population, but
requires more frequent asse-.::sment in order
to be numerator compliant making it a
tnore robust tneasure.
We propose removal ofthis measure
(finalized in 81 FR 77558 through 77G75)
as a quality measure from the MIPS
program as it is not consistent with current
guidelines. It was previously proposed for
removal, but was retained to allow for the
measure to be updated to align with newly
released guidelines. This measure was not
updated to align with new guidelines. '!he
measure steward and a co-owner of this
measnre, AGA, consulted with other coowners, the American College of
Gastroenterology (ACG) and the American
Society for Gastrointestinal Endoscopy
(ASGE), and all agree that measure Q 185
should be removed.
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TABLE C: Previously Finalized Quality Measures Proposed for Removal in the 2022 MIPS Payment Year and Future Years
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cCQM
NQF#
Quality
#
0564/
0564e
192
CMSeCQM
ID
CMS132
vS
..
.··
Collection
Type
eCQM
Specificatio
ns, MIPS
CQMs
Specificatio
ns
Measure.
'Ty).Je
Outcome
National
Quality
Strategy
Domain
Patient
Safety
...
Measure Title
and Description
·.
Cataracts: Complications
within 30 Days Following
Cataract Surgery Requiring
Additional Surgical
Procedures:
Percentage of patients aged
18 years and older with a
diagnosis ofuncomplicated
cataract who had cataract
surgery and had any of a
specified list of surgical
procedures in the 30 days
following cataract surgery
which would indicate the
occurrence of any ofthe
following major
complications: retained
nuclear fragments,
endophthalmitis, dislocated or
wrong power IOL, retinal
detachment, or wound
dehiscence.
Measure
Steward
Physicia
n
Consorti
umfor
Perform
ance
Improve
rnent
Foundati
on
(PCP!®)
Rationale for .Removal
We propose the removal of this measure
(finalized in Sl FR 7755S through 77675)
as a quality measure from the MIPS
program hecause it is considered a standard
of care that has limited opportunity to
itnprove clinical outcomes. Performance on
this measure is exiremely high and
unvarying making this measure extremely
topped out as discussed in the CY 2019
PFS final rule (83 FR 59761 through
59763).
'1he measure steward did propose to update
the language to better clarify how the
measure is currently implemented. They
also requested to update the denominator
exclusion data elements/value sets;
removing 'Aphakia and Other Disorders of
Lens,' 'Cysts of Iris, Ciliary Body and
Anterior Chamber,' 'Enophthalmos,' and
'Prior Pars Plana Vitrcctomy' and adding
'Glaucoma Associated with Congenital
Anomalies, Dystrophies and Systemic
Syndromes,' 'Other Endophthalmitis,' and
'Purulent Endophthalmitis'. We do not
believe these changes will have an impact
on performance rates and will continue to
propose its removal due to beiog extremely
topped out In addition, the measure
steward proposed to update the measure to
specify the complication should be
assessed of the operative eye.
This is an inverse measure with extremely
high perfonnance rate of0.9 percent for
eCQM specifications collection type and
0.2 percent for MIPS CQMs collection
type. For an inverse measure, a lower
calculated perfom1ance rate indicates better
clinical care or control. As such, the eCQM
and MIPS CQMs specifications collection
types are considered extremely topped out
Average performance rates are based on
the current .\HPS benchmarking data
located at
· ''cwv ·'"''''
cnntcnts3 :ilnazon~ws cnm.unlnad:: '342'20
!9" o20\l!PS 0 o20()uulitv 0 i,20BcndmJHrks.
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TABLE C: Previously Finalized Quality Measures Proposed for Removal in the 2022 MIPS Payment Year and Future Years
cCQM
NQF#
Quality
#
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CMSeCQM
ID
..
.··
Collection
Type
N/A
MIPS
CQMs
Specificatio
ns
N/A
Medicare
PartE
Claims
Measure
Specificatio
ns, MIPS
CQMs
Specitlcatio
ns
18:25 Aug 13, 2019
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Measure.
Ty).Je
Patient
Repmted
Outcome
Structure
PO 00000
National
Quality
Strategy
...
Measure Title
and Description
Measure
Steward
Dmnalu.·
·.
Commu
nication
and Care
Coordin
ation
Functional Status Chan~e
for Patients with General
Orthopedic Impairments:
A patient-reported outcome
measure of risk-adjusted
change in functional status
(FS) for patients aged 14
years+ with general
orthopedic impairments
(neck, cranium, mandible,
thoracic spine, ribs or other
general orthopedic
impainnent). TI1e change in
FS is assessed using the
General Orthopedic FS
PROM (patient repmted
outcome measure) ('0 Focus
on Therapeutic Outcomes,
Inc.). The measure is adjusted
to patient characteristics
known to be associated with
FS outcomes (risk adjusted)
and used as a performance
measure at the patient level,
at the individual clinician, and
at the clinic level to assess
quality. TI1e measure is
available as a computer
adaptive test, for reduced
patient burden, or a short
fom1 (static survey).
Focus on
Therape
utic
Outcome
s, Inc.
Commu
nication
and Care
Coordin
ation
Radiology: Reminder
System for Screening
Mammograms:
Percentage of patients
undergoing a screening
tnanunogratn whose
information is entered into a
reminder system with a target
due date for the next
mammogram.
America
n
College
of
Radiolog
y
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E:\FR\FM\14AUP2.SGM
Rationdle for .Removal
We propose removal of this measure
(finalized in Sl FR 7755S through 77675)
as a quality measure from the MIPS
program as the measure steward, Focus on
Therapeutic Outcomes, Inc. (FOTO) no
longer supports the inclusion of the
measure. TI1e patient population within this
measure is captured in the proposed FOTO
measure A4: Functional Status Change for
Patients with Neck Impairments. In the
event we do nul finalize A4: Functional
Status Change for Patients with Neck
Impairments, we would maintain this
measure with the following substantive
changes: update the numerator to require
meeting or exceeding the risk adjusted
prediction of the functional status change
to be a Performance Met, move the current
denominator exclusions to denominator
exceptions, add denominator exclusion for
patients with diagnosis of a degenerative
neurological condition at any time before
or during the episode of care, and add
denominator exceptions for ongoing care
not indicated: patient self-discharged early,
patient discharged after only 1-2 visits due
medical events, patient seen only 1-2 visits.
In the event the proposed suhstantive
change( s) are finalized, the substantive
changes would not allow for a direct
comparison of performance data from prior
years to performance data submitted after
the implementation of these substantive
changes.
We propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program because it represents a structure
measure rather than a measure that
supports direct patient care. We believe
!hal il is important for eligible clinicians Lo
encourage the development of such
systems to track mammography to support
patient compliance for adherence of
clinical guidelines hut systems would
likely be implemented by support staff and
management We are striving for more
outcome based measures.
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TABLE C: Previously Finalized Quality Measures Proposed for Removal in the 2022 MIPS Payment Year and Future Years
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cCQM
NQF#
Quality
#
1854
249
CMSeCQM
ID
N/A
..
.··
Collection
Type
Medicare
ParlE
Claims
Measure
Specificatio
ns, MIPS
CQMs
Specificatio
ns
Measure.
'Ty).Je
Process
...
National
Quality
Measure Title
and Description
Strategy
Domain
·.
Effective
Clinical
Care
Barrett's Esophagus:
Percentage of esophageal
biopsy reports that document
the presence of Barrett's
mucosa that also include a
statement about dysplasia.
Measure
Steward
College
of
A.Jnerica
n
Patholog
ists
Rationale for .Removal
We propose the removal of this measure
(finalized in Sl FR 7755S through 77675)
as a quality measure from the MIPS
program hecause it is considered a standard
of care that has limited opportunity to
itnprove clinical outcomes. Performance on
this measure is exiremely high and
unvarying, making this measure extremely
topped out as discussed in the CY 2019
PFS final rule (83 FR 59761 through
59763).
'I he average performance for this measure
is 100 percent for the Medicare Part B
Claims specifications collection type and
99.5 percent for the MIPS CQMs
specifications collection type. As such, the
Medicare Part B Claims and MIPS CQMs
specifications collection types are
considered extremely topped out. The
average performance rate is based on the
current 'vl!PS benchmarking data located at
https
eonk11l.s3 amazonaws.cnm.'lmload•: '342120
i ')" ,,2() MJPS'1o200J:al1ty 0 o20lknchmarks.
m
Medicare
Partl:l
Claims
1853
250
N/A
Memmre
Speciticatio
ns, MIPS
CQM<
Speciticatio
ns
Process
Effective
Clinical
Care
Radical Prostatectomy
Pathology Reporting:
Percentage of radical
prostatectomy pathology
reports that include the p T
category, the p'\J category, the
Gleason score and a statement
about margin status.
College
of
America
II
Palholog
ists
We propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program because it is considered a standard
of care that has 1imited opportunity to
improve clinical outcomes. Performance on
this measure is extremely high and
unvarying, making this measure exiremely
topped out as discussed in the CY 2019
PI'S final rule (83 l'R 59761 through
59763).
T11e average perfom1ance for this measure
is 99.9 percent for the Medicare Part B
Clairm specifications collection type and
99.7 percent for the MIPS CQMs
specifications collection type. As such, the
Medicare Part B Claims and MIPS CQMs
specifications collection types are
considered extremely topped out The
average performance rate is based on the
current 'vl!PS benchmarking data located at
httrs
conkllLs3.umazonaws com unload' 342 20
1:rko
VerDate Sep<11>2014
18:25 Aug 13, 2019
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#
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CQM
ID
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.··
Collection
Type
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ParlE
Claims
Measure
Specificatio
ns, MIPS
CQMs
Specificatio
ns
MIPS
CQMs
Spccificatio
ns
Jkt 247001
Measure.
Type
Process
Process
PO 00000
...
National
Quality
Strategy
Measure Title
and Description
Dmnalu.·
·.
Effective
Clinical
Care
Rh Immunoglobulin
(Rhogam) for Rh-Negative
Pregnant Women at Risk of
Fetal Blood Exposure:
Percentage ofRh-negative
pregnant women aged 14-50
years at risk of fetal blood
exposure who receive RhImmunoglobulin (Rhogam) in
the emergency depmtment
(ED).
Patient
Safety
Image Confirmation of
Successful Excision of
Image-Localized Breast
Lesion:
Image confirmation of
lesion(s) targeted for image
guided excisional biopsy or
image guided partial
mastectomy in patients with
nonpalpable, image-detected
breast lesion(s). Lesions may
include: microcalcificalions,
mammographic or
sonographic mass or
architectural distortion, focal
suspicious abnormalities on
magnetic resonance imaging
(MR I) or other hreast imaging
amenable to localization such
as positron en1ission
tomography (PET)
mal1ll1lography, or a biopsy
marker demarcating site of
confirmed pathology as
established by previous core
biopsy.
Frm 00689
Fmt 4701
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Steward
A.Jnerica
n
College
of
Emergen
cy
Physicia
ns
America
II
Society
of Breast
Surgeon
s
E:\FR\FM\14AUP2.SGM
Rationdle for .Removal
We propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program because this measure narrows the
eligible patient population to the RhNegative pregnant women which has not
been able to create a benchmark. This is a
result ofthe limited patient population and
measure adoption which does not provide a
meaningful impact to quality improvement
The limited adoption over multiple
program years suggests this is not an
important clinical topic for MIPS eligihle
clinicians. This does not align with the
meaningful measure initiative. We
encourage measure stewards to develop a
measure that expands the patient
population to those that had their Rh Status
evaluated in the Emergency Department
(ED) and received Rh-inununoglobulin
(Rho gam) if Rh-negative.
We propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program because it is considered a standard
of care that has limited opportunity to
in1prove clinical outcon1es. Perfon11ance on
this measure is extremely high and
unvarying making this measure extremely
topped out as discussed in the CY 2019
PFS final rule (83 FR 59761 through
59763).
The average performance for this measure
is 100 percent for the MIPS CQMs
specifications collection type based on the
current \TIPS henchmarking data located at
bttps
contcn!.s3.anuzomlws.com 'uploads.'J42/2()
! 9 1' o20\lll''-;"i>20()uallfv" ,,20llciJ::b.DJJlJl'Sc.
14AUP2
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TABLE C: Previously Finalized Quality Measures Proposed for Removal in the 2022 MIPS Payment Year and Future Years
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#
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.··
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Type
MIPS
CQMs
Specificatio
ns
MIPS
CQMs
Specificatio
ns
Jkt 247001
Measure.
'Ty).Je
Process
Process
PO 00000
...
National
Quality
Measure Title
and Description
Strategy
Domain
·.
Effective
Clinical
Care
Sentinel Lymph Node
Biopsy for Invasive Breast
Cancer:
The percentage of clinically
node negative (clinical stage
TlNOMO or T2NO.\i!O) breast
cancer patients before or after
neoadjuvant systemic therapy,
who undergo a sentinel lymph
node (ST N) procedure.
Effective
Clinical
Care
Inflammatory Bowel
Disease (IBD): Preventive
Care: Corticosteroid
Related Iatrogenic InjuryBone Loss Assessment:
Percentage of patients
regardless of age with an
inflammatory bowel disease
encounter who were
prescribed prednisone
equivalents greater than or
equal to 10 mg/day for 60 or
greater consecutive days or a
single prescription equating to
600 mg prednisone or greater
for all fills and were
documented for risk of bone
loss once during the reporting
year or the previous calendar
year. Individuals who
received an assessment for
bone loss during the year
prior and current year are
considered adequately
screened to prevent ovemse
of X -ray assessment.
Frm 00690
Fmt 4701
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Measure
Steward
Rationdle for .Removal
,·
We propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program because it is considered a standard
of care that has limited opportunity to
improve clinical outcomes. Perfonnance on
this measure is exiremely high and
A.Jnerican unvarying making this measure extremely
Society of topped out as discussed in the CY 2019
Breast
PFS final mle (83 FR 59761 through
Surgeon
59763).
s
The average performance for this measure
is 98.0 percent for the MIPS CQMs
specifications collection type based on the
current .\HPS benchmarking data located at
httm
cnnrcnLs1 Bmazonaws.com 1un1omh'142 '2D
l qv ,,2U~JJ l'S" ;,7nl l• •·•! itv" .. 20Bclklhmarks
zip.
We propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program because the substantive changes
submitted by the measure steward would
require ale" meaningful quality action
and extend the prednisone usage from 60 to
90 or greater consecutive days. The revised
measure's quality action would be
simplified to prescribing supplements such
as calcium and/or vitamin D optimization.
Additionally, the measure steward
proposes to replace the term ·'Loss
Assessment" with "Health Optimization"
throughout the measure, define the patient
population as 18 and over, as well as
updating the numerator definition to
"Documentation that calcium and/ or
Vitamin D optimization has been ordered
American or performed. This includes, but is not
Gastrolimited to, checking semm levels,
enterologi documenting use of supplements or
prescribing supplements" to better align
cal
with the mea,ure 's intent
Associati
'!he current measure requires a Central
on
Dual-energy X-Ray Absorptiometry
(DXA) and documented review of systems
and medication history or pharmacologic
therapy (other than minerals/vitamins) for
osteoporosis prescribed within the past two
years. We agree that patients without risk
factors would not be appropriate for
frequent DXA scans as the current quality
measure requires. The measure steward's
substantive changes for the measure do not
account for patients with high risk factors,
which may warrant additional screening
and pharmacologic treatment. TI1e measure
would be more robust if it was revised to
assess based on multiple clinical criteria
such as age, risk factors, etc. We encourage
the measure steward to submit a new
measure that takes into account risk factors
and require the appropriate clinical action.
E:\FR\FM\14AUP2.SGM
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cCQM
NQF#
Quality
#
N/A
282
CMSeCQM
..
.··
Collection
Type
ID
N/A
MIPS
CQMs
Specificatio
Measure.
'Ty).Je
Process
liS
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VerDate Sep<11>2014
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N/A
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MIPS
CQMs
Specificatio
ns
Jkt 247001
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PO 00000
...
National
Quality
Strategy
Dmnalu.·
Measure Title
and Description
·.
Effective
Clinical
Care
Dementia: Functional
Status Assessment:
Percentage of patients with
dementia for whom an
assessment of functional
status was performed at least
once in the last 12 months.
Commu
nication
and Care
Coordin
ation
Dementia: Education and
Support of Caregivers for
Patients with Dementia:
Percentage of patients with
dementia whose caregiver(s)
were provided with education
on dementia disease
management and health
behavior changes AT\D were
referred to additional
resources for support in the
last 12 months.
Frm 00691
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Measure
Steward
America
II
Academ
y of
Neurolo
gy
America
n
Academ
y of
Neurolo
gy
E:\FR\FM\14AUP2.SGM
Rationale for .Removal
We propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program. Based on input from the measure
ste"ard, "e propose the substantive
change of expanding the denominator to
physical therapy in the circumstance that
this measure is not finalized for removaL
In addition, we propose to add this measure
to the following specialty measure sets in
the event the measure is maintained within
the program: Physical Therapy/
Occupational Therapy and Clinical Social
Work. Although, with the denominator
expansion of measure Q282 to physical
therapy and the proposed inclusion of
behavioral health eligible clinicians to the
denominator of measure Q182: Functional
Outcome Assessment, this measure would
be duplicative to broadly applicable and
previously finalized measure Q 182.
T11erefore, we suppmt the removal of
measure Q282 due to duplicity. We believe
that it is important to reduce duplicative
measures within the program and prefer the
more robust measure Ql82 which supports
more frequent functional assessment and
care plan for identified functional
deficiencies.
We propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program because this measure is
duplicative and shares a denominator with
previously finalized measure Q286:
Dementia: Safety Concern Screening and
Follow-Up for Patients with Dementia
which requires screening and provision of
mitigation recommendations and referral to
resources for patients diagnosed with
dementia or their caregivers. In the
circumstance we do not finalize removal of
this measure, we would maintain this
measure with the following substantive
change(s) based on the measure steward's
input: include physical therapy in the
denominator of the measure. In addition,
we propose to add this measure to the
following specialty measure sets in the
event the measure is retained in the .Y!IPS
program based on stakeholder
comments: Physical Therapy/Occupational
Therapy and Clinical Social Work. We
believe that it is important to reduce
duplicity within the MIPS quality measures
and support the removal of measure Q288.
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TABLE C: Previously Finalized Quality Measures Proposed for Removal in the 2022 MIPS Payment Year and Future Years
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NQF#
Quality
#
N/A
1667
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N/A
VerDate Sep<11>2014
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328
329
CMSeCQM
ID
N/A
N/A
N/A
18:25 Aug 13, 2019
..
.··
Collection
Type
MIPS
CQMs
Specificatio
us
MIPS
CQMs
Specificatio
us
MIPS
CQMs
Specificatio
us
Jkt 247001
Measure.
Type
Process
Intermedi
ate
Outcome
Outcome
PO 00000
...
National
Quality
Strategy
Measure Title
and Description
Dmnalu.·
·.
Commu
nication
and Care
Coordin
ation
Adult Major Depressive
Disorder (MDD):
Coordination of Care of
Patients with Specific
Comorbid Conditions:
Percentage of medical records
of patients aged 18 years and
older with a diagnosis of
major depressive disorder
(MDD) and a specific
diagnosed comorhid
condition (diabetes, coronary
artery disease, ischemic
stroke, intracranial
hemorrhage, chronic kidney
disease [stages 4 or 5]. End
Stage Renal Disease [ESRD]
or congestive heart failure)
being treated by another
clinician with communication
to the clinician treating the
comorbid condition.
Effective
Clinical
Care
Pediatric Kidney Disease:
ESRD Patients Receiving
Dialysis: Hemoglobin Level
< 10 g/dL: Percentage of
calendar months within a 12month period during which
patients aged 17 years and
younger with a diagnosis of
End Stage Renal Disease
(ESRD) receiving
hemodialysis or peritoneal
dialysis have a hemoglobin
level < 10 g/dL.
Effective
Clinical
Care
Adult Kidney Disease:
Catheter Use at Initiation of
Hemodialysis:
Percentage of patients aged
18 years and older with a
diagnosis of End Stage Renal
Disease (ESRD) who initiate
maintenance hemodialysis
during the measurement
period, whose mode of
vascular access is a catheter at
the time maintenance
hemodialysis is initiated.
Frm 00692
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Measure
Steward
A.Jnerica
n
Psychiat
ru.:
Associat
IOU
Renal
Physicia
ns
Associat
!On
Renal
Physicia
liS
Associat
!On
E:\FR\FM\14AUP2.SGM
Rationdle for .Removal
We propose the removal ofthis measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program as we have reexamined public
comments received during last year's
rulemaking cycle. Stakeholders
commented that it is burdensome for
clinicians to retrieve specialists' reports for
all patient visits. This insinuates the
communication may be happening, but the
co-morbid treating physician is not looking
for and/or considering the MDD status.
Additionally, this measure is duplicative to
previously finalized measure Q374:
Closing the Referral Loop: Receipt of
Specialist Report which specifies
numerator compliance as receipt of report
from the referring eligible clinician. In the
event that the measure is maintained, we
propose to add this measure to the
following specialty set<: Clinical Social
Work
We propose the removal ofthis measure
(finalized in 81 l'R 77558 through 77675)
as a quality measure from the MIPS
program because this measure does not
align with the meaningful measure
initiative. There is limited patient
population and adoption of the quality
measure and does not allow for the creation
of benchmarks to provide a meaningful
in1pact to quality improvement. The
limited adoption over multiple program
years suggests this is not an important
clinical topic for MIPS eligible clinicians.
There were zero submissions for the 2017
performance period.
We propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program because this measure does no!
align with the meaningful measure
initiative. There is limited adoption of the
quality measure and does not allow for the
creation of benclunarks to provide a
meaningful impact to quality improvement.
The limited adoption over multiple
program years suggests this is not an
important clinical topic for MIPS eligible
clinicians. In the event that the measure is
retained in the MIPS program based on
stakeholder comments, we propose to add
this measure to the following specialty set
based on stakeholder feedback:
Nephrology.
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TABLE C: Previously Finalized Quality Measures Proposed for Removal in the 2022 MIPS Payment Year and Future Years
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NQF#
Quality
#
N/A
N/A
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343
345
CMSeCQM
ID
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N/A
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..
.··
Collection
Type
MIPS
CQMs
Specificatio
ns
MIPS
CQMs
Spccificatio
ns
MIPS
CQMs
Specificatio
ns
Jkt 247001
Measure.
'Ty).Je
Outcome
Outcome
Outcome
PO 00000
...
National
Quality
Measure Title
and Description
Measure
Steward
Strategy
Domain
·.
Patient
Safety
Adult Kidney Disease:
Catheter Use for Greater
Than or Equal to 90 Days:
Percentage of patients aged
18 years and older with a
diagnosis of End Stage Renal
Disease (ESRD) receiving
maintenance hemodialysis for
greater than or equal to 90
days whose mode of vascular
access is a catheter.
liS
Effective
Clinical
Care
Screening Colonoscopy
Adenoma Detection Rate:
The percentage of patients
age 50 years or older with at
least one conventional
adenoma or colorectal cancer
detected during screening
colonoscopy.
America
n
Society
for
Gastroin
testinal
Endosco
py
Effective
Clinical
Care
Rate of Asymptomatic
Patients Undergoing
Carotid Artery Stenting
(CAS) Who Are Stroke Free
or Discharged Alive: Percent
of asymptomatic patients
undergoing CAS who arc
stroke free while in the
hospital or discharged alive
following surgery.
Society
for
Vascular
Surgeon
s
Frm 00693
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Renal
Physicia
Associat
!On
E:\FR\FM\14AUP2.SGM
Rationale for .Removal
We propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program because this measure does not
align with the meaningful measure
initiative. There is limited adoption of the
quality measure and does not allow for the
creation of benchmarks to provide a
meaningful impact to quality improvement
The limited adoption over multiple
program years suggests this is not an
in1portant clinical topic for MIPS eligible
clinicians.
We propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program after review of previous
stakeholder feedback, scoring implications,
and attribution to the MIPS eligible
clinician. The measure does not account for
variables which may influence the
adenoma detection rate such as geographic
location, socioeconomic status of patient
population, community compliance of
screening, etc. Due to the measure
constmct, benchmarks calculated from this
measure arc misrepresented and do not
align with the MIPS scoring methodology
where 100 percent indicates better clinical
care or controL Guidelines and
snpplementalliterature support a
performance target for adenoma detection
rate of 25 percent for a mixed gender
population (20 percent in women and 30
percent in men). In addition, the measure
does not account for MIPS eligible
clinicians that fail to detect adenomas, hut
may score higher based on the patient
population.
We propose the removal of this measure
(finalized in (81 FR 77558 through 77675)
as a quality measure from the MIPS
program because it is duplicative in
concept and patient population as the
previously finalized measure Q344: Rate of
Carotid Artery Stenting (CAS) for
Asymptomatic Patients without Major
Complications (Discharged to Home hy
Post-Operative Day #2). Measure Q344 is
a tnore cmnprehensive tneasure accounting
for the patient population fmmd within
measure Q345 as well as assessing tor
complications and appropriate length of
stay. Based on input from the measure
steward, we propose the substantive
change of replacing the "or" with "and" in
the title and the numerator statement in the
circumstance that this measure is not
finalized for removaL Despite these
revisions, this measure is still duplicative
in nature and less comprehensive as
compared to measure Q344.
14AUP2
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TABLE C: Previously Finalized Quality Measures Proposed for Removal in the 2022 MIPS Payment Year and Future Years
NQF#i
cCQM
NQF#
Quality
#
1540
346
CMSeCQM
..
.··
Collection
Type
ID
N/A
MIPS
CQM<
Specificatio
Measure.
'Ty).Je
Outcome
National
Quality
Strategy
Domain
1534
347
N/A
Outcome
Society
for
Vascular
Surgeon
s
Patient
Safety
Rate of Endovascular
Aneurysm Repair (EVAR)
of Small or Moderate I'\ onRuptured Infrarenal
Abdominal Aortic
Aneurysms (AAA) Who Are
Discharged Alive:
Percent of patients
undergoing endovascular
repair of small or moderate
non-ruptured infrarcnal
abdominal aortic aneurysms
(AAA) who are discharged
alive.
Society
for
Vascular
Surgeon
s
Patient
Safety
Total Knee Replacement:
Preoperative Antibiotic
Infusion with Proxin1al
Tourniqul't:
Percentage of patients
regardless of age undergoing
a total knee replacement who
had the prophylactic
antibiotic completely infused
prior to the inflation of the
proximal tourniquet
Effective
Clinical
Care
liS
N/A
352
N/A
MIPS
CQMs
Specificatio
ns
Process
·.
Measure
Steward
Rate of Asymptomatic
Patients Undergoing
Carotid Endarterectomy
(CEA) Who Are Stroke
Free or Discharged Alive:
Percent of asymptomatic
patients undergoing CEA who
are stroke tree or discharged
alive following surgery.
liS
MIPS
CQMs
Specificatio
...
Measure Title
and Description
America
II
Associat
ion of
Hip and
Knee
Surgeon
s
Rationale for .Removal
We propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program because it is duplicative in
concept and patient population as the
previously finalized measure Q260: Rate of
Carotid Endarterectomy (CEA) for
Asymptomatic Patients, without Major
Complications (Discharged to Home by
Post-Operative Day #2). Measure Q260 is
a more comprehensive measure accounting
for the patient population found within
measure Q346 as well as assessing for
complications and appropriate length of
stay. !:lased on input trom the measure
steward, we propose the substantive
change of replacing the "or" with "and" in
the title and the numerator statement in the
circu1nstance that this n1easure is not
finalized for removaL Despite these
revisions, this measure is still duplicative
in nature and less comprehensive as
compared to measure Q260.
W c propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure trom the MIPS
program because it is duplicative in
concept and patient population as the
previously finalized measure Q259: Rate of
Endovascular Aneurysm Repair (EVAR)
of Small or Moderate Non-Ruptured
Inti-arena! Abdominal Aortic Aneurysms
(AAA) without Major Complications
(Discharged at Home hy Post-Operative
Day #2). Measure Q259 is a more
comprehensive measure accounting for the
patient population found within measure
Q347 as well as assessing for
complications and appropriate length of
stay.
We propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program because it is considered a standard
of care that has limited opportunity to
itnprove clinical outcomes. Performance on
tl1is measure is extremely high and
unvarying making this measure extremely
topped out as discussed in the CY 2019
PFS tina! rule (83 FR 59761 through
59763).
The average performance for this measure
is 98.8 percent for the MIPS CQMs
specifications collection type based on the
current .\HPS benchmarking data located at
hi!Ds: ''mJih:1rJ-nrod-
contcnt,s3.:H!J:J?nn:;w,.com'unlond::.J42.'20
19 1: ;,2(Ji\JJPS"" ?Oi lualilv" ,,zOJk'lkhmurks.
VerDate Sep<11>2014
18:25 Aug 13, 2019
Jkt 247001
PO 00000
Frm 00694
Fmt 4701
Sfmt 4725
E:\FR\FM\14AUP2.SGM
14AUP2
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Lill:
41175
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TABLE C: Previously Finalized Quality Measures Proposed for Removal in the 2022 MIPS Payment Year and Future Years
NQF#i
eCQM
NQF#
..
.··
Quality
#
NA
353
CMSeCQM
II}
N/A
Collection
Measure.
Type
'Ty]Je
MIPS
CQMs
Specificatio
ns
Process
National
Quality
Strategy
Domain
...
Measure Title
and. Description
Rationdle for .Removal
,·
·.
Total Knee Replacement:
Identification of Implanted
P.-osthe•is in Opemtive
Report:
Percentage of patients
regardless of age undergoing
a total knee replacement
whose operative report
identifies the prosthetic
implant specifications
including the prosthetic
implant manufacturer, the
brand name of the prosthetic
implant and the size of each
prosthetic implant
Patient
Safety
Measure
Steward
We propose the removal ofthis measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program because it is considered a standard
of care that has limited opportunity to
America
n
Associat
ion of
Hip and
Knee
Surgeon
s
improve clinical outcomes. Perfonnance on
this measure is c>.1:rcmcly high and
unvarying making this measure extremely
topped out as discussed in the CY 2019
PFS final mle (83 FR 59761 through
59763).
The average performance for this measure
is 98.6 percent for the MIPS CQMs
specifications collection type based on the
current :Vl!PS benchmarking data located at
hthw
co1: !ci1Ls1 mns on;ms.u•m 1un1omJ.: ]42 2D
t 9» ,,](!' !JPS 0 ::mr·,, ,.,! itv"v20Bclk'hmarks.
~m.
N/A
N/A
361
362
N/A
N/A
MIPS
CQMs
Specificatio
ns
MIPS
CQMs
Specificatio
ns
Stmcture
Stmcture
Patient
Safety
Commu
nication
and Care
Coordin
ation
Optimizing Patient
Exposure to Ionizing
Radiation: Reporting to a
Radiation Dose Index
Registry:
Percentage of total computed
tomography (CT) studies
perfonned for all patients,
regardless of age, that are
submitted to a radiation dose
index registry that is capable
of collecting at a minimum
selected data elements.
Optimizing Patient
Exposure to Ionizing
Radiation: Computed
Tomography (CT) Images
Available for Patient
FoUow-np and Comparison
Purposes:
Percentage of final reports for
computed tomography (CT)
studies pe1formed for all
patients, regardless of age,
which document that Digital
Itnaging and Conununications
in :Vledicine (DICOM) format
image data are available to
non-affiliated external
healthcare facilities or entities
America
n
College
of
Radiolog
y
A.Jnerica
n
College
of
Radiolog
y
We propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program because this is not furthering
quality care, but simply submitting to a
radiation dose index and does not deter
excessive radiation. Despite this stmcture
measure supporting patient care, it does not
measure quality care that directly impacts
patients. We believe this measure is not
providing a meaningful impact to quality
in1provement to require radiation
reduction.
We propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program because this is not furthering
quality care, but simply setting up a
database. Despite this structure supporting
patient care, it does not measure quality
care that directly impacts patients. We
believe this measure is not providing a
meaningful impact to quality improvement
on a secure, media free,
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reciprocally searchable basis
with patient authorization for
at least a 12 month period
after the study.
41176
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TABLE C: Previously Finalized Quality Measures Proposed for Removal in the 2022 MIPS Payment Year and Future Years
NQF#i
eCQM
NQF#
..
.··
Quality
#
0712e
371
CMSeCQM
II}
CMSI60
v8
Collection
Type
eCQM
Specificatio
ns
Measure.
'Ty).Je
Process
National
Quality
Strategy
Domain
Effective
Clinical
Care
...
Measure Title
and Description
Measure
Steward
Depression Ltilization of the
PHQ-9Tool:
'lhe percentage of adolescent
patients 12 to 17 years of age
and adult patients age 1S and
older with tbe diagnosis of
major depression or
dysthymia who have a
completed PHQ-9 during
each applicable 4 month
period in which there was a
qualifying depression
Minneso
ta
Commu
nity
Measure
ment
encounter.
N/A
N/A
172
388
CMS82v
7
N/A
eCQM
Specificatio
ns
MIPS
CQMs
Specificatio
ns
Process
Outcome
Commu
nity/Pop
ulation
Health
Patient
Safety
Rationdle for .Removal
..
·.
Maternal Depression
Screening:
The percentage of children
who turned 6 months of age
during the measurement year,
who had a face-to-face visit
between the clinician and the
child during child's first 6
months. and who had a
maternal depression screening
for the mother at least once
between 0 and G months of
life.
Cataract Surgery with
Intra-Operative
Complications (Unplanned
Rupture of Posterior
Capsule Requiring
Unplanned Vitrectomy):
Percentage of patients aged
18 years and older who had
cataract surgery performed
and had an llllplanned rupture
of the posterior capsule
requiring vitrectomy.
National
Committ
ee for
Quality
Assuran
ce
America
n
Acadcm
y of
Ophthal
mology
We propose the removal ofthis measure
(finalized in 81 FR 77558 through 77G75)
as a quality measure from the MIPS
program because this measure only
captures the process of depression
screening and is duplicative of previously
finalized measure Q3 70: Depression
Remission at Twelve Months. Measure
Q370 is a more robust outcome measure,
requiring depression remission for
numerator compliance. The screening
element found within this process measure
is a part oflogic for measure Q370. In the
event that the measure is retained in the
MIPS program based on stakeholder
comments, we propose to add this measure
to the following specialty set as it is
clinically relevant to the clinician type:
Pediatrics.
We propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program because denominator eligibility is
determined by the visits to the child's
MIPS eligible clinician. The quality action
would not be attributed to the child's MIPS
eligible clinician, but rather to the
obstetrician or primary care provider of the
mother. The measure does not account for
instances where the mother is not present
for the child's visits.
We propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program because it is considered a standard
of care that has limited opportunity to
in1prove clinical outcomes. Performance on
this measure is extremely high and
unvarying, making this measure extremely
topped out as discussed in the CY 2019
PFS final rule (S3 FR 59761 through
59763).
The average performance for this inverse
measure is 0.4 percent for the MIPS CQMs
specifications collection type. For an
inverse measure, a lower calculated
performance rate indicates better clinical
care or control. As such, the MIPS CQMs
specifications collection type is considered
exiremely topped out The average
performance rate is based on the current
MIPS
data located at
httns
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TABLE C: Previously Finalized Quality Measures Proposed for Removal in the 2022 MIPS Payment Year and Future Years
NQF#i
cCQM
NQF#
Quality
#
N/A
395
CMSeCQM
ID
N/A
..
.··
Collection
Type
Medicare
Part R
Claims
Measure
Specificatio
ns, MIPS
CQMs
Specificatio
ns
Measure.
Type
Process
...
National
Quality
Strategy
Measure Title
and Description
Dmnalu.·
·.
Commu
nication
and Care
Coordin
ation
Lung Cancer Reporting
(Biopsy/C)1ology
Specimens):
Pathology reports based on
biopsy and/or cytology
specimens with a diagnosis of
primary non-small cell lung
cancer classified into specific
histologic type or classified as
non-small cell lung cancer not
otherwise specified (NSCLCNOS) with an explanation
included in the pathology
report.
Measure
Steward
College
of
America
n
Patholog
ists
Rationdle for .Removal
We propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program because it is considered a standard
of care that has limited opportunity to
itnprove clinical outcomes. Performance on
this measure is extremely high and
unvarying, making this measure extremely
topped out as discussed in the CY 2019
PFS final rule (83 FR 59761 through
59763).
The average performance for this measure
is 98.9 percent for the Medicare Part B
Claims specifications collection type and
98 percent for the MIPS CQMs
specifications collection type. As such, the
Medicare Part B Claims and MIPS CQMs
specifications collection types are
considered extremely topped out The
average performance rate is based on the
current .\UPS benchmarking data located at
hHos.
d.
conkllt.s3.amazonaws.com ·uoload<: J:J2. 20
I 9'' c-20 Ml PS'! o200• :alit, 0 o20l3cl: clm1ar~s.
ill
N/A
196
N/A
Medicare
PartE
Claims
Measure
Specificatio
ns, MIPS
CQMs
Specificatio
ns
Process
Commu
nication
and Care
Coordin
ation
Lmrg Cancer Reporting
(Resection Specimens):
Pathology repmts based on
resection specimens with a
diagnosis of primary lung
carcinoma that include the pT
category, p'J category and for
non-small cclllung cancer
(NSCLC), histologic type.
College
of
A.Jnerica
n
Patholog
ists
We propose the removal of this measure
(finalized in 81 l'R 77558 through 77675)
as a quality measure from the MIPS
program because it is considered a standard
of care that has limited opportunity to
itnprove clinical outcmnes. Perfonnance on
this measure is extremely high and
unvarying, making this measure extremely
topped out as discussed in the CY 2019
PFS final rule (S1 FR 59761 through
59763).
The average performance for this measure
is 99.9 percent for the MIPS CQMs
specifications collection type. As such, the
MIPS CQMs specifications collection
types are considered extremely topped out
Tire Medicare Pmt B Claims specification
has not established a benchmark, but we do
not maintain this collection type without a
corresponding collection type. The average
performance rate is based on the current
MIPS benchmarking data located at
httns·.···
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Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
TABLE C: Previously Finalized Quality Measures Proposed for Removal in the 2022 MIPS Payment Year and Future Years
NQF#
Quality
#
N/A
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407
CMSeCQM
II}
..
.··
Collection
Type
N/A
MIPS
CQMs
Spccificatio
ns
N/A
Medicare
PartE
Claims
Measure
Speci±icatio
ns, MIPS
CQM<
Speci±icatio
ns
18:25 Aug 13, 2019
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Measure.
'Ty]Je
Process
Process
PO 00000
...
National
Quality
Measure Title
and. Description
Measure
Steward
Strategy
Domain
·.
Person
and
Care give
rCentered
Experien
ce and
Outcome
s
Adult Kidney Disease:
Referral to Hospice:
Percentage of patients aged
18 years and older with a
diagnosis of end -stage renal
disease (ESRD) who
withdraw tfom hemodialysis
or peritoneal dialysis who are
referred to hospice care.
Renal
Physicia
ns
Associat
ion
Effective
Clinical
Care
Appropriate Treatment of
Methicillin-Susceptible
Staphylococcus Aureus
(MSSA) Bacteremia:
Percentage of patients with
sepsis due to MSSA
bacteremia who received
beta-lactam antibiotic (e.g.
Nafcillin, Oxacillin or
Cefazolin) as definitive
therapy.
Infection
s
Diseases
Society
of
America
Frm 00698
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Rationdle for .Removal
..
We propose the removal ofthis measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program because this measure does not
align with the meaningful measure
initiative. There is limited adoption of the
quality measure and docs not allow for the
creation of benchmarks to provide a
meaningful impact to quality improvement
The limited adoption over multiple
program years suggests this is not an
important clinical topic for MIPS eligible
clinicians. T11is concept would be more
inclusive and better represented if the
denominator was expanded to include
patients with multiple chronic conditions.
We propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program because it is considered a standard
of care that has Iimited opportunity to
in1provc clinical outcomes. Performance on
this measure is extremely high and
unvarying, making this measure exiremely
topped out as discussed in the CY 2019
PI'S final rule (83 l'R 59761 through
59763).
T11e average perfom1ance for this measure
is 98.7 percent for the MIPS CQMs
specifications collection type based on the
current .\HPS benchmarking data located at
httns
contcnt.sJ "''"•""""'".ccm 1unlcach];j2.2D
l9",,2(i'\!lPS 0 Q2ilQr•".litv 0 v20llcndnnark~.
In the circumstance we do not finalize
removal of this measure, we would
maintain this measure with the following
substantive change( s) based on the measure
steward's input: add criteria for
denominator eligibility to include
Diagnosis for Bacteremia (ICD-1 0-C.Vl):
R78.81 AND Methicillin susceptible
Staphylococcus aureus infection as the
cause of diseases classified elsewhere
(ICD-10-CM): B95.6L Despite these
revisions offered by the measures steward,
we do not believe this will affect the
average perfonnance for this rneasure.
14AUP2
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eCQM
41179
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
TABLE C: Previously Finalized Quality Measures Proposed for Removal in the 2022 MIPS Payment Year and Future Years
NQF#i
eCQM
NQF#
..
.··
Quality
#
0711
411
CMSeCQM
II}
N/A
Collection
Type
MIPS
CQMs
Specificatio
ns
Measure.
'Ty).Je
Outcome
National
Quality
Strategy
Domain
Effective
Clinical
Care
...
Measure Title
and Description
Measure
Steward
Rationdle for .Removal
..
·.
Depression Remission at Six
Months:
The percentage of adolescent
patients 12 to 17 years of age
and adult patients 18 years of
age or older with major
depression or dysthymia who
reached remission six months
(+/- 60 days) after an index
event date.
Minneso
ta
Commu
nity
Measure
n1ent
We propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program because this patient population
and quality action arc duplicative of
previously finalized measure Q370:
Depression Remission at Twelve Months
but vary in timeframe in which depression
remission is required. The exiended
timeframe allows assessment of patient to
ensure n1anagen1ent and prevention of
depression relapse. American Psychiatric
Association (20 10) states "Continuation
therapy is the four-to-nine month period
beyond the acute treatment phase during
which the patient is treated with
antidepressants, psychotherapy, ECTor
other somatic therapies to prevent relapse.
Relapse is common within the first 6
months following remission from an acute
depressive episode; as many as 20-85
percent ofpaticnts may relapse." In the
circumstance we do not finalize removal of
this measure, we would maintain this
measure with the following substantive
change(s) based on the measure steward's
input: update the denominator allowing
PIIQ-9/PIIQ9M to be administered during
the index encounter or up to 7 days prior to
encounter. In addition, we propose to add
this measure to the tollowing specialty
rneasure sets in the event the rneasure is
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for
Vascular
Surgeon
s
E:\FR\FM\14AUP2.SGM
a more comprehensive measure accounting
for the patient population found within
measure Q417 as well as assessing for
complications and appropriate length of
slay.
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MIPS
CQMs
Specificatio
ns
Rate of Open Repair of
Small or Moderate NonRuptured Infrarenal
Abdominal Aortic
Aneurysms (AAA) Where
Patients Are Discharged
Alive:
Percentage of patients
undergoing open repair of
small or moderate nonruptured infrarenal abdominal
aortic aneurysms (AAA) who
are discharged alive.
retained in the MIPS program based on
stakeholder comments within the program
as it is clinically relevant to these clinician
types: Pediatrics and Clinical Social Work.
Despite these revisions offered by the
measures steward, we prefer measure Q170
which supports the quality outcome
depression remission at 12 months.
We propose the removal of this measure
(finalized in (81 FR 77558 through 77675)
as a quality measure from the MIPS
program because it is duplicative in
concept and patient population as the
previously finalized measure Q258: Rate of
Open Repair of Small or Moderate NonRuptured Infrarenal Abdominal Aortic
Aneurysms (AAA) without Major
Complications (Discharged to Home by
Post-Operative Day #7). Measure Q258 is
41180
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TABLE C: Previously Finalized Quality Measures Proposed for Removal in the 2022 MIPS Payment Year and Future Years
NQF#i
eCQM
NQF#
Quality
#
N/A
428
CMSeCQM
II}
N/A
..
.··
Collection
Type
MIPS
CQMs
Specificatio
ns
Measure.
'Ty]Je
Process
...
National
Quality
Strategy
Domain
Effective
Clinical
Care
·.
Measure Title
and. Description
Pelvic Organ Prolapse:
Preoperative Assessment of
Occult Stress U riuary
Incontinence:
Percentage of patients
undergoing appropriate
preoperative evaluation of
stress urinary incontinence
prior to pelvic organ prolapse
surgery per
ACOG/AUGS!AUA
guidelines.
Measure
Steward
A.Jnerica
n
Urogyne
cologie
Society
Rationdle for .Removal
,·
We propose the removal ofthis measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program because it is considered a standard
of care that has limited opportunity to
improve clinical outcomes. Perfonnance on
tbis measure is c>.1:rcmcly high and
unvarying making this measure extremely
topped out as discussed in the CY 2019
PFS final mle (83 FR 59761 through
59763).
The average performance for this measure
is 98 percent for the MIPS CQMs
specifications collection type based on the
current :Vl!PS benchmarking data located at
hthw
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19" ,:2()\!ll'"" ::mr·,, ,.,! itv~c:20l:bk·hmarks
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Clinical
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Commill
ee for
Quality
Assuran
ce
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0071
MIPS
CQMs
Specificatio
ns
Persistence of Beta-Blocker
Treatment After a Heart
Attack:
The percentage of patients 18
years of age and older during
the measurement year who
were hospitalized and
discharged from July I ofthe
year prior to the measurement
year to Jtme 30 of the
measurement year with a
diagnosis of acute myocardial
infarction (A.\i!I) and who
were prescribed persistent
beta-blocker treatment for six
months after discharge.
~m.
We propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program because the patient population is
captured within previously finalized
measure Q007: Coronary Artery Disease
(CAD): Beta-Blocker Therapy- Prior
Myocardial Infarction (MI) or Left
Ventricular Systolic Dysfunction (LVEF <
40%). While the quality action requires
persistent beta-blocker treatment, the
performance period is narrowed to only
include the patients hospitalized and
discharged for the first 6 months of the
performance period. '!his does not include
patient hospitalized and discharged after
July I, thus missing a substantial portion of
the patient population. In the circumstance
we do not tinalize removal ofthis measure,
we would maintain this measure with tbe
following substantive change(s) based on
tbe measure steward-s input: update the
denominator exclusion adding advance
illness and frailty. Despite these revisions
offered by the measure steward, we
maintain that measure Q007 will capture
tbc patient population sampled within this
measure and allows for a 12 montb
performance period.
41181
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TABLE C: Previously Finalized Quality Measures Proposed for Removal in the 2022 MIPS Payment Year and Future Years
eCQM
NQF#
0733
1857
N/A
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.··
Quality
#
VerDate Sep<11>2014
44G
449
454
CMSeCQM
II}
N/A
N/A
N/A
18:25 Aug 13, 2019
Collection
Type
MIPS
CQMs
Specificatio
ns
MIPS
CQMs
Specificatio
ns
MIPS
CQMs
Specificatio
ns
Jkt 247001
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'Ty).Je
Outcome
Process
Outcome
PO 00000
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Quality
Strategy
Domain
Eftlcienc
y and
Cost
Reductio
n
Effective
Clinical
Care
Measure
Steward
Rationdle for .Removal
..
·.
Operative Mortality
Stratified by the Five STSEACTS Mortality
Categories:
Percent of patients undergoing
index pediatric and! or
congenital heart surgery who
die, including both 1) all
deaths occurring during the
hospitalization in which the
procedure was perfonned,
even if after 30 days
(including patients transferred
to other acute care facilities),
and 2) those deaths occuning
after discharge ±rom the
hospital, but within 30 days of
the procedure, stratitied by the
five STAT Mortality Levels, a
multi-institutional validated
complexity stratification tool.
Patient
Safety
Frm 00701
...
Measure Title
and Description
HER2 Negative or
Undocnmented Breast
Cancer Patients Spared
Treatment with HER2Targeted Therapies:
Percentage oftemale patients
(aged 18 years and older)
with breast cancer who are
human epidermal growth
factor receptor 2 (HER2)/neu
negative who are not
administered HER2-targeted
therapies.
PPrcPntagP ofPatiPnts who
Died from Cancer with
More than One Emergency
Department Visit in the
Last 30 Days of Life (lower
score- better):
Percentage of patients who
died from cancer with more
than one emergency
department visit in the last 30
days of life.
Fmt 4701
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Society
of
Tiwracic
Surgeon
s
America
n
Society
of
Clinical
Oncolog
y
A.Jnerica
n
Society
of
Clinical
Oncolog
y
E:\FR\FM\14AUP2.SGM
We propose the removal of this measure
(finalized in 81 FR 77558 through 77G75)
as a quality measure from the MIPS
program because the denominator has a
very limited patient population. We believe
tbis measure does not align with the
meaningful measure initiative. The limited
patient population and adoption of the
quality measure does not allow for the
creation of benchmarks to provide a
meaningful impact to quality improvement.
The limited adoption over multiple
program years suggests this is not an
in1portant clinical topic for MIPS eligible
clinicians. In tbe event that the measure is
retained in the MIPS program based on
stakeholder comments. we propose to add
tbis measure to the following specialty set
as it is clinically relevant to this clinician
type: Thoracic Surgery.
We propose the removal of this measure
(finalized in Sl FR 7755S through 77675)
as a quality measure from the MIPS
program because clinically we believe this
to he standard of care. The performance
data does not support a meaningful gap.
TI1e average perfonnance for this measure
is 97.4 percent for the MIPS CQMs
specifications collection type based on the
current .\HPS benchmarking data located at
httn,:.···
coo!c:11!.sJ.mnazonaws.com'unlom.l•: "l•t2:20
19" c2(i~ll!'S':,?n()t ,J,t,y': o::WBonchllJ
NQF#i
41182
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
TABLE C: Previously Finalized Quality Measures Proposed for Removal in the 2022 MIPS Payment Year and Future Years
cCQM
NQF#
Quality
#
0215
NIA
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NIA
VerDate Sep<11>2014
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467
474
CMSeCQM
ID
NIA
..
.··
Collection
Type
MIPS
CQMs
Specificatio
ns
NIA
MIPS
CQMs
Specificatio
ns
NIA
MIPS
CQMs
Specificatio
ns
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Ty).Je
National
Quality
Strategy
Dmnalu.·
...
Measure Title
and Description
·.
Measure
Steward
Effective
Clinical
Care
Percentage of Patients who
Died From Cancer Not
Admitted to Hospice (lower
score- better):
Percentage of patients who
died from cancer not admitted
to hospice.
Process
Commu
nity/Pop
ulation
Health
Developmental Screening in
the First Three Years of
Life:
The percentage of children
screened for risk of
developmental, behavioral and
social delays using a
standardized screening tool in
the 12 months preceding or on
their first, second, or third
birthday. 'lhis is a composite
measure of screening in the
first three years of life that
includes three, age-specific
indicators assessing whether
children are screened in the 12
months preceding or on their
first, second or third birthday.
Oregon
Health &
Science
Universi
ty
Process
Commu
nity/Pop
ulation
Health
Zoster (Shingles)
Vaccination:
The percentage of patients
aged 50 years and older who
have had the Shingrix zoster
(shingles) vaccination.
Centers
for
Medicar
e&
Medicai
d
Services
Process
PO 00000
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II
Society
of
Clinical
Oncolog
y
E:\FR\FM\14AUP2.SGM
Rationdle for .Removal
We propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program because the concept would be
captured in measure Q457: Percentage of
Patients who Died from Cancer Admitted
to Hospice for Less than 3 Days (lower
score- better) and is the more robust
measure as it requires at least 3 days of
hospice prior to death.
We propose the removal of this measure
(finalized in 81 FR 77558 through 77675)
as a quality measure from the MIPS
program after review of denominator of
this process measure is not able to
specifically target a pediatric patients
primary clinician for performance of
developmental screening. The measure
owner submitted a substantive change to
revise the denominator eligible coding to
include well-child visits. The well-child
visit encounters would likely include the
attestation of the numerator's quality action
and therefore inflate perfonnance of the
measure. While we agree that screening
pediatric patients for development
milestones is indicative of quality
interactions with patients, we believe that
the complexity of implementing the
proposed change creates a less meaningful
assessment of MIPS eligible clinicians.
We propose the removal of this measure
(finalized in S1 FR 6010S) as a quality
measure ±rom the MlPS program because it
is duplicative of measure A3: Adult
Immunization Status proposed in this
proposed rule. This new measure, if
finalized. is a more robust inununization
measure which requires multiple ageappropriate preventive immunizations.
~r e are proposing to rernove this tneasure
to be consistent with ensuring measures are
not duplicative and present an opportunity
to provide a meaningful impact to qualitv.
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41183
TABLE Group D: Previously Finalized Quality Measures with Substantive Changes Proposed for the 2022 MIPS
Payment Year and Future Years
NOTE: Electronic Clinical Quality Measures (eCQMs) that are National Quality Forum (NQF) endorsed are shown in TableD as follows:
NQF #I eCQMNQF #.
D.l Diabetes: Hemoglobin Ale (HbAlc) Poor Control (>9%)
Effective Clinical Care
Current Collection Type:
Medicare Part R Claims Measure Specifications, eCQM Specifications, CMS Weh Interface Measure Specifications, MIPS
CQMs Specifications
Current Measure
Description:
Percentage of patients 18-75 years of age with diabetes who had hemoglobin Ale> 9.0 percent during the measurement period.
Substantive Change:
Steward:
Hieh Prioritv Measure:
Measure Type:
Rationale:
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0059 IN! A
001
CMS122v8
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Updated denominator exclusions: For eCQM Specifications collection type: Added the following:
(l) Patients 66 years of age and older with advanced illness and frailly.
(2) Patients 66 years of age and older who are living in a long-term institutional setting, such as a nursing home, for more than 90
days during the measurement period.
For Medicare Part B Claims Measure Specifications, CMS Web Interface Measure Specifications, and MIPS CQMs
Specifications collection type: Added the following:
(l) Patients 66 and older who are living long term in an institution for more than 90 days during the measurement period.
(2) Patients 66 years of age and older with at least one claim/encounter for frailty during the measurement period AND a
dispensed medication for dementia during the measurement period or the year prior to the measurement period.
(3) Patients 66 years of age and older with at least one claim/encounter for frailty during the measurement period AND either one
acute inpatient encounter with a diagnosis of advanced illness or two outpatient, observation, ED or nonacute inpatient encounters
on different dates of service with an advanced illness diagnosis during the measurement period or the year prior to the
measurement period.
( 4) Dementia Exclusion Medications: Cholinesterase inhibitors: Donepezil, Galantamine, Rivastigimine
Miscellaneous central nervous system agents: Memantine
National Committee for Quality Assurance
Yes
Intermediate Outcome
The measure steward believes it is unlikely patients with dementia requiring listed medications or advanced illness and frailty
need some services and, in some cases, it might be harmful for patients to receive a particular service when they should prioritize
other services. The measure steward also believes that some of the services in this measure are not appropriate for patients 66
years of age and older who are living in a long-term institutional setting. We agree with the measure steward and believe that by
removing these patient populations, the burden to submit data is lessened for these MIPS eligible clinicians.
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Cateeory
NQF #I eCQM NQF #:
Quality#:
CMS eCQMID:
National Quality Stmtegy
Domain:
41184
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D.2. Heart Failure (HF): Angiotensin-Converting Enzyme (ACE) Inhibitor or Angiotensin Receptor Blocker (ARB)
Therapy for Left Ventricular Systolic Dysfunction (LVSD)
Cate~:ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Substantive Change:
Description
0081 I 008le
005
CMS135v8
Effective Clinical Care
eCQM Specifications, MIPS CQMs Specifications
Percentage of patients aged 18 years and older with a diagnosis of heart failure (HF) with a current or prior left ventricular
ejection fraction (LVEF) < 40% who were prescribed ACE inhibitor or ARB therapy either within a 12-month period when seen
in the outpatient setting OR at each hospital discharge.
The measure title is revised to read: Heart Failure (HF): Angiotensin-Converting Enzyme (ACE) Inhibitor or Angiotensin
Receptor Blocker (ARB) or Angiotensin Receptor-Neprilysin Inhibitor (ARNI) Therapy for Left Ventricular Systolic
Dysfunction (LVSD).
The measure description is revised to read: Percentage of patients aged 18 years and older with a diagnosis of heart failure
(HF) with a current or prior left ventricular ejection fraction (LVEF) < 40% who were prescribed ACE inhibitor or ARB or ARNI
therapy either within a 12- month period when seen in the outpatient setting OR at each hospital discharge
llpdated denominator: For the MIPS CQMs Specifications collection type for Submission Criteria 1 -"At least on additional
patient encounter during performance period", telehealth encounters will be included as denominator eligible encounters.
l:pdated numerator: Added language for ARNI therapy.
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
l:pdated dermition: Added language for ARNI lherapv.
Physician Consortium for Performance Improvement Foundation (PCPI®)
l\o
Process
This measure already includes ARNI therapy in the specifications and coding as well as a statement about the fact that ARNis are
a numerator compliant clinical action. The measure is proposed to be globally updated to include ARNI therapy language in the
title, description, numerator, definition, denominator exception, and rate aggregation to align with the intent of the measure. With
the inclusion of ARNI therapy, the intent of this measure is aligned with the most current clinical guidelines for ACE/ARB
therapies for patient's diagnoses with heart failure. Telehealth visits, for the additional denominator eligible encounters, were
added for Submission Criteria 1 in the MIPS CQMs Specifications collection type.
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Steward:
Hi~h Priority Measure:
Measure Type:
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41185
D.3. Coronary Artery Disease (CAD): Beta-Blocker Therapy-Prior Myocardial Infarction (Ml) or Left Ventricular
Systolic Dysfunction (LVEF <40%)
Description
Cate!!OI"Y
0070 I 0070e
NQF #I eCQM NQF #:
Quality#:
007
CMS eCQMID:
CMS145v8
N ationa! Quality Strategy
Effective Clinical Care
Domain:
eCQM Specifications, MIPS CQMs Specifications
Cm-rent Collection Type:
Percentage of patients aged 18 years and older with a diagnosis of coronary artery disease seen within a 12-month period who
Current Measure
Description:
also have prior MT or a current or prior I ,VEF < 40 percent who were prescrihed heta-hlocker therapy.
Updated calculation method: For the MIPS CQMs Specifications collection type: To be submitted as a single performance rate.
Steward:
Hieh Priority Measure:
Measure Type:
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
Updated denominator: For the MIPS CQMs Specifications collection type, "At least one additional patient encounter during
performance period", telehealth encounters will be included as denominator eligible encounters.
Physician Consortium for Performance Improvement Foundation (PCPI®)
No
Process
We are proposing to update the measure performance calculation for the MIPS CQMs Specifications collection type so that it is
submitted as a single performance rate as opposed to two performance rates. This change allows for better alignment between the
collection types. We are also proposing to add telehealth visits for the additional denominator eligible encounters for the MIPS
CQMs Specifications collection type. This change is in alignment with the eCQM Specifications collection type. We believe
these changes will allow for data congruency between the collection types while also lessening burden for implementation of the
measure across these collection types.
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Substantive Change:
41186
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D.4. Heart Failure (HF): Beta-Blocker Therapy for Left Ventricular Systolic Dysfunction (LVSD)
Description
NQF #I eCQM NQF #:
0083 I 0083e
008
Quality#:
CMS144v8
CMS eCQMID:
N ationa! Quality Strategy
Effective Clinical Care
Domain:
Current Collection Type:
eCQM Specifications, MIPS CQMs Specifications
Percentage of patients aged 18 years and older with a diagnosis of heart failure (HF) with a current or prior left ventricular
Current Measure
ejection fraction (LVEF) < 40% who were prescribed beta-blocker therapy either within a 12-month period when seen in the
Description:
outpatient setting OR at each hospital discharge.
For the eCQM Specifications collection type: The timing for cardiac pacer in situ diagnosis logic has been changed to 'overlaps
after'.
Cate~ory
Substantive Change:
Steward:
Prioritv Measure:
Measure Type:
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
For the MIPS CQMs Specifications collection type: we propose to add telehealth encounters for the additional patient encounter
as denominator eligible encounters for Submission Criteria 1. This change is in alignment with the eCQM Specifications
collection type. We believe these changes will allow for data congruency between the collection types while also lessening
burden for implementation of the measure across these collection types.
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Hi~h
Updated denominator: For the MIPS CQMs Specifications collection type: For Submission Criteria 1, "At least one
additional patient encounter during performance period", telehealth encounters will be included as denominator eligible
encounters.
Physician Consortium for Performance Improvement Foundation (PCP!®)
No
Process
For the eCQM Specifications collection type: the logic regarding the cardiac pacer in situ diagnosis is being proposed to be
updated to change the timing to 'overlaps after· to ensure it is present at the time of the end of the encounter and for
harmonization with CMS145v8.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41187
D5
.. An f1-D epressant M e di cat'Ion M anagement
Cate~ory
Description
NQF #I eCQM NQF #:
Quality#:
CMS eCQMID:
N a tiona! Quality Strategy
N!A
Current Measure
Description:
Substantive Change:
Steward:
Priority Measure:
Measure Type:
Hi~h
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
Effective Clinical Care
eCQM Specifications
Percentage of patients 1S years of age and older who were treated with antidepressant medication, had a diagnosis of major
depression, and who remained on an antidepressant medication treatment. Two rates are reported.
a. Percentage of patients who remained on an antidepressant medication for at least 84 days (12 weeks).
b. Percentage of patients who remained on an antidepressant medication for at least 180 days (6 months).
Updated guidance: Guidance statement updated to reflect the 105 day negative medication history.
Updated denominator: The required visit needs to be in the 60 days before or after the initial patient population antidepressant
medication dispensing event.
The initial patient population dispensing period will be from May 1st of the year prior to the measurement period to April 30th of
the measurement period.
Added nursing home encounters to list of qualifying encounters.
Updated denominator exclusion: Changed timing to 'overlaps' so that medications that are active in the 105 days prior may
count.
National Committee for Quality Assurance
No
Process
We are proposing to expand the denominator to include nursing home encounters as this measure is applicable to that setting and
this will increase the number of MIPS eligible clinicians who can report on the measure. The required visit for the initial patient
population is proposed to be in the 60 days before or after the initial patient population antidepressant medication dispensing
event as the intent is for a physician who has influence over the medication choice and follow-up to report the measure. The
measure steward feels, and we agree, that associating the visit with the medication dispensing event is more in line with the intent
of the measure. The initial patient population dispensing period is also being updated. We are proposing to update the
denominator exclusion logic so that medications that are active in the 105 days prior will also count as an exclusion. We are
proposing to update the guidance as well to reflect the change in the denominator exclusion.
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Dontain:
Current Collection Type:
009
CMS128v8
41188
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D6
.
thv:
.. n·13be fIC Retmopa
NQF #I eCQM NQF #:
Quality#:
CMS eCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Substantive Chan~e:
Steward:
Hieh Prioritv Measure:
Measure Type:
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
c ommumcafwn WI"th the PhllYSICiall M anagmg 0 ngomg n·Iabe t es c are
Description
0089 I 0089e
019
CMS142v8
Communication and Care Coordination
Medicare Part B Claims Measure Specifications. eCQM Specifications. MIPS CQMs Specifications
Percentage of patients aged 18 years and older with a diagnosis of diabetic retinopathy who had a dilated macular or fundus exam
performed with documented communication to the physician who manages the ongoing care of the patient with diabetes mellitus
regarding the findings of the macular or fundus exam at least once within 12 months.
Modified collection type: eCQM Specifications. MIPS CQMs Specifications
Physician Consortium for Performance Improvement Foundation (PCP!®)
Yes
Process
We propose to remove the Medicare Part B Claims Measure Specifications collection type as the benchmarking data shows that
this measure meets the extremely topped out definition. specifically for the Medicare Part B Claims Measure Specification
collection type. However. the benchmarking data continues to show a gap for the eCQM Specifications collection type and the
MIPS CQMs Specifications collection type. as such. the measure will be retained for these two collection types.
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Cate~ory
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41189
. t e Tes fIno ~or Ch"ld
D7Alppropna
I
ren WI"thPharynoitis
Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMS eCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Substantive Change:
Steward:
Hieh Prioritv Measure:
Measure Type:
VerDate Sep<11>2014
N!A
066
CMS146v8
Efficiency and Cost Reduction
eCQM Specifications, MIPS CQMs Specifications
Percentage of children 3-18 years of age who were diagnosed with pharyngitis, ordered an antibiotic and received a group A
streptococcus (strep) test for the episode.
Updated numerator: For the eCQM Specifications collection type: Removed Amhulatory/FD grouping value set, instead
using the individual value sets.
Updated denominator exclusions: Added exclusion for competing diagnosis at the same encounter as the pharyngitis diagnosis
or in the 3 days after the pharyngitis diagnosis.
National Committee for Quality Assurance
Yes
Process
For the eCQM Specifications collection type: The Amhulatory/FD grouping value sets are proposed to he removed so that
individual value sets will be used in order to increase transparency regarding which encounter value set is being utilized.
A denominator exclusion for a competing diagnosis that occurs at the same encounter or 3 days after the pharyngitis diagnosis is
proposed to be added to ensure the patient population being assessed is more in alignment with clinical intent of assessing
whether or not children diagnosed with pharyngitis were conectly evaluated and subsequently ordered antibiotics.
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Rationale:
Description
41190
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D.8. Prevention of Central Venous Catheter (CVC)- Related Bloodstream Infections
Current Measure
Description:
Substantive Change:
Steward:
Hi2h Priority Measure:
Measure Type:
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
Description
2726
076
NIA
Patient Safety
Medicare Part B Claims Measure Specifications, MIPS CQMs Specifications
Percentage of patients, regardless of age, who undergo central venous catheter (CVC) insertion for whom CVC was inserted with
all elements of maximal sterile barrier technique, hand hygiene, skin preparation and, if ultrasound is used, sterile ultrasound
techniques followed.
Updated numerator dermition: Added definition for Hand Hygiene: Washing hands with conventional soap and water or with
alcohol-based hand rubs (ABHR).
American Society of Anesthesiologists
Yes
Process
We propose to add the definition for hand hygiene that is found in the Clinical Recommendation Statement as a numerator
definition to make it more prominent and add clarity for measure users.
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Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMS eCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D9Prosa
tt e Cancer: AVOl'd ance o fO veruse ofB one scan fior s agmg L ow R'IS kP rosa
t te
Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
41191
c ancer Pf
a Ien s
Description
0389 I 0389e
102
CMS129v9
Efficiency and Cost Reduction
eCQM Specifications, MIPS CQMs Specifications
Percentage of patients, regardless of age, with a diagnosis of prostate cancer at low (or very low) risk of recurrence receiving
interstitial prostate brachytherapy, OR external beam radiotherapy to the prostate, OR radical prostatectomy, OR cryotherapy
who did not have a bone scan performed at any time since diagnosis of prostate cancer.
The measure description is revised to read: Percentage of patients, regardless of age, with a diagnosis of prostate cancer at low
(or very low) risk of recurrence receiving interstitial prostate brachytherapy, OR external beam radiotherapy to the prostate, OR
radical prostatectomy who did not have a bone scan performed at any time since diagnosis of prostate cancer.
Updated denominator: Removed cryotherapy from denominator statement/header.
Steward:
Hi2h Priority Measure:
Measure Type:
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
Updated denominator definition: Removed "Note: Patients with multiple adverse factors may be shifted into the high/very high
risk category" from definition of Intermediate Risk.
For the eCQM Specifications collection type: removed SNOMED and CPT codes related to cryotherapy from the SNOMED
CT extensional OlD and CPT extensional OlD "Prostate Cancer Treatment" value set.
Physician Consortium for Performance Improvement Foundation (PCPII!!l)
Yes
Process
We are proposing to remove cryotherapy from the measure to align with updated clinical guidelines. Current clinical guidelines
do not recommend cryotherapy as a routine primary therapy for localized prostate cancer due to the lack of long-term data
comparing this to treatments such as radiation or radical prostatectomy. Given that the denominator includes treatments
recommended for low/very low-risk prostate cancer patients, the measure steward's technical expert panel (TEP) agreed
cryotherapy should be removed from the denominator. All coding related to cryotherapy is being removed in accordance with the
updated guidelines. We are proposing to update the denominator definition to align with updated guidelines.
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Substantive Change:
41192
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D.lO. Adult Major Depressive Disorder (MDD): Suicide Risk Assessment
Cateeory
NQF #I eCQM NQF #:
Quality#:
CMS eCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Description
0104e
107
CMS161v8
Effective Clinical Care
eCQM Specifications
Percentage of patients aged 18 years and older with a diagnosis of major depressive disorder (MDD) with a suicide risk
assessment completed during the visit in which a new diagnosis or recurrent episode was identified.
Updated denominator: Added telehealth data element to "Major Depressive Disorder Encounter" definition using "Telehealth
Services" value set.
Updated guidance: Updated to reflect the inclusion oftelehealth encounters.
Updated defmition: The specific type and magnitude of the suicide risk assessment is intended to be at the discretion of the
individual clinician and should be specific to the needs of the patient. At a minimum, suicide risk assessment should evaluate:
Substantive Change:
Steward:
Hieh Ptimity Measure:
Measure Type:
VerDate Sep<11>2014
Low burden tools to track suicidal ideation and behavior such as the Columbia-Suicide Severity Rating Scale (C-SSRS) and the
Suicide Assessment Five-Step Evaluation and Triage (SAFE·T) can also be used. Because no validated assessment tool or
instrument fully meets the aforementioned requirements for the suicide risk assessment, individual tools or instruments have not
been explicitly included in coding.
Physician Consortium for Performance Improvement Foundation (PCPI®)
No
Process
The measure was reviewed by PCPI's technical expert panel and it was recommended to include telehealth encounters. We are
proposing to add telehealth data element to "Major Depressive Disorder Encounter" as telehealth encounters are directly
applicable to this measure and these patients should be included in the denominator to allow for numerator compliance to be
measured. We propose to reflect this change in the guidance header for additional clarity.
We are proposing to add clarifying language in the definition header regarding suicide risk assessments that could be appropriate
to meet the measure. It is still intended that the MIPS eligible clinician use their discretion when choosing the specific type and
magnitude of the suicide risk assessment, based upon the patient's specific needs, but the suicide risk assessments should include,
at minimum, certain criteria.
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khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
(1) Suicidal ideation
(2) Patient's intent of initiating a suicide attempt
AND, if either is present,
(1) Patient plans for a suicide attempt
(4) Whether the patient has means for completing suicide
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41193
Dll Breas tC ancer screenmg
Cateeory
NQF #I eCQM NQF #:
Quality#:
CMS eCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Description
2372 I KIA
112
CMS125v8
Effective Clinical Care
Medicare Part B Claims Measure Specifications, eCQM Specifications, CMS Web Interface Measure Specifications, MIPS
CQMs Specifications
Percentage of women 51- 74 years of age who had a mammogram to screen for breast cancer.
The measure description is revised to read: Percentage of women 50- 74 years of age who had a mammogram to screen for
breast cancer in the 27 months prior to the end of the measurement period.
The numerator is revised to read: Women with one or more mammograms 27 months prior to the end of the measurement
period.
Substantive Change:
Steward:
Hieh Priority Measure:
Measure Type:
Rationale:
Updated denominator exclusions: For eCQM Specifications collection type:
(1) Patients 66 years of age and older with advanced illness and frailty.
(2) Patients 66 years of age and older who are living in a long-term institutional setting, such as a nursing home, for more than
90 days during the measurement
For Medicare Part B Claims Measure Specifications, CMS Web Interface Measure Specifications, and MIPS CQMs
Specifications collection type: Added the following:
(1) Patients 66 and older who are living long tenn in an institution for more than 90 days during the measurement period.
(2) Patients 66 years of age and older with at least one claim/encounter for frailty during the measurement period AND a
dispensed medication for dementia during the measurement period or the year prior to the measurement period.
(3) Patients 66 years of age and older with at least one claim/encounter for frailty during the measurement period AND either
one acute inpatient encounter with a diagnosis of advanced illness or two outpatient, observation, ED or nonacute inpatient
encounters on different dates of service with an advanced illness diagnosis during the measurement period or the year prior to
the measurement period.
( 4) Dementia Exclusion Medications: Cholinesterase inhibitors: Donepezil, Galantamine, Rivastigimine
Miscellaneous central nervous system agents: Memantine
Updated numerator guidance: For the Medicare Part B Claims Measure Specifications, CMS Web Interface Measure
Specifications, MIPS CQMs Specifications collection types: Added "This measure evaluates primary screening. Do not count
biopsies, breast ultrasounds, or MRis because they are not appropriate methods for primary breast cancer screening.
Mammography screening is defined as a bilateral screening (both breasts) of breast tissue. If only one breast is present,
unilateral screening (one side) must be performed on the remaining breast."
National Committee for Quality Assurance
No
Process
We are proposing to add a timing component to the description for better clarity and alignment throughout the measure.
The numerator was revised to state the timing in the same manner as the description, however, the timing itself has not been
changed only stated differently. T11e measure steward believes it is unlikely patients with dementia requiring listed medications
or advanced illness and frailty need some services and, in some cases, it might even be hannful for patients to receive a
particular service when they should prioritize other services. The measure steward also believes that some of the services in this
measure are not appropriate for patients 66 years of age and older who are living in a long-term institutional setting. We believe
that by removing these patient populations, the burden to submit data is lessened for these MIPS eligible clinicians.
We are proposing to update the numerator guidance for the Medicare Part B Claims Measure Specifications, CMS Web
Interface Measure Specifications, and MIPS CQMs Specifications collection types to clarify the intent of the measure.
VerDate Sep<11>2014
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The measure logic for the Medicare Part B Claims Measure Specifications will remain the same from prior years to allow a 27month look back from the denominator eligible visit.
41194
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D 12 Cooreca
I
t I C ancer screenmg
Cateeory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Description
0034 I I\IA
113
CMS130v8
Effective Clinical Care
Current Collection Type:
Medicare Part B Claims Measure Specifications, eCQM Specifications, CMS Web Interface Measure Specifications, MIPS
CQMs Specifications
Current Measure
Description:
Percentage of patients 50-75 years of age who had appropriate screening for colorectal cancer.
Substantive Change:
Steward:
Hieh Priority Measure:
Measure Type:
Rationale:
Updated denominator exclusions: For eCQM Specifications collection type: Added the following:
( 1) Patients aged 66 years and older with advanced illness and frailty.
(2) Patients 66 years of age and older who are living in a long-term institutional setting, such as a nursing home, for more than
90 days in the measurement period.
For Medicare Part B Claims Measure Specifications, CMS Web Interface Measure Specifications, and MIPS CQMs
Specifications collection type: Added the following:
(1) Patients 66 and older who are living long term in an institution for more than 90 days during the measurement period.
(2) Patients 66 years of age and older with at least one claim/encounter for frailty during the measurement period AND a
dispensed medication for dementia during the measurement period or the year prior to the measurement period.
(3) Patients 66 years of age and older with at least one claim/encounter for frailty during the measurement period AND either
one acute inpatient encounter with a diagnosis of advanced illness or two outpatient, observation, ED or nonacute inpatient
encounters on different dates of service with an advanced illness diagnosis during the measurement period or the year prior to
the measurement period.
( 4) Dementia Exclusion Medications: Cholinesterase inhibitors: Donepezil, Galantamine, Rivastigimine
Miscellaneous central nervous system agents: Memantine
Updated numerator guidance: For Medicare Part R Claims Measure Specification and MIPS CQMs Specifications
collection types: Do not count DRE, FOBT tests performed in an office setting or performed on a sample collected via DRE.
National Committee for Quality Assurance
No
Process
We are proposing to add denominator exclusions for patients aged 66 years and older with advanced illness and frailty, taking
certain dementia medications, or who are living in a long-term institutional selling for more than 90 days. The measure steward
believes it is unlikely patients with dementia requiring listed medications or advanced illness and frailty need some services and,
in some cases, it might even be harmful for patients to receive a particular service when they should prioritize other services.
The measure steward believes the measure reflects services that may not be appropriate for patients in long-term institutional
settings. We believe that by removing these patient populations, the burden to submit data is lessened for these MIPS eligible
clinicians. We are also proposing to update guidance for numerator compliance for the Medicare Part B Claims Measure
Specitlcation and MIPS CQMs Specitlcations collection types to align with eCQM Specitlcations and CMS Web Interface
Measure Specifications collection types. The update would not allow fecal occult blood test (FOBT) via tests performed in an
office setting or performed on a sample collected via DRE to be numerator compliant. This update aligns with a more effective
method as FOBT by stool passed spontaneously (SPS) appears to be statistically superior to FOBT by DRE.
VerDate Sep<11>2014
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In the event the proposed substantive change(s) are finalized, the substantive changes would not allow for a direct comparison
of performance data from prior years to performance data submitted after the implementation of these substantive changes.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41195
D 13 D"Iabe tes: Ewe Exam
Cateeory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Substantive Change:
Steward:
High Priority Measure:
Measure Type:
Rationale:
Description
0055 I I\/ A
117
CMS131v8
Effective Clinical Care
Medicare Part B Claims Measure Specifications, eCQM Specifications, MIPS CQMs Specifications
Percentage of patients 18- 75 years of age with diabetes who had a retinal or dilated eye exam by an eye care professional
during the measurement period or a negative retinal or dilated eye exam (no evidence of retinopathy) in the 12 months prior to
the measurement period.
The measure description is revised to read: Percentage of patients 18-75 years of age with diabetes and an active diagnosis of
retinopathy overlapping the measurement period who had a retinal or dilated eye exam by an eye care professional during the
measurement period or diabetics with no diagnosis of retinopathy overlapping the measurement period who had a retinal or
dilated eye exam by an eye care professional during the measurement period or in the 12 months prior to the measurement
period.
Updated denominator exclusions: For eCQM Specifications collection type: Added the following:
(1) Patients 66 years of age and older with advanced illness and frailty.
(2) Patients 66 years of age and older who are living in a long-term institutional setting, such as a nursing home, for more than
90 days in the measurement period.
For Medicare Part B Claims Measure Specifications and MIPS CQMs Specifications collection type: Added the
following:
(1) Patients 66 and older who are living long term in an institution for more than 90 days during the measurement period.
(2) Patients GG years of age and older with at least one claim/encounter for frailty during the measurement period AND a
dispensed medication for dementia during the measurement period or the year prior to the measurement period.
(3) Patients GG years of age and older with at least one claim/encounter for frailty during the measurement period AND either
one acute inpatient encounter with a diagnosis of advanced illness or two outpatient, observation, ED or nonacute inpatient
encounters on different dates of service with an advanced illness diagnosis during the measurement period or the year prior to
the measurement period.
( 4) Dementia Exclusion Medications: Cholinesterase inhibitors: Donepezil, Galanlamine, Rivastigimine
Miscellaneous central nervous system agents: Memantine
Updated numerator:
Allows use of a diagnosis of retinopathy as a proxy for a positive eye exam.
• If the patient has a diagnosis of retinopathy that overlaps the measurement period, the patient will be required to have an eye
exam in the measurement period.
• If the patient does not have a diagnosis of retinopathy that overlaps the measurement period, the patient will be required to
have an eye exam in the 24 months prior to the end of the measurement period.
National Committee for Quality Assurance
No
Process
We are proposing to update the measure description to better align with proposed changes to logic. We agree with this update as
it clarifies the intent of the measure.
We are proposing to add denominator exclusions for patients aged 66 years and older with advanced illness and frailty, taking
certain dementia medications, and for patients who are living in a long-term institutional setting, such as a nursing home. The
measure steward believes it is unlikely patients with dementia requiring listed medications or advanced illness and frailty need
some services and, in some cases, it might even be harmful for patients to receive a particular service when they should
prioritize other services and that services within this measure may not be appropriate for older patients living in a long-term
institutional setting for longer than 90 days during the measurement period.
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In response to reports from EHR vendors that the measure was not reportable due to the results from an eye exam not being in
structured data, we are proposing to use the diagnosis of retinopathy as a proxy for a positive eye exam. Patients with a
diagnosis of retinopathy are required to have an eye exam yearly while patients without that diagnosis are required to have an
eye exam once every 24 months. We believe that by removing these two patient populations, the burden to submit data is
lessened for these MIPS eligible clinicians.
41196
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Dl4D"bt
Ia e es: Md"alAtt
e IC
ent"Ion ~or N epJh ropath~Y
Substantive Change:
Steward:
High Priority Measure:
Measure Type:
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
Description
0062 I I\IA
119
CMS134v8
Effective Clinical Care
eCQM Specifications, MIPS CQMs Specifications
The percentage of patients 18-75 years of age with diabetes who had a nephropathy screening test or evidence of nephropathy
during the measurement period.
Updated denominator exclusions: For eCQM Specifications collection type: Added the following:
(1) Patients 66 years of age and older with advanced illness and frailty.
(2) Patients 66 years of age and older who are living in a long-term institutional setting, such as a nursing home, for more than
90 days in the measurement period.
For CQMs Specifications collection type: Added the following:
(1) Patients 66 and older who are living long term in an institution for more than 90 days during the measurement period.
(2) Patients 66 years of age and older with at least one claim/encounter for frailty during the measurement period AND a
dispensed medication for dementia during the measurement period or the year prior to the measurement period.
(3) Patients 66 years of age and older with at least one claim/encounter for frailty during the measurement period AND either
one acute inpatient encounter with a diagnosis of advanced illness or two outpatient, observation, ED or nonacute inpatient
encounters on different dates of service with an advanced illness diagnosis during the measurement period or the year prior to
the measurement period.
(4) Dementia Exclusion Medications: Cholinesterase inhibitors: Donepezil, Galantamine, Rivastigimine
Miscellaneous central nervous system agents: Memantine
National Committee for Quality Assurance
No
Process
We are proposing to add denominator exclusions for patients aged 66 years and older with advanced illness and frailty, taking
certain dementia medications, and for patients who are living in a long-term institutional setting, such as a nursing home. The
measure steward believes it is unlikely patients with dementia requiring listed medications or advanced illness and trailty need
some services and, in some cases, it might even be harmful for patients to receive a particular service when they should
prioritize other services and that services within this measure may not be appropriate for older patients living in a long-term
institutional setting for longer than 90 days during the measurement period. We believe that by removing these patient
populations, the burden to submit data is lessened for these MIPS eligible clinicians.
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Cateeory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41197
D.15. Preventive Care and Screening: Body Mass Index (BMI) Screening and Follow-Up Plan
Cateeory
NQF #I eCQM NQF #:
Quality#:
CMS eCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Substantive Change:
Steward:
Hieh Priority Measure:
Measure Type:
Rationale:
Description
0421 I 0421e
128
CMS69v8
Community/Population Health
Medicare Part B Claims Measure Specifications, eCQM Specifications, MIPS CQMs Specifications
Percentage of patients aged 18 years and older with a BMI documented during the current encounter or during the previous
twelve months AND with a BMI outside of normal parameters, a follow-up plan is documented during the encounter or during
the previous twelve months of the current encounter.
Normal Parameters:
Age 18 years and older BMI > 18.5 and> 25 kg/m 2
Updated denominator exclusions: Added patients in hospice care.
Removed "or refuse follow-up" language from denominator exclusion.
For the eCQM Specifications collection type: Added a 'union' operator of'Intervention, Performed' for each 'Intervention,
Order' for Above and Below Normal Follow-Up Interventions. and a 'union' operator of'Intervention. Not Performed' for each
'Intervention, Not Ordered' for Above and Below Normal Follow-up Interventions not done due to a medical reason.
Centers for Medicare & Medicaid Services
No
Process
The measure steward convened an expert work group (EWG) and it was recommended that patients receiving hospice care
should be removed from this measure. We agree with the EWG that this patient population should be removed as patients in
hospice care would not benefit from this clinical service. Since assessment of BMI is not a valuable clinical assessment for
hospice patients we believe that by removing this patient population it will reduce the burden of submission for these MIPS
eligible clinicians providing care to these patients. We are proposing to remove "or refuse follow-up" from the denominator
exclusion for clarity. We are proposing to add a union operator to the eCQM Specifications collection type to allow the
intervention to be either completed or ordered, creating a new numerator option.
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We propose to update the eCQ.\1 Specifications collection type by adding a 'union' operator to allow intervention to be either
completed or ordered for numerator compliance. This allows for better alignment with measure intent.
41198
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D 16 P revenf Ive
Cateeory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
c are andScreenmg: screenmg ~or Depress10n and F0 IIow-UJp PI an
Description
0418 I 0418e
134
CMS2v9
Community/ Population Health
Medicare Part B Claims Measure Specifications, eCQM Specifications, CMS Web Interface Measure Specifications, MIPS
CQMs Specifications
Percentage of patients aged 12 years and older screened for depression on the date of the encounter using an age appropriate
standardized depression screening tool Al\D if positive, a follow-up plan is documented on the date of the positive screen.
The measure description is revised to read: Percentage of patients aged 12 years and older screened for depression on the
date of the encounter or up to 14 days prior to the date of the encounter using an age appropriate standardized depression
screening tool AND if positive, a follow-up plan is documented on the date of the eligible encounter.
Updated denominator: Added speech language pathology MIPS eligible clinician type.
For the Medicare Part B Claims Measure Specifications, CMS Web Interface Measure Specifications, and MIPS CQMs
Specifications: Added physical therapy MIPS eligible clinician type.
Substantive Change:
Updated denominator exception: Updated language to situations where the patient's cognitive capacity, functional capacity or
motivation to improve may impact the accuracy of results of standardized depression assessment.
The numerator is revised to read: Patients screened for depression on the date of the encounter or up to 14 days prior to the
date of the encounter using an age appropriate standardized tool AND if positive, a follow-up plan is documented on the date of
the eligible encounter.
Steward:
High Priority Measure:
Measure Type:
For the eCQM Specifications collection type: Updated the "Depression medications- adolescent" and the "Additional
evaluation for depression- adolescent" value sets to include additional medications.
Centers for Medicare & Medicaid Services
No
Process
We are proposing to update the measure description for better alignment with the measure intent and clinical practices, therefore
the measure, will reflect those changes within the guidance and logic. This change will not affect the denominator population,
but may expand the numerator population and provides a better opportunity for compliance.
Based upon requests from stakeholders physical therapy evaluation codes are proposed to be add to the denominator eligible
encounters to allow for this measure to be used in an additional setting. We agree that this is a clinically relevant measure to the
physical therapy setting.
Rationale:
We are proposing to update the denominator exception for better clarity to allow MIPS eligible clinicians to use cognitive
capacity as a denominator exception. The measure steward based this decision on feedback from clinical subject matter experts.
We agree that this is not a new denominator exception, but rather clarifies what is deemed a denominator exception for this
measure.
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The eCQM Specifications collection type's adolescent medication value sets is proposed to be updated to include additional
medications based upon recommendations from clinical subject matter experts. The additions will provide an opportunity for
better compliance by expanding the list of appropriate medication codes while also improving alignment with measure intent.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41199
D.17. Oncology: Medical and Radiation- Pain Intensity Quantified
Substantive Change:
Steward:
Hi2h Priority Measure:
Measure Type:
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
18:25 Aug 13, 2019
Description
0384/0384e
143
CMS157v8
Person and Caregiver Centered Experience and Outcomes
eCQM Specifications, MIPS CQMs Specifications
Percentage of patient visits, regardless of patient age, with a diagnosis of cancer currently receiving chemotherapy or
radiation therapy in which pain intensity is quantified.
Updated Guidance: For the eCQM Specifications collection type: This measure is an episode-of-care measure; the
level of analysis for this measure is every visit for patients with a diagnosis of cancer who are also currently receiving
chemotherapy or radiation therapy during the measurement period. For patients receiving radiation therapy, pain
intensity should be quantified at each radiation treatment management encounter where the patient and physician have
a face-to-face interaction. Due to the nature of some applicable coding related to the radiation therapy (e.g., delivered
in multiple fractions), the billing date for certain codes may or may not be the same as the face-to-face encounter date.
In this instance, for the reporting purposes of this measure, the billing date should be used to pull the appropriate
patients into the initial population. It is expected, though, that the numerator criteria would be performed at the time of
the actual face-to-face encounter during the series of treatments. For patients receiving chemotherapy, pain intensity
should be quantified at each face-to-face encounter with the physician while the patient is currently receiving
chemotherapy. For purposes of identifying eligible encounters, patients "currently receiving chemotherapy" refers to
patients administered chemotherapy within 30 days prior to the encounter AND administered chemotherapy within 30
days after the date of the encounter.
Physician Consortium for Performance Improvement Foundation (PCPI®)
Yes
Process
We propose to update the guidance within the eCQM Specifications collection type to address the limitations of the
radiation treatment management code 77427 and to provide clarification about the variation in how this code is
applied versus how the measure performance is assessed.
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Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
41200
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D18 0 nco ogy: Med"Ica an dRad"1at10n- PIano fC are fior M0 derate to severe p·
am
Category
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Substantive Change:
Description
0383
144
N/A
Person and Caregiver Centered Experience and Outcomes
MIPS CQMs Specifications
Percentage of patients, regardless of age, with a diagnosis of cancer currently receiving chemotherapy or radiation
therapy who report having moderate to severe pain with a plan of care to address pain documented on or before the
date of the second visit with a clinician.
Updated the description to read: Percentage of visits for patients, regardless of age, with a diagnosis of cancer
currently receiving chemotherapy or radiation therapy who report having pain with a documented plan of care to
address pain.
Updated the denominator to read: All visits for patients, regardless of age, with a diagnosis of cancer currently
receiving chemotherapy who report having pain
All visits for patients, regardless of age, with a diagnosis of cancer currently receiving radiation therapy who report
having pain
Steward:
Hieh Priority Measure:
Measure Type:
Rationale:
Updated the numerator to read: Patient visits that included a documented plan of care to address pain
American Society of Clinical Oncology
Yes
Process
We propose to revert this measure to the 2018 performance period measure specification. The 2019 measure narrows
the patient population to those who report moderate to severe pain and require the plan of care before or on the data of
the second visit with the clinician. The measure steward has submitted this version to NQF for re-endorsement where
the measure steward received feedback to further test the updated analytics. As such, we agree with reverting to the
NQF-endorsed measure.
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In the event the proposed substantive change(s) are finalized, the substantive changes would not allow for a direct
comparison of performance data from prior years to performance data submitted after the implementation of these
substantive changes.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41201
D.19. Rheumatoid Arthritis (RA): Tuberculosis Screening
Current Measure
Description:
Substantive Change:
Steward:
High Priority Measure:
Measure Type:
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
Description
NIA
176
N/A
Effective Clinical Care
MIPS CQMs Specifications
Percentage of patients aged 18 years and older with a diagnosis ofrheumatoid arthritis (RA) who have documentation of a
tuberculosis (TB) screening performed and results interpreted within 12 months prior to receiving a first course of therapy using
a biologic disease-modifying anti-rheumatic drug (DMARD).
Updated definition: Biologic DMARD Therapy- Includes Abatacept (Orencia), Adalimumab (Humira), Adalimumab-adbm
(Cyltezo), Adalimumab-atto (Amjevita), Anakinra (Kineret), Baricitinib (Olumiant), Certolizumab pegol (Cimzia), Etanercept
(Enhrel), Etanercept-szzs (Ere b), Golimumah (Simponi), Tnfliximah (Remicade), Tnfliximah-ahda (Renflexis), Tnfliximah-dyyh
(Inflectra), Infliximab-qbtx (Ixifi), Sarilumab (Kevzara), Tocilizumab (Actemra), Tofacitinib (Xeljanz).
American College of Rheumatology
No
Process
We are proposing to add Baricitinib (olumiant) and remove Rituximab (Rituxan) to the definition of "Biologic DMARD
"lherapy" as it was approved in 201S by the FDA for the treatment of rheumatoid arthritis. We agree with the inclusion of
Baricitinib in order to capture the relevant patient population. This revision allows eligible clinicians to achieve performance
with use of a new pharmacological therapy to treat RA.
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Cateeory
NQF #I eCQM NQF #:
Quality#:
CMS cCQMID:
National Quality Strategy
Domain:
Current Collection Type:
41202
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D.20. Rheumatoid Arthritis (RA): Periodic Assessment of Disease Activity
Substantive Change:
Steward:
High Priority Measure:
Measure Type:
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
Description
N/A
177
N/A
Effective Clinical Care
MIPS CQMs Specifications
Percentage of patients aged 18 years and older with a diagnosis of rheumatoid arthritis (RA) who have an assessment of disease
activity at 250% of encounters for RA for each patient during the measurement year.
Updated description: Percentage of patients aged 18 years and older with a diagnosis of rheumatoid arthritis (RA) who have an
assessment of disease activity using an ACR-preferred RA disease activity assessment tool at 250% of encounters for RA for
each patient during the measurement year.
Updated definition: Removed Patient Activity Scale (PAS) from definition of"Assessment of Disease Activity".
American College of Rheumatology
No
Process
The measure steward recently conducted an assessment of available RA disease activity tools and is updating tbe list of tools
they will endorse. 'lhe Patient Activity Scale (PAS) will no longer be an ACR-preferred rheumatoid arthritis disease activity
measurement tool and as such, we are proposing to remove this scale as an acceptable assessment tool within this measure and
update the description to align with this revision,
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Cateeory
NQF #I eCQM NQF #:
Quality#:
CMS cCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41203
D.21. Rheumatoid Arthritis (RA): Glucocorticoid Management
Current Measure
Description:
Substantive Change:
Steward:
Hieh Priority Measure:
Measure Type:
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
Description
N/A
180
N/A
Effective Clinical Care
MIPS CQMs Specifications
Percentage of patients aged 18 years and older with a diagnosis of rheumatoid arthritis (RA) who have been assessed for
glucocorticoid use and, for those on prolonged doses of prednisone 2 10 mg daily (or equivalent) with improvement or no
change in disease activity, documentation of glucocorticoid management plan within 12 months.
The measure description is revised to read: Percentage of patients aged 18 years and older with a diagnosis of rheumatoid
arthritis (RA) who have been assessed for glucocorticoid use and, for those on prolonged doses of prednisone > 5 mg daily (or
equivalent) with improvement or no change in disease activity, documentation of glucocorticoid management plan within 12
months.
The numerator is revised tu read: Patients who have been assessed for glucocorticoid use and for those on prolonged doses of
prednisone >5 mg daily (or equivalent) with improvement or no change in disease activity, documentation of a glucocorticoid
management plan within 12 months.
American College of Rheumatology
No
Process
We are proposing that this measure be revised to expand the numerator population being assessed for improvement or no change
in disease activity by dropping the prolonged doses of prednisone from 2 10 mg daily (or equivalent) to> 5 mg daily (or
equivalent). The measure steward conducted literature review that found a nearly 2-fold greater serious infection at 5-10 mg of
prednisone in RA. This change takes into consideration the dangers to patients associated with being on 5-l 0 mg doses of
prednisone. We agree with the decision to drop the dosage of prednisone to> 5 mg daily (or equivalent) given it aligns more
closely to dosing associated with patient risk and it is important to include these patients in the population being assessed for
improvement or no change.
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Cateeory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
41204
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D22 Eld er Maltrea mentS creen and Fo11 ow- UJP Plan
Current Measure
Description:
Substantive Change:
Steward:
Hi2h Priority Measure:
Measure Type:
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
18:25 Aug 13, 2019
Description
N/A
181
N/A
Patient Safety
Medicare Part B Claims Measure Specifications, MIPS CQMs Specifications
Percentage of patients aged 65 years and older with a documented elder maltreatment screen using an Elder
Maltreatment Screening Tool on the date of encounter AND a documented follow-up plan on the date of the positive
screen.
Updated denominator: Added physical and occupational therapy, ophthalmology, audiology and speech language
pathology MIPS eligible clinician types.
Centers for Medicare & Medicaid Services
No
Process
We are proposing, based upon requests from stakeholders, that coding be added to the denominator eligible
encounters to include physical/occupational therapy, ophthalmology, audiology and speech language pathology MIPS
eligible clinician types. This expansion of the numerator allows this measure to be used in an additional setting. We
agree that this measure is clinically relevant for the physical therapy setting.
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Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41205
D 23 Functional Outcome Assessment
Current Measure
Description:
Substantive Change:
Steward:
Hi2h Priority Measure:
Measure Type:
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
18:25 Aug 13, 2019
Description
2624
182
N/A
Communication and Care Coordination
Medicare Part B Claims Measure Specifications, MIPS CQMs Specifications
Percentage of visits for patients aged 18 years and older with documentation of a current functional outcome
assessment using a standardized functional outcome assessment tool on the date of the encounter AND documentation
of a care plan based on identified functional outcome deficiencies on the date of the identified deficiencies.
Updated denominator: Added mental/behavioral health, audiology, and speech language pathology MIPS eligible
clinicians.
Centers for Medicare & Medicaid Services
Yes
Process
We are proposing that the denominator be expanded to include coding for more MIPS eligible clinicians. We agree
with the decision to expand the MIPS eligible clinician types as it is clinically relevant to this clinician type and
allows for the removal of duplicative quality measures promoting functional assessment.
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Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
41206
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
"t WI"th"Ill 90D ays F 0 IIowmg
D24 Ca t arac s: 20/40 or Be tt er v·lSUa lA CUllY
Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
c a taractSurgery
Description
0565 I 0565e
191
CMS133v8
Effective Clinical Care
eCQM Specifications, MIPS CQMs Specifications
Percentage of patients aged 18 years and older with a diagnosis of uncomplicated cataract who had cataract surgery
and no significant ocular conditions impacting the visual outcome of surgery and had best-corrected visual acuity of
20/40 or better (distance or near) achieved within 90 days following the cataract surgery.
The measure description is revised to read: Percentage of cataract surgeries for patients aged 18 and older with a
diagnosis of uncomplicated cataract and no significant ocular conditions impacting the visual outcome of surgery and
had best-corrected visual acuity of20/40 or better (distance or near) achieved in the operative eye within 90 days
following the cataract surgery.
The initial population is revised to read: For the eCQM Specifications collection type:
All cataract surgeries for patients aged 18 years and older who did not meet any exclusion criteria.
The denominator is revised to read: For the MIPS CQMs Specifications collection type: All cataract surgeries for
patients aged 18 years and older who did not meet any exclusion criteria.
Substantive Change:
The denominator exclusion is revised to read: Cataract surgeries in patients with significant ocular conditions
impacting the visual outcome of surgery.
Update denominator exclusions: Removed the following data elements/value sets: 'Chorioretinal Scars,' 'Moderate
or Severe Impairment, Better Eye, Profound Impairment, Lesser Eye,' 'Other Corneal Deformities,' 'Other Disorders of
Sclera,' 'Other Retinal Disorders,' and 'Profound Impairment, Both Eyes'.
Add the following data elements/value sets: 'Cataract, Congenital,' 'Cataract, Mature or Hypermature,' 'Cataract,
Posterior Polar,' 'Hypotony of Eye,' 'Macular Scar of Posterior Polar' (new value set), 'Morgagnian Cataract,' 'Posterior
Lenticonus,' 'Retrolental Fibroplasias,' 'Traumatic Cataract,' and 'Vascular Disorders oflris and Ciliary Body'.
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
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Steward:
Hi2h Priority Measure:
Measure Type:
The numerator is revised to read: Cataract surgeries with best-corrected visual acuity of20/40 or better (distance or
near) achieved in the operative eye within 90 days following cataract surgery.
Physician Consortium for Performance Improvement Foundation (PCPI®)
No
Outcome
We are proposing that the measure language be updated to reflect that it is not a patient-based measure, but rather a
measure that assesses cataract surgeries. The measure steward believes and we agree this update in language better
aligns to the measure intent and implementation and also aligns with the current measure guidance. The measure
steward convened an Eye Care technical expert panel (TEP) who also agreed that these language updates would
provide more clarity around the intent, and be more explicit. The Eye Care TEP also reviewed and evaluated the
denominator exclusions resulting in removal and addition of data elements/value sets outlined above.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41207
D25 Fu nc fwna I Sta t us Change 1'or p a f Ien s WI"th Kn ee Impa1rmen s
Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Description
0422
217
N/A
Communication and Care Coordination
MIPS CQMs Specifications
A patient-reported outcome measure of risk-adjusted change in functional status for patients aged 14 years+ with knee
impairments. The change in functional status (FS) is assessed using the Knee FS patient-reported outcome measure
(PROM) (©2009-2019 Focus on Therapeutic Outcomes, Inc.). The measure is adjusted to patient characteristics
known to be associated with FS outcomes (risk adjusted) and used as a performance measure at the patient level, at the
individual clinician, and at the clinic level to assess quality. The measure is available as a computer adaptive test, for
reduced patient burden, or a short form (static measure).
Updated numerator: Changed to define Performance Met as meeting or exceeding the risk adjusted prediction of
functional status change. Numerator option "Risk-Adjusted Functional Status Change Residual Score for the knee
impairment successfully calculated and the score was less than zero(< 0)" will become Performance Not Met.
Updated defmitions: Removed:
(1) Admission (Option 1 & 2)
Substantive Change:
(2) Admission (Option 3 & 4)
(3) Discharge (Option 1 & 2)
(4) Discharge (Option 3 &4)
Added:
(1) Initial Evaluation: An Initial Evaluation is the first encounter for a functional deficit involving the knee and
includes an evaluation (CPT 97161, 97162, 97163, 97165, 97166, 97167, 99201, 99202, 99203, 99204, 99205, 99212,
99213, 99214, 99215, 98940, 98941, 98942, or 98943), or an Initial Evaluation Status M-code. A patient presenting
with a knee impairment, who has had an interruption of a Treatment Episode for the same functional knee deficit
secondary to an appropriate reason like hospitalization or surgical intervention, is an Initial Evaluation.
(2) Discharge: Discharge is accompanied by a treatment finalization and evaluation completion M-Code (Ml009)
identifying the close of a Treatment Episode for the same knee deficit identified at the Initial Evaluation and
documented by a Discharge report by the MIPS eligible clinician. An interruption in clinical care for an appropriate
reason like hospitalization or surgical intervention requires a discharge from the current Treatment Episode.
Updated:
Treatment Episode: A Treatment Episode is defined as beginning with an Initial Evaluation for a functional knee
deficit, progressing through treatment without interruption (for example a hospitalization or surgical intervention), and
ending with Discharge signifying that the treatment has been completed. A patient currently under clinical care for a
knee deficit remains in a single Treatment Episode until the Discharge is conducted and documented by the MIPS
eligible clinician.
Updated denominator: Consolidated all options into one denominator criteria.
The denominator is revised to read: All patients 14 years and older with knee impairments who have initiated a
Treatment Episode.
Updated denominator exclusions: Added the following:
(1) Patients with diagnosis of a degenerative neurological condition such as ALS, MS, Parkinson's diagnosed at any
time before or during the episode of care.
Updated denominator exceptions: Added the following:
(1) Ongoing care not indicated, patient self-discharged early and seen only 1-2 visits (e.g., financial or insurance
reasons, transportation problems, or reason unknown).
(2) Ongoing care not indicated, patient discharged after only 1-2 visits due to specific medical events, documented in
the medical record that make the treatment episode impossible such as the patient becomes hospitalized or scheduled
for surgery.
(3) Ongoing care not indicated, patient seen only 1-2 visits (e.g., home program only, referred to another provider or
facility, consultation only).
Moved from denominator exclusion to denominator exception
Steward:
Hi2h Priority Measure:
Measure Type:
VerDate Sep<11>2014
18:25 Aug 13, 2019
The numerator is revised to read: Patients who were presented with the Knee FS PROM at Initial Evaluation (Intake)
and at or near Discharge (Status) for the purpose of calculating the patient's Risk-Adjusted Functional Status Change
Residual Score.
Focus on Therapeutic Outcomes, Inc.
Yes
Patient Reported Outcome
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(1) Patient refused to participate.
41208
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
Description
We are proposing that the numerator be updated to define Performance Met as meeting or exceeding the risk
adjusted prediction of functional status change, making a score of less zero non-compliant and thus a Performance
Not Met. We agree with this change and believe it creates a more robust outcome measure as it is looking for a
meets or exceeds. The denominator exclusions and exceptions are being updated with clinically relevant reasons for
exclusion from the denominator or the performance rate. The current denominator exclusions are being moved to
denominator exceptions as this aligns better with the measure workflow. In addition, we propose to consolidate the
denominator options 1, 2, 3, and 4 into one denominator criteria for ease of use. The denominator definitions,
denominator, and numerator are being updated to align with these changes. We agree with these changes as they
make implementation of the measure less burdensome for the clinician.
Cateeory
Rationale:
I
VerDate Sep<11>2014
18:25 Aug 13, 2019
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EP14AU19.391
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In the event the proposed substantive change(s) are finalized, the substantive changes would not allow for a direct
comparison of performance data from prior years to performance data submitted after the implementation of these
substantive changes.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41209
D26 Funcf10naI St atus Ch ange fior p af Ien s WI"thH"IP Impa1rmen s
Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Description
0423
218
N/A
Communication and Care Coordination
MIPS CQMs Specifications
A patient-reported outcome measure of risk-adjusted change in functional status for patients 14 years+ with hip
impairments. The change in functional status (FS) is assessed using the Hip FS patient-reported outcome measure
(PROM) (©2009-2019 Focus on Therapeutic Outcomes, Inc.). The measure is adjusted to patient characteristics
known to be associated with FS outcomes (risk adjusted) and used as a performance measure at the patient level, at the
individual clinician, and at the clinic level to assess quality. The measure is available as a computer adaptive test, for
reduced patient burden, or a short form (static measure).
Updated numerator: Changed to define Performance Met as meeting or exceeding the risk adjusted prediction of
functional status change. Numerator option "Risk-Adjusted Functional Status Change Residual Score for the hip
impairment successfully calculated and the score was less than zero ( < 0)" will become Performance Not Met.
Updated defmitions: Removed:
(1) Admission (Option 1 & 2)
Substantive Change:
(2) Admission (Option 3 & 4)
(3) Discharge (Option 1 & 2)
(4) Discharge (Option 3 &4)
Added:
(1) Initial Evaluation: An Initial Evaluation is the first encounter for a functional deficit involving the hip and includes
an evaluation (CPT 97161, 97162, 97163, 97165, 97166, 97167, 99201, 99202, 99203, 99204, 99205, 99212, 99213,
99214, 99215, 98940, 98941, 98942, or 98943), or an Initial Evaluation Status M-code. A patient presenting with a hip
impairment, who has had an interruption of a Treatment Episode for the same functional hip deficit secondary to an
appropriate reason like hospitalization or surgical intervention, is an Initial Evaluation.
(2) Discharge: Discharge is accompanied by a treatment finalization and evaluation completion M-Code (MlOlO)
identifying the close of a Treatment Episode for the same hip deficit identified at Initial Evaluation and documented
by a discharge report by the MIPS eligible clinician. An interruption in clinical care for an appropriate reason like
hospitalization or surgical intervention requires a discharge from the current Treatment Episode.
Updated:
Treatment Episode: A Treatment Episode is defined as beginning with an Initial Evaluation for a functional hip deficit,
progressing through treatment without interruption (for example, a hospitalization or surgical intervention), and
ending with Discharge signifying that the treatment has been completed. A patient currently under clinical care for a
hip deficit remains in a single Treatment Episode until the Discharge is conducted and documented by the MIPS
eligible clinician.
Updated denominator: Consolidated all options into one denominator criteria.
The denominator is revised to read: All patients 14 years and older with hip impairments who have initiated a
Treatment Episode.
Updated denominator exclusions: Added the following:
(1) Patients with diagnosis of a degenerative neurological condition such as ALS, MS, Parkinson's diagnosed at any
time before or during the episode of care.
Updated denominator exceptions: Added the following:
(1) Ongoing care no indicated, patient self-discharged early and seen only 1-2 visits (e.g., financial or insurance
reasons, transportation problems, or reason unknown).
(2) Ongoing care not indicated, patient discharged after only 1-2 visits due to specific medical events documented in
the medical record that make the treatment episode impossible such as the patient becomes hospitalized or scheduled
for surgery.).
(3) Ongoing care not indicated, patient seen only 1-2 visits (e.g., home program only, referred to another provider or
facility, consultation only).
Moved from denominator exclusion to denominator exception
Steward:
Hi2h Priority Measure:
Measure Type:
VerDate Sep<11>2014
18:25 Aug 13, 2019
The numerator is revised to read: Patients who were presented with the Hip FS PROM at Initial Evaluation (Intake)
and at or near Discharge (Status) for the purpose of calculating the patient's Risk-Adjusted Functional Status Change
Residual Score.
Focus on Therapeutic Outcomes, Inc.
Yes
Patient Reported Outcome
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(1) Patient refused to participate.
41210
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
Description
We are proposing that the numerator be updated to define Performance Met as meeting or exceeding the risk
adjusted prediction of functional status change, making a score of less zero non-compliant and thus a Performance
Not Met. We agree with this change and believe it creates a more robust outcome measure as it is looking for a
meets or exceeds. The denominator exclusions and exceptions are being updated with clinically relevant reasons for
exclusion from the denominator or the performance rate. The current denominator exclusions are being moved to
denominator exceptions as this aligns better with the measure workflow. In addition, we propose to consolidate the
denominator options 1, 2, 3, and 4 into one denominator criteria for ease of use. The denominator definitions,
denominator, and numerator are being updated to align with these changes. We agree with these changes as they
make implementation of the measure less burdensome for the clinician.
Cateeory
Rationale:
I
VerDate Sep<11>2014
18:25 Aug 13, 2019
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EP14AU19.393
khammond on DSKBBV9HB2PROD with PROPOSALS2
In the event the proposed substantive change(s) are finalized, the substantive changes would not allow for a direct
comparison of performance data from prior years to performance data submitted after the implementation of these
substantive changes.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41211
D 27 Functional Status Change for Patien s with Lower Leg, Foo or Ankle lmpamnen s
NQF #I ECQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Description
0424
219
N/A
Communication and Care Coordination
MIPS CQMs Specifications
A patient-reported outcome measure of risk-adjusted change in functional status for patients 14 years+ with foot,
ankle and lower leg impairments. The change in functional status (FS) assessed using the Foot/Ankle FS patientreported outcome measure (PROM) (©2009-2019 Focus on Therapeutic Outcomes, Inc.). The measure is adjusted to
patient characteristics known to be associated with FS outcomes (risk adjusted) and used as a performance measure at
the patient level, at the individual clinician, and at the clinic level to assess quality. The measure is available as a
computer adaptive test, for reduced patient burden, or a short form (static measure).
Updated numerator: Changed to define Performance Met as meeting or exceeding the risk adjusted prediction of
functional status change. Numerator option "Risk-Adjusted Functional Status Change Residual Score for the lower
leg, foot, or ankle impairment successfully calculated and the score was less than zero (< 0)" will become
Performance Not Met.
Updated dermitions: Removed:
(1) Admission (Option 1 & 2)
(2) Admission (Option 3 & 4)
(3) Discharge (Option 1 & 2)
Substantive Change:
(4) Discharge (Option 3 &4)
Added:
(1) Initial Evaluation: An Initial Evaluation is the first encounter for a functional deficit involving the lower leg, foot
or ankle and includes an evaluation (CPT 97161, 97162, 97163, 97165, 97166, 97167, 99201, 99202, 99203, 99204,
99205, 99212, 99213, 99214, 99215, 98940, 98941, 98942, or 98943), or an Initial Evaluation Status M-code. A
patient presenting with a lower leg, foot or ankle impairment, who has had an interruption of a Treatment Episode for
the same functional lower leg, foot or ankle deficit secondary to an appropriate reason like hospitalization or surgical
intervention, is an Initial Evaluation.
(2) Discharge: Discharge is accompanied by a treatment finalization and evaluation completion M-Code (MlOll)
identifying the close of a Treatment Episode for the same lower leg, foot or ankle deficit identified at the Initial
Evaluation and documented by a discharge report by the MIPS eligible clinician. An interruption in clinical care for an
appropriate reason like hospitalization or surgical intervention requires a discharge from the current Treatment
Episode.
Updated:
Treatment Episode: A Treatment Episode is defined as beginning with an Initial Evaluation for a functional lower leg,
foot or ankle deficit, progressing through treatment, without interruption (for example, a hospitalization or surgical
intervention), and ending with Discharge signifying that the treatment has been completed. A patient currently under
clinical care for a foot, ankle or lower leg deficit remains in a single Treatment Episode until the Discharge is
conducted and documented by the MIPS eligible clinician.
Updated denominator: Consolidated all options into one denominator criteria.
The denominator is revised to read: All patients 14 years and older with foot, ankle or lower leg impairments who
have initiated a Treatment Episode.
Updated denominator exclusions: Added the following:
(1) Patients with diagnosis of a degenerative neurological condition such as ALS, MS, Parkinson's diagnosed at any
time before or during the episode of care.
Updated denominator exceptions: Added the following:
(1) Ongoing care not indicated, patient self-discharged early and seen only 1-2 visits (e.g., financial or insurance
reasons, transportation problems, or reason unknown).
(2) Ongoing care no indicated, patient discharged after only 1-2 visits due to specific medical events, documented in
the medical record that make the treatment episode impossible such as the patient becomes hospitalized or scheduled
for surgery.
(3) Ongoing care not indicated, patient seen only 1-2 visits (e.g., home program only, referred to another provider or
facility, consultation only).
The numerator is revised to read: Patients who were presented with the Foot/Ankle FS PROM at Initial Evaluation
(Intake) and at or near Discharge (Status) for the purpose of calculating the patient's Risk-Adjusted Functional Status
Change Residual Score.
VerDate Sep<11>2014
18:25 Aug 13, 2019
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EP14AU19.394
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Moved from denominator exclusion to denominator exception
(1) Patient refused to participate.
41212
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
Cateeory
Steward:
Hieh Priority Measure:
Measure Type:
Rationale:
Description
Focus on Therapeutic Outcomes, Inc.
Yes
Patient Reported Outcome
We are proposing that the numerator be updated to define Performance Met as meeting or exceeding the risk adjusted
prediction of functional status change, making a score ofless zero non-compliant and thus a Performance Not Met.
We agree with this change and believe it creates a more robust outcome measure as it is looking for a meets or
exceeds. The denominator exclusions and exceptions are being updated with clinically relevant reasons for exclusion
from the denominator or the performance rate. The current denominator exclusions are being moved to denominator
exceptions as this aligns better with the measure workflow. In addition, we propose to consolidate the denominator
options 1, 2, 3, and 4 into one denominator criteria for ease of use. The denominator definitions, denominator, and
numerator are being updated to align with these changes. We agree with these changes as they make implementation
of the measure less burdensome for the clinician.
VerDate Sep<11>2014
18:25 Aug 13, 2019
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EP14AU19.395
khammond on DSKBBV9HB2PROD with PROPOSALS2
In the event the proposed substantive change(s) are finalized, the substantive changes would not allow for a direct
comparison of performance data from prior years to performance data submitted after the implementation of these
substantive changes.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41213
D28 Func fwna I St atus Ch ange 1'or p afIen s WI"thLow BackimIpairmen s
Cate2ory
NQF #I ECQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Description
0425
220
N/A
Communication and Care Coordination
MIPS CQMs Specifications
A patient-reported outcome measure of risk-adjusted change in functional status for patients 14 years+ with low back
impairments. The change in functional status (FS) is assessed using the Low Back FS patient-reported outcome
measure (PROM) (©2009-2019 Focus on Therapeutic Outcomes, Inc.). The measure is adjusted to patient
characteristics known to be associated with FS outcomes (risk adjusted) and used as a performance measure at the
patient level, at the individual clinician, and at the clinic level by to assess quality. The measure is available as a
computer adaptive test, for reduced patient burden, or a short form (static measure).
Updated numerator: Changed to define Performance Met as meeting or exceeding the risk adjusted prediction of
functional status change. Numerator option "Risk-Adjusted Functional Status Change Residual Score for the low back
impairment successfully calculated and the score was less than zero(< 0)" will become Performance Not Met.
Updated def1nitions: Removed:
(1) Admission (Option 1 & 2)
Substantive Change:
(2) Admission (Option 3 & 4)
(3) Discharge (Option 1 & 2)
(4) Discharge (Option 3 &4)
Added:
(1) Initial Evaluation: An Initial Evaluation is the first encounter for a functional deficit involving the low back and
includes an evaluation (CPT 97161, 97162, 97163, 97165, 97166, 97167, 99201, 99202, 99203, 99204, 99205, 99212,
99213, 99214, 99215, 98940, 98941, 98942, or 98943), or an Initial Evaluation Status M-code. A patient presenting
with a low back impairment, who has had an interruption of a Treatment Episode for the same functional low back
deficit secondary to an appropriate reason like hospitalization or surgical intervention, is an Initial Evaluation.
(2) Discharge: Discharge is accompanied by a treatment finalization and evaluation completion M-Code (M1012)
identifying the close of a Treatment Episode for the same low back deficit identified at Initial Evaluation and
documented by a Discharge report by the MIPS eligible clinician. An interruption in clinical care for an appropriate
reason like hospitalization or surgical intervention requires a Discharge from the current Treatment Episode
Updated:
Treatment Episode: A Treatment Episode is defined as beginning with an Initial Evaluation for a functional low back
deficit, progressing through treatment without interruption (for example, a hospitalization or surgical intervention),
and ending with Discharge, signifying that the treatment has been completed. A patient currently under clinical care
for a low back functional deficit remains in a single Treatment Episode until the Discharge is conducted and
documented by the MIPS eligible clinician.
Updated denominator: Consolidated all options into one denominator criteria.
The denominator is revised to read: All patients 14 years and older with a low back impairment who have initiated a
Treatment Episode.
Updated denominator exclusions: Added the following:
(1) Patients with diagnosis of a degenerative neurological condition such as ALS, MS, Parkinson's diagnosed at any
time before or during the episode of care.
Updated denominator exceptions: Added the following:
(1) Ongoing care not indicated, patient self-discharged early and seen only 1-2 visits (e.g., financial or insurance
reasons, transportation problems, or reason unknown).
(2) Ongoing care not indicated, patient discharged after only 1-2 visits due to specific medical events, documented in
the medical record that make the treatment episode impossible such as the patient becomes hospitalized or scheduled
for surgery.
(3) Ongoing care not indicated, patient seen only 1-2 visits (e.g., home program only, referred to another provider or
facility, consultation only).
Moved from denominator exclusion to denominator exception
Steward:
Hi2h Priority Measure:
Measure Type:
VerDate Sep<11>2014
18:25 Aug 13, 2019
The numerator is revised to read: Patients who were presented with the Low Back FS PROM at Initial Evaluation
(Intake) and at or near Discharge (Status) for the purpose of calculating the patient's Risk-Adjusted Functional Status
Change Residual Score.
Focus on Therapeutic Outcomes, Inc.
Yes
Patient Reported Outcome
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(1) Patient refused to participate.
41214
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
Description
We are proposing that the numerator be updated to define Performance Met as meeting or exceeding the risk adjusted
prediction of functional status change, making a score ofless zero non-compliant and thus a Performance Not Met.
We agree with this change and believe it creates a more robust outcome measure as it is looking for a meets or
exceeds. The denominator exclusions and exceptions are being updated with clinically relevant reasons for exclusion
from the denominator or the performance. The current denominator exclusions are being moved to denominator
exceptions as this aligns better with the measure workflow. In addition, we propose to consolidate the denominator
options 1, 2, 3, and 4 into one denominator criteria for ease of use. The denominator definitions, denominator, and
numerator are being updated to align with these changes. We agree with these changes as they make implementation
of the measure less burdensome for the clinician.
Cateeory
Rationale:
VerDate Sep<11>2014
18:25 Aug 13, 2019
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E:\FR\FM\14AUP2.SGM
14AUP2
EP14AU19.397
khammond on DSKBBV9HB2PROD with PROPOSALS2
In the event the proposed substantive change(s) are finalized, the substantive changes would not allow for a direct
comparison of performance data from prior years to performance data submitted after the implementation of these
substantive changes.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41215
D29 Func f10naI St at us Ch ange 1'or p af Ien s WI"th Sh ou ld er 1mIpairmen s
Cate2ory
NQF #I ECQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Description
0426
221
N/A
Communication and Care Coordination
MIPS CQMs Specifications
A patient-reported outcome measure of risk-adjusted change in functional status for patients 14 years+ with shoulder
impairments. The change in functional status (FS) is assessed using the Shoulder FS patient-reported outcome
measure (PROM) (©2009-2019 Focus on Therapeutic Outcomes, Inc.).The measure is adjusted to patient
characteristics known to be associated with FS outcomes (risk adjusted) and used as a performance measure at the
patient level, at the individual clinician, and at the clinic level to assess quality. The measure is available as a
computer adaptive test, for reduced patient burden, or a short form (static measure).
Updated numerator: Changed to define Performance Met as meeting or exceeding the risk adjusted prediction of
functional status change. Numerator option "Risk-Adjusted Functional Status Change Residual Score for the shoulder
impairment successfully calculated and the score was less than zero(< 0)" will become Performance Not Met.
Updated def1nitions: Removed:
(1) Admission (Option 1 & 2)
Substantive Change:
(2) Admission (Option 3 & 4)
(3) Discharge (Option 1 & 2)
(4) Discharge (Option 3 &4)
Added:
(1) Initial Evaluation: An Initial Evaluation is the first encounter for a functional deficit involving the shoulder and
includes an evaluation (CPT 97161, 97162, 97163, 97165, 97166, 97167, 99201, 99202, 99203, 99204, 99205, 99212,
99213, 99214, 99215, 98940, 98941, 98942, or 98943), or an Initial Evaluation Status M-code. A patient presenting
with a shoulder impairment, who has had an interruption of a Treatment Episode for the same functional shoulder
deficit secondary to an appropriate reason like hospitalization or surgical intervention, is an Initial Evaluation.
(2) Discharge: Discharge is accompanied by a treatment finalization and evaluation completion M-Code (Ml013)
identifying the close of a Treatment Episode for the same shoulder deficit identified at the Initial Evaluation and
documented by a discharge report by the MIPS eligible clinician. An interruption in clinical care for an appropriate
reason like hospitalization or surgical intervention requires a discharge from the current Treatment Episode
Updated:
Treatment Episode: A Treatment Episode is defined as beginning with an Initial Evaluation for a functional shoulder
deficit, progressing through treatment, without interruption (for example, a hospitalization or surgical intervention),
and ending with Discharge, signifying that the treatment has been completed. A patient currently under clinical care
for a shoulder functional deficit remains in a single Treatment Episode until the Discharge is conducted and
documented by the MIPS eligible clinician.
Updated denominator: Consolidated all options into one denominator criteria.
The denominator is revised to read: All patients 14 years and older with shoulder impairments who have initiated a
Treatment Episode.
Updated denominator exclusions: Added the following:
(1) Patients with diagnosis of a degenerative neurological condition such as ALS, MS, Parkinson's diagnosed at any
time before or during the episode of care.
Updated denominator exceptions: Added the following:
(1) Ongoing care not indicated, patient self-discharged early and seen only 1-2 visits (e.g., financial or insurance
reasons, transportation problems, or reason unknown).
(2) Ongoing care not indicated, patient discharged after only 1-2 visits due to specific medical events, documented in
the medical record that make the treatment episode impossible such as the patient becomes hospitalized or scheduled
for surgery.
(3) Ongoing care not indicated, patient seen only 1-2 visits (e.g., home program only, referred to another provider or
facility, consultation only).
Moved from denominator exclusion to denominator exception
Steward:
Hi2h Priority Measure:
Measure Type:
VerDate Sep<11>2014
18:25 Aug 13, 2019
The numerator is revised to read: Patients who were presented with the Shoulder FS PROM at Initial Evaluation
(Intake) and at or near Discharge (Status) for the purpose of calculating the patient's Risk-Adjusted Functional Status
Change Residual Score.
Focus on Therapeutic Outcomes, Inc.
Yes
Patient Reported Outcome
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EP14AU19.398
khammond on DSKBBV9HB2PROD with PROPOSALS2
(1) Patient refused to participate.
41216
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
Description
We are proposing that the numerator be updated to define Performance Met as meeting or exceeding the risk adjusted
prediction of functional status change, making a score ofless zero non-compliant and thus a Performance Not Met.
We agree with this change and believe it creates a more robust outcome measure as it is looking for a meets or
exceeds. The denominator exclusions and exceptions are being updated with clinically relevant reasons for exclusion
from the denominator or the performance rate. The current denominator exclusions are being moved to denominator
exceptions as this aligns better with the measure workflow. In addition, we propose to consolidate the denominator
options 1, 2, 3, and 4 into one denominator criteria for ease of use. The denominator definitions, denominator, and
numerator are being updated to align with these changes. We agree with these changes as they make implementation
of the measure less burdensome for the clinician.
Cateeory
Rationale:
VerDate Sep<11>2014
18:25 Aug 13, 2019
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E:\FR\FM\14AUP2.SGM
14AUP2
EP14AU19.399
khammond on DSKBBV9HB2PROD with PROPOSALS2
In the event the proposed substantive change(s) are finalized, the substantive changes would not allow for a direct
comparison of performance data from prior years to performance data submitted after the implementation of these
substantive changes.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41217
D 30 Functional Status Change for Patien s with Elbow, Wrist or Hand lmpamnen s
NQF #I ECQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Description
0427
222
N/A
Communication and Care Coordination
MIPS CQMs Specifications
A patient-reported outcome measure of risk-adjusted change in functional status (FS) for patients 14 years+ with
elbow, wrist or hand impairments. The change in FS is assessed using the Elbow/Wrist/Hand FS patient-reported
outcome measure (PROM) (©2009-2019 Focus on Therapeutic Outcomes, Inc.) The measure is adjusted to patient
characteristics known to be associated with FS outcomes (risk adjusted) and used as a performance measure at the
patient level, at the individual clinician, and at the clinic level to assess quality. The measure is available as a
computer adaptive test, for reduced patient burden, or a short form (static measure).
Updated numerator: Changed to define Performance Met as meeting or exceeding the risk adjusted prediction of
functional status change. Numerator option "Risk-Adjusted Functional Status Change Residual Score for the elbow,
wrist, or hand impairment successfully calculated and the score was less than zero (< 0)" will become Performance
Not Met.
Updated def"mitions: Removed:
(1) Admission (Option 1 & 2)
Substantive Change:
(2) Admission (Option 3 & 4)
(3) Discharge (Option 1 & 2)
(4) Discharge (Option 3 &4)
Added:
(1) Initial Evaluation: An Initial Evaluation is the first encounter for a functional deficit involving the elbow, wrist, or
hand and includes an evaluation (CPT 97161, 97162, 97163, 97165, 97166, 97167, 99201, 99202, 99203, 99204,
99205, 99212, 99213, 99214, 99215, 98940, 98941, 98942, or 98943), or an Initial Evaluation Status M-code. A
patient presenting with an elbow, wrist, or hand impairment, who has had an interruption of a Treatment Episode for
the same functional knee deficit secondary to an appropriate reason like hospitalization or surgical intervention, is an
Initial Evaluation.
(2) Discharge: Discharge is accompanied by a treatment finalization and evaluation completion M-Code (M1014) for
identifying the close of a Treatment Episode for the same elbow, wrist or hand deficit identified at the Initial
Evaluation and documented by a Discharge report by the MIPS eligible clinician. An interruption in clinical care for
an appropriate reason like hospitalization or surgical intervention requires a discharge from the current Treatment
Episode.
Updated:
Treatment Episode: A Treatment Episode is defined as beginning with an Initial Evaluation for a functional elbow,
wrist or hand deficit, progressing through treatment without interruption (for example, a hospitalization or surgical
intervention), and ending with Discharge, signifying that the treatment has been completed. A patient currently under
clinical care for an elbow, wrist or hand deficit remains in a single Treatment Episode until the Discharge is conducted
and documented by the MIPS eligible clinician.
Updated denominator: Consolidated all options into one denominator criteria.
The denominator is revised to read: All patients 14 years and older with elbow, wrist or hand impairments who
have initiated a Treatment Episode.
Updated denominator exclusions: Added the following:
(1) Patients with diagnosis of a degenerative neurological condition such as ALS, MS, Parkinson's diagnosed at any
time before or during the episode of care.
Updated denominator exceptions: Added the following:
(1) Ongoing care not indicated, patient self-discharged early and seen only 1-2 visits (e.g., financial or insurance
reasons, transportation problems, or reason unknown).
(2) Ongoing care not indicated, patient discharged after only 1-2 visits due to specific medical events, documented in
the medical record that make the treatment episode impossible such as the patient becomes hospitalized or scheduled
for surgery.
(3) Ongoing care not indicated, patient seen only 1-2 visits (e.g., home program only, referred to another provider or
facility, consultation only).
The numerator is revised to read: Patients who were presented with the Elbow/Wrist/Hand FS PROM at Initial
Evaluation (Intake) and at or near Discharge (Status) for the purpose of calculating the patient's Risk-Adjusted
Functional Status Change Residual Score.
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Moved from denominator exclusion to denominator exception
(1) Patient refused to participate.
41218
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
Cateeory
Steward:
Hieh Priority Measure:
Measure Type:
Rationale:
Description
Focus on Therapeutic Outcomes, Inc.
Yes
Patient Reported Outcome
We are proposing the numerator be updated to define Performance Met as meeting or exceeding the risk adjusted
prediction of functional status change, making a score ofless zero non-compliant and thus a Performance Not Met.
We agree with this change and believe it will create a more robust outcome measure as it is looking for a meets or
exceeds. The denominator exclusions and exceptions are being updated with clinically relevant reasons for exclusion
from the denominator or the performance rate. The current denominator exclusions are being moved to denominator
exceptions as this aligns better with the measure workflow. In addition, we propose to consolidate the denominator
options 1, 2, 3, and 4 into one denominator criteria for ease of use. The denominator definitions, denominator, and
numerator are being updated to align with these changes. We agree with these changes as they make implementation
of the measure less burdensome for the clinician.
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18:25 Aug 13, 2019
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In the event the proposed substantive change(s) are finalized, the substantive changes would not allow for a direct
comparison of performance data from prior years to performance data submitted after the implementation of these
substantive changes.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41219
D 31 Preventive Care and Screenmg: Tobacco Use: Screenmg and Cessation Intervention
NQF #I ECQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Description
0028 I 0028e
226
CMS138v8
Community/Population Health
Medicare Part B Claims Measure Specifications, eCQM Specifications, CMS Web Interface Measure Specifications,
MIPS CQMs Specifications
Percentage of patients aged 18 years and older who were screened for tobacco use one or more times within 24
months AND who received tobacco cessation intervention if identified as a tobacco user
a. Percentage of patients aged 18 years and older who were screened for tobacco use one or more times within 24
months.
b. Percentage of patients aged 18 years and older who were screened for tobacco use and identified as a tobacco user
who received tobacco cessation intervention.
c. Percentage of patients aged 18 years and older who were screened for tobacco use one or more times within 24
months AND who received tobacco cessation intervention if identified as a tobacco user.
The measure description is revised to read: Percentage of patients aged 18 years and older who were screened for
tobacco use one or more times within 24 months AND who received tobacco cessation intervention if identified as a
tobacco user
a. Percentage of patients aged 18 years and older who were screened for tobacco use one or more times within 24
months.
b. Percentage of patients aged 18 years and older who were identified as a tobacco user who received tobacco
cessation intervention.
c. Percentage of patients aged 18 years and older who were screened for tobacco use one or more times within 24
months AND who received tobacco cessation intervention if identified as a tobacco user.
Updated denominator: For the Medicare Part B Claims Measure Specifications and MIPS CQMs
Specifications collection types: Added physical therapy MIPS eligible clinician type.
Substantive Change:
Updated Guidance: For the Medicare Part B Claims Measure Specifications, eCQM Specifications, CMS Web
Interface Measure Specifications, and MIPS CQMs Specifications collection types: Added:
(1) The denominator of population criteria 2 is a subset of the resulting numerator for population criteria 1, as
population criteria 2 is limited to assessing if patients identified as tobacco users received an appropriate tobacco
cessation intervention. For all patients, population criteria 1 and 3 are applicable, but population criteria 2 will only be
applicable for those patients who are identified as tobacco users. Therefore, data for every patient that meets the initial
population criteria will only be submitted for population 1 and 3, whereas data submitted for population 2 will be for a
subset of patients who meet the initial population criteria, as the denominator has been further limited to those who
were identified as tobacco users.
(2) To satisfy the intent of this measure, a patient must have at least one tobacco use screening during the 24-month
period. If a patient has multiple tobacco use screenings during the 24-month period, only the most recent screening,
which has a documented status of tobacco user or tobacco non-user, will be used to satisfy the measure requirements.
Updated guidance: For the CMS Web Interface Measure Specifications collection types:
o If there is more than 1 patient query regarding tobacco use, use the most recent query during the 24-month period to
determine tobacco status.
o "Within 24 months" is defined as the 24-month look-back from the measurement period end date (1111201912/3112020).
o Screening for tobacco use may be completed during a telehealth encounter.
o Tobacco cessation intervention can be performed by another healthcare provider; therefore, the tobacco use
screening and tobacco cessation intervention do not need to be performed by the same provider or clinician.
o Screening for tobacco use and cessation intervention do not have to occur on the same encounter, but both must
occur during the 24-month look-back period.
o Screening for tobacco use and cessation intervention may be completed during a telehealth encounter.
o Tobacco cessation intervention may be completed during a telehealth encounter.
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Updated instructions: For the MIPS CQM Specifications collection types:
This measure is to be submitted a minimum of once per performance period for patients seen during the performance
period. This measure is intended to reflect the quality of services provided for preventive screening for tobacco use.
This measure may be submitted by Merit-based Incentive Payment System (MIPS) eligible clinicians who provided
the measure-specific denominator coding. For this implementation of the measure, the 24 month look back period
includes the program year and the year prior. For Quality Payment Program (QPP) 2020, the 24 month period would
be from 11112019-12/3112020.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
Cateeory
Steward:
Hieh Priority Measure:
Measure Type:
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
18:25 Aug 13, 2019
Description
Physician Consortium for Performance Improvement Foundation (PCPI®)
No
Process
We are proposing that the measure description be revised to clarify the summarized intent for population criteria 2.
Based upon requests from stakeholders, physical therapy evaluation codes are also being proposed for addition in the
denominator eligible encounters for the Medicare Part B Claims Measure Specifications, CMS Web Interface Measure
Specifications, and MIPS CQMs Specifications collection types to allow for this measure to be used in an additional
setting. We agree that this preventive assessment is a clinically relevant measure for clinicians in the physical therapy
setting. We are proposing refinements to the guidance for the Medicare Part B Claims Measure Specifications, CMS
Web Interface Measure Specifications, eCQM Specifications, and MIPS CQMs Specifications collection types in
response to stakeholder feedback regarding the timing for which tobacco cessation intervention must occur. In
response to our determination and stakeholder feedback for the CMS Web Interface Measure Specifications, Medicare
Part B Claims Measure Specifications, and MIPS CQMs Specifications collection types, we are proposing to allow a
24-month period to assess for tobacco cessation intervention. These refinements are in alignment with the clinical
guidelines and will decrease burden for eligible clinicians performing tobacco screening and tobacco cessation
intervention. The timing refinement proposed will maintain the balance of clinical guideline and measure alignment,
and support our effort to reduce burden for measure submission. Additionally, this timing refinement allows the
clinician to create personalized, patient-centered care while still maintaining the clinical integrity of the measure and
clinical guidelines. The CMS Web Interface Measure Specifications collection type was updated with additional
guidance in order to add clarity regarding how this measure is implemented using that collection type. We are also
proposing updates to the instructions for MIPS CQMs Specifications collection types to further clarify the timing of
the tobacco cessation intervention in alignment with the updated numerator guidance. We agree this proposal will
maintain clinical intent, provide clarity, reduce clinician burden, and allow for personalized patient care. We are also
proposing updates to guidance for the Medicare Part B Claims Measure Specifications, eCQM Specifications, and
MIPS CQMs Specifications collection types based upon stakeholder feedback requesting clarification regarding
interpretation of the three rates included in this measure.
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41220
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41221
D32 Con ro n·mg HiIglh Bl00 dP ressure
Cate2ory
NQF #I ECQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Description
0018/N/A
236
CMS165v8
Effective Clinical Care
Medicare Part B Claims Measure Specifications, eCQM Specifications, CMS Web Interface Measure Specifications,
MIPS CQMs Specifications
Percentage of patients 18- 85 years of age who had a diagnosis of hypertension and whose blood pressure was
adequately controlled (< 140/90 mmHg) during the measurement period.
The measure description is revised to read: Percentage of patients 18-85 years of age who had a diagnosis of
hypertension overlapping the measurement period and whose most recent blood pressure was adequately controlled
(<140/90mmHg) during the measurement period.
Updated denominator: For the eCQM Specifications collection type:
Removed Blood Pressure Visit grouping value set and added in the individual value sets.
Updated denominator exclusions: For eCQM Specifications collection type: Added the following:
(1) Patients 66 years of age and older who are living in a long-term institutional setting, such as a nursing home, for
khammond on DSKBBV9HB2PROD with PROPOSALS2
Steward:
Hi2h Priority Measure:
Measure Type:
VerDate Sep<11>2014
18:25 Aug 13, 2019
Updated numerator/guidance:
Updated to allow blood pressures taken by a clinician from remote monitoring devices in a medical setting or in an
offsite setting (i.e. patient's domicile) to count towards the measure with additional clarification regarding usable
blood pressure readings:
-Not requiring the numerator blood pressure reading to be during a visit or overlap with a diagnosis of hypertension.
(Applicable to eCQM only).
-If the day of the last blood pressure reading there are multiple blood pressure readings on that day, use the lowest
systolic and diastolic on that day.
-The blood pressure reading that is being used should not come from an ED or inpatient visit.
-Do not include blood pressure readings reported by or taken by the patient.
National Committee for Quality Assurance
Yes
Intermediate Outcome
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Substantive Change:
more than 90 days in the measurement period.
(2) Patients 66 year of age and older with advanced illness and frailty.
For Medicare Part B Claims Measure Specifications, CMS Web Interface Measure Specifications, and MIPS
CQMs Specifications collection type: Updated:
(1) Patients 66 and older who are living long term in an institution for more than 90 days during the measurement
period.
Added:
(1) Patients 66 years of age and older with at least one claim/encounter for frailty during the measurement period
AND a dispensed medication for dementia during the measurement period or the year prior to the measurement
period.
(2) Patients 66 years of age and older with at least one claim/encounter for frailty during the measurement period
AND either one acute inpatient encounter with a diagnosis of advanced illness or two outpatient, observation, ED or
nonacute inpatient encounters on different dates of service with an advanced illness diagnosis during the measurement
period or the year prior to the measurement period.
(3) Dementia Exclusion Medications: Cholinesterase inhibitors: Donepezil, Galantamine, Rivastigimine
Miscellaneous central nervous system agents: Memantine
41222
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
We are proposing for the eCQM specifications collection type: In order to increase transparency of which value set is
being used for encounters, the "Blood Pressure Visit" grouping value set is being removed so that individual value
sets will be used.
We are proposing to update the allowable denominator exclusions to include patients 66 years of age and older with
advanced illness and frailty, patients with dementia taking the listed medications, and patients who are living in a
long-term institutional setting, such as a nursing home, for more than 90 days during the measurement period. The
measure steward believes and we agree it is unlikely patients with dementia requiring listed medications or
advanced illness and frailty need some services and, in some cases, it might be harmful for patients to receive a
particular service when they should prioritize other services. Additionally, we believe that some of the services in
this measure are not appropriate for patients who are living in a long-term institutional setting for more than 90
days during the measurement period. We believe that by removing these patient populations, the burden to submit
data is lessened for these MIPS eligible clinicians.
Rationale:
Additionally, we propose the measure guidance be updated to align with the 2018 measure guideline updates making
it so that a visit is no longer required for the numerator blood pressure reading with additional guidance that blood
pressure should not be taken during major events as this can artificially elevate blood pressure. In alignment with this,
blood pressure readings from an ED or inpatient visit should not be used as a numerator blood pressure reading. The
guidance is also being updated to allow blood pressure readings taken by a clinician from remote monitoring devices
in a medical setting or in an offsite setting (i.e. patient's domicile) to be numerator compliant. Patient reported blood
pressure readings cannot be used for numerator compliance.
D33 U se o fHi1g1h- R"IS kMe d"Icatlons m the Elderty
NQF #I ECQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Substantive Change:
Steward:
Hi2h Priority Measure:
Measure Type:
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
18:25 Aug 13, 2019
Description
0022/N/A
238
CMS156v8
Patient Safety
eCQM Specifications, MIPS CQMs Specifications
Percentage of patients 65 years of age and older who were ordered high-risk medications. Two rates are submitted.
(1) Percentage of patients who were ordered at least one high-risk medication.
(2) Percentage of patients who were ordered at least two of the same high-risk medications.
Updated numerator statement for submission criteria 2: Percentage of patients who were ordered at least two of
the same high-risk medications on different days.
Updated guidance: Added 'on different days' to align with update to numerator submission criteria 2.
National Committee for Quality Assurance
Yes
Process
The numerator statement for submission criteria 2 is proposed to be updated to clarify that the assessment is looking
for high-risk medications that are prescribed on different days, which is in alignment with the intent of the assessment
being captured. This update is also reflected in the guidance.
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Cate~ory
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41223
D 34 Childhood Immunization Status
Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Description
N/A
240
CMS117v8
Community/Population Health
eCQM Specifications
Percentage of children 2 years of age who had four diphtheria, tetanus and acellular pertussis (DTaP); three polio
(IPV), one measles, mumps and rubella (MMR); three H influenza type B (HiB); three hepatitis B (Hep B); one
chicken pox (VZV); four pneumococcal conjugate (PCV); one hepatitis A (Hep A); two or three rotavirus (RV); and
two influenza (flu) vaccines by their second birthday
The measure description is revised to read: Percentage of children 2 years of age who had four diphtheria, tetanus
and acellular pertussis (DTaP); three polio (IPV), one measles, mumps and rubella (MMR); three or four H influenza
type B (HiB); three hepatitis B (Hep B); one chicken pox (VZV); four pneumococcal conjugate (PCV); one hepatitis
A (Hep A); two or three rotavirus (RV); and two influenza (flu) vaccines by their second birthday.
Updated numerator: Added value set for Hepatitis B carriers to allow Hepatitis B carriers to meet this part of the
numerator.
Substantive Change:
Steward:
Hi2h Priority Measure:
Measure Type:
VerDate Sep<11>2014
Updated the logic for the HiB vaccine to require the correct amount of doses depending on the manufacturer of the
vaccine given. Create a 3 dose and a 4 dose HiB vaccine.
National Committee for Quality Assurance
No
Process
We are proposing that the numerator be updated to include a value set for Hepatitis B carriers in order to allow this
patient population to meet Hep B vaccine numerator compliance piece. We agree that this would suffice for the "had
documented history of the illness" piece of numerator compliance.
Additionally, we propose that the measure logic be updated for the HiB vaccine to ensure the correct dosing is
administered as instructed by the drug manufacturer's instructions and alignment with the current guidelines. The
description is also being updated to align with this. We agree the logic should match the dosing of the vaccine given to
ensure that the patient is receiving the correct and full dosage.
18:25 Aug 13, 2019
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Rationale:
Updated definition: Removed 'Three HiB Vaccinations' and added new definition statements 'HiB 3 Dose
Immunizations or Procedures,' 'HiB 4 Dose Immunizations or Procedures,' 'HiB 3 or 4 Dose Immunizations,' 'All HiB
Vaccinations,' and 'Has Appropriate Number of HiB Immunizations.' Revised logic to include the correct number of
HiB doses depending on the manufacturer of the vaccine given to align with current guidelines.
41224
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D 35 Car d"Iac Reh abTt
urpa fIen tStf
11 af Ion P afIentR e~erraIfroman Ot
e mg
Current Measure
Description:
Substantive Change:
Steward:
Hi2h Priority Measure:
Measure Type:
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
18:25 Aug 13, 2019
Description
0643
243
N/A
Communication and Care Coordination
MIPS CQMs Specifications
Percentage of patients evaluated in an outpatient setting who within the previous 12 months have experienced an acute
myocardial infarction (MI), coronary artery bypass graft (CABG) surgery, a percutaneous coronary intervention
(PCI), cardiac valve surgery, or cardiac transplantation, or who have chronic stable angina (CSA) and have not
already participated in an early outpatient cardiac rehabilitation/secondary prevention (CR) program for the qualifying
event/diagnosis who were referred to a CR program.
Updated denominator exceptions: Added
(1) Documentation of patient reason(s) for not referring to an outpatient CR program (for example, no traditional CR
program available to the patient, within 60 min [travel time] from the patient's home, patient does not have access to
an alternative model of CR delivery that meets all criteria for a CR program, patient refused or other patient reasons).
American Heart Association
Yes
Process
We are proposing a new denominator exception be added to allow for documentation of patient reason( s) for not
having a CR referral. The measure stewards believes denominator exceptions are used in select cases to allow for a
fairer measurement of quality for those providers with higher risk populations. Exceptions are also used to defer to the
clinical judgment of the provider. A MIPS eligible clinician who recommends CR referral to an eligible patient whom
then refuses at the time of referral for one or more reasons (for example, lack of transportation, patient preference),
will now be able to exclude this patient from the numerator population. In such a case, the MIPS eligible clinician will
not be penalized based upon patient reason(s) for not having a CR referral. If the patient has told the physician that
he/she does not wish to enroll in a CR program, the MIPS eligible clinician can document in the medical record that
he/she has recommended referral but that the patient has refused CR. The measure steward believes this is important
because, in this scenario, the MIPS eligible clinician should not be penalized for the lack of a completed CR program
referral as long as the CR referral recommendation and the patient refusal are documented. By adding this exception,
reasons for patient non-compliance can be better tracked to correspond with implementing practices that may improve
compliance and thereby overall clinical care.
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Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D 36 E~PI"I epsy:
Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
eanng Po t en fIaI WI"thE
c ounsermg fior womenofCh"Idb
I
41225
"Iepsy
~PI
Description
N/A
268
N/A
Effective Clinical Care
Medicare Part B Claims Measure Specifications, MIPS CQMs Specifications
All female patients of childbearing potential (12- 44 years old) diagnosed with epilepsy who were counseled or
referred for counseling for how epilepsy and its treatment may affect contraception OR pregnancy at least once a year.
The measure description is revised to read: Percentage of all patients of childbearing potential (12 years and older)
diagnosed with epilepsy who were counseled at least once a year about how epilepsy and its treatment may affect
contraception and pregnancy.
Updated denominator: All females aged 12 years and older with a diagnosis of epilepsy.
Updated numerator: Female patients or caregivers counseled at least once a year about how epilepsy and its
treatment may affect contraception and pregnancy
Substantive Change:
Updated denominator exceptions: Removed
(1) Documentation of medical reason(s) why counseling was not performed for women of childbearing potential with
epilepsy (4340F with 1P)
Updated defmition of "Counseling"- Counseling must include a discussion of at least two of the following three
counseling topics:
Need for folic acid supplementation,
Drug to drug interactions with contraception medication,
Potential anti-seizure medications effect(s) on fetal/child development and/or pregnancy.
..
.
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
18:25 Aug 13, 2019
American Academy of Neurology
No
Process
We are proposing that the denominator be expanded to include all females aged 12 years and older and that the
denominator exception of "Documentation of medical reason(s) why counseling was not performed for women of
childbearing potential with epilepsy" be removed as there is no longer an exception for patients with a diagnosis of
neurodevelopmental disorder, encephalopathy, hydrocephalus, brain injury, cerebral palsy, severe cognitive
impairment, or severe intellectual disability. The description is being updated to reflect the changes made to the
denominator. The numerator action was updated to require counseling for both contraception and pregnancy in
relation to epilepsy and how its treatment may affect. We agree with this requirement as both clinical aspects are
important to the patient. The measure steward has requested, and we agree with, the denominator expansion and the
removal of the denominator exception as they believe all women diagnosed with epilepsy at risk for pregnancy and/or
pregnancy complications should be counseled.
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Steward:
Hi2h Priority Measure:
Measure Type:
41226
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
. t e dBe hav10ra an dP syc h"Ia t nc
. Ssymp10ms screenmg an dM anagemen
D37 Demen fIa ASSOCia
Current Measure
Description:
Substantive Chan2e:
Steward:
Hi2h Priority Measure:
Measure Type:
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
18:25 Aug 13, 2019
Description
N/A
283
N/A
Effective Clinical Care
MIPS CQMs Specifications
Percentage of patients with dementia for whom there was a documented screening for behavioral and psychiatric
symptoms, including depression, and for whom, if symptoms screening was positive, there was also documentation of
recommendations for management in the last 12 months.
Update denominator: Added physical therapy MIPS eligible clinician type.
American Psychiatric Association and American Academy of Neurology
No
Process
We are proposing that the denominator coding be expanded to include physical therapy as a denominator eligible
encounter. We agree with the decision to expand this measure to physical therapy MIPS eligible clinicians as it is
clinically relevant to this clinician type.
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Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D38 D emen f1a: saery
~ t
Current Measure
Description:
Substantive Chan2e:
Steward:
High Priority Measure:
Measure Type:
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
18:25 Aug 13, 2019
c on cern screenmg an d F 0 IIow-uJp ~or p afIen s WI"thDemen fIa
Description
N/A
286
N/A
Patient Safety
MIPS CQMs Specifications
Percentage of patients with dementia or their caregiver(s) for whom there was a documented safety concerns
screening in two domains of risk: 1) dangerousness to self or others and 2) environmental risks; and if safety concerns
screening was positive in the last 12 months, there was documentation of mitigation recommendations, including but
not limited to referral to other resources.
Updated denominator: Added physical therapy MIPS eligible clinician type.
American Psychiatric Association and American Academy of Neurology
Yes
Process
We are proposing that the denominator coding be expanded to include physical therapy as a denominator eligible
encounter. We agree with the decision to expand this measure to physical therapy MIPS eligible clinicians as it is
clinically relevant to this clinician type.
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NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
41227
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D39 P ark"mson 'D"
nc
s Isease: p sych"Ia t.
Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Substantive Change:
Steward:
High Priority Measure:
Measure Type:
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
18:25 Aug 13, 2019
s
~ymp1
oms A ssessmen tl'or p afIen s WI"th p arki nson 'D"
s Isease
Description
N/A
290
N/A
Effective Clinical Care
MIPS CQMs Specifications
Percentage of all patients with a diagnosis of Parkinson's Disease [PD] who were assessed for psychiatric symptoms
in the past 12 months.
Updated numerator options:
Performance Met: Psychosis, depression, anxiety, apathy, AND impulse control disorder assessed
Performance Not Met: Psychosis, depression, anxiety, apathy, AND impulse control disorder not assessed
American Academy of Neurology
No
Process
We are proposing to update the numerator options to better align with the intent of the measure, which requires
assessment of five individual components of psychiatric symptoms. We agree with the measure steward that this
update to the numerator options aligns with the intent of the measure.
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41228
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41229
D 40 In"f
1 Iaf Ion an dE ngagement 0 fAl co hl
0 an dOth er D rug D epen dence T rea men
Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Description
N/A
305
CMS137v8
Effective Clinical Care
eCQM Specifications
Percentage of patients 13 years of age and older with a new episode of alcohol or other drug abuse or (AOD)
dependence who received the following. Two rates are reported.
• Percentage of patients who initiated treatment within 14 days of the diagnosis.
• Percentage of patients who initiated treatment and who had two or more additional services with an AOD diagnosis
within 30 days of the initiation visit.
The measure description is revised to read: Percentage of patients 13 years of age and older with a new episode of
alcohol or other drug abuse or (AOD) dependence who received the following. Two rates are reported.
a. Percentage of patients who initiated treatment including either an intervention or medication for the treatment of
AOD abuse or dependence within 14 days of the diagnosis
b. Percentage of patients who engaged in ongoing treatment including two additional interventions or a medication for
the treatment of AOD abuse or dependence within 34 days of the initiation visit. For patients who initiated treatment
with a medication, at least one of the two engagement events must be a treatment intervention.
Substantive Change:
Updated initial population: Changed intake period for the initial population to January 1 to November 14.
Added telehealth services to initial population encounter value sets.
Updated numerator: Added telehealth services to the numerator encounter value sets.
Added Opiate Antagonists for numerator compliance
Numerator 1 is revised to read: Initiation of treatment includes either an intervention or medication for the treatment
of AOD abuse or dependence within 14 days of the diagnosis.
Steward:
Hi2h Priority Measure:
Measure Type:
VerDate Sep<11>2014
Both numerators are being updated to add pharmacotherapy as a numerator compliant clinical quality action.
Numerator 2 is also being updated to reflect the change in the time period for follow-up, which is increasing to 34
days from 30 days and to align with pharmacotherapy addition; patients who initiated treatment with a medication
need two or more engagement events where only one can be a medication treatment event.
18:25 Aug 13, 2019
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Rationale:
Numerator 2 is revised to read: Engagement in ongoing treatment includes two additional interventions or a
medication for the treatment of AOD abuse or dependence within 34 days of the initiation visit. For patients who
initiated treatment with a medication, at least one of the two engagement events must be a treatment intervention (i.e.,
engagement for these members cannot be satisfied with medication treatment alone).
National Committee for Quality Assurance
Yes
Process
We are proposing that the initial population and numerator value sets be updated to include telehealth services. We
agree with including telehealth services as they are appropriate for this measure and patients using these services
should be included in the initial population as well as be considered for numerator compliance.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D41 P reven fIve
Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Substantive Change:
Steward:
High Priority Measure:
Measure Type:
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
18:25 Aug 13, 2019
c are an dS creenmg: screenmg fior H"IglhBl00 dPressure and F 0 IIow-UJp Documente d
Description
N/A
317
CMS22v8
Community /Population Health
Medicare Part B Claims Measure Specifications, eCQM Specifications, MIPS CQMs Specifications
Percentage of patients aged 18 years and older seen during the submitting period who were screened for high blood
pressure AND a recommended follow-up plan is documented based on the current blood pressure (BP) reading as
indicated.
Updated numerator: For the eCQM Specifications collection type:
Updated logic to allow for the documentation of a reason (finding of elevated blood pressure or hypertension) for
scheduling a follow up visit and added value set "Finding of Elevated Blood Pressure or Hypertension".
Added Potassium and Sodium codes to the Dietary Recommendation value set.
Updated numerator definition:
Added potassium and sodium for dietary/lifestyle recommendations.
Centers for Medicare & Medicaid Services
No
Process
We are proposing to update the logic to allow for the documentation of a reason (finding of elevated blood pressure or
hypertension) for scheduling a follow up visit which improves alignment with measure intent. This logic change will
include the addition of a new values set "Finding of Elevated Blood Pressure or Hypertension" strengthening
alignment with measure intent. We also propose to add clinically relevant potassium and sodium codes to expand
documentation options that align with the measure intent. This will also be reflected in the numerator definition.
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41230
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41231
D 42 At na
. I F"b
. I FIutter: Ch rome
"At"
n IcoaguIafIon Th erapy
1 n·nafIon an d At na
Current Measure
Description:
Substantive Change:
Steward:
High Priority Measure:
Measure Type:
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
18:25 Aug 13, 2019
Description
1525
326
N/A
Effective Clinical Care
Medicare Part B Claims Measure Specifications, MIPS CQMs Specifications
Percentage of patients aged 18 years and older with nonvalvular atrial fibrillation (AF) or atrial flutter who were
prescribed warfarin OR another FDA-approved oral anticoagulant drug for the prevention of thromboembolism during
the measurement period.
Updated denominator: Removed emergency medicine setting.
American College of Cardiology
No
Process
We propose and agree with the measure steward's request to remove the emergency department setting. Chronic
anticoagulation therapy would be managed by a clinician providing continuous medical care which would not be
applicable to the emergency medicine specialty.
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Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
41232
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D.43. Adult Sinusitis: Appropriate Choice of Antibiotic: Amoxicillin With or Without Clavulanate Prescribed for Patients
with Acute Bacterial Sinusitis (Appropriate Use)
Substantive Change:
Steward:
Priority Measure:
Measure Type:
Hi~h
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
18:25 Aug 13, 2019
Description
N/A
332
N/A
Efficiency and Cost Reduction
MIPS CQMs Specifications
Percentage of patients aged 18 years and older with a diagnosis of acute bacterial sinusitis that were prescribed
amoxicillin, with or without clavulanate, as a first line antibiotic at the time of diagnosis.
Updated denominator: Changed requirements for denominator eligibility
Patients aged 2 18 years on date of encounter
AND
Diagnosis for bacterial and infectious agent
OR
Sinusitis caused by, or presumed to be caused by, bacterial infection
AND
Patient encounter
WITHOUT
Telehealth Modifier
AND
Antibiotic regiment prescribed
American Academy of Otolaryngology- Head and Neck Surgery
Yes
Process
We are proposing the measure no longer requires a diagnosis for bacterial and infectious agent to be denominator
eligible as long as the sinusitis is caused by, or presumed to be caused by, bacterial infection. We agree that this
change will not change the intent of the measure, but could lessen the burden to MIPS eligible clinicians by removing
the requirement for a diagnosis.
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Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41233
D.44. Maternity Care: Elective Delivery or Early Induction Without Medical Indication at :0:: 37 and< 39 Weeks
(Overuse)
Cateeory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Substantive Change:
Description
N/A
335
N/A
Patient Safety
MIPS CQMs Specifications
Percentage of patients, regardless of age, who gave birth during a 12-month period who delivered a live singleton at
2 37 and< 39 weeks of gestation completed who had elective deliveries or early inductions without medical
indication.
The measure title is revised from Elective Delivery or Early Induction Without Medical Indication 2 37 and <
39 Weeks (Overuse) to read: Maternity Care: Elective Delivery or Early Induction Without Medical Indication at<
39 Weeks (Overuse).
The measure description is revised to read: Percentage of patients, regardless of age, who gave birth during a 12month period who delivered a live singleton at < 39 weeks of gestation completed who had elective deliveries or early
inductions without medical indication.
Updated denominator: Changed to include all deliveries at< 39 weeks of gestation.
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
18:25 Aug 13, 2019
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Steward:
Hieh Priority Measure:
Measure Type:
Updated numerator: Numerator options will be updated to reflect the measure now including all deliveries at< 39
weeks gestation.
Centers for Medicare & Medicaid Services
Yes
Outcome
We are proposing the measure population be expanded to include all deliveries at < 39 weeks of gestation. We agree
with this change as delivery prior to 39 weeks of gestation increases risk to both the mother and baby. Induction prior
to 39 weeks of gestation should only be performed when clinically indicated. It is important to have a complete
population to ensure that all instances of early induction are being captured and assessed for proper clinical action.
41234
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
"t c are: p osrpar urn Fll
D45 M at ermry
0 ow-up an dC are c oord"ma f Ion
Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Substantive Change:
Description
N/A
336
N/A
Communication and Care Coordination
MIPS CQMs Specifications
Percentage of patients, regardless of age, who gave birth during a 12-month period who were seen for postpartum care
within 8 weeks of giving birth who received a breast-feeding evaluation and education, postpartum depression
screening, postpartum glucose screening for gestational diabetes patients, and family and contraceptive planning.
Updated description to read: Percentage of patients, regardless of age, who gave birth during a 12-month period
who were seen for postpartum care within 8 weeks of giving birth and who received a breast-feeding evaluation and
education, postpartum depression screening, postpartum glucose screening for gestational diabetes patients, family
and contraceptive planning counseling, tobacco use screening and cessation education, healthy lifestyle behavioral
advice, and an immunization review and update.
Updated numerator: Added clinical actions necessary for numerator compliance
(1) Tobacco use screening and cessation education
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
18:25 Aug 13, 2019
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Steward:
Hi2h Priority Measure:
Measure Type:
(2) Healthy lifestyle behavioral advice to bring the BMI within healthy limits
(3) Immunization review and education
Centers for Medicare & Medicaid Services
Yes
Process
Three more components have been added to the list of clinical actions needed at a post-partum visit in order to be
numerator compliant. The measure steward convened an expert work group (EWG) who, upon literature review,
recommended adding these three clinical activities. The description was updated to align with the additional clinical
actions. We agree and propose that that these clinical actions should be included in a post-partum visit as they will
positively impact patient health and are clinically valuable in supporting post-partum patients.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41235
D.46. Psoriasis: Tuberculosis (TB) Prevention for Patients with Psoriasis, Psoriatic Arthritis and Rheumatoid Arthritis on
a B'w I og1caI 1mmune R esponse M 0 d'ti
1 Ier
Current Measure
Description:
Substantive Change:
Steward:
Hieh Priority Measure:
Measure Type:
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
18:25 Aug 13, 2019
Description
N/A
337
N/A
Effective Clinical Care
MIPS CQMs Specifications
Percentage of patients, regardless of age, with psoriasis, psoriatic arthritis and rheumatoid arthritis on a biological
immune response modifier whose providers are ensuring active tuberculosis prevention either through yearly negative
standard tuberculosis screening tests or are reviewing the patient's history to determine if they have had appropriate
management for a recent or prior positive test.
The description is revised to read: Percentage of patients, regardless of age, with psoriasis, psoriatic arthritis and/or
rheumatoid arthritis on a biological immune response modifier whose providers are ensuring active tuberculosis
prevention either through negative standard tuberculosis screening tests or are reviewing the patient's history to
determine if they have had appropriate management for a recent or prior positive test.
The numerator is revised to read: Patients who have a documented negative TB screening or have documentation of
the management of a positive TB screening test with no evidence of active tuberculosis, confirmed through use of
radiographic imaging (i.e., chest x-ray, CT) prior to treatment with a biologic immune response modifier.
American Academy of Dermatology
No
Process
Newly published psoriasis clinical guidelines recommend that tuberculosis (TB) screening tests be completed prior to
treatment. Numerator compliance for this measure will now have a timing component associated with the TB
screening tests and imaging as they need to be completed prior to treatment with a biologic immune response
modifier. We agree and propose this change as it follows the current clinical guidelines.
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Cateeory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
41236
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D47 P.
am BrougJhtUn der Con ro I W"th"
I Ill 48Hours
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
18:25 Aug 13, 2019
Description
0209
342
N/A
Person and Caregiver-Centered Experience and Outcomes
MIPS CQMs Specifications
Patients aged 18 and older who report being uncomfortable because of pain at the initial assessment (after admission
to palliative care services) who report pain was brought to a comfortable level within 48 hours.
Updated denominator: Added the outpatient setting.
American Academy of Neurology
Yes
Outcome
We are proposing that the denominator coding be expanded to include the outpatient setting as an applicable setting.
We received prior stakeholder feedback with this request and agree with the decision to expand this measure to the
outpatient MIPS eligible clinicians as it is clinically relevant to this setting.
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Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Substantive Chan2e:
Steward:
Hi2h Priority Measure:
Measure Type:
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41237
D.48. HRS-3: Implantable Cardioverter-Defibrillator (lCD) Complications Rate
Substantive Change:
Steward:
Hi2h Priority Measure:
Measure Type:
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
18:25 Aug 13, 2019
Description
N/A
348
N/A
Patient Safety
MIPS CQMs Specifications
Patients with physician-specific risk-standardized rates of procedural complications following the first time
implantation of an ICD.
The measure title is revised from HRS-3: Implantable Cardioverter-Defibrillator (ICD) Complications Rate to
read: Implantable Cardioverter-Defibrillator (ICD) Complications Rate.
American College of Cardiology Foundation
Yes
Outcome
We are proposing to update the title to align with the measure steward changing from The Heart Rhythm Society to
American College of Cardiology Foundation.
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Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
41238
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D49 Depress10n R emissiOn atTweve M on th s
Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Substantive Change:
Steward:
Hi2h Priority Measure:
Measure Type:
Rationale:
Description
0710 I 0710e
370
CMS159v8
Effective Clinical Care
eCQM Specifications, CMS Web Interface Measure Specifications, MIPS CQMs Specifications
The percentage of adolescent patients 12 to 17 years of age and adult patients 18 years of age or older with major
depression or dysthymia who reached remission 12 months (+1- 60 days) after an index event date.
Updated denominator: Allow PHQ-91PHQ9M to be administered during the index encounter or up to 7 days prior to
encounter.
Minnesota Community Measurement
No
Outcome
The measure steward believes that allowing flexibility for the timeframe in which a PHQ-91PHQ-9M can be obtained
will accommodate pre-visit planning or distribution of a PHQ-91PHQ-9M tool prior to the encounter (office visit,
psychiatry or psychotherapy visit, telephone or online encounter). The intent of this change includes the following
principles:
(1) The patient must have the corresponding diagnosis at the time of the index encounter.
(2) The patient must have completed the PHQ-91PHQ-9M and have a score greater than 9.
(3) That same PHQ-91PHQ-9M is directly tied to and used during the index encounter.
VerDate Sep<11>2014
18:25 Aug 13, 2019
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khammond on DSKBBV9HB2PROD with PROPOSALS2
We agree and propose this change as it will allow for pre-visit planning and administration of the tool while also
accounting for clinical workflow. Additionally, this revision may lessen the burden of completing the PHQ-91PHQ9M tool during the health visit.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41239
D50 Funcf10naI St atus A ssessmen t s 1'or c onges f Ive H eart F a1"Iure
Substantive Change:
Steward:
Hi2h Priority Measure:
Measure Type:
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
18:25 Aug 13, 2019
Description
N/A
377
CMS90v9
Person and Caregiver- Centered Experience and Outcomes
eCQM Specifications
Percentage of patients 18 years of age and older with congestive heart failure who completed initial and follow-up
patient-reported functional status assessments.
Updated numerator: Added the Minnesota Living with Heart Failure Questionnaire (MLHQF) tool and the Kansas
City Cardiomyopathy Questionnaire (KCCQ-12) tool to the list of acceptable FSAs.
Centers for Medicare & Medicaid Services
Yes
Process
The Minnesota Living with Heart Failure Questionnaire (MLHQF) tool and the Kansas City Cardiomyopathy
Questionnaire (KCCQ-12) tool are proposed to be added to the list of numerator compliant tools that may be used to
complete the measure's clinical action. The MLHQF tool has previously been approved by the measure steward's
expert work group for inclusion in this measure and the KCCQ-12 tool is being included based upon expert feedback
and stakeholder requests, as the measure already contains the KCCQ tool. We agree and are proposing that both of
these tools are relevant and appropriate for inclusion in this measure and, potentially, will capture an increased
number of instances that meet numerator requirements.
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Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
41240
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D 51 Ch"ld
I ren Wh 0 H ave D entID
a ecay or c av1"fIes
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
18:25 Aug 13, 2019
Description
N/A
378
CMS75v8
Community/Population Health
eCQM Specifications
Percentage of children, age 0-20 years, who have had tooth decay or cavities during the measurement period.
The numerator is revised to read: Children who had cavities or decayed teeth overlapping the measurement period.
Centers for Medicare & Medicaid Services
Yes
Outcome
We propose to revise the numerator statement to include a timing component for better alignment with numerator
logic.
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Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Substantive Chan2e:
Steward:
Hi2h Priority Measure:
Measure Type:
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D52 P.
nmary c anes p reven fwn Int erven f Ion as
Substantive Change:
khammond on DSKBBV9HB2PROD with PROPOSALS2
Steward:
Hi2h Priority Measure:
Measure Type:
Rationale:
VerDate Sep<11>2014
18:25 Aug 13, 2019
oneredbJY P nmary
·
c are p rov1"ders, meIu d"mg D en fIS t s
Description
N/A
379
CMS74v9
Effective Clinical Care
eCQM Specifications
Percentage of children, age 0-20 years, who received a fluoride varnish application during the measurement period.
The numerator is revised to read: Children who receive a fluoride varnish application during the measurement
period.
Centers for Medicare & Medicaid Services
No
Process
We propose to update the numerator header to align with the numerator logic.
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Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
41241
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Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D. 53. Child and Adolescent Major Depressive Disorder (MDD): Suicide Risk Assessment
Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Description
1365e
382
CMS177v8
Patient Safety
eCQM Specifications
Percentage of patient visits for those patients aged 6 through 17 years with a diagnosis of major depressive disorder
with an assessment for suicide risk.
Updated numerator: Added telehealth data element to "Major Depressive Disorder Encounter" definition using
"Telehealth Services" value set (OlD: 2.16.840.1.113883.3.464.1003.101.12.1031).
Updated guidance: A suicide risk assessment should be performed at every visit for major depressive disorder during
the measurement period.
This measure is an episode-of-care measure; the level of analysis for this measure is every visit for major depressive
disorder during the measurement period. For example, at every visit for MDD, the patient should have a suicide risk
assessment.
Substantive Change:
Use of a standardized tool(s) or instrument(s) to assess suicide risk will meet numerator performance, so long as the
minimum criteria noted above is evaluated. Standardized tools can be mapped to the concept "Intervention,
Performed": "Suicide risk assessment (procedure)" included in the numerator logic below, as no individual suicide
risk assessment tool or instrument would satisfy the requirements alone.
Updated numerator definition: The specific type and magnitude of the suicide risk assessment is intended to be at
the discretion of the individual clinician and should be specific to the needs of the patient. At a minimum, suicide risk
assessment should evaluate:
(1) Risk (for example, age, sex, stressors, comorbid conditions, hopelessness, impulsivity) and protective factors (for
example, religious belief, concern not to hurt family) that may influence the desire to attempt suicide.
(2) Current severity of suicidality.
(3) Most severe point of suicidality in episode and lifetime.
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
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Steward:
Hi2h Priority Measure:
Measure Type:
Low burden tools to track suicidal ideation and behavior such as the Columbia-Suicidal Severity Rating Scale can also
be used. Because no validated assessment tool or instrument fully meets the aforementioned requirements for the
suicide risk assessment, individual tools or instruments have not been explicitly included in coding.
Physician Consortium for Performance Improvement Foundation (PCPI®)
Yes
Process
The measure steward's Technical Expert Panel (TEP) recommended adding telehealth services to the numerator
eligible encounters. We agree and propose that performing suicide risk assessments is a clinically relevant action that
should be completed by MIPS eligible clinicians providing telehealth services for patients diagnosed with major
depressive disorder. It is important for patient safety that this clinical action is being performed on all patients with
this diagnosis regardless of setting. The guidance and numerator definition are being updated per TEP
recommendations to clarify that while sample assessments are listed, they are not reflected in the coding of this
measure because the assessments do not meet all of the requirements for the suicide risk assessment.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41243
D. 54. Adult Primary Rhegmatogenous Retinal Detachment Surgery: Visual Acuity Improvement Within 90 Days of
surgery
Cateeory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Substantive Change:
Steward:
Hieh Priority Measure:
Measure Type:
Rationale:
Description
N/A
385
N/A
Effective Clinical Care
MIPS CQMs Specifications
Patients aged 18 years and older who had surgery for primary rhegmatogenous retinal detachment and achieved an
improvement in their visual acuity, from their preoperative level, within 90 days of surgery in the operative eye.
Updated denominator exclusion: Added an exclusion to remove patients with a pre-operative visual acuity of better
than 20/40.
American Academy of Ophthalmology
Yes
Outcome
We are proposing to revise this measure to include a denominator exclusion to account for patients with a preoperative visual acuity better than 20/40, as these patients would not be expected to show an improvement in visual
acuity following surgical intervention. We believe these patients should be excluded based upon expected visual
acuity outcomes.
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In the event the proposed substantive change(s) are finalized, the substantive changes would not allow for a direct
comparison of performance data from prior years to performance data submitted after the implementation of these
substantive changes.
41244
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D. 55. Follow-up After Hospitalization for Mental Illness (FUH)
Current Measure
Description:
Substantive Change:
Steward:
Hi2h Priority Measure:
Measure Type:
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Rationale:
VerDate Sep<11>2014
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Description
0576
391
N/A
Communication/Care Coordination
MIPS CQMs Specifications
The percentage of discharges for patients 6 years of age and older who were hospitalized for treatment of selected
mental illness diagnoses and who had a follow-up visit with a mental health practitioner. Two rates are submitted:
• The percentage of discharges for which the patient received follow-up within 30 days after discharge.
• The percentage of discharges for which the patient received follow-up within 7 days after discharge.
Updated denominator: Added self-harm as a denominator eligible diagnosis.
The measure description is revised to read: The percentage of discharges for patients 6 years of age and older who
were hospitalized for treatment of selected mental illness or intentional self-harm diagnoses and who had a follow-up
visit with a mental health practitioner. Two rates are submitted:
• The percentage of discharges for which the patient received follow-up within 30 days after discharge.
• The percentage of discharges for which the patient received follow-up within 7 days after discharge.
National Committee for Quality Assurance
Yes
Process
We propose the denominator be expanded to include patients diagnosed with self-harm. We agree that this patient
population is relevant to this measure and follow-up after hospitalization for patients with a self-harm diagnosis is
directly applicable to patient safety.
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Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41245
. F 0 IIowmg At na
. I Fib n·naf1on Abl af1on
D 56 HRS-12 : Card.1ac T ampona de an d/or p encar d"weent es1s
Current Measure
Description:
Substantive Change:
Steward:
Hi2h Priority Measure:
Measure Type:
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
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Description
2474
392
N/A
Patient Safety
MIPS CQMs Specifications
Rate of cardiac tamponade and/or pericardiocentesis following atrial fibrillation ablation. This measure is submitted as
four rates stratified by age and gender:
• Submission Age Criteria 1: Females 18-64 years of age
• Submission Age Criteria 2: Males 18-64 years of age
• Submission Age Criteria 3: Females 65 years of age and older
• Submission Age Criteria 4: Males 65 years of age and older
The measure title is revised from HRS-12: Cardiac Tamponade and/or Pericardiocentesis Following Atrial
Fibrillation to read: Cardiac Tamponade and/or Pericardiocentesis Following Atrial Fibrillation Ablation.
American College of Cardiology Foundation
Yes
Outcome
We are proposing to update the title to align with the measure steward changing from The Heart Rhythm Society to
American College of Cardiology Foundation.
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Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
41246
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D.57. HRS-9: Infection within 180 Days of Cardiac Implantable Electronic Device (CIED) Implantation, Replacement, or
Revision
Substantive Change:
Steward:
Hieh Priority Measure:
Measure Type:
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Rationale:
VerDate Sep<11>2014
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Description
N/A
393
N/A
Patient Safety
MIPS CQMs Specifications
Infection rate following CIED device implantation, replacement, or revision.
The measure title is revised from HRS-9: Infection within 180 Days of Cardiac Implantable Electronic Device
(CIED) Implantation, Replacement, or Revision to read: Infection within 180 Days of Cardiac Implantable
Electronic Device (CIED) Implantation, Replacement, or Revision.
American College of Cardiology Foundation
Yes
Outcome
We are proposing to update the title to align with the measure steward changing from The Heart Rhythm Society to
American College of Cardiology Foundation.
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Cateeory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41247
D 58 Immunizations for Adolescents
Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Description
1407
394
N/A
Community/ Population Health
MIPS CQMs Specifications
The percentage of adolescents 13 years of age who had the recommended immunizations by their 13th birthday.
Updated denominator exclusions: Added exclusion for encephalopathy due to Tdap vaccine.
Steward:
High Priority Measure:
Measure Type:
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Rationale:
VerDate Sep<11>2014
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Updated numerator to speci(y compliant sero2roups: Serogroups A, C, W, Y
National Committee for Quality Assurance
No
Process
We propose the denominator exclusion be expanded to include encephalopathy as an eligible reason to exclude the
patient from the Tdap vaccine clinical action. Both Adacel® and Boostrix® list progressive or unstable neurologic
conditions, which would include encephalopathy, as reasons to defer their administration. The numerator was updated
to specify the required serogroup. According to the Centers for Disease Control, allll to 12 year olds should be
vaccinated with a meningococcal conjugate vaccine (Serogroups A, C, W, Y), with a booster dose given at 16 years
old. All teens may also be vaccinated with a serogroup B meningococcal vaccine, preferably at 16 through 18 years
old. This measure is assessing a younger patient population. We agree with adding specificity to the numerator to
align with the current guidelines.
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Substantive Change:
41248
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D 59 Appropriate Follow-up Imagmg for Incidental Abdommal LesiOns
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Description
N/A
405
N/A
Effective Clinical Care
Medicare Part B Claims Measure Specifications, MIPS CQMs Specifications
Percentage of final reports for abdominal imaging studies for patients aged 18 years and older with one or more of the
following noted incidentally with follow-up imaging recommended
• Liver lesion S 0. 5 em.
• Cystic kidney lesion< 1.0 em.
• Adrenal lesion< 1.0 em.
Updated measure assessment: The measure analytic is being updated and will no longer be inverse.
The measure description is revised to read: Percentage of final reports for abdominal imaging studies for patients
aged 18 years and older with one or more of the following noted incidentally with a specific recommendation for no
followDup imaging recommended based on radiological findings:
• Cystic renal lesion that is simple appearing* (Bosniak I or II)
• Adrenal lesionS 1.0 em
• Adrenal lesion> 1.0 em butS 4.0 em classified as likely benign by unenhanced CT or washout protocol CT, or MRI
with in- and opposed-phase sequences or other equivalent institutional imaging protocols
The denominator is revised to read: All final reports for imaging studies for patients aged 18 years and older with
one or more of the following incidentally noted:
• Cystic renal lesion that is simple appearing* (Bosniak I or II)
• Adrenal lesionS 1.0 em
• Adrenal lesion> 1.0 em butS 4.0 em classified as likely benign by unenhanced CT or washout protocol CT, or MRI
with in- and opposed-phase sequences or other equivalent institutional imaging protocols
Updated denominator note: For the MIPS CQMs Specifications collection type: Updated to include changes in
the denominator and to include:
*Other "simple-appearing criteria":
• Incidental renal mass on non-contrast enhanced abdominal CT that does not contain fat, is homogenous in
appearance, -10-20 HU or270 HU. (ACR, 2017)
• Incidental renal mass on contrast-enhanced abdominal CT that does not contain fat, is homogenous in appearance, 10-20 HU. (ACR, 2017)
Substantive Change:
Radiologists may choose not to include in the radiology report benign-appearing renal cysts (Bosniak I or II or
equivalent*) or cystic lesions that are too small to characterize (TSTC) but likely benign (a lesion is too small to
characterize (TSTC) when the lesion size is less than twice reconstructed slice thickness (ACR, 2017).
Updated denominator: For the MIPS CQMs Specifications collection type: Updated criteria:
Incidental finding: Cystic renal lesion that is simple appearing* (Bosniak I or II), or Adrenal lesionS 1.0 em or
Adrenal lesion> 1.0 em butS 4.0 em classified as likely benign by unenhanced CT or washout protocol CT, or MRI
with in- and opposed-phase sequences or other equivalent institutional imaging protocols
Updated numerator note: For the Medicare Part B Claims Measure Specifications collection type: Updated to
include changes in the denominator and to include:
*Other "simple-appearing criteria":
• Incidental renal mass on non-contrast enhanced abdominal CT that does not contain fat, is homogenous in
appearance, -10-20 HU or270 HU. (ACR, 2017)
• Incidental renal mass on contrast-enhanced abdominal CT that does not contain fat, is homogenous in appearance, 10-20 HU. (ACR, 2017)
Updated numerator instructions: Removed inverse measure instructions.
Added:
A short note can be made in the final report, such as:
"No follow-up imaging is recommended as incidental lesions are likely benign" or
"No follow-up imaging is recommended per consensus recommendations based on imaging criteria. Further lab
evaluation could be pursued based on clinical findings"
Updated denominator exclusion: For the Medicare Part B Claims Measure Specifications collection type:
Updated to reflect the changes to what is considered an incidental lesion.
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Radiologists may choose not to include in the radiology report benign-appearing renal cysts (Bosniak I or II or
equivalent*) or cystic lesions that are too small to characterize (TSTC) but likely benign (a lesion is too small to
characterize (TSTC) when the lesion size is less than twice reconstructed slice thickness (ACR, 2017).
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41249
Description
The numerator is revised to read: Final reports for imaging studies that include a description of incidental cystic
renal lesion or adrenal lesion stating follow-up imaging is not recommended.
Cateeory
Updated numerator options: Updated to reflect changes to the analytics of the measure and what is considered an
incidental lesion.
Steward:
Hieh Priority Measure:
Measure Type:
Rationale:
Updated denominator exception: Updated to read: Documentation of medical reason(s) that follow-up imaging is
indicated (e.g., patient has lymphadenopathy, signs of metastasis or an active diagnosis or history of cancer, and other
medical reason(s).
American College of Radiology
Yes
Process
We propose to update all aspects of this measure based upon the American College of Radiology's Technical Expert
Panel (TEP) recommendations in order to bring the measure into alignment with current guidelines. The measure
analytic is also being updated so that it is no longer an inverse measure. In addition, liver lesions have been removed
from the denominator and the denominator exception has been updated to reflect the intent of the measure. We agree
with these changes as they will bring the measure in better alignment with current clinical guidelines.
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In the event the proposed substantive change(s) are finalized, the substantive changes would not allow for a direct
comparison of performance data from prior years to performance data submitted after the implementation of these
substantive changes.
41250
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D.60. Emergency Medicine: Emergency Department Utilization of CT for Minor Blunt Head Trauma for Patients Aged
18 Years and Older
Cateeory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Efficiency and Cost Reduction
Current Measure
Description:
Medicare Part B Claims Measure Specifications, MIPS CQMs Specifications
Percentage of emergency department visits for patients aged 18 years and older who presented with a minor blunt
head trauma who had a head CT for trauma ordered by an emergency care clinician who have an indication for a head
CT.
Modified collection type: MIPS CQMs Specifications
Substantive Change:
Update description: Percentage of emergency department visits for patients aged 18 years and older who presented
with a minor blunt head trauma who had a head CT for trauma ordered by an emergency care provider who have an
indication for a head CT.
Steward:
Hieh Priority Measure:
Measure Type:
Rationale:
VerDate Sep<11>2014
Update denominator exclusions: Removed pregnancy and revised list of antiplatelets applicable to the exclusion.
American College of Emergency Physicians
Yes
Efficiency
We propose to remove the Medicare Part B Claims Measure Specifications collection type. The benchmarking data
shows that this measure is meets the extremely topped out definition for the Medicare Part B Claims Measure
Specification collection type. However, the benchmarking data continues to show a gap for the MIPS CQMs
Specifications collection type, as such, the measure will be retained for this collection type.
Additionally, we propose the denominator exclusions be updated to remove pregnancy as an eligible exclusion due to
the low count of exclusion instances, and the list of antiplatelets was revised based upon an in depth review by the
quality measures committee and measure leads and now aligns more closely with the current clinical workflow. The
description was updated to align with the measure language throughout the specification.
18:25 Aug 13, 2019
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Description
N/A
415
N/A
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41251
D.61. Emergency Medicine: Emergency Department Utilization of CT for Minor Blunt Head Trauma for Patients Aged 2
th rougJh 17 y ears
Cateeory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Description
N/A
416
N/A
Efficiency and Cost Reduction
Part B Claims Measure Specifications, MIPS CQMs Specifications
Percentage of emergency department visits for patients aged 2 through 17 years who presented with a minor blunt
head trauma who had a head CT for trauma ordered by an emergency care provider who are classified as low risk
according to the Pediatric Emergency Care Applied Research Network (PECARN) prediction rules for traumatic brain
IUJUry.
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
18:25 Aug 13, 2019
Updated denominator exclusions: Removed thrombocytopenia.
American College of Emergency Physicians
Yes
Efficiency
We are proposing, due to the low count of exclusion instances, to remove thrombocytopenia from the list of eligible
denominator exclusions.
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Substantive Chanee:
Steward:
Hieh Priority Measure:
Measure Type:
41252
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
"Managemen t"Ill w omen Wh 0 H a d a Frae ure
D62 0 steoporos1s
Current Measure
Description:
Substantive Change:
Steward:
Hi2h Priority Measure:
Measure Type:
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Rationale:
VerDate Sep<11>2014
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Description
0053
418
N/A
Effective Clinical Care
Medicare Part B Claims Measure Specifications, MIPS CQMs Specifications
The percentage of women age 50-85 who suffered a fracture in the six months prior to the performance period through
June 30 of the performance period and who either had a bone mineral density test or received a prescription for a drug
to treat osteoporosis in the six months after the fracture.
Updated denominator exclusions: Updated:
(1) Patients 66 and older who are living long term in an institution for more than 90 days during the measurement
period.
Added:
(1) Patients 66 years of age and older with at least one claim/encounter for frailty during the measurement period
AND a dispensed medication for dementia during the measurement period or the year prior to the measurement
period.
(2) Patients 66 years of age and older with at least one claim/encounter for frailty during the measurement period
AND either one acute inpatient encounter with a diagnosis of advanced illness or two outpatient, observation, ED or
nonacute inpatient encounters on different dates of service with an advanced illness diagnosis during the measurement
period or the year prior to the measurement period.
(3) Dementia Exclusion Medications: Cholinesterase inhibitors: Donepezil, Galantamine, Rivastigimine
Miscellaneous central nervous system agents: Memantine
National Committee for Quality Assurance
No
Process
We propose and agree with the measure steward that the denominator exclusions be updated because it is unlikely
patients with dementia requiring listed medications or advanced illness and frailty need some services and, in some
cases, it might even be harmful for patients to receive a particular service when they should prioritize other services.
We are also proposing to update the exclusion for living long term in an institution to include the criteria for more
than 90 days during the measurement period. We agree with the measure steward as this would ensure the correct
patient population is being removed from the eligible population and will lessen the burden to submit data for these
MIPS eligible clinicians.
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Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41253
D63Stf
am Th erapy fior th e p reven fwn an dT rea men t 0 fC ard"wvascu ar D"Isease
Current Measure
Description:
Substantive Chan2e:
Steward:
Hi2h Priority Measure:
Measure Type:
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Rationale:
VerDate Sep<11>2014
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Description
N/A
438
CMS347v3
Effective Clinical Care
eCQM Specifications, CMS Web Interface Measure Specifications, MIPS CQMs Specifications
Percentage of the following patients -all considered at high risk of cardiovascular events -who were prescribed or
were on statin therapy during the measurement period:
• Adults aged 2 21 years who were previously diagnosed with or currently have an active diagnosis of clinical
atherosclerotic cardiovascular disease (ASCVD); OR
• Adults aged 221 years who have ever had a fasting or direct low-density lipoprotein cholesterol (LDL-C) level2 190
mg/dL or were previously diagnosed with or currently have an active diagnosis of familial or pure
hypercholesterolemia; OR
• Adults aged 40-75 years with a diagnosis of diabetes with a fasting or direct LDL-C level of 70-189 mg/dL.
Updated denominator exception: Added hospice care.
Centers for Medicare & Medicaid Services
No
Process
The measure steward proposes to add patients receiving hospice care to the eligible denominator exceptions to align
with the intent of the measure. We agree with the measure steward that this patient population should be removed as
patients in hospice care would not benefit from this clinical service and we believe that by removing this patient
population it will reduce the burden of submission for these MIPS eligible clinicians providing care to these patients.
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Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
41254
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D.64. Age Appropriate Screening Colonoscopy
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
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Description
N/A
439
N/A
Efficiency and Cost Reduction
MIPS CQMs Specifications
The percentage of patients greater than 85 years of age who received a screening colonoscopy from January 1 to
December 31.
Updated denominator: Removed exclusion for modifiers 52, 53, 73, and 74.
American Gastroenterological Association
Yes
Efficiency
We are proposing that the denominator be expanded to include coded colonoscopy procedures that are indicated as
incomplete or discontinued with modifiers 52, 53, 73, or 74 as denominator eligible. We agree that these procedures
should be included in the denominator as the measure is looking to assess whether a colonoscopy was clinically
indicated for the patient. Even if the colonoscopy was indicated as incomplete or discontinued, we would want that
instance included in the denominator to determine ifthere was a valid medical reason for it to be performed.
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Cateeory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Substantive Chanee:
Steward:
Hieh Priority Measure:
Measure Type:
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41255
D.65. Basal Cell Carcinoma (BCC)!Squamous Cell Carcinoma (SCC): Biopsy Reporting Time- Pathologist to Clinician
Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Substantive Change:
Description
N/A
440
N/A
Communication and Care Coordination
MIPS CQMs Specifications
Percentage of biopsies with a diagnosis of cutaneous Basal Cell Carcinoma (BCC) and Squamous Cell Carcinoma
(SCC) (including in situ disease) in which the pathologist communicates results to the clinician within 7 days from the
time when the tissue specimen was received by the pathologist.
The measure title is revised from Basal Cell Carcinoma (BCC)/Squamous Cell Carcinoma (SCC): Biopsy
Reporting Time- Pathologist to Clinician to read: Skin Cancer: Biopsy Reporting Time -Pathologist to Clinician.
The measure description is revised to read: Percentage of biopsies with a diagnosis of cutaneous Basal Cell
Carcinoma (BCC), Squamous Cell Carcinoma (SCC) (including in situ disease), or melanoma in which the pathologist
communicates results to the clinician within 7 days from the time when the tissue specimen was received by the
pathologist.
Updated denominator: Added melanoma diagnosis codes.
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Rationale:
VerDate Sep<11>2014
18:25 Aug 13, 2019
Updated numerator: Included language to reflect the addition of melanoma to the denominator.
American Academy of Dermatology
Yes
Process
We are proposing that the denominator be expanded to include melanoma diagnosis codes. The measure steward
believes this will allow for a broader patient population to reflect communication and care coordination of skin
cancers, not just non-melanoma skin cancer. The measure title, description, denominator, and numerator language is
being updated to align with the inclusion of a melanoma diagnosis.
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Steward:
Hi2h Priority Measure:
Measure Type:
41256
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D.66. Ischemic Vascular Disease (IVD) All or None Outcome Measure (Optimal Control)
Current Measure
Description:
Substantive Change:
Steward:
Hi2h Priority Measure:
Measure Type:
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Rationale:
VerDate Sep<11>2014
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Description
N/A
441
N/A
Effective Clinical Care
MIPS CQMs Specifications
The IVD All-or-None Measure is one outcome measure (optimal control). The measure contains four goals. All four
goals within a measure must be reached in order to meet that measure. The numerator for the all-or-none measure
should be collected from the organization's total IVD denominator. All-or-None Outcome Measure (Optimal Control)
-Using the IVD denominator optimal results include:
• Most recent blood pressure (BP) measurement is less than or equal to 140/90 mm Hg --AND
• Most recent tobacco status is Tobacco Free -- AND
• Daily Aspirin or Other Anti platelet Unless Contraindicated-- AND
• Statin Use Unless Contraindicated
Updated denominator exceptions: Added Procedure-Related BP's not taken during an outpatient visit. Examples of
Procedure-related BP Locations: Same Day Surgery, Ambulatory Service Center, G.I. Lab, Dialysis, Infusion Center,
Chemotherapy.
Wisconsin Collaborative for Healthcare Quality (WCHQ)
Yes
Intermediate Outcome
We are proposing and agree with the WCHQ Measurement Advisory Committee that procedure-related blood
pressures should be excluded from this measure. We agree with the inclusion of the denominator exception as
procedure-related blood pressures can be artificially elevated. This change also aligns with other blood pressure
related measure exclusions.
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Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41257
. t e w ork up P.
. I Abl af Ion
D67 A~cppropna
nor t0 E n dornet na
Substantive Change:
Steward:
Hi2h Priority Measure:
Measure Type:
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Rationale:
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Description
N/A
448
N/A
Communication and Care Coordination
MIPS CQMs Specifications
Percentage of women, aged 18 years and older, who undergo endometrial sampling or hysteroscopy with biopsy and
results documented before undergoing an endometrial ablation.
The measure description is revised to read: Percentage of patients, aged 18 years and older, who undergo
endometrial sampling or hysteroscopy with biopsy and results are documented before undergoing an endometrial
ablation.
Updated denominator: Replace the word "women" with "patients".
Updated numerator: Replace the word "women" with "patients".
Centers for Medicare & Medicaid Services
Yes
Process
We are proposing to update the measure description to read "percentage of patients" in order to be gender inclusive.
This change will also be reflected throughout the measure for consistency.
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Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
41258
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D.68. Trastuzumab Received By Patients With AJCC Stage I (Tlc)- III And HER2 Positive Breast Cancer Receiving
Ad'
l.Juvan t Chemo th erapy
Substantive Change:
khammond on DSKBBV9HB2PROD with PROPOSALS2
Steward:
Hieh Priority Measure:
Measure Type:
Rationale:
VerDate Sep<11>2014
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Description
1858
450
N/A
Effective Clinical Care
MIPS CQMs Specifications
Percentage of female patients (aged 18 years and older) with AJCC stage I (Tlc)- III, human epidermal growth factor
receptor 2 (HER2) positive breast cancer receiving adjuvant chemotherapy who are also receiving trastuzumab.
Updated denominator defmition:
Use the 2018 ASCO/CAP guideline definitions to determine HER2 statusHER2 Positive:
• If result is IHC 3+ based on circumferential membrane staining that is complete, intense and in > 10% of the invasive
tumor cells
• If result is ISH positive based on:
• Single-probe average HER2 copy number 2~ 6. 0 signals/cell
• Dual-probe HER2/CEP 17 ratio 2~ 2. 0 with an average HER2 copy number 2~ 4. 0 signals/cell
• Dual-probe HER2/CEP17 ratio> 2. 0 with an average HER2 copy number~ 6. 0 signals/cell
HER2 Equivocal:
• If result is IHC 2+ based on circumferential membrane staining that is incomplete and/or weak/moderate and within
> 10% of the invasive tumor cells
• If result is ISH equivocal based on:
• Single-probe ISH average HER2 copy number 2~ 4. 0 and> 6. 0 signals/cell
• Dual-probe HER2/CEP 17 ratio > 2. 0 with an average HER2 copy number 2~ 4. 0 and > 6. 0 signals/cell
HER2 Negative:
• If result is IHC 1+based on incomplete membrane staining that is faint/barely perceptible and within> 10% of the
invasive tumor cells
• If result is IHC 0 based on no staining observed or membrane staining that is incomplete and is faint/barely
perceptible and 2~ 10% of the invasive tumor cells
• ISH negative based on:
• Single-probe average HER2 copy number> 4. 0 signals/cell
• Dual-probe HER2/CEP17 ratio> 2. 0 with an average HER2 copy number> 4. 0 signals/cell
HER2 Indeterminate:
Report HER2 test result as indeterminate if technical issues prevent one or both tests (IHC and ISH) from being
reported as positive, negative, or equivocal.
Conditions may include:
• Inadequate specimen handling
• Artifacts (crush or edge artifacts) that make interpretation difficult
• Analytic testing failure.
American Society of Clinical Oncology
Yes
Process
We are proposing to update the denominator definition so that it aligns with the 2018 ASCO/CAP guidelines.
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Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41259
. BackP am
. F 0 IIowmg L urn bar D"Iscec omy /L ammo omy
D69 Average Ch angem
Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Description
N/A
459
N/A
Person and Caregiver-Centered Experience and Outcomes
MIPS CQMs Specifications
The average change (preoperative to three months postoperative) in back pain for patients 18 years of age or older
who had a lumbar discectomy /laminotomy procedure.
The measure title is revised from Average Change in Back Pain Following Lumbar Discectomy I Laminotomy
to read: Back Pain After Lumbar Discectomy/Laminectomy.
The measure description is revised to read: For patients 18 years of age or older who had a lumbar
discectomy/laminectomy procedure, back pain is rated by the patients as less than or equal to 3.0 OR an improvement
of 5.0 points or greater on the Visual Analog Scale (VAS) Pain scale at three months (6 to 20 weeks) postoperatively.
Updated measure assessment: Changed measure assessment from continuous variable to a proportional measure.
Updated denominator: Added discectomy/ laminectomy CPT procedure codes: 63005, 63012, 63017, 63030, 63042
and 63047.
Removed diagnosis of disc herniation.
Updated denominator exclusions: Added spine related cancer, acute fracture or infection, neuromuscular, idiopathic
or congenital scoliosis.
Substantive Change:
Updated numerator: For numerator compliance patients need either a post-op pain assessment (to meet the target
portion) or ifpost-op pain assessment is greater than 3.0, need a pre and post-op assessment to hit the change target of
5.0 points. Patients who are missing an assessment will be considered numerator non-compliant.
The measure will now be target-based with performance met being back pain is less than or equal to 3.0 OR a change
of 5.0 points or greater on the VAS Pain scale at 3 months postoperatively (6 to 20 weeks).
Updated defmitions: Added:
(1) Back Pain Target #1- A patient who is assessed postoperatively at three months (6 to 20 weeks) after the
procedure who rates their back pain as less than or equal to 3. 0.
(2) Back Pain Target #2- A patient who does not meet Back Pain Target #1 is assessed both preoperatively within 3
months prior to the procedure AND postoperatively at three months (6 to 20 weeks) after the procedure AND the
change is greater than or equal to 5.0 points.
Updated numerator note:
It is recommended that both a preoperative and postoperative be administered to the patient increasing the chances
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Steward:
Hi2h Priority Measure:
Measure Type:
that one of the numerator targets will be met. The following situations are those in which the numerator target cannot
be reached and Performance Not Met G9943 is submitted.
• VAS Pain Scale is not administered postoperatively at three months (6 to 20 weeks)
• Back pain is measured using a different patient reported tool or via telephone screening
• Postoperative VAS Pain Scale is administered less than six weeks or more than 20 weeks (3 month window)
• Postoperative VAS value is greater than 3.0 and no valid preoperative to measure change
• Preoperative VAS Pain Scale (to measure change) is administered beyond the three month time frame prior to and
including the date of procedure (e.g. 6 months before procedure)
Minnesota Community Measurement
Yes
Patient Reported Outcome
41260
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
Description
We are proposing that this measure assessment be updated to a target-based measure and will no longer look at the
average change. Multiple aspects of the measure are being updated to reflect this change, including requiring all
eligible patients undergoing the procedure to be assessed for numerator compliance. The measure steward chose the
targets based on a 2016 study in the Spine Journal Fetke, TF eta! "What level of pain are patients happy to live with
after surgery for lumbar degenerative disorders?" This study compared the Core Outcomes Measures Index (COMI)
and symptom well-being questions to two 0 to 10 graphic ratings scales for back and leg pain. Most spine
interventions decrease pain but rarely do they totally eliminate it. Reporting of the percent of patients achieving a pain
score equivalent to the "acceptable symptom state" may represent a more stringent target for denoting surgical success
in the treatment of painful spinal disorders. For disc herniation, this is less than or equal to 2, and for other
degenerative pathologies it is less than or equal to 3. The OR benchmark of change (5.0) derived from MNCM data (3
years); the average change in points of patients that did achieve the target ofless than or equal to 3.0. We agree with
this change as it allows for benchmarking and does not allow denominator self-selection which could skew the results,
as patients who do not complete the required assessments will now be considered numerator non-compliant. The
measure steward's measure development workgroup reached a consensus to expand the denominator to more broadly
include all patients undergoing discectomy/laminectomy procedures by removing the diagnosis of disc herniation and
adding procedure codes. As a part of this decision, it was decided to add a denominator exclusion as the measure
steward believes this will help to create a more heterogeneous population. We agree with the expansion of the
denominator to capture all patients undergoing discectomy/laminectomy procedures. Additionally, the definitions and
the numerator note are proposed to be updated to align with the other changes and to add clarity.
Cateeory
Rationale:
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In the event the proposed substantive change(s) are finalized, the substantive changes would not allow for a direct
comparison of performance data from prior years to performance data submitted after the implementation of these
substantive changes.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41261
. F 0 IIowmg L urnbar FUS lOll
D70 Average Ch angem BackP am
Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Description
N/A
460
N/A
Person and Caregiver-Centered Experience and Outcomes
MIPS CQMs Specifications
The average change (preoperative to one year postoperative) in back pain for patients 18 years of age or older who
had a lumbar fusion procedure.
The measure title is revised from Average Change in Back Pain Following Lumbar Fusion to read: Back Pain
After Lumbar Fusion.
The measure description is revised to read: For patients 18 years of age or older who had a lumbar fusion
procedure, back pain is rated by the patient as less than or equal to 3.0 OR an improvement of 5.0 points or greater on
the Visual Analog Scale (VAS) Pain* scale at one year (9 to 15 months) postoperatively.
* hereafter referred to as VAS Pain
Updated measure assessment: Changed measure assessment from continuous variable to a proportional measure.
Updated numerator: For numerator compliance patients need either a post-op pain assessment (to meet the target
portion) or ifpost-op greater than 3.0, need a pre and post-op assessment to hit the change target of 5.0 points. Patients
who are missing an assessment will be considered numerator non-compliant.
The measure will now be target-based with performance met being back pain is less than or equal to 3.0 OR a change
of 5.0 points or greater on the VAS Pain scale at one year postoperatively (9 to 15 months).
Substantive Change:
Updated defmitions: Added:
(1) Back Pain Target # 1 - A patient who is assessed postoperatively at one year (9 to 15 months) after the procedure
rates their back pain as less than or equal to 3.0.
(2) Back Pain Target #2- A patient who does not meet Back Pain Target #1 is assessed both preoperatively within 3
months prior to the procedure AND postoperatively at one year (9 to 15 months) after the procedure AND the change
is greater than or equal to 5.0 points.
Updated numerator note;
It is recommended that both a preoperative and postoperative be administered to the patient increasing the chances
Steward:
Hi2h Priority Measure:
Measure Type:
In the event the proposed substantive change(s) are finalized, the substantive changes would not allow for a direct
comparison of performance data from prior years to performance data submitted after the implementation of these
substantive changes.
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Rationale:
that one of the numerator targets will be met. The following situations are those in which the numerator target cannot
be reached and Performance Not Met G9946 is submitted.
• VAS Pain Scale is not administered postoperatively at one year (9 to 15 months)
• Back pain is measured using a different patient reported tool or via telephone screening
• Postop VAS Pain Scale is administered less than nine months or more than 15 months (1 year window)
• Postoperative VAS value is greater than 3.0 and no valid preop to measure change
• Preoperative VAS Pain Scale (to measure change) is administered beyond the three month time frame prior to and
including the date of procedure (e.g. 6 months before procedure)
Minnesota Community Measurement
Yes
Patient Reported Outcome
We are proposing that this measure assessment be updated to a target-based measure and will no longer look at the
average change. Multiple aspects of the measure are being updated to reflect this change, including requiring all
eligible patients undergoing the procedure to be assessed for numerator compliance. The measure steward base the
target on a 2016 study in the Spine Journal Fetke, TF et al "What level of pain are patients happy to live with after
surgery for lumbar degenerative disorders?" This study compared the Core Outcomes Measures Index (COMI) and
symptom well-being questions to two 0 to 10 graphic ratings scales for back and leg pain. Most spine interventions
decrease pain but rarely do they totally eliminate it. Reporting of the percent of patients achieving a pain score
equivalent to the "acceptable symptom state" may represent a more stringent target for denoting surgical success in the
treatment of painful spinal disorders. For disc herniation, this is S2, and for other degenerative pathologies it is less
than or equal to 3. The OR benchmark of change (5.0) derived from MNCM data (3 years); the average change in
points of patients that did achieve the target of less than or equal to 3.0. We agree with this change as it allows for
benchmarking and does not allow denominator self-selection which could skew the results, as patients who do not
complete the required assessments will now be considered numerator non-compliant. Additionally, the definitions and
the numerator note are proposed to be updated to align with the other changes and to add clarity.
41262
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
am Fll
D71 Average Ch angem L eg p·
0 owmg L urnb ar D"Iscec omy an d/or L ammo omy
Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Description
N/A
461
N/A
Person and Caregiver-Centered Experience and Outcomes
MIPS CQMs Specifications
The average change (preoperative to three months postoperative) in leg pain for patients 18 years of age or older who
had a lumbar discectomy/laminotomy procedure.
The measure title is revised from Average Change in Leg Pain Following Lumbar Discectomy and/or
Laminotomy to read: Leg Pain After Lumbar Discectomy/Laminectomy.
The measure description is revised to read: For patients 18 years of age or older who had a lumbar
discectomy/laminectomy procedure, leg pain is rated by the patient as less than or equal to 3.0 OR an improvement of
5.0 points or greater on the VAS Pain scale at three months (6 to 20 weeks) postoperatively.
Updated measure assessment: Changed measure assessment from continuous variable to a proportional measure.
Updated denominator: Added the following discectomy/ laminectomy CPT procedure codes: 63005, 63012, 63017,
63030, 63042 and 63047.
Removed diagnosis of disc herniation.
Updated denominator exclusions: Added spine related cancer, acute fracture or infection, neuromuscular, idiopathic
or congenital scoliosis.
Substantive Change:
Updated numerator: For numerator compliance patients need either a post-op pain assessment (to meet the target
portion) or ifpost-op greater than 3.0, need a pre and post-op assessment to hit the change target of 5.0 points. Patients
who are missing an assessment will be considered numerator non-compliant.
The measure will now be target-based with performance met being leg pain is less than or equal to 3.0 OR a change of
5.0 points or greater on the VAS Pain scale at 3 months postoperatively (6 to 20 weeks).
Updated defmitions: Added:
(1) Leg Pain Target #1 -A patient who is assessed postoperatively at three months (6 to 20 weeks) after the procedure
who rates their leg pain as less than or equal to 3.0.
(2) Leg Pain Target #2- A patient who does not meet Leg Pain Target #1 is assessed both preoperatively within 3
months prior to the procedure AND postoperatively at three months (6 to 20 weeks) after the procedure AND the
change is greater than or equal to 5.0 points.
Updated numerator note:
It is recommended that both a preoperative and postoperative be administered to the patient increasing the chances
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Steward:
High Priority Measure:
Measure Type:
that one of the numerator targets will be met. The following situations are those in which the numerator target cannot
be reached and Performance Not Met G9949 is submitted.
• VAS Pain Scale is not administered postoperatively at three months (6 to 20 weeks)
• Leg pain is measured using a different patient reported tool or via telephone screening
• Postoperative VAS Pain Scale is administered less than six weeks or more than 20 weeks (3 month window)
• Postoperative VAS value is greater than 3.0 and no valid preop to measure change
• Preoperative VAS Pain Scale (to measure change) is administered beyond the three month time frame prior to and
including the date of procedure (e.g. 6 months before procedure)
Minnesota Community Measurement
Yes
Patient Reported Outcome
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41263
Description
We are proposing that this measure assessment be updated to a target-based measure and will no longer look at the
average change. Multiple aspects of the measure are being updated to reflect this change, including requiring all
eligible patients undergoing the procedure to be assessed for numerator compliance. The measure steward based the
target on a 2016 study in the Spine Journal Fetke, TF eta! "What level of pain are patients happy to live with after
surgery for lumbar degenerative disorders?" This study compared the Core Outcomes Measures Index (COMI) and
symptom well-being questions to two 0 to 10 graphic ratings scales for back and leg pain. Most spine interventions
decrease pain but rarely do they totally eliminate it. Reporting of the percent of patients achieving a pain score
equivalent to the "acceptable symptom state" may represent a more stringent target for denoting surgical success in the
treatment of painful spinal disorders. For disc herniation, this is less than or equal to 2, and for other degenerative
pathologies it is less than or equal to 3. The OR benchmark of change (5.0) derived from MNCM data (3 years); the
average change in points of patients that did achieve the target ofless than or equal to 3. 0. We agree with this change
as it allows for benchmarking and does not allow denominator self-selection which could skew the results, as patients
who do not complete the required assessments will now be considered numerator non-compliant. The measure
steward's measure development workgroup reached a consensus to expand the denominator to more broadly include
all patients undergoing discectomy/laminectomy procedures by removing the diagnosis of disc herniation and adding
procedure codes. As a part of this decision, it was decided to add a denominator exclusion as the measure steward
believes this will help to create a more heterogeneous population. We agree with the expansion of the denominator to
capture all patients undergoing discectomy/laminectomy procedures. Additionally, the definitions and the numerator
note are proposed to be updated to align with the other changes and to add clarity.
Cateeory
Rationale:
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In the event the proposed substantive change(s) are finalized, the substantive changes would not allow for a direct
comparison of performance data from prior years to performance data submitted after the implementation of these
substantive changes.
41264
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
"t Eva ua fwn fior p afIen s WI"th p rosa
t t e c ancer an dR ece1vmg Ad
D72 Bone Densny
n rogen Depnva fwn Therapy
Current Measure
Description:
Substantive Change:
Steward:
Hi2h Priority Measure:
Measure Type:
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
18:25 Aug 13, 2019
Description
N/A
462
CMS645v3
Effective Clinical Care
eCQM Specifications
Patients determined as having prostate cancer who are currently starting or undergoing androgen deprivation therapy
(ADT), for an anticipated period of 12 months or greater (indicated by HCPCS code) and who receive an initial bone
density evaluation. The bone density evaluation must be prior to the start of ADT or within 3 months of the start of
ADT.
The measure description is revised to read: Patients determined as having prostate cancer who are currently starting
or undergoing androgen deprivation therapy (ADT), for an anticipated period of 12 months or greater and who receive
an initial bone density evaluation. The bone density evaluation must be prior to the start of ADT or within 3 months of
the start of ADT.
Oregon Urology Institute
No
Process
We propose to update the measure description to align with the removal of the custom HCPCS, J code 11950, which
previously denoted the practitioner's intent of androgen deprivation therapy (ADT) for a period of 12 months or
greater. The intent of the measure remains intact, but no longer requires the HCPCS to identify the intended patient
population.
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Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41265
D73 Average Ch angem F unc fwna I Status F0 IIowmg L urn bar FUS lOll surgery
Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Description
N/A
469
N/A
Person and Caregiver-Centered Experience and Outcomes
MIPS CQMs Specifications
The average change (preoperative to postoperative) in functional status using the Oswestry Disability Index (ODI
version 2.1a) for patients 18 years of age and older who had a lumbar fusion procedure.
The measure title is revised from Average Change in Functional Status Following Lumbar Fusion Surgery to
read: Functional Status After Lumbar Fusion.
The measure description is revised to read: For patients 18 years of age and older who had a lumbar fusion
procedure, functional status is rated by the patient as less than or equal to 22 OR a change of 30 points or greater on
the Oswestry Disability Index (ODI version 2.1a)* at one year (9 to 15 months) postoperatively.
Updated measure assessment: Changed measure assessment from continuous variable to a proportional measure.
Updated numerator: For numerator compliance patients need either a post-op pain assessment (to meet the target
portion) or if post-op greater than 22, need a pre and post-op assessment to hit the change target of 30 points. Patients
who are missing an assessment will be considered numerator non-compliant.
The measure will now be target-based with performance met being functional status is less than or equal to 22 OR a
change of 30 points or greater on the Oswestry Disability Index (ODI) at one year postoperatively (9 to 15 months).
Substantive Change:
Added numerator defmition: Functional Status Target #1 -A patient who is assessed postoperatively at one year (9
to 15 months) after the procedure rates their functional status as less than or equal to 22.
Functional Status Target #2- A patient who does not meet Functional Status Target #1 is assessed both preoperatively
within 3 months prior to the procedure AND postoperatively at one year (9 to 15 months) after the procedure AND the
change is greater than or equal to 30 points.
Updated numerator note: It is recommended that both a preoperative and postoperative tool be administered to the
patient to increase the chance that one of the numerator targets will be met. The following situations are those in
which the numerator target cannot be reached and Performance Not Met M1043 is submitted.
ODI is not administered postoperatively at one year (9 to 15 months)
Functional status is measured using a different patient reported functional status tool or ODI version
Postoperative ODI is administered less than 9 months or greater than 15 months (1 year window)
Postoperative ODI is greater than 22 and no valid preoperative ODI to measure change
Preoperative ODI (to measure change) is administered beyond the three month timeframe prior to and
including the date of procedure (e.g. 6 months before procedure.)
..
..
.
Steward:
High Priority Measure:
Measure Type:
Rationale:
NQF endorsement removed until the measure can be evaluated with the new analytics.
Minnesota Community Measurement
Yes
Patient Reported Outcome
We propose that this measure assessment be updated to a target-based measure and will no longer look at the average
change. Multiple aspects of the measure are being updated to reflect this change, including requiring all eligible
patients undergoing the procedure to be assessed for numerator compliance. The measure steward based the target on
a study Determination of the Oswestry Disability Index score equivalent to a "satisfactory symptom state" in patients
undergoing surgery for degenerative disorders of the lumbar spine-a Spine Tango registry-based study. vanHooff, ML
eta! Spine J. 2016 Oct;16 (10):1221-1230. Patient Acceptable Symptom State (PASS), the highest level of symptom
beyond which patients consider themselves well. PASS was compared to post-op ODI to determine an equivalent ODI
threshold. ODI score less than or equal to 22 indicates the achievement of an acceptable symptom state and can be
used as a criterion for treatment success. [AUC]: 0.89 [sensitivity: 78.3%, specificity: 82.1%] for 1 year follow-up].
The OR benchmark of change (30) derived from MNCM data (3 years); the average change in points of patients that
did achieve the target ofless than or equal to 22. We agree with this change as it allows for benchmarking and does
not allow denominator self-selection which could skew the results, as patients who do not complete the required
assessments will now be considered numerator non-compliant. Additionally, the definitions and the numerator note
are proposed to be updated to align with the other changes and to add clarity.
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EP14AU19.448
khammond on DSKBBV9HB2PROD with PROPOSALS2
In the event the proposed substantive change(s) are finalized, the substantive changes would not allow for a direct
comparison of performance data from prior years to performance data submitted after the implementation of these
substantive changes.
41266
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
. F unc f10naI St at us F 0 II owmg TtlKn
D74 Average Ch angem
oa
ee RepJacemen tSurgery
Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Description
N/A
470
N/A
Person and Caregiver-Centered Experience and Outcomes
MIPS CQMs Specifications
The average change (preoperative to postoperative) in functional status using the Oxford Knee Score (OKS) for
patients age 18 and older who had a primary total knee replacement
The measure title is revised to read: Functional Status After Primary Total Knee Replacement.
The measure description is revised: For patients age 18 and older who had a primary total knee replacement
procedure, functional status is rated by the patient as greater than or equal to 37 on the Oxford Knee Score (OKS) at
one year (9 to 15 months) postoperatively.
Updated measure assessment: Changed measure assessment from continuous variable to a proportional measure.
Updated numerator: For numerator compliance patients need a post-op OKS assessment.
The measure will now be target-based with performance met being functional status is greater than or equal to 37 on
the Oxford Knee Score (OKS) at one year postoperatively (9 to 15 months). Patients who are missing an assessment
will be considered numerator non-compliant.
Substantive Change:
Added numerator defmition: OKS Target - A patient who is assessed postoperatively at one year (9 to 15 months)
after the procedure rates their functional status score as greater than or equal to 37.
Updated numerator note:
The following situations are those in which the numerator targets cannot be reached and Performance Not Met
(M1046) is submitted:
Oxford Knee Score (OKS) is not administered postoperatively at one year (9 to 15 Months)
Functional status is measured using a different patient-reported functional status tool or Oxford Knee
Score (OKS) version
Postoperative Oxford Knee Score (OKS) is administered less than 9 Months or greater than 15 Months
Postoperative Oxford Knee Score (OKS) score is less than 37
.
.
.
.
Steward:
Hi2h Priority Measure:
Measure Type:
Rationale:
NQF endorsement removed until the measure can be evaluated with the new analytics.
Minnesota Community Measurement
Yes
Patient Reported Outcome
We proposed that this measure assessment will be updated to a target-based measure and will no longer look at the
average change. Multiple aspects of the measure are being updated to reflect this change, including requiring all
eligible patients undergoing the procedure to be assessed for numerator compliance. The measure steward derived the
target from a study "Patient acceptable symptom states after total hip or knee replacement at mid-term follow-up"
[Kuerentjes JC, Van To! FR Bone Joint Res 2014; 3:7-13]. Receiver operating characteristic (ROC) curves identified
a PASS threshold of 42 for the OHS after THR and 37 for the OKS after TKR. THR patients with an OHS greater
than or equal to 42 and TKR patients with an OKS greater than or equal to 37 had a higher NRS for satisfaction and a
greater likelihood of being willing to undergo surgery again. The Patient Acceptable Symptom State (PASS), the
highest level of symptom beyond which patients consider themselves well. PASS was compared to post-op OKS to
determine an equivalent OKS threshold. OKS score greater than or equal to 37 indicates the achievement of an
acceptable symptom state and correlates with a higher numeric rating scale for satisfaction [ROC curves PASS
threshold of37 with sensitivity of76.3% and specificity of76.5%]. We agree with this change as it allows for
benchmarking and does not allow denominator self-selection which could skew the results, as patients who do not
complete the required assessments will now be considered numerator non-compliant. Additionally, the definitions and
the numerator note are proposed to be updated to align with the other changes and to add clarity.
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EP14AU19.449
khammond on DSKBBV9HB2PROD with PROPOSALS2
In the event the proposed substantive change(s) are finalized, the substantive changes would not allow for a direct
comparison of performance data from prior years to performance data submitted after the implementation of these
substantive changes.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41267
D75 Average Ch angem F uncf 10naI St a t us F 0 IIowmg L urn b ar D"lSCeC OIDYI/L ammo omy surgery
Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Description
N/A
471
N/A
Person and Caregiver-Centered Experience and Outcomes
MIPS CQMs Specifications
The average change (preoperative to postoperative) in functional status using the Oswestry Disability Index (ODI
version 2.la) for patients age 18 and older who had lumbar discectomy/laminotomy procedure
The measure title is revised from Average Change in Functional Status Following Lumbar
Discectomy/Laminotomy Surgery to read: Functional Status After Lumbar Discectomy/Laminectomy.
The measure description is revised to read: For patients age 18 and older who had lumbar
discectomy/laminectomy procedure, functional status is rated by the patient as less than or equal to 22 OR a change of
30 points or greater on the Oswestry Disability Index (ODI version 2.la) *at three months (6 to 20 weeks)
postoperatively.
Updated measure assessment: Changed measure assessment from continuous variable to a proportional measure.
Updated denominator: Added the following discectomy/ laminectomy CPT procedure codes: 63005, 63012, 63017,
63030, 63042 and 63047.
Update denominator exclusions: Added spine related cancer, acute fracture or infection, neuromuscular, idiopathic
or congenital scoliosis.
Removed diagnosis of disc herniation.
Substantive Change:
Updated numerator: For numerator compliance patients need either a post-op functional assessment (to meet the
target portion) or if post-op greater than 22, need a pre and post-op assessment to hit the change target of 30 points.
Patients who are missing an assessment will be considered numerator non-compliant.
The measure will now be target-based with performance met being functional status is less than or equal to 22 OR a
change of30 points or greater on the Oswestry Disability Index (ODI) at 3 months postoperatively (6 to 20 weeks).
Added numerator defmition: Functional Status Target #1 -A patient who is assessed postoperatively at three
months (6 to 20 weeks) after the procedure rates their functional status as less than or equal to 22.
Functional Status Target #2- A patient who does not meet Functional Status Target #1 is assessed both preoperatively
within 3 months prior to the procedure AND postoperatively at three months (6 to 20 weeks) after the procedure AND
the change is greater than or equal to 30 points.
Updated numerator note: It is recommended that both a preoperative and postoperative be administered to the
patient increasing chances that one of the numerator targets will be met. The following situations are those in which
the numerator target cannot be reached and Performance Not Met Ml049 is submitted.
ODI is not administered postoperatively at three months (6 to 20 weeks)
Functional status is measured using a different patient reported functional status tool or ODI version
Postoperative ODI is administered less than 6 weeks or greater than 20 weeks (3 month window)
Postoperative ODI is greater than 22 and no valid preoperative ODI to measure change
Preoperative ODI (to measure change) is administered beyond the three month timeframe prior to and
including the date of procedure (e.g. 6 months before procedure)
Minnesota Community Measurement
Yes
Patient Reported Outcome
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Steward:
Hi2h Priority Measure:
Measure Type:
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..
.
.
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Description
We are proposing that this measure assessment be updated to a target-based measure and will no longer look at the
average change. Multiple aspects of the measure are being updated to reflect this change, including requiring all
eligible patients undergoing the procedure to be assessed for numerator compliance. The measure steward derived the
target from a study Determination of the Oswestry Disability Index score equivalent to a "satisfactory symptom state"
in patients undergoing surgery for degenerative disorders of the lumbar spine-a Spine Tango registry-based study.
vanHooff, ML eta! Spine J. 2016 Oct;l6(10): 1221-1230. Patient Acceptable Symptom State (PASS), the highest level
of symptom beyond which patients consider themselves well. PASS was compared to post-op ODI to determine an
equivalent ODI threshold. ODI score less than or equal to 22 indicates the achievement of an acceptable symptom
state and can be used as a criterion for treatment success. [AUC]: 0.89 [sensitivity: 78.3%, specificity: 82.1 %] for 1
year follow-up]. The OR benchmark of change (30) derived from MNCM data (3 years); the average change in points
of patients that did achieve the target of less than or equal to 22. We agree with this change as it allows for
benchmarking and does not allow denominator self-selection which could skew the results, as patients who do not
complete the required assessments will now be considered numerator non-compliant. The measure steward's measure
development workgroup reached a consensus to expand the denominator to more broadly include all patients
undergoing discectomy/laminectomy procedures by removing the diagnosis of disc herniation and adding procedure
codes. As a part of this decision, it was decided to add a denominator exclusion as the measure steward believes this
will help to create a more heterogeneous population. We agree with the expansion of the denominator to capture all
patients undergoing discectomy/laminectomy procedures. Additionally, the definitions and the numerator note are
proposed to be updated to align with the other changes and to add clarity.
Cateeory
Rationale:
VerDate Sep<11>2014
18:25 Aug 13, 2019
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EP14AU19.451
khammond on DSKBBV9HB2PROD with PROPOSALS2
In the event the proposed substantive change(s) are finalized, the substantive changes would not allow for a direct
comparison of performance data from prior years to performance data submitted after the implementation of these
substantive changes.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41269
D.76. Appropriate Use ofDXA Scans in Women Under 65 Years Who Do Not Meet the Risk Factor Profile for
0 st eoporo f IC F rae t ure
VerDate Sep<11>2014
18:25 Aug 13, 2019
Description
N/A
472
CMS249v2
Efficiency and Cost Reduction
eCQM Specifications
Percentage of female patients 50 to 64 years of age without select risk factors for osteoporotic fracture who received
an order for a dual-energy x-ray absorptiometry (DXA) scan during the measurement period.
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EP14AU19.452
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Cateeory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
41270
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
Cateeory
Substantive Change:
Description
Updated guidance:
There are two ways that a patient can be excluded from the measure:
1. The patient has a specific number of "combination" risk factors (the number of risk factors varies by age).
2. The patient has one or more of the "independent" risk factors, including a 10-year probability of major osteoporotic
fracture of 8.4 percent or higher as determined by the FRAX.
Denominator exclusions statement:
Exclude patients with a combination of risk factors (as determined by age) or one of the independent risk factors
Ages: 50-54 (>~4 combination risk factors) or 1 independent risk factor
Ages: 55-59 (>~3 combination risk factors) or 1 independent risk factor
Ages: 60-64 (>~2 combination risk factors) or 1 independent risk factor
COMBINATION RISK FACTORS [The following risk factors are all combination risk factors; they are grouped by
when they occur in relation to the measurement period]:
The following risk factors may occur any time in the patient's history but must be active during the measurement
period:
White (race)
BMI >~ 20 kg/m2 (must be the first BMI of the measurement period)
Smoker (current during the measurement period)
Alcohol consumption(> two units per day (one unit is 12 oz. of beer, 4 oz. of wine, or 1 oz. of liquor))
The following risk factor may occur any time in the patient's history and must not start during the measurement
period:
Osteopenia
The following risk factors may occur at any time in the patient's history or during the measurement period:
Rheumatoid arthritis
Hyperthyroidism
Malabsorption Syndromes: celiac disease, inflammatory bowel disease, ulcerative colitis, Crohn's disease, cystic
fibrosis, malabsorption
Chronic liver disease
Chronic malnutrition
The following risk factors may occur any time in the patient's history and do not need to be active at the start of the
measurement period:
Documentation of history of hip fracture in parent
Osteoporotic fracture
Glucocorticoids (>~ 5 mg/per day ) [cumulative medication duration >~ 90 days]
INDEPENDENT RISK FACTORS (The following risk factors are all independent risk factors; they are grouped by
when they occur in relation to the measurement period):
The following risk factors may occur at any time in the patient's history and must not start during the measurement
period:
Osteoporosis
The following risk factors may occur at any time in the patient's history prior to the start of the measurement period,
but do not need to be active during the measurement period:
Gastric bypass
FRAX[R] ten-year probability of all major osteoporosis related fracture>~ 8.4 percent
Aromatase inhibitors
Steward:
Hieh Priority Measure:
Measure Type:
VerDate Sep<11>2014
18:25 Aug 13, 2019
Updated denominator exclusions: Changed FRAX[R] ten-year probability of all major osteoporosis related fracture
result from 9.3% to 8.4%.
Centers for Medicare & Medicaid Services
Yes
Process
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EP14AU19.453
khammond on DSKBBV9HB2PROD with PROPOSALS2
The following risk factors may occur at any time in the patient's history or during the measurement period:
Type I Diabetes
End stage renal disease
Osteogenesis imperfecta
Ankylosing spondylitis
Psoriatic arthritis
Ehlers-Danlos syndrome
Cushing's syndrome
Hyperparathyroidism
Marfan syndrome
Lupus
41271
Cateeory
Description
Rationale:
We are proposing that the denominator exclusion for the Fracture Risk Assessment Tool FRAX® ten-year probability
of all major osteoporosis related fracture result be changed from 9.3% to 8.4% to align with the US Preventive
Services Task Force (USPSTF) recommendations. We agree with this change as it keeps the measure in alignment
with the current clinical guidelines. The guidance is being updated for better alignment with the measure and to align
with the updated denominator exclusion.
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Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41272
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
D77 Average Ch angem L eg p·
am Fll
0 owmg L urn b ar FUS lOll surgery
Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Description
N/A
473
N/A
Person and Caregiver-Centered Experience and Outcomes
MIPS CQMs Specifications
The average change (preoperative to one year postoperative) in leg pain for patients 18 years of age or older who had
a lumbar fusion procedure
The measure title is revised from Average Change in Leg Pain Following Lumbar Fusion Surgery to read: Leg
Pain After Lumbar Fusion.
The measure description is revised to read: For patients 18 years of age or older who had a lumbar fusion
procedure, leg pain is rated by the patient as less than or equal to 3.0 OR an improvement of 5.0 points or greater on
the Visual Analog Scale (VAS) Pain* scale at one year (9 to 15 months) postoperatively.
Substantive Change:
Steward:
Hi2h Priority Measure:
Measure Type:
Rationale:
Updated measure assessment: Changed measure assessment from continuous variable to a proportional measure.
Updated numerator: For numerator compliance Patients need either a post-op pain assessment (to meet the target
portion) or ifpost-op greater than 3.0, need a pre and post-op assessment to hit the change target of 5.0 points. Patients
who are missing an assessment will be considered numerator non-compliant.
The measure will now be target-based with performance met being leg pain is less than or equal to 3.0 OR an
improvement of 5.0 points or greater on the VAS Pain scale at one year postoperatively (9 to 15 months).
Minnesota Community Measurement
Yes
Patient Reported Outcome
We are proposing that this measure assessment be updated to a target-based measure and will no longer look at the
average change. Multiple aspects of the measure are being updated to reflect this change, including requiring all
eligible patients undergoing the procedure to be assessed for numerator compliance. The measure steward based the
target score on a 2016 study in the Spine Journal Fetke, TF eta! "What level of pain are patients happy to live with
after surgery for lumbar degenerative disorders?" This study compared the Core Outcomes Measures Index (COMI)
and symptom well-being questions to two 0 to 10 graphic ratings scales for back and leg pain. Most spine
interventions decrease pain but rarely do they totally eliminate it. Reporting of the percent of patients achieving a pain
score equivalent to the "acceptable symptom state" may represent a more stringent target for denoting surgical success
in the treatment of painful spinal disorders. For disc herniation, this is less than or equal to 2, and for other
degenerative pathologies it is less than or equal to 3. The OR benchmark of improvement (5.0) derived from MNCM
data (3 years); the average change in points of patients that did achieve the target ofless than or equal to 3.0. We agree
with this change as it allows for benchmarking and does not allow denominator self-selection which could skew the
results, as patients who do not complete the required assessments will now be considered numerator non-compliant.
VerDate Sep<11>2014
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In the event the proposed substantive change(s) are finalized, the substantive changes would not allow for a direct
comparison of performance data from prior years to performance data submitted after the implementation of these
substantive changes.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41273
D78 HIVS creenmg
Cate2ory
NQF #I eCQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
Current Collection Type:
Current Measure
Description:
Description
N/A
475
CMS349v2
Community/Population Health
eCQM Specifications
Percentage of patients 15-65 years of age who have been tested for HIV within that age range.
The measure description is revised to read: Percentage of patients aged 15-65 at the start of the measurement
period who were between 15-65 years old when tested for HIV.
Substantive Change:
Steward:
Hi2h Priority Measure:
Measure Type:
VerDate Sep<11>2014
We propose that the numerator be revised to add clarity and to align the wording with logic used. Neither the intent of
the measure nor the numerator action will be changed.
18:25 Aug 13, 2019
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Rationale:
The numerator is revised to read: Patients with documentation of an HIV test performed on or after their 15th
birthday and before their 66th birthday.
Centers for Disease Control and Prevention
No
Process
We are proposing to update the measure description to better align the measure specification. We agree with this
update as it clarifies the intent of the measure.
41274
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
TABLE Group DD: Previously Finalized Quality Measures with Substantive Changes Proposed for the 2021 MIPS
Payment Year and Future Years
NOTE: Electronic Clinical Quality Measures (eCQMs) that are National Quality Forum (NQF) endorsed are shown in Table DD as follows:
NQF #I eCQMNQF #.
DDl P reventlve
Current Collection Type:
Current Measure
Description:
Substantive Change:
Steward:
Hieh Priority Measure:
Measure Type:
khammond on DSKBBV9HB2PROD with PROPOSALS2
Rationale:
VerDate Sep<11>2014
18:25 Aug 13, 2019
c are an dS creenmg: T0 b aceo use: screenmg an dC essatlon I nterventlon
Description
0028 I 0028e
226
CMS138v8
Community/Population Health
Medicare Part B Claims Measure Specifications, eCQM Specifications, CMS Web Interface Measure Specifications,
MIPS CQMs Specifications
Percentage of patients aged 18 years and older who were screened for tobacco use one or more times within 24
months AND who received tobacco cessation intervention if identified as a tobacco user
a. Percentage of patients aged 18 years and older who were screened for tobacco use one or more times within 24
months.
b. Percentage of patients aged 18 years and older who were screened for tobacco use and identified as a tobacco user
who received tobacco cessation intervention.
c. Percentage of patients aged 18 years and older who were screened for tobacco use one or more times within 24
months AND who received tobacco cessation intervention if identified as a tobacco user.
Updated numerator guidance: for the 2019 performance period: For the CMS Web Interface Measure
Specification collection type: Removed "and the cessation intervention must occur during or after the most recent
tobacco user status is documented" language from the guidance.
Physician Consortium for Performance Improvement Foundation (PCPI®)
No
Process
We are proposing to update the numerator guidance in the CMS Web Interface Measure Specifications collection
type for the 2019 performance period to remove the guidance given regarding the timing of the tobacco cessation
intervention as this does not align with the intent of the measure. The refinements are in alignment with the clinical
guidelines and will decrease burden for eligible clinicians performing tobacco screening and tobacco cessation
intervention. The timing refinement proposed will maintain the balance of clinical guideline and measure alignment
and support our effort to reduce burden for measure submission. Additionally, this timing refinement allows the
clinician to create personalized, patient-centered care while still maintaining the clinical integrity of the measure and
clinical guidelines. To the extent this proposed change constitutes a change in methodology after the start of the 2019
MIPS performance period, we believe that consistent with section 187l(E)(l)(A)(ii) of the Social Security Act, it
would be contrary to the public interest not to modify the measure because the current guidance is inconsistent with
the intent of the CMS Web Interface version of this measure and unduly burdensome for clinicians. The proposal is to
update the CMS Web Interface Measure Specifications collection type numerator guidance previously stated in the
current posted 2019 measure specification for PREV-10 (NQF 0028): Preventive Care and Screening: Tobacco Use:
Screening and Cessation Intervention, available at bttn:c;: qpp.cms.go\" about r~sov
"''
in response to extensive
stakeholder feedback regarding the timeframe during which the tobacco cessation intervention must occur.
Specifically, stakeholders expressed concern that this additional language would not be comparable to the historic
benchmark as it changed how the quality action of tobacco cessation intervention was abstracted in terms of
numerator compliance. Additionally, stakeholders voiced concern regarding how this change would fit into the current
clinical workflow as patients are asked about tobacco use on most if not all encounters, but clinicians do not feel it is
necessary to provide tobacco cessation intervention at all encounters especially if it was already completed earlier in
the year. Based on this feedback and our review, we have determined that the previously stated guidance is
inconsistent with the intent of the CMS Web Interface Measure Specifications collection type version of this measure
and unduly burdensome for clinicians. In response to our determination and stakeholder feedback, we are proposing
to update the CMS Web Interface Measure Specifications collection type numerator guidance to clarify that screening
for tobacco use and tobacco cessation intervention do not have to occur on the same encounter, but must occur during
the 24-month look-back period. We agree this proposal will maintain clinical intent, provide clarity, reduce clinician
burden, and allow for personalized care.
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Cateeory
NQF #I ECQM NQF #:
Quality#:
CMSeCQMID:
National Quality Strategy
Domain:
41275
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
Appendix 2: Improvement Activities
NOTE: In this proposed rule, for the CY 2020 performance period and future years, we are proposing to: (1) add
two new improvement activities; (2) modify seven existing improvement activities; and (3) remove 15 improvement
activities from the Inventory. These are discussed in greater detail below.
Table A: Proposed New Improvement Activities for the MIPS CY 2020 Performance
Period and Future Years
N~WtmP'N'Vtro~lltA~tivity•·
khammond on DSKBBV9HB2PROD with PROPOSALS2
Proposed VVeighting:
Rationale:
Proposed Activity
ID:
Proposed
Subcategory:
Proposed Activity
Title:
Proposed Activity
VerDate Sep<11>2014
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><;,< \is<
•• ,.··..
/ ••··..••.··..
lA BE XX
··.·.·.· · ·.
···•·•.~··
., •• •; •'.··. · .•·•· •· ~ >.·.•.· · .• zi
•·.·· ·• •..··•··
Beneficiary Engagement
Drug Cost Transparency
To receive credit for this improvement activity, MIPS eligible clinicians must attest that
their practice provides counseling to patients and/or their caregivers about the costs of
drugs and the patients' out-of-pocket costs for the drugs. If appropriate, the clinician
must also explore with their patients the availability of alternative drugs and patients'
eligibility for patient assistance programs that provide free medications to people who
cannot afford to buy their medicine. One source of information for pricing of
pharmaceuticals could be a real-time benefit tool (RTBT), which provides to the
prescriber, real-time patient-specific formulary and benefit information for drugs,
including cost-sharing for a beneficiary. (CMS finalized in the Modernizing Part D and
Medicare Advantage to Lower Drug Prices and Reduce Out of Pocket Expenses final
rule (84 FR 23832, 23883) that beginning January 1, 2021 Medicare Part D plans will
be required to implement one or more RTBT(s). 1)
High
The costs of prescription drugs is a driving cost of overall health care spending in the
United States and of out-of-pocket health care expenses for patients. As we consider
broader efforts to increase transparency for patients, payers, provider organizations, and
clinicians, as well as begin to drive down drug prices, this activity serves as a
mechanism for drug price transparency at the clinician-patient level and may protect
patients from unforeseen costs. By discussing drug pricing with patients, clinicians
may better prescribe medications patients can afford, which could have the effect of
increasing patient medication compliance and adherence. Thus, we believe this
proposed activity has the potential to improve clinical practice or care delivery and is
likely to result in improved outcomes, per the improvement activity definition which
has been codified at§ 414.1305. This activity is weighted as high due to difficulties
clinicians may have in identifying drug costs and out-of-pocket costs of drugs for
individual patients as costs and reimbursement amounts vary by drug and payer, as well
as challenges with identifying the appropriateness of patient assistance programs. 2 3 As
stated previously, we have given certain improvement activities high-weighting due to
the intensity of the activity (81 FR 77194). To summarize, we believe that an activity
that requires significant investment of time and resources should be high-weighted.
lA CCXX
Care Coordination
Tracking of clinician's relationship to and responsibility for a patient by reporting
MACRA patient relationship codes.
To receive credit for this improvement activity, a MIPS eligible clinician must attest
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Proposed Activity
ID:
Proposed
Subcategory:
Proposed Activity
Title:
Proposed Activity
Description:
41276
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
Description:
Proposed VVeighting:
Rationale:
that they reported MACRA patient relationship codes (PRC) using the applicable
HCPCS modifiers on 50 percent or more of their Medicare claims for a minimum of a
continuous 90-day period within the performance period. Reporting the PRC modifiers
enables the identification of a clinician's relationship with, and responsibility for, a
patient at the time of furnishing an item or service. See the CY 2018 PFS final rule (82
FR 53232 through 53234) for more details on these codes.
High
The patient relationship categories and codes define and distinguish the relationship and
responsibilities of a clinician with a patient at the point of furnishing an item or service.
These codes provide insight into clinician interactions with patients and identify the
clinician's relationship to and responsibility for the patient at the time of furnishing an
item or service. These codes were developed, as required under section 1848(r)(3) of
the Act, to facilitate the attribution of patients and episodes to one or more clinicians.
Beginning in 2018, clinicians started voluntarily reporting the patient relationship codes
using the applicable HCPCS modifiers (82 FR 53232 through 53234). To properly
report the code modifiers, clinicians must add one of the modifiers to each claim line.
VV e propose that, for the CY 2020 performance period and beyond, clinicians who
choose to report the modifiers on 50 percent or more of their Medicare claims for a
minimum of a continuous 90-day period within the performance period would earn one
(1) high-weighted improvement activity. VVe believe reporting these modifiers would
provide the minimum sample of data necessary to access the modifiers' ability to
capture the clinician's relationship with the patient and whether the clinician is
appropriately reporting the modifiers. This improvement activity is weighted as high
due to the intensity of the activity. VV e believe reporting the modifiers to each claim line
for 50 percent or more of Medicare claims continuously for 90 days requires significant
investment of time and resources and should be weighted high.
For the initial and current period of voluntary reporting the PRC modifiers, where
clinicians gain familiarity, data collected will be used to provide aggregate feedback on
the performance of clinicians in using the codes within different clinical scenarios and
specialties. Data collected from this activity will be used to test the reliability and
validity of the modifiers in measuring the clinician's relationship to and responsibility
for the Medicare patient before we consider whether to propose in future mlemaking to
require the reporting of the PRC modifiers on claims. In the event that we do decide to
require such reporting, we would likely propose to remove this improvement activity
from MIPS.
1/ See the Modernizing Part D and Med1care Advantage to Lower Drug Pnces and Reduce Out of Pocket Expenses,
Final Rule, 84 FR 23832, 23883 (May 23, 2019).
2/Allan GM, Lexchin J, Wiebe N. Physician awareness of drug cost: a systematic review. PLoS Me d. 2007
Sep;4(9):e283. Retrieved from ~=:.u....::~-"==-"~=:.:.:.:.:.=::..==:::::.:..:.c=~~==
V, Moriates C,_5hah_N. The challenge of understanding health care costs_and charges. AMA Journal of
Ethics. 2015;17(11): 1046. doi: 10.1001/journalofethics.2015.17.11.stas1-1511.
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41277
·cul'.r¢nt~•r&l'elt1t.ot:.i\tti'V:Iiv.••···· ..····•·•·. . . . . .·.?><·•.••·· ;•·.·.••••··· , ••.•.·•.··••.···• ···•··.·•~••>•··· ·...•.••...·.;•> •.•••···;•·. ·\·~·;. > <.··.·•·•·.··.··...· •.·~ •.•...•.
Current Activity ID:
lA PSPA 28
Current Subcategory:
Patient Safety and Practice Assessment
Current Activity Title: Completion of an Accredited Safety or Quality Improvement Program
Current Activity
Completion of an accredited performance improvement continuing medical education
Description:
program that addresses performance or quality improvement according to the following
criteria:
• The activity must address a quality or safety gap that is supported by a needs
assessment or problem analysis, or must support the completion of such a needs
assessment as part of the activity;
• The activity must have specific, measurable aim(s) for improvement;
• The activity must include interventions intended to result in improvement;
• The activity must include data collection and analysis of performance data to assess
the impact of the interventions; and
• The accredited program must define meaningful clinician participation in their
activity, describe the mechanism for identifying clinicians who meet the requirements,
and provide participant completion information.
Current Weighting:
Medium
Proposed Change and
Addition of" An example of an activity that could satisfy this improvement activity is
Rationale:
completion of an accredited continuing medical education program related to opioid
analgesic risk and evaluation strategy (REMS) to address pain control (that is, acute and
chronic pain)" as an example of an accredited continuing medical education (CME)
program that could meet this improvement activity. Due to the importance of safe
prescribing to prevent opioid misuse and opioid use disorder, CME programs related to
opioid analgesic REMS may be especially useful to MIPS eligible clinicians in their
attempts to prevent opioid misuse among their patients and combat the opioid epidemic.
Proposed Revised
Completion of an accredited performance improvement continuing medical education
Activity Description:
(CME) program that addresses performance or quality improvement according to the
following criteria:
• The activity must address a quality or safety gap that is supported by a needs
assessment or problem analysis, or must support the completion of such a needs
assessment as part of the activity;
• The activity must have specific, measurable aim(s) for improvement;
• The activity must include interventions intended to result in improvement;
• The activity must include data collection and analysis of performance data to assess
the impact of the interventions; and
• The accredited program must define meaningful clinician participation in their
activity, describe the mechanism for identifying clinicians who meet the
requirements, and provide participant completion information.
An example of an activity that could satisfy this improvement activity is completion of
an accredited continuing medical education program related to opioid analgesic risk and
evaluation strategy (REMS) to address pain control (that is, acute and chronic pain) .
.t.U~n:nt.llt1nrovblient.i\ttiv~ii '·· •.•· · · ·.· • ;...•• ·
.•. . . . . . . . . . . . . . . ·.····~> .·•.·.···\.......········.·.;····· '· . . . .·. ·.· •: . ···. · · · ·. . .,....
Current Activity ID:
lA PM 2
Current Subcategory:
Population Management
Current Activity Title: Anticoagulant Management Improvements
Current Activity
Individual MIPS eligible clinicians and groups who prescribe oral Vitamin K antagonist
Description:
therapy (warfarin) must attest that, for 60 percent of practice patients in the transition
year and 75 percent of practice patients in Quality Payment Program Year 2 and future
years, their ambulatory care patients receiving warfarin are being managed by one or
more of the following improvement activities:
• Patients are being managed by an anticoagulant management service, that involves
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TABLE B: Proposed Changes to Previously Adopted Improvement
Activities for the MIPS CY 2020 Performance Period and Future Years
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Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
Current Weighting:
Proposed Change and
Rationale:
systematic and coordinated care, incorporating comprehensive patient education,
systematic prothrombin time (PT -INR) testing, tracking, follow-up, and patient
communication of results and dosing decisions;
• Patients are being managed according to validated electronic decision support and
clinical management tools that involve systematic and coordinated care,
incorporating comprehensive patient education, systematic PT-INR testing, tracking,
follow-up, and patient communication of results and dosing decisions;
• For rural or remote patients, patients are managed using remote monitoring or
telehealth options that involve systematic and coordinated care, incorporating
comprehensive patient education, systematic PT -INR testing, tracking, follow-up;
and patient communication of results and dosing decisions; and/or
• For patients who demonstrate motivation, competency, and adherence, patients are
managed using either a patient self-testing (PST) or patient-self-management (PSM)
program.
High
Addition of "anti-coagulation medications (oral Vitamin K antagonist therapy,
including warfarin or other coagulation cascade inhibitors)"; and "Participation in a
systematic anticoagulation program (coagulation clinic, patient self-reporting program,
or patient self-management program)."
This language was consolidated from IA_PM_l, proposed for removal in Table C. We
believe IA_PM_1 is duplicative in content to, but less robust than IA_PM_2, with
overall fewer examples of actions that can be undertaken to satisfy the intent of the
improvement activity. However, IA_PM_l contained more detail about the type of
anti-coagulation medication that could be prescribed to satisfy this activity and an
additional example of an action that can be undertaken to satisfy the intent of
IA_PM_2, participation in systematic anticoagulation program; so these elements of
IA- PM- IA were added to IA- PM- 2.
Removal of", for 60 percent of practice patients in the transition year ... in Quality
Payment Program Year 2 and future years". These time references to transition year
and Quality Payment Program Year 2 are now irrelevant because they are in the past.
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Proposed Revised
Activity Description:
We note that this proposed change is made in conjunction with and is contingent upon
finalization of our proposal to remove IA PM 1 as discussed in Table C.
Individual MIPS eligible clinicians and groups who prescribe anti-coagulation
medications (including, but not limited to oral Vitamin K antagonist therapy, including
warfarin or other coagulation cascade inhibitors) must attest that for 7 5 percent of their
ambulatory care patients receiving these medications are being managed with support
from one or more of the following improvement activities:
• Participation in a systematic anticoagulation program (coagulation clinic, patient selfreporting program, or patient self-management program);
• Patients are being managed by an anticoagulant management service, that involves
systematic and coordinated care, incorporating comprehensive patient education,
systematic prothrombin time (PT-INR) testing, tracking, follow-up, and patient
communication of results and dosing decisions;
• Patients are being managed according to validated electronic decision support and
clinical management tools that involve systematic and coordinated care,
incorporating comprehensive patient education, systematic PT-INR testing, tracking,
follow-up, and patient communication of results and dosing decisions;
• For rural or remote patients, patients are managed using remote monitoring or
telehealth options that involve systematic and coordinated care, incorporating
comprehensive patient education, systematic PT -INR testing, tracking, follow-up,
and patient communication of results and dosing decisions; or
• For patients who demonstrate motivation, competency, and adherence, patients are
managed using either a patient self-testing (PST) or patient-self-management (PSM)
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
program.
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2014
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Current Activity ID:
Current Subcategory:
Current Activity Title:
Current Activity
Description:
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Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
• Engage all staff in identifying and testing practices changes;
• Designate regular team meetings to review data and plan improvement cycles;
• Promote transparency and accelerate improvement by sharing practice level and
panel level quality of care, patient experience and utilization data with staff;
• Promote transparency and engage patients and families by sharing practice level
quality of care, patient experience and utilization data with patients and families,
including activities in which clinicians act upon patient experience data;
3
• Participation in Bridges to Excellence;
• Participation in American Board of Medical Specialties (ABMS) Multi-Specialty
Portfolio Program. 4
curri'nt.Jmpf:ovemeni.A:ctiv~···· . ···~
Current Activity ID:
Current Subcategory:
Current Activity Title:
Current Activity
Description:
Current Weighting:
Proposed Change and
Rationale:
lA BE 7
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Proposed Revised
Activity Description:
We note that this proposed change is made in conjunction with and is contingent upon
finalization of our proposals to remove IA_BE_ll, IA_BE_2, IA_BE_9, and
lA BE 10 as discussed in Table C.
Participation in a Qualified Clinical Data Registry (QCDR), that promotes patient
engagement, including:
• Use of processes and tools that engage patients for adherence to treatment plans;
• Implementation of patient self-action plans;
• Implementation of shared clinical decision making capabilities; or
• Use of QCDR patient experience data to inform and advance improvements in
beneficiary engagement.
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
Current Activity ID:
Current Subcategory:
Current Activity Title:
Current Activity
Description:
Current Weighting:
Proposed Change and
Rationale:
41281
lA PSPA 7
Patient Safety and Practice Assessment
Use of QCDR data for ongoing practice assessment and improvements
Use of QCDR data, for ongoing practice assessment and improvements in patient
safety.
Medium
We are proposing the addition of activity description language from four other
improvement activities related to participation in QCDR; lA_ CC_ 6 Use of QCDR to
promote standard practices, tools and processes in practice for improvement in care
coordination; lA_ AHE_ 4 Leveraging a QCDR for use of standard questionnaires;
IA_AHE_2 Leveraging a QCDR to standardize processes for screening; and IA_PM_10
Use of QCDR data for quality improvement such as comparative analysis reports across
patient populations.
The activity description will include the current (IA_PSPA_7) activity description with
the addition of "Participation in a Qualified Clinical Data Registry and" ... including:
• "Performance of activities that promote use of standard practices, tools and processes
for quality improvement (for example, documented preventative screening and
vaccinations that can be shared across MIPS eligible clinician or groups)" (from
IA_CC_6);
• "Use of standard questionnaires for assessing improvements in health disparities
related to functional health status (for example, use of Seattle Angina Questionnaire,
MD Anderson Symptom Inventory, and/or SF-12/VR-12 functional health status
assessment)" (from IA_AHE_4);
• "Use of standardized processes for screening for social determinants of health such as
food security, employment and housing" from (from IA_AHE_2);
• "Use of supporting QCDR modules that can be incorporated into the certified EHR
technology" (This language adapted from lA_AHE_ 2 and updated to replace "tools"
with "QCDR modules" to add additional specificity to the action that can be taken in
the QCDR to promote ongoing practice assessment and patient safety.); or
• "Use ofQCDR data for quality improvement (such as) comparative analysis across
specific patient populations for adverse outcomes after an outpatient surgical
procedure and corrective steps to address adverse outcomes" (from lA_PM_10).
This language was added to consolidate improvement activity description language
from activities (lA_ CC_ 6, lA_ AHE_ 4, lA_ AHE_ 2, and lA_PM_10) proposed for
removal in Table C. The activities we propose to remove are duplicative to
lA- PSPA- 7.
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Proposed Revised
Activity Description:
We note that this proposed change is made in conjunction with and is contingent upon
finalization of our proposals to remove lA_ CC_ 6, lA_ AHE_ 4, lA_ AHE_ 2, and
lA PM 10 as discussed in Table C.
Participation in a Qualified Clinical Data Registry (QCDR) and use of QCDR data for
ongoing practice assessment and improvements in patient safety, including:
• Performance of activities that promote use of standard practices, tools and processes
for quality improvement (for example, documented preventative screening and
vaccinations that can be shared across MIPS eligible clinician or groups);
• Use of standard questionnaires for assessing improvements in health disparities related
5
to functional health status (for example, use of Seattle Angina Questionnaire , MD
6
Anderson Symptom Inventory , and/or SF-12/VR-12 functional health status
assessmenf;
• Use of standardized processes for screening for social determinants of health such as
food security, employment, and housing;
• Use of supporting QCDR modules that can be incorporated into the certified EHR
technology; or
• Use of QCDR data for quality improvement such as comparative analysis across
41282
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
Current Activity
Description:
Proposed Change and
Rationale:
Proposed Revised
Activity Description:
To receive credit for this activity, MIPS eligible clinicians must complete a
collaborative care management training program, such as the American Psychiatric
Association (AP A) Collaborative Care Model training program available as part of the
Centers for Medicare & Medicaid Services (CMS) Transforming Clinical Practice
Initiative (TCPI), available to the public, in order to implement a collaborative care
management approach that provides comprehensive training in the integration of
behavioral health into the rima care ractice.
Medium
We are proposing to remove reference of the CMS Transforming Clinical Practice
Initiative (TCPI) in the activity description. This initiative is ending on September 28,
2019, 9 and therefore, will no longer be applicable to this improvement activity
description after said date. The example training program referenced, the AP A
Collaborative Care Model, continues to be available to the public. The revised activity
descri tion onl ro oses to remove reference to TCPI.
To receive credit for this activity, MIPS eligible clinicians must complete a
collaborative care management training program, such as the American Psychiatric
Association (AP A) Collaborative Care Model training program available to the public8 ,
in order to implement a collaborative care management approach that provides
comprehensive training in the integration of behavioral health into the primary care
ractice.
2/ Multisource feedback (MSF), or 360-degree employee evaluation, is a questionnaire-based assessment method in
which rates are evaluated by peers, patients, and coworkers on key performance behaviors. More information
available at~,~=~~~,~==~~~,~~~~~~~~.=~~~.~~=~~·
4/ American Board of Medical Specialties Portfolio Program. More information available at
51 The Seattle Angina Questionnaire is a self-assessed health-related quality of life instrument for coronary artery
disease. See: Spertus JA et al. Development and evaluation of the Seattle Angina Questionnaire: a new functional
status measure for coronary artery disease. JAm Coll Cardiol. 1995 Feb;25(2):333-41. Available at
!lLThe MD Anderson Symptom Inventory (MDASI) is a multi-symptom patient-reported outcome (PRO) measure for
clinical and research use. Available at .!!llP-~!.LJJ:J)~''-LlJ.illJlH~~Eill!L9J[gL.Jt:Q~1~.ill~J.!i~P..illCll!llQJ!t~J@Q~
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7/ The Optum SF Health Surveys are patient-reported outcome (PRO) surveys across eight health domains. Available
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
41283
8/ The American Psychiatric Association (AP A) Collaborative Care Model has been shown to be an effective and
efficient model in delivering integrated care. More information on this model and the training program is available
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PQPaaaaaaOaaUQLOaa3a?aLOOL7a-aaaaaa4QaaaOOL:aaaOOLaaaDaJQa
41284
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
TABLE C: Improvement Activities Proposed for Removal for the MIPS CY 2020 MIPS
Performance Period and Future Years
In this rule, we are proposing to remove 14 previously finalized improvement activities from the MIPS Program for
the MIPS CY 2020 performance period and future years. These improvement activities are discussed in detail
below. Improvement activity proposed removal factors are discussed in section III.K.3.c.(3) of this proposed rule.
cilrrent~t:6~eu,entAtti\r~y.; ..• •
Current Weighting:
Removal Rationale:
i £t.r~tit
lntJ>ro.Witten~'A~Vit!. .••
Current Activity ID:
Current Subcategory:
Current Activity Title:
Current Activity
Description:
Current Weighting:
Removal Rationale:
\.< .•
•cH· ..·•··· •.... ·.···•. •
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VerDate Sep<11>2014
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• ~.· · · .• • •··:·• . '?.'\
· . •. •.·~.•. •. •. ·. . \>' , '
. ·• < ·~··~· ·.·.·····•··• ..•
.
\
~<···.••··.......<.·.·····.•.···.···················.··• .. r .••••.. . :.c . • .·•· · ·.•
c . ·•·· ·.·
lA cc 3
Care Coordination
Implementation of additional activity as a result ofT A for improving care coordination
Implementation of at least one additional recommended activity from the Quality
Innovation Network-Quality Improvement Organization after technical assistance has
been provided related to improving care coordination.
Medium
We are proposing to remove lA_ CC_ 3 under proposed removal factor 1, improvement
activity is "duplicative." We believe it is duplicative, because it is similar to, but only
represents a partial component of lA_EPA_4. We are proposing to consolidate the
unique language from lA_ CC_ 3 into lA_EPA_4 per the proposed change in Table B.
The proposed modified language to lA_EPA_4 adds the outcome of "improve care
coordination" from the proposed removed activity to make lA_EPA_4 more robust.
We note that this proposed removal is made in conjunction with our proposal to change
lA_EPA_4 in Table B, as well as our proposal to adopt removal factors in section
III.K.3.c.(3) of this proposed rule. Therefore, this proposed removal is contingent upon
finalization of both referenced proposals.
•· t'vttetit'lll1Prfivein~l1i A.eti:Yit.J> >\. •.· • ·. •· • •••\·•··• •.·•
Current Activity ID:
Current Subcategory:
Current Activity Title:
Current Activity
Description:
Current Weighting:
.J·:\>; :
lA PM 1
Population Management
Participation in Systematic Anticoagulation Program
Participation in a systematic anticoagulation program (coagulation clinic, patient selfreporting program, or patient self-management program) for 60 percent of practice
patients in the transition year and 7 5 percent of practice patients in Quality Payment
Program Year 2 and future years, who receive anti-coagulation medications (warfarin or
other coagulation cascade inhibitors).
High
We are proposing to remove this activity under proposed removal factor 1,
improvement activity is "duplicative." We believe it is duplicative, because it is similar
to, but only represents a partial component of lA_PM_2. We are proposing to
consolidate the unique language from lA_PM_1 into lA_PM_2 per the proposed
change in Table B. The proposed revised IA_PM_2 adds additional detail from
lA_PM_1. We note that this proposed removal is made in conjunction with our
proposal to change lA_PM_2 in Table B, as well as our proposal to adopt removal
factors in section III.K.3.c.(3) of this proposed rule. Therefore, this proposed removal is
contingent upon finalization of both referenced proposals.
>,··.··•·•···· ·.;. · \ •·•·· •·····•··••··· .... ••····••·•·········. .........
• ••• •·:.;•:r.·.•... •r ....{.
lA PSPA 14
Patient Safety and Practice Assessment
Participation in Quality Improvement Initiatives
Participation in other quality improvement programs such as Bridges to Excellence or
American Board of Medical Specialties (ABMS) Multi-Specialtv Portfolio Program.
Medium
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Current Activity ID:
Current Subcategory:
Current Activity Title:
Current Activity
Description:
41285
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
We are proposing to remove this lA_PSP A_14 under proposed removal factor 1,
improvement activity is "duplicative." We believe it is duplicative, because it is similar
to, but only represents a partial component of the activities included in IA_PSPA_l9.
We are proposing to consolidate the unique language in lA_PSPA_14 with
IA_PSPA_l9 per the proposed change in Table B. The proposed modified language to
IA_PSPA_l9 adds the examples "Bridges to Excellence" and "American Board of
Medical Specialties (ABMS) Multi-Specialty Portfolio Program" as additional actions
that an eligible clinician or group can take to participate in a quality improvement
program. We note that this proposed removal is made in conjunction with our proposal
to change lA_PSP A_19 in Table B, as well as our proposal to adopt removal factors in
section III.K.3.c.(3) of this proposed rule. Therefore, this proposed removal is
contingent upon finalization of both referenced proposals .
•·eu'rr¢~t;t:lPla>~v~lllent~~tiltt'tr'•~· .;
Current Activity ID:
Current Subcategory:
Current Activity Title:
Current Activity
Description:
Current Weighting:
Removal Rationale:
~·~··
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Current Weighting:
Removal Rationale:
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1
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. .·.•. .•.•
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lA PSPA 24
Patient Safety and Practice Assessment
Initiate CDC Training on Antibiotic Stewardship
Completion of greater than 50 percent of the modules of the Centers for Disease
Control and Prevention antibiotic stewardship course. Note: This activity may be
selected once every 4 years, to avoid duplicative information given that some of the
modules may change on a year by year basis, but over 4 years there would be a
reasonable expectation for the set of modules to have undergone substantive change, for
the improvement activities performance category score.
Medium
We propose to remove this activity under proposed removal factor 1, improvement
activity is "duplicative." We believe it is duplicative, because it is less robust than
lA_PSP A_23. lA_PSP A_23 requires completion of all modules of a Centers for
Disease Control and Prevention antibiotic stewardship course, instead of 50 percent of
modules of a Centers for Disease Control and Prevention antibiotic stewardship course.
Because of this, we believe IA_PSPA_23 already captures the essence ofiA_PSPA_24
and would directly fall into that improvement activity. We note that this proposed
removal is made in conjunction with our proposal to adopt removal factors in section
III.K.3.c.(3) of this proposed rule. Therefore, this proposed removal is contingent upon
finalization of this referenced proposal.
ct.n-..;utJJ.n)}i1JV'~~ent.A.rtif'ny
Current Activity ID:
Current Subcategory:
·~··.······.··c
lA PSPA 5
Patient Safety and Practice Assessment
Annual Registration in the Prescription Drug Monitoring Program
Annual registration by eligible clinician or group in the prescription drug monitoring
program of the state where they practice. Activities that simply involve registration are
not sufficient. MIPS eligible clinicians and groups must participate for a minimum of 6
months.
Medium
We propose to remove this activity under proposed removal factor 1, improvement
activity is "duplicative." We believe it is duplicative, because it is similar in content
but less robust than the currently adopted lA_PSP A_6. lA_PSPA_6 requires
consultation of and specific thresholds of use for a prescription drug monitoring
program instead of simply registering in a prescription drug monitoring program as
described in lA_PSP A_5. Because of this, we believe lA_PSP A_6 already captures the
essence ofiA_PSPA_5 and would directly fall into that improvement activity. We note
that this proposed removal is made in conjunction with our proposal to adopt removal
factors in section III.K.3c.(3) of this proposed rule. Therefore, this proposed removal is
contingent upon finalization of this referenced proposal.
C-iJvrent.;(p}pfuvtl~Jcbt~A(;tlV:itl; ' • > .~ .• . . • •·.·•·•· · · · · · · · ·••'•· ,·....• ·•··
Current Activity ID:
Current Subcategory:
Current Activity Title:
Current Activity
Description:
.. .. . .
• \ . ·.·····; .:·, ·;. ·.·•· .·. .•.·.· <• ···••·<········
lA BMH 3
Behavioral and Mental Health
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EP14AU19.468
Removal Rationale:
41286
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
Current Activity Title:
Current Activity
Description:
Current Weighting:
Removal Rationale:
Unhealthy alcohol use
Unhealthy alcohol use: Regular engagement of MIPS eligible clinicians or groups in
integrated prevention and treatment interventions, including screening and brief
counseling (refer to NQF #2152) for patients with co-occurring conditions of behavioral
or mental health conditions.
Medium
We propose to remove this activity under proposed removal factor 1, improvement
activity is "duplicative." We believe it is duplicative, because it is similar to the
currently adopted IA_BMH_9. We believe IA_BMH_9 is more robust because it
requires a threshold of patients for which this unhealthy alcohol use screening must be
completed, whereas IA_BMH_3 simply requires engagement, screening and counseling
without such a threshold. Because of this, we believe lA_BMH _9 already captures the
essence of lA_BMH_ 3 and would directly fall into that improvement activity. We note
that this proposed removal is made in conjunction with our proposal to adopt removal
factors in section III.K.3.c.(3) of this proposed rule. Therefore, this proposed removal
is contingent upon finalization of this referenced proposal.
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EP14AU19.469
khammond on DSKBBV9HB2PROD with PROPOSALS2
·•
lA BE 11
Beneficiary Engagement
Participation in a QCDR, that promotes use of processes and tools that engage patients
for adherence to treatment plan
Current Activity
Participation in a QCDR, that promotes use of processes and tools that engage patients
Description:
for adherence to treatment plan.
Current Weighting:
Medium
Removal Rationale:
We propose to remove this activity under proposed removal factor 1, improvement
activity is "duplicative." We believe it is duplicative, because it is similar to, but only
represents a partial component of lA_BE_7. In Table B, we are proposing changes to
IA_BE_7 that add" ... the use of processes and tools tl1at engage patients for adherence
to treatment plan" to make lA_BE_7 more robust and offer an additional example.
Because of this, we believe the proposed changes to lA_BE_7 would capture the
essence of lA_BE_11. We note that this proposed removal is made in conjunction with
our proposal to change lA_BE_7 in Table B, as well as our proposal to adopt removal
factors in section III.K.3.c.(3) of this proposed rule. Therefore, this proposed removal
is contingent upon finalization of both referenced proposals.
··c:ut.r~t.t l.tltlt:l*Ot~en:t~4ctj\;it¥ •.. <.< .. •. ,_/ •· ·• • · ,. .·• • .·.· .· . . . . ·-·•· , ~-•· ·,·. · .· ·•· .• ·• ···.·.·'•·. · •-··-•·· ·.·. ''\.• · ._., :.. • . ' ; · • -·~ .· •.-•~• ······<
Current Activity ID:
lA BE 2
Current Subcategory:
Beneficiary Engagement
Current Activity Title: Use of QCDR to support clinical decision making
Current Activity
Participation in a QCDR, demonstrating performance of activities that promote
Description:
implementation of shared clinical decision making capabilities.
Current Weighting:
Medium
Removal Rationale:
We propose to remove this activity under proposed removal factor 1, improvement
activity is "duplicative." We believe it is duplicative, because it is similar to, but only
represents a partial component of lA_BE_7. In Table B, we are proposing changes to
lA_BE_7 that add "activities that promote implementation of shared clinical decision
making capabilities" to make lA_BE_7 more robust and offer an additional example.
Because of this, we believe the proposed changes to lA_BE_7 would capture the
essence ofiA_BE_2. We note that this proposed removal is made in conjunction with
our proposal to change lA_BE_7 in Table B, as well as our proposal to adopt removal
factors in section III.K.3.c.(3) of this proposed rule. Therefore, this proposed removal
is contingent upon finalization of both referenced proposals.
·ciiitel1fl.tltProir:t..er•t~etiviti' ... • ••
.\.>. , . ' •. \ :" ·.. . ;· .;. • •
Current Activity ID:
lA BE 9
Beneficiary Engagement
Current Subcategory:
Current Activity Title: Use of QCDR patient experience data to inform and advance improvements in
Current Activity ID:
Current Subcategory:
Current Activity Title:
41287
Federal Register / Vol. 84, No. 157 / Wednesday, August 14, 2019 / Proposed Rules
beneficiary
Use ofQCDR patient experience data to inform and advance improvements in
beneficiary engagement.
Medium
We propose to remove this activity under proposed removal factor 1, improvement
activity is "duplicative." We believe it is duplicative, because it is similar to, but only
represents a partial component of lA_BE_7. In Table B, we are proposing changes to
lA_BE_7 that add "use of QCDR patient experience data to inform and advance
improvements in beneficiary engagement" to make lA_BE_7 more robust and offer an
additional example. Because of this, we believe the proposed changes to lA_BE_7
would capture the essence ofiA_BE_9. We note that this proposed removal is made in
conjunction with our proposal to change lA_BE_7 in Table B, as well as our proposal
to adopt removal factors in section III.K.3.c.(3) of this proposed rule. Therefore, this
proposed removal is contingent upon finalization of both referenced proposals.
c~r~t'ltQJ)~~'Vettteut.4ttiV:•iv,~•···'"
Current Activity ID:
Current Subcategory:
Current Activity Title:
Current Activity
Description:
Current Weighting:
Removal Rationale:
>·\••
i
·······<···•· \}.·•·••····· ~··•·•· . . \....( .. <> ;·. · ·••. . .·.·~•\·•··.·..· · · •· •.. •.·.•·····''· .. • . .
lA BE 10
Beneficiary Engagement
Participation in a QCDR, that promotes implementation of patient self-action plans.
Participation in a QCDR, that promotes implementation of patient self-action plans.
Medium
We propose to remove this activity under proposed removal factor 1, improvement
activity is "duplicative." We believe it is duplicative, because it is similar to, but only
represents a partial component of lA_BE_7. In Table B, we are proposing changes to
lA_BE_7 to add " [activities that] promote implementation of patient self-action plans"
to make lA_BE_7 more robust and offer an additional example. Because of this, we
believe the proposed changes to IA_BE_7 would capture the essence ofiA_BE_lO.
We note that this proposed removal is made in conjunction with our proposal to change
lA_BE_7 in Table B, as well as our proposal to adopt removal factors in section
III.K.3.c.(3) of this proposed rule. Therefore, this proposed removal is contingent upon
finalization of both referenced proposals .
.·(JUr~llt'Ill1Prf1~~in~ttt
..........
······ . ·.·, • .·.-: .. ;· ........ ·
Current Activity ID: A~ti\tit.YF
lA cc 6:.,..........:.<:•.•. \ . . . . ••. \\.2014
18:25 Aug 13, 2019
,~\;
Care Coordination
Use of QCDR to promote standard practices, tools and processes in practice for
improvement in care coordination
Participation in a Qualified Clinical Data Registry, demonstrating performance of
activities that promote use of standard practices, tools and processes for quality
improvement (for example, documented preventative screening and vaccinations that
can be shared across MIPS eligible clinician or groups).
Medium
We propose to remove this activity under proposed removal factor 1, improvement
activity is "duplicative." We believe it is duplicative, because it is similar to, but only
represents a partial component ofiA_PSPA_7. In Table B, we are proposing changes
to lA_PSP A_7 to add "performance of activities that promote use of standard practices,
tools and processes for quality improvement (for example, documented preventative
screening and vaccinations that can be shared across MIPS eligible clinician or
groups);" to make lA_PSPA_7 more robust and offer additional examples. Because of
this, we believe the proposed changes to lA_PSP A _7 would capture the essence of
lA_ CC_6. We note that this proposed removal is made in conjunction with our
proposal to change lA_PSPA_7 in Table B, as well as our proposal to adopt removal
factors in section III.K.3.c.(3) of this proposed rule. Therefore, this proposed removal
is contingent upon finalization of both referenced proposals.
tfu.~~ntltQnrov¥MientMil':it!.··.•.·•·•·•··•·•···•·.·•.•.·.•·•···•·•·>·····r;:··•·•···•>''······••··~>
Current Activity ID:
..
lA AHE 4
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Current Activity
Description:
Current Weighting:
Removal Rationale:
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Achieving Health Equity
Leveraging a QCDR for use of standard questionnaires
Participation in a QCDR, demonstrating performance of activities for use of standard
questionnaires for assessing improvements in health disparities related to functional
health status (for example, use of Seattle Angina Questionnaire, MD Anderson
Symptom Inventory, and/or SF -12NR-12 functional health status assessment).
Current Weighting:
Medium
Removal Rationale:
We propose to remove this activity under proposed removal factor 1, improvement
activity is "duplicative." We believe it is duplicative, because it is similar to, but only
represents a partial component ofiA_PSPA_7. In Table B, we are proposing changes
to lA_PSP A_7 to add "use of standard questionnaires for assessing improvements in
health disparities related to functional health status (for example, use of Seattle Angina
Questionnaire, MD Anderson Symptom Inventory, and/or SF-12/VR-12 functional
health status assessment);" to make lA_PSP A_7 more robust and offer additional
examples. Because of this, we believe the proposed changes to IA_PSPA_7 would
capture the essence of lA_AHE_ 4. We note that this proposed removal is made in
conjunction with our proposal to change lA_PSPA_7 in Table B, as well as our
proposal to adopt removal factors in section III.K.3.c.(3) of this proposed rule.
Therefore, this proposed removal is contingent upon finalization of both referenced
proposals.
/>·....· <; . .•.• >.
cnt~nt lfutWt:iv¢:nlet)t:ACU.v.tr ,
... ·~··· ~(; •' ) > · .•·.·.·.•· . ·..•····. ···; >' . .•.•.. .
Current Activity ID:
lA AHE 2
Current Subcategory:
Achieving Health Equity
Current Activity Title: Leveraging a QCDR to standardize processes for screening
Current Activity
Participation in a QCDR, demonstrating performance of activities for use of
Description:
standardized processes for screening for social determinants of health such as food
security, employment and housing. Use of supporting tools that can be incorporated
into the certified EHR technology is also suggested.
Current Weighting:
Medium
Removal Rationale:
We propose to remove this activity under proposed removal factor 1, improvement
activity is "duplicative." We believe it is duplicative, because it is similar to, but only
represents a partial component ofiA_PSPA_7. In Table B, we are proposing changes
to lA_PSP A_7 to add "use of standardized processes for screening for social
determinants of health such as food security, employment and housing ... use of
supporting tools that can be incorporated into the certified EHR technology" to make
IA_PSPA_7 more robust and offer additional examples. Because of this, we believe the
proposed changes to IA_PSPA_7 would capture the essence ofiA_AHE_2. We note
that this proposed removal is made in conjunction with our proposal to change
lA_PSPA_7 in Table B, as well as our proposal to adopt removal factors in section
III.K.3.c.(3) of this proposed rule. Therefore, this proposed removal is contingent upon
finalization of both referenced proposals.
Current Subcategory:
Current Activity Title:
Current Activity
Description:
;A·>:•.'•····.•·····.·.· ·.
·•eu.tte'!ltltrl.uml\eln~nt."(!:ttvij.Y .•• .
khammond on DSKBBV9HB2PROD with PROPOSALS2
Current Activity
Description:
Current Weighting:
Removal Rationale:
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\•>\'· .·~•····~· .. >.'r.• . . . · ·•· ·• ... >·..·:·.• : ············•···
·•· . ;. . . . . . . . . . . . . . . • <.·. ·•· .•. • ·.·:. {,
lA PM 10
Population Management
Use of QCDR data for quality improvement such as comparative analysis reports across
patient populations
Participation in a QCDR, clinical data registries, or other registries run by other
government agencies such as FDA, or private entities such as a hospital or medical or
surgical society. Activity must include use of QCDR data for quality improvement (for
example, comparative analysis across specific patient populations for adverse outcomes
after an outpatient surgical procedure and corrective steps to address adverse outcome).
Medium
We propose to remove this activity under proposed removal factor 1, improvement
activity is "duplicative." We believe it is duplicative, because it is similar to, but only
represents a partial component ofiA PSPA 7. In Table B, we are proposing changes
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Current Activity ID:
Current Subcategory:
Current Activity Title:
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41289
[FR Doc. 2019–16041 Filed 7–29–19; 4:15 pm]
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BILLING CODE 4120–01–C
Agencies
[Federal Register Volume 84, Number 157 (Wednesday, August 14, 2019)]
[Proposed Rules]
[Pages 40482-41289]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2019-16041]
[[Page 40481]]
Vol. 84
Wednesday,
No. 157
August 14, 2019
Part II
Book 2 of 3 Books
Pages 40481-41289
Department of Health and Human Services
-----------------------------------------------------------------------
Centers for Medicare & Medicaid Services
-----------------------------------------------------------------------
42 CFR Parts 403, 410, 415, 416, et al.
Medicare Program; CY 2020 Revisions to Payment Policies Under the
Physician Fee Schedule and Other Changes to Part B Payment Policies;
Medicare Shared Savings Program Requirements; Medicaid Promoting
Interoperability Program Requirements for Eligible Professionals;
Establishment of an Ambulance Data Collection System; Updates to the
Quality Payment Program; Medicare Enrollment of Opioid Treatment
Programs and Enhancements to Provider Enrollment Regulations Concerning
Improper Prescribing and Patient Harm; and Amendments to Physician
Self-Referral Law Advisory Opinion Regulations; Proposed Rules
Federal Register / Vol. 84 , No. 157 / Wednesday, August 14, 2019 /
Proposed Rules
[[Page 40482]]
-----------------------------------------------------------------------
DEPARTMENT OF HEALTH AND HUMAN SERVICES
Centers for Medicare & Medicaid Services
42 CFR Parts 403, 410, 414, 415, 416, 418, 424, 425, 489, and 498
[CMS-1715-P]
RIN 0938-AT72
Medicare Program; CY 2020 Revisions to Payment Policies Under the
Physician Fee Schedule and Other Changes to Part B Payment Policies;
Medicare Shared Savings Program Requirements; Medicaid Promoting
Interoperability Program Requirements for Eligible Professionals;
Establishment of an Ambulance Data Collection System; Updates to the
Quality Payment Program; Medicare Enrollment of Opioid Treatment
Programs and Enhancements to Provider Enrollment Regulations Concerning
Improper Prescribing and Patient Harm; and Amendments to Physician
Self-Referral Law Advisory Opinion Regulations
AGENCY: Centers for Medicare & Medicaid Services (CMS), HHS.
ACTION: Proposed rule.
-----------------------------------------------------------------------
SUMMARY: This major proposed rule addresses: Changes to the physician
fee schedule (PFS); other changes to Medicare Part B payment policies
to ensure that payment systems are updated to reflect changes in
medical practice, relative value of services, and changes in the
statute; Medicare Shared Savings Program quality reporting
requirements; Medicaid Promoting Interoperability Program requirements
for eligible professionals; the establishment of an ambulance data
collection system; updates to the Quality Payment Program; Medicare
enrollment of Opioid Treatment Programs and enhancements to provider
enrollment regulations concerning improper prescribing and patient
harm; and amendments to Physician Self-Referral Law advisory opinion
regulations.
DATES: Comment date: To be assured consideration, comments must be
received at one of the addresses provided below, no later than 5 p.m.
on September 27, 2019.
ADDRESSES: In commenting, please refer to file code CMS-1715-P. Because
of staff and resource limitations, we cannot accept comments by
facsimile (FAX) transmission.
Comments, including mass comment submissions, must be submitted in
one of the following three ways (please choose only one of the ways
listed):
1. Electronically. You may submit electronic comments on this
regulation to https://www.regulations.gov. Follow the ``Submit a
comment'' instructions.
2. By regular mail. You may mail written comments to the following
address ONLY: Centers for Medicare & Medicaid Services, Department of
Health and Human Services, Attention: CMS-1715-P, P.O. Box 8016,
Baltimore, MD 21244-8016.
Please allow sufficient time for mailed comments to be received
before the close of the comment period.
3. By express or overnight mail. You may send written comments to
the following address ONLY: Centers for Medicare & Medicaid Services,
Department of Health and Human Services, Attention: CMS-1715-P, Mail
Stop C4-26-05, 7500 Security Boulevard, Baltimore, MD 21244-1850.
FURTHER INFORMATION CONTACT:
Jamie Hermansen, (410) 786-2064, for any issues not identified
below.
Michael Soracoe, (410) 786-6312, for issues related to practice
expense, work RVUs, conversion factor, and impacts.
Geri Mondowney, (410) 786-1172, or Tourette Jackson, (410) 786-
4735, for issues related to malpractice RVUs and geographic practice
cost indicies (GPCIs).
Larry Chan, (410) 786-6864, for issues related to potentially
misvalued services under the PFS.
Lindsey Baldwin, (410) 786-1694, or Emily Yoder, (410) 786-1804,
for issues related to telehealth services.
Pierre Yong, (410) 786-8896, or Lindsey Baldwin, (410) 786-1694,
for issues related to Medicare coverage of opioid use disorder
treatment services furnished by opioid treatment programs (OTPs).
Lindsey Baldwin, (410) 786-1694, for issues related to bundled
payments under the PFS for substance use disorders.
Emily Yoder, (410) 786-1804, or Christiane LaBonte, (410) 786-7237,
for issues related to the comment solicitation on opportunities for
bundled payments under the PFS.
Regina Walker-Wren, (410) 786-9160, for issues related to physician
supervision for physician assistant (PA) services and review and
verification of medical record documentation.
Ann Marshall, (410) 786-3059, Emily Yoder, (410) 786-1804, Liane
Grayson, (410) 786-6583, or Christiane LaBonte, (410) 786-7237, for
issues related to care management services.
Kathy Bryant, (410) 786-3448, for issues related to coinsurance for
colorectal cancer screening tests.
Pamela West, (410) 786-2302, for issues related to therapy
services.
Ann Marshall, (410) 786-3059, Emily Yoder, (410) 786-1804, or
Christiane LaBonte, (410) 786-7237, for issues related to payment for
evaluation and management services.
Kathy Bryant, (410) 786-3448, for issues related to global surgery
data collection.
Thomas Kessler, (410) 786-1991, for issues related to ambulance
physician certification statement.
Felicia Eggleston, (410) 786-9287, or Amy Gruber, (410) 786-1542,
for issues related to the ambulance fee schedule-BBA of 2018
requirements for Medicare ground ambulance services data collection
system.
Linda Gousis, (410) 786-8616, for issues related to intensive
cardiac rehabilitation.
David Koppel, (303) 844-2883, or Elizabeth LeBreton, (202) 615-
3816, for issues related to the Medicaid Promoting Interoperability
Program.
Fiona Larbi, (410) 786-7224, for issues related to the Medicare
Shared Savings Program (Shared Savings Program) Quality Measures.
Katie Mucklow, (410) 786-0537, or Diana Behrendt, (410) 786-6192,
for issues related to open payments.
Cheryl Gilbreath, (410) 786-5919, for issues related to home
infusion therapy benefit.
Joseph Schultz, (410) 786-2656, for issues related to Medicare
enrollment of opioid treatment programs, and enhancements to provider
enrollment regulations concerning improper prescribing and patient
harm.
Jacqueline Leach, (410) 786-4282, for issues related to Deferring
to State Scope of Practice Requirements: Ambulatory Surgical Centers
(ASC).
Mary Rossi-Coajou, (410) 786-6051, for issues related to Deferring
to State Scope of Practice Requirements: Hospice.
[email protected], for issues related to Advisory
Opinions on Application of the Physician Self-referral law.
Molly MacHarris, (410) 786-4461, for inquiries related to Merit-
based Incentive Payment System (MIPS).
Megan Hyde, (410) 786-3247, for inquiries related to Alternative
Payment Models (APMs).
SUPPLEMENTARY INFORMATION:
Addenda Available Only Through the Internet on the CMS Website
The PFS Addenda along with other supporting documents and tables
referenced in this proposed rule are available on the CMS website at
https://www.cms.gov/Medicare/Medicare-Fee-
[[Page 40483]]
for-Service-Payment/PhysicianFeeSched/PFS-Federal-Regulation-
Notices.html. Click on the link on the left side of the screen titled,
``PFS Federal Regulations Notices'' for a chronological list of PFS
Federal Register and other related documents. For the CY 2020 PFS
proposed rule, refer to item CMS-1715-P. Readers with questions related
to accessing any of the Addenda or other supporting documents
referenced in this proposed rule and posted on the CMS website
identified above should contact Jamie Hermansen at (410) 786-2064.
CPT (Current Procedural Terminology) Copyright Notice
Throughout this proposed rule, we use CPT codes and descriptions to
refer to a variety of services. We note that CPT codes and descriptions
are copyright 2019 American Medical Association. All Rights Reserved.
CPT is a registered trademark of the American Medical Association
(AMA). Applicable Federal Acquisition Regulations (FAR) and Defense
Federal Acquisition Regulations (DFAR) apply.
I. Executive Summary
A. Purpose
This major proposed rule proposes to revise payment polices under
the Medicare PFS and make other policy changes, including proposals to
implement certain provisions of the Bipartisan Budget Act of 2018 (BBA
of 2018) (Pub. L. 115-123, February 9, 2018) and the Substance Use-
Disorder Prevention that Promotes Opioid Recovery and Treatment
(SUPPORT) for Patients and Communities Act (the SUPPORT Act) (Pub. L.
115-271, October 24, 2018), related to Medicare Part B payment,
applicable to services furnished in CY 2020 and thereafter. In
addition, this proposed rule includes proposals related to payment
policy changes that are addressed in section III. of this proposed
rule. We are requesting public comments on all of the proposals being
made in this proposed rule.
1. Summary of the Major Provisions
The statute requires us to establish payments under the PFS based
on national uniform relative value units (RVUs) that account for the
relative resources used in furnishing a service. The statute requires
that RVUs be established for three categories of resources: Work;
practice expense (PE); and malpractice (MP) expense. In addition, the
statute requires that we establish by regulation each year's payment
amounts for all physicians' services paid under the PFS, incorporating
geographic adjustments to reflect the variations in the costs of
furnishing services in different geographic areas.
In this major proposed rule, we are proposing to establish RVUs for
CY 2020 for the PFS to ensure that our payment systems are updated to
reflect changes in medical practice and the relative value of services,
as well as changes in the statute. This proposed rule also includes
discussions and proposals regarding several other Medicare Part B
payment policies, Medicare Shared Savings Program quality reporting
requirements, Medicaid Promoting Interoperability Program requirements
for eligible professionals, the establishment of an ambulance data
collection system, updates to the Quality Payment Program, Medicare
enrollment of Opioid Treatment Programs and enhancements to provider
enrollment regulations concerning improper prescribing and patient
harm; and amendments to Physician Self-Referral Law advisory opinion
regulations. This proposed rule addresses:
Practice Expense RVUs (section II.B.)
Malpractice RVUs (section II.C.)
Geographic Practice Cost Indices (GPCIs) (section II.D.)
Potentially Misvalued Services Under the PFS (section II.E.)
Telehealth Services (section II.F.)
Medicare Coverage for Opioid Use Disorder Treatment Services
Furnished by Opioid Treatment Programs (section II.G.)
Bundled Payments Under the PFS for Substance Use Disorders
(section II.H.)
Physician Supervision for Physician Assistant (PA) Services
(section II.I.)
Review and Verification of Medical Record Documentation
(section II.J.)
Care Management Services (section II.K.)
Coinsurance for Colorectal Cancer Screening Tests (section
II.L.)
Therapy Services (section II.M.)
Valuation of Specific Codes (section II.N.)
Comment Solicitation on Opportunities for Bundled Payments
Under the PFS (section II.O.)
Payment for Evaluation and Management (E/M) Services (section
II.P.)
Ambulance Coverage Services--Physician Certification Statement
(section III.A.)
Ambulance Fee Schedule--Medicare Ground Ambulance Services
Data Collection System (section III.B.)
Intensive Cardiac Rehabilitation (section III.C.)
Medicaid Promoting Interoperability Program Requirements for
Eligible Professionals (EPs) (section III.D.)
Medicare Shared Savings Program Quality Measures (section
III.E.)
Open Payments (section III.F.)
Home Infusion Therapy Benefit (section III.G.)
Medicare Enrollment of Opioid Treatment Programs and
Enhancements to Existing General Enrollment Policies Related to
Improper Prescribing and Patient Harm (section III.H.)
Deferring to State Scope of Practice Requirements (section
III.I.)
Advisory Opinions on the Application of the Physician Self-
Referral Law (section III.J.)
Updates to the Quality Payment Program (section III.K.)
2. Summary of Costs and Benefits
We have determined that this major proposed rule is economically
significant. For a detailed discussion of the economic impacts, see
section VI. of this proposed rule.
II. Provisions of the Proposed Rule for the PFS
A. Background
Since January 1, 1992, Medicare has paid for physicians' services
under section 1848 of the Act, ``Payment for Physicians' Services.''
The PFS relies on national relative values that are established for
work, practice expense (PE), and malpractice (MP), which are adjusted
for geographic cost variations. These values are multiplied by a
conversion factor (CF) to convert the relative value units (RVUs) into
payment rates. The concepts and methodology underlying the PFS were
enacted as part of the Omnibus Budget Reconciliation Act of 1989 (Pub.
L. 101-239, enacted on December 19, 1989) (OBRA '89), and the Omnibus
Budget Reconciliation Act of 1990 (Pub. L. 101-508, enacted on November
5, 1990) (OBRA '90). The final rule published in the November 25, 1991
Federal Register (56 FR 59502) set forth the first fee schedule used
for payment for physicians' services.
We note that throughout this major proposed rule, unless otherwise
noted, the term ``practitioner'' is used to describe both physicians
and nonphysician practitioners (NPPs) who are permitted to bill
Medicare under the PFS for the services they furnish to Medicare
beneficiaries.
1. Development of the RVUs
a. Work RVUs
The work RVUs established for the initial fee schedule, which was
[[Page 40484]]
implemented on January 1, 1992, were developed with extensive input
from the physician community. A research team at the Harvard School of
Public Health developed the original work RVUs for most codes under a
cooperative agreement with the Department of Health and Human Services
(HHS). In constructing the code-specific vignettes used in determining
the original physician work RVUs, Harvard worked with panels of
experts, both inside and outside the federal government, and obtained
input from numerous physician specialty groups.
As specified in section 1848(c)(1)(A) of the Act, the work
component of physicians' services means the portion of the resources
used in furnishing the service that reflects physician time and
intensity. We establish work RVUs for new, revised and potentially
misvalued codes based on our review of information that generally
includes, but is not limited to, recommendations received from the
American Medical Association/Specialty Society Relative Value Scale
Update Committee (RUC), the Health Care Professionals Advisory
Committee (HCPAC), the Medicare Payment Advisory Commission (MedPAC),
and other public commenters; medical literature and comparative
databases; as well as a comparison of the work for other codes within
the Medicare PFS, and consultation with other physicians and health
care professionals within CMS and the federal government. We also
assess the methodology and data used to develop the recommendations
submitted to us by the RUC and other public commenters, and the
rationale for their recommendations. In the CY 2011 PFS final rule with
comment period (75 FR 73328 through 73329), we discussed a variety of
methodologies and approaches used to develop work RVUs, including
survey data, building blocks, crosswalk to key reference or similar
codes, and magnitude estimation. More information on these issues is
available in that rule.
b. Practice Expense RVUs
Initially, only the work RVUs were resource-based, and the PE and
MP RVUs were based on average allowable charges. Section 121 of the
Social Security Act Amendments of 1994 (Pub. L. 103-432, enacted on
October 31, 1994), amended section 1848(c)(2)(C)(ii) of the Act and
required us to develop resource-based PE RVUs for each physicians'
service beginning in 1998. We were required to consider general
categories of expenses (such as office rent and wages of personnel, but
excluding MP expenses) comprising PEs. The PE RVUs continue to
represent the portion of these resources involved in furnishing PFS
services.
Originally, the resource-based method was to be used beginning in
1998, but section 4505(a) of the Balanced Budget Act of 1997 (Pub. L.
105-33, enacted on August 5, 1997) (BBA of 1997) delayed implementation
of the resource-based PE RVU system until January 1, 1999. In addition,
section 4505(b) of the BBA of 1997 provided for a 4-year transition
period from the charge-based PE RVUs to the resource-based PE RVUs.
We established the resource-based PE RVUs for each physicians'
service in the November 2, 1998 final rule (63 FR 58814), effective for
services furnished in CY 1999. Based on the requirement to transition
to a resource-based system for PE over a 4-year period, payment rates
were not fully based upon resource-based PE RVUs until CY 2002. This
resource-based system was based on two significant sources of actual PE
data: The Clinical Practice Expert Panel (CPEP) data; and the AMA's
Socioeconomic Monitoring System (SMS) data. These data sources are
described in greater detail in the CY 2012 PFS final rule with comment
period (76 FR 73033).
Separate PE RVUs are established for services furnished in facility
settings, such as a hospital outpatient department (HOPD) or an
ambulatory surgical center (ASC), and in nonfacility settings, such as
a physician's office. The nonfacility RVUs reflect all of the direct
and indirect PEs involved in furnishing a service described by a
particular HCPCS code. The difference, if any, in these PE RVUs
generally results in a higher payment in the nonfacility setting
because in the facility settings some resource costs are borne by the
facility. Medicare's payment to the facility (such as the outpatient
prospective payment system (OPPS) payment to the HOPD) would reflect
costs typically incurred by the facility. Thus, payment associated with
those specific facility resource costs is not made under the PFS.
Section 212 of the Balanced Budget Refinement Act of 1999 (Pub. L.
106-113, enacted on November 29, 1999) (BBRA) directed the Secretary of
Health and Human Services (the Secretary) to establish a process under
which we accept and use, to the maximum extent practicable and
consistent with sound data practices, data collected or developed by
entities and organizations to supplement the data we normally collect
in determining the PE component. On May 3, 2000, we published the
interim final rule (65 FR 25664) that set forth the criteria for the
submission of these supplemental PE survey data. The criteria were
modified in response to comments received, and published in the Federal
Register (65 FR 65376) as part of a November 1, 2000 final rule. The
PFS final rules published in 2001 and 2003, respectively, (66 FR 55246
and 68 FR 63196) extended the period during which we would accept these
supplemental data through March 1, 2005.
In the CY 2007 PFS final rule with comment period (71 FR 69624), we
revised the methodology for calculating direct PE RVUs from the top-
down to the bottom-up methodology beginning in CY 2007. We adopted a 4-
year transition to the new PE RVUs. This transition was completed for
CY 2010. In the CY 2010 PFS final rule with comment period, we updated
the practice expense per hour (PE/HR) data that are used in the
calculation of PE RVUs for most specialties (74 FR 61749). In CY 2010,
we began a 4-year transition to the new PE RVUs using the updated PE/HR
data, which was completed for CY 2013.
c. Malpractice RVUs
Section 4505(f) of the BBA of 1997 amended section 1848(c) of the
Act to require that we implement resource-based MP RVUs for services
furnished on or after CY 2000. The resource-based MP RVUs were
implemented in the PFS final rule with comment period published
November 2, 1999 (64 FR 59380). The MP RVUs are based on commercial and
physician-owned insurers' MP insurance premium data from all the
states, the District of Columbia, and Puerto Rico. For more information
on MP RVUs, see section II.C. of this proposed rule, Determination of
Malpractice Relative Value Units.
d. Refinements to the RVUs
Section 1848(c)(2)(B)(i) of the Act requires that we review RVUs no
less often than every 5 years. Prior to CY 2013, we conducted periodic
reviews of work RVUs and PE RVUs independently. We completed 5-year
reviews of work RVUs that were effective for calendar years 1997, 2002,
2007, and 2012.
Although refinements to the direct PE inputs initially relied
heavily on input from the RUC Practice Expense Advisory Committee
(PEAC), the shifts to the bottom-up PE methodology in CY 2007 and to
the use of the updated PE/HR data in CY 2010 have resulted in
significant refinements to the PE RVUs in recent years.
[[Page 40485]]
In the CY 2012 PFS final rule with comment period (76 FR 73057), we
finalized a proposal to consolidate reviews of work and PE RVUs under
section 1848(c)(2)(B) of the Act and reviews of potentially misvalued
codes under section 1848(c)(2)(K) of the Act into one annual process.
In addition to the 5-year reviews, beginning for CY 2009, CMS and
the RUC identified and reviewed a number of potentially misvalued codes
on an annual basis based on various identification screens. This annual
review of work and PE RVUs for potentially misvalued codes was
supplemented by the amendments to section 1848 of the Act, as enacted
by section 3134 of the Affordable Care Act, that require the agency to
periodically identify, review and adjust values for potentially
misvalued codes.
e. Application of Budget Neutrality to Adjustments of RVUs
As described in section VI. of this proposed rule, the Regulatory
Impact Analysis, in accordance with section 1848(c)(2)(B)(ii)(II) of
the Act, if revisions to the RVUs cause expenditures for the year to
change by more than $20 million, we make adjustments to ensure that
expenditures do not increase or decrease by more than $20 million.
2. Calculation of Payments Based on RVUs
To calculate the payment for each service, the components of the
fee schedule (work, PE, and MP RVUs) are adjusted by geographic
practice cost indices (GPCIs) to reflect the variations in the costs of
furnishing the services. The GPCIs reflect the relative costs of work,
PE, and MP in an area compared to the national average costs for each
component. Please refer to the CY 2017 PFS final rule with comment
period for a discussion of the last GPCI update (81 FR 80261 through
80270).
RVUs are converted to dollar amounts through the application of a
CF, which is calculated based on a statutory formula by CMS's Office of
the Actuary (OACT). The formula for calculating the Medicare PFS
payment amount for a given service and fee schedule area can be
expressed as:
Payment = [(RVU work x GPCI work) + (RVU PE x GPCI PE) + (RVU MP x GPCI
MP)] x CF
3. Separate Fee Schedule Methodology for Anesthesia Services
Section 1848(b)(2)(B) of the Act specifies that the fee schedule
amounts for anesthesia services are to be based on a uniform relative
value guide, with appropriate adjustment of an anesthesia CF, in a
manner to ensure that fee schedule amounts for anesthesia services are
consistent with those for other services of comparable value.
Therefore, there is a separate fee schedule methodology for anesthesia
services. Specifically, we establish a separate CF for anesthesia
services and we utilize the uniform relative value guide, or base
units, as well as time units, to calculate the fee schedule amounts for
anesthesia services. Since anesthesia services are not valued using
RVUs, a separate methodology for locality adjustments is also
necessary. This involves an adjustment to the national anesthesia CF
for each payment locality.
B. Determination of PE RVUs
1. Overview
Practice expense (PE) is the portion of the resources used in
furnishing a service that reflects the general categories of physician
and practitioner expenses, such as office rent and personnel wages, but
excluding MP expenses, as specified in section 1848(c)(1)(B) of the
Act. As required by section 1848(c)(2)(C)(ii) of the Act, we use a
resource-based system for determining PE RVUs for each physicians'
service. We develop PE RVUs by considering the direct and indirect
practice resources involved in furnishing each service. Direct expense
categories include clinical labor, medical supplies, and medical
equipment. Indirect expenses include administrative labor, office
expense, and all other expenses. The sections that follow provide more
detailed information about the methodology for translating the
resources involved in furnishing each service into service-specific PE
RVUs. We refer readers to the CY 2010 PFS final rule with comment
period (74 FR 61743 through 61748) for a more detailed explanation of
the PE methodology.
2. Practice Expense Methodology
a. Direct Practice Expense
We determine the direct PE for a specific service by adding the
costs of the direct resources (that is, the clinical staff, medical
supplies, and medical equipment) typically involved with furnishing
that service. The costs of the resources are calculated using the
refined direct PE inputs assigned to each CPT code in our PE database,
which are generally based on our review of recommendations received
from the RUC and those provided in response to public comment periods.
For a detailed explanation of the direct PE methodology, including
examples, we refer readers to the 5-year review of work relative value
units under the PFS and proposed changes to the practice expense
methodology CY 2007 PFS proposed notice (71 FR 37242) and the CY 2007
PFS final rule with comment period (71 FR 69629).
b. Indirect Practice Expense per Hour Data
We use survey data on indirect PEs incurred per hour worked, in
developing the indirect portion of the PE RVUs. Prior to CY 2010, we
primarily used the PE/HR by specialty that was obtained from the AMA's
SMS. The AMA administered a new survey in CY 2007 and CY 2008, the
Physician Practice Expense Information Survey (PPIS). The PPIS is a
multispecialty, nationally representative, PE survey of both physicians
and NPPs paid under the PFS using a survey instrument and methods
highly consistent with those used for the SMS and the supplemental
surveys. The PPIS gathered information from 3,656 respondents across 51
physician specialty and health care professional groups. We believe the
PPIS is the most comprehensive source of PE survey information
available. We used the PPIS data to update the PE/HR data for the CY
2010 PFS for almost all of the Medicare-recognized specialties that
participated in the survey.
When we began using the PPIS data in CY 2010, we did not change the
PE RVU methodology itself or the manner in which the PE/HR data are
used in that methodology. We only updated the PE/HR data based on the
new survey. Furthermore, as we explained in the CY 2010 PFS final rule
with comment period (74 FR 61751), because of the magnitude of payment
reductions for some specialties resulting from the use of the PPIS
data, we transitioned its use over a 4-year period from the previous PE
RVUs to the PE RVUs developed using the new PPIS data. As provided in
the CY 2010 PFS final rule with comment period (74 FR 61751), the
transition to the PPIS data was complete for CY 2013. Therefore, PE
RVUs from CY 2013 forward are developed based entirely on the PPIS
data, except as noted in this section.
Section 1848(c)(2)(H)(i) of the Act requires us to use the medical
oncology supplemental survey data submitted in 2003 for oncology drug
administration services. Therefore, the PE/HR for medical oncology,
hematology, and hematology/oncology reflects the continued use of these
supplemental survey data.
Supplemental survey data on independent labs from the College of
[[Page 40486]]
American Pathologists were implemented for payments beginning in CY
2005. Supplemental survey data from the National Coalition of Quality
Diagnostic Imaging Services (NCQDIS), representing independent
diagnostic testing facilities (IDTFs), were blended with supplementary
survey data from the American College of Radiology (ACR) and
implemented for payments beginning in CY 2007. Neither IDTFs, nor
independent labs, participated in the PPIS. Therefore, we continue to
use the PE/HR that was developed from their supplemental survey data.
Consistent with our past practice, the previous indirect PE/HR
values from the supplemental surveys for these specialties were updated
to CY 2006 using the Medicare Economic Index (MEI) to put them on a
comparable basis with the PPIS data.
We also do not use the PPIS data for reproductive endocrinology and
spine surgery since these specialties currently are not separately
recognized by Medicare, nor do we have a method to blend the PPIS data
with Medicare-recognized specialty data.
Previously, we established PE/HR values for various specialties
without SMS or supplemental survey data by crosswalking them to other
similar specialties to estimate a proxy PE/HR. For specialties that
were part of the PPIS for which we previously used a crosswalked PE/HR,
we instead used the PPIS-based PE/HR. We use crosswalks for specialties
that did not participate in the PPIS. These crosswalks have been
generally established through notice and comment rulemaking and are
available in the file called ``CY 2020 PFS Proposed Rule PE/HR'' on the
CMS website under downloads for the CY 2020 PFS proposed rule at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/PhysicianFeeSched/PFS-Federal-Regulation-Notices.html.
For CY 2020, we have incorporated the available utilization data
for two new specialties, each of which became a recognized Medicare
specialty during 2018. These specialties are Medical Toxicology and
Hematopoietic Cell Transplantation and Cellular Therapy. We are
proposing to use proxy PE/HR values for these new specialties, as there
are no PPIS data for these specialties, by crosswalking the PE/HR as
follows from specialties that furnish similar services in the Medicare
claims data:
Medical Toxicology from Emergency Medicine; and
Hematopoietic Cell Transplantation and Cellular Therapy
from Hematology/Oncology.
These updates are reflected in the ``CY 2020 PFS Proposed Rule PE/
HR'' file available on the CMS website under the supporting data files
for the CY 2020 PFS proposed rule at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/PhysicianFeeSched/PFS-Federal-Regulation-Notices.html.
c. Allocation of PE to Services
To establish PE RVUs for specific services, it is necessary to
establish the direct and indirect PE associated with each service.
(1) Direct Costs
The relative relationship between the direct cost portions of the
PE RVUs for any two services is determined by the relative relationship
between the sum of the direct cost resources (that is, the clinical
staff, medical supplies, and medical equipment) typically involved with
furnishing each of the services. The costs of these resources are
calculated from the refined direct PE inputs in our PE database. For
example, if one service has a direct cost sum of $400 from our PE
database and another service has a direct cost sum of $200, the direct
portion of the PE RVUs of the first service would be twice as much as
the direct portion of the PE RVUs for the second service.
(2) Indirect Costs
We allocate the indirect costs at the code level on the basis of
the direct costs specifically associated with a code and the greater of
either the clinical labor costs or the work RVUs. We also incorporate
the survey data described earlier in the PE/HR discussion. The general
approach to developing the indirect portion of the PE RVUs is as
follows:
For a given service, we use the direct portion of the PE
RVUs calculated as previously described and the average percentage that
direct costs represent of total costs (based on survey data) across the
specialties that furnish the service to determine an initial indirect
allocator. That is, the initial indirect allocator is calculated so
that the direct costs equal the average percentage of direct costs of
those specialties furnishing the service. For example, if the direct
portion of the PE RVUs for a given service is 2.00 and direct costs, on
average, represent 25 percent of total costs for the specialties that
furnish the service, the initial indirect allocator would be calculated
so that it equals 75 percent of the total PE RVUs. Thus, in this
example, the initial indirect allocator would equal 6.00, resulting in
a total PE RVU of 8.00 (2.00 is 25 percent of 8.00 and 6.00 is 75
percent of 8.00).
Next, we add the greater of the work RVUs or clinical
labor portion of the direct portion of the PE RVUs to this initial
indirect allocator. In our example, if this service had a work RVU of
4.00 and the clinical labor portion of the direct PE RVU was 1.50, we
would add 4.00 (since the 4.00 work RVUs are greater than the 1.50
clinical labor portion) to the initial indirect allocator of 6.00 to
get an indirect allocator of 10.00. In the absence of any further use
of the survey data, the relative relationship between the indirect cost
portions of the PE RVUs for any two services would be determined by the
relative relationship between these indirect cost allocators. For
example, if one service had an indirect cost allocator of 10.00 and
another service had an indirect cost allocator of 5.00, the indirect
portion of the PE RVUs of the first service would be twice as great as
the indirect portion of the PE RVUs for the second service.
Next, we incorporate the specialty-specific indirect PE/HR
data into the calculation. In our example, if, based on the survey
data, the average indirect cost of the specialties furnishing the first
service with an allocator of 10.00 was half of the average indirect
cost of the specialties furnishing the second service with an indirect
allocator of 5.00, the indirect portion of the PE RVUs of the first
service would be equal to that of the second service.
(3) Facility and Nonfacility Costs
For procedures that can be furnished in a physician's office, as
well as in a facility setting, where Medicare makes a separate payment
to the facility for its costs in furnishing a service, we establish two
PE RVUs: Facility and nonfacility. The methodology for calculating PE
RVUs is the same for both the facility and nonfacility RVUs, but is
applied independently to yield two separate PE RVUs. In calculating the
PE RVUs for services furnished in a facility, we do not include
resources that would generally not be provided by physicians when
furnishing the service. For this reason, the facility PE RVUs are
generally lower than the nonfacility PE RVUs.
(4) Services With Technical Components and Professional Components
Diagnostic services are generally comprised of two components: A
professional component (PC); and a technical component (TC). The PC and
TC may be furnished independently or by different providers, or they
may be
[[Page 40487]]
furnished together as a global service. When services have separately
billable PC and TC components, the payment for the global service
equals the sum of the payment for the TC and PC. To achieve this, we
use a weighted average of the ratio of indirect to direct costs across
all the specialties that furnish the global service, TCs, and PCs; that
is, we apply the same weighted average indirect percentage factor to
allocate indirect expenses to the global service, PCs, and TCs for a
service. (The direct PE RVUs for the TC and PC sum to the global.)
(5) PE RVU Methodology
For a more detailed description of the PE RVU methodology, we refer
readers to the CY 2010 PFS final rule with comment period (74 FR 61745
through 61746). We also direct readers to the file called ``Calculation
of PE RVUs under Methodology for Selected Codes'' which is available on
our website under downloads for the CY 2020 PFS proposed rule at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/PhysicianFeeSched/PFS-Federal-Regulation-Notices.html. This file
contains a table that illustrates the calculation of PE RVUs as
described in this proposed rule for individual codes.
(a) Setup File
First, we create a setup file for the PE methodology. The setup
file contains the direct cost inputs, the utilization for each
procedure code at the specialty and facility/nonfacility place of
service level, and the specialty-specific PE/HR data calculated from
the surveys.
(b) Calculate the Direct Cost PE RVUs
Sum the costs of each direct input.
Step 1: Sum the direct costs of the inputs for each service.
Step 2: Calculate the aggregate pool of direct PE costs for the
current year. We set the aggregate pool of PE costs equal to the
product of the ratio of the current aggregate PE RVUs to current
aggregate work RVUs and the projected aggregate work RVUs.
Step 3: Calculate the aggregate pool of direct PE costs for use in
ratesetting. This is the product of the aggregate direct costs for all
services from Step 1 and the utilization data for that service.
Step 4: Using the results of Step 2 and Step 3, use the CF to
calculate a direct PE scaling adjustment to ensure that the aggregate
pool of direct PE costs calculated in Step 3 does not vary from the
aggregate pool of direct PE costs for the current year. Apply the
scaling adjustment to the direct costs for each service (as calculated
in Step 1).
Step 5: Convert the results of Step 4 to a RVU scale for each
service. To do this, divide the results of Step 4 by the CF. Note that
the actual value of the CF used in this calculation does not influence
the final direct cost PE RVUs as long as the same CF is used in Step 4
and Step 5. Different CFs would result in different direct PE scaling
adjustments, but this has no effect on the final direct cost PE RVUs
since changes in the CFs and changes in the associated direct scaling
adjustments offset one another.
(c) Create the Indirect Cost PE RVUs
Create indirect allocators.
Step 6: Based on the survey data, calculate direct and indirect PE
percentages for each physician specialty.
Step 7: Calculate direct and indirect PE percentages at the service
level by taking a weighted average of the results of Step 6 for the
specialties that furnish the service. Note that for services with TCs
and PCs, the direct and indirect percentages for a given service do not
vary by the PC, TC, and global service.
We generally use an average of the 3 most recent years of available
Medicare claims data to determine the specialty mix assigned to each
code. Codes with low Medicare service volume require special attention
since billing or enrollment irregularities for a given year can result
in significant changes in specialty mix assignment. We finalized a
policy in the CY 2018 PFS final rule (82 FR 52982 through 59283) to use
the most recent year of claims data to determine which codes are low
volume for the coming year (those that have fewer than 100 allowed
services in the Medicare claims data). For codes that fall into this
category, instead of assigning specialty mix based on the specialties
of the practitioners reporting the services in the claims data, we
instead use the expected specialty that we identify on a list developed
based on medical review and input from expert stakeholders. We display
this list of expected specialty assignments as part of the annual set
of data files we make available as part of notice and comment
rulemaking and consider recommendations from the RUC and other
stakeholders on changes to this list on an annual basis. Services for
which the specialty is automatically assigned based on previously
finalized policies under our established methodology (for example,
``always therapy'' services) are unaffected by the list of expected
specialty assignments. We also finalized in the CY 2018 PFS final rule
(82 FR 52982 through 59283) a policy to apply these service-level
overrides for both PE and MP, rather than one or the other category.
For CY 2020, we are proposing to clarify the expected specialty
assignment for a series of cardiothoracic services. Prior to the
creation of the expected specialty list for low volume services in CY
2018, we previously finalized through rulemaking a crosswalk to the
thoracic surgery specialty for a series of cardiothoracic services that
typically had fewer than 100 services reported each year (see, for
example, the CY 2012 PFS final rule (76 FR 73188-73189)). However, we
noted that for many of the affected codes, the expected specialty list
for low volume services incorrectly listed a crosswalk to the cardiac
surgery specialty instead of the thoracic surgery specialty. We are
proposing to update the expected specialty list to accurately reflect
the previously finalized crosswalk to thoracic surgery for these
services. The affected codes are shown in Table 1.
Table 1--Proposed Updates to Expected Specialty
------------------------------------------------------------------------
CY 2019 expected Updated CY 2020 expected
CPT code specialty specialty
------------------------------------------------------------------------
33414............. Cardiac Surgery.......... Thoracic Surgery.
33468............. Cardiac Surgery.......... Thoracic Surgery.
33470............. Cardiac Surgery.......... Thoracic Surgery.
33471............. Cardiac Surgery.......... Thoracic Surgery.
33476............. Cardiac Surgery.......... Thoracic Surgery.
33478............. Cardiac Surgery.......... Thoracic Surgery.
33502............. Cardiac Surgery.......... Thoracic Surgery.
33503............. Cardiac Surgery.......... Thoracic Surgery.
33504............. Cardiac Surgery.......... Thoracic Surgery.
33505............. Cardiac Surgery.......... Thoracic Surgery.
33506............. Cardiac Surgery.......... Thoracic Surgery.
33507............. Cardiac Surgery.......... Thoracic Surgery.
33600............. Cardiac Surgery.......... Thoracic Surgery.
33602............. Cardiac Surgery.......... Thoracic Surgery.
33606............. Cardiac Surgery.......... Thoracic Surgery.
33608............. Cardiac Surgery.......... Thoracic Surgery.
33610............. Cardiac Surgery.......... Thoracic Surgery.
33611............. Cardiac Surgery.......... Thoracic Surgery.
33612............. Cardiac Surgery.......... Thoracic Surgery.
33615............. Cardiac Surgery.......... Thoracic Surgery.
33617............. Cardiac Surgery.......... Thoracic Surgery.
33619............. Cardiac Surgery.......... Thoracic Surgery.
33620............. Cardiac Surgery.......... Thoracic Surgery.
33621............. Cardiac Surgery.......... Thoracic Surgery.
33622............. Cardiac Surgery.......... Thoracic Surgery.
33645............. Cardiac Surgery.......... Thoracic Surgery.
33647............. Cardiac Surgery.......... Thoracic Surgery.
33660............. Cardiac Surgery.......... Thoracic Surgery.
33665............. Cardiac Surgery.......... Thoracic Surgery.
33670............. Cardiac Surgery.......... Thoracic Surgery.
33675............. Cardiac Surgery.......... Thoracic Surgery.
33676............. Cardiac Surgery.......... Thoracic Surgery.
33677............. Cardiac Surgery.......... Thoracic Surgery.
33684............. Cardiac Surgery.......... Thoracic Surgery.
33688............. Cardiac Surgery.......... Thoracic Surgery.
33690............. Cardiac Surgery.......... Thoracic Surgery.
33692............. Cardiac Surgery.......... Thoracic Surgery.
33694............. Cardiac Surgery.......... Thoracic Surgery.
33697............. Cardiac Surgery.......... Thoracic Surgery.
33702............. Cardiac Surgery.......... Thoracic Surgery.
33710............. Cardiac Surgery.......... Thoracic Surgery.
33720............. Cardiac Surgery.......... Thoracic Surgery.
33722............. Cardiac Surgery.......... Thoracic Surgery.
33724............. Cardiac Surgery.......... Thoracic Surgery.
33726............. Cardiac Surgery.......... Thoracic Surgery.
33730............. Cardiac Surgery.......... Thoracic Surgery.
33732............. Cardiac Surgery.......... Thoracic Surgery.
33735............. Cardiac Surgery.......... Thoracic Surgery.
33736............. Cardiac Surgery.......... Thoracic Surgery.
[[Page 40488]]
33737............. Cardiac Surgery.......... Thoracic Surgery.
33750............. Cardiac Surgery.......... Thoracic Surgery.
33755............. Cardiac Surgery.......... Thoracic Surgery.
33762............. Cardiac Surgery.......... Thoracic Surgery.
33764............. Cardiac Surgery.......... Thoracic Surgery.
33766............. Cardiac Surgery.......... Thoracic Surgery.
33767............. Cardiac Surgery.......... Thoracic Surgery.
33768............. Cardiac Surgery.......... Thoracic Surgery.
33770............. Cardiac Surgery.......... Thoracic Surgery.
33771............. Cardiac Surgery.......... Thoracic Surgery.
33774............. Cardiac Surgery.......... Thoracic Surgery.
33775............. Cardiac Surgery.......... Thoracic Surgery.
33776............. Cardiac Surgery.......... Thoracic Surgery.
33777............. Cardiac Surgery.......... Thoracic Surgery.
33778............. Cardiac Surgery.......... Thoracic Surgery.
33779............. Cardiac Surgery.......... Thoracic Surgery.
33780............. Cardiac Surgery.......... Thoracic Surgery.
33781............. Cardiac Surgery.......... Thoracic Surgery.
33782............. Cardiac Surgery.......... Thoracic Surgery.
33783............. Cardiac Surgery.......... Thoracic Surgery.
33786............. Cardiac Surgery.......... Thoracic Surgery.
33788............. Cardiac Surgery.......... Thoracic Surgery.
33800............. Cardiac Surgery.......... Thoracic Surgery.
33802............. Cardiac Surgery.......... Thoracic Surgery.
33803............. Cardiac Surgery.......... Thoracic Surgery.
33813............. Cardiac Surgery.......... Thoracic Surgery.
33814............. Cardiac Surgery.......... Thoracic Surgery.
33820............. Cardiac Surgery.......... Thoracic Surgery.
33822............. Cardiac Surgery.......... Thoracic Surgery.
33824............. Cardiac Surgery.......... Thoracic Surgery.
33840............. Cardiac Surgery.......... Thoracic Surgery.
33845............. Cardiac Surgery.......... Thoracic Surgery.
33851............. Cardiac Surgery.......... Thoracic Surgery.
33852............. Cardiac Surgery.......... Thoracic Surgery.
33853............. Cardiac Surgery.......... Thoracic Surgery.
33917............. Cardiac Surgery.......... Thoracic Surgery.
33920............. Cardiac Surgery.......... Thoracic Surgery.
33922............. Cardiac Surgery.......... Thoracic Surgery.
33924............. Cardiac Surgery.......... Thoracic Surgery.
33925............. Cardiac Surgery.......... Thoracic Surgery.
33926............. Cardiac Surgery.......... Thoracic Surgery.
35182............. Cardiac Surgery.......... Thoracic Surgery.
------------------------------------------------------------------------
We note that the cardiac surgery and thoracic surgery specialties
are similar to one another, sharing the same PE/HR data for PE
valuation and nearly identical MP risk factors for MP valuation. As a
result, we do not anticipate this proposal having a discernible effect
on the valuation of the codes listed above. For additional discussion
on this issue, we refer readers to section II.C of this proposed rule,
Malpractice. The complete list of expected specialty assignments for
individual low volume services, including the assignments for the codes
identified in Table 1, is available on our website under downloads for
the CY 2020 PFS proposed rule at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/PhysicianFeeSched/PFS-Federal-Regulation-Notices.html.
Step 8: Calculate the service level allocators for the indirect PEs
based on the percentages calculated in Step 7. The indirect PEs are
allocated based on the three components: The direct PE RVUs; the
clinical labor PE RVUs; and the work RVUs.
For most services the indirect allocator is: indirect PE percentage
* (direct PE RVUs/direct percentage) + work RVUs.
There are two situations where this formula is modified:
If the service is a global service (that is, a service
with global, professional, and technical components), then the indirect
PE allocator is: indirect percentage (direct PE RVUs/direct percentage)
+ clinical labor PE RVUs + work RVUs.
If the clinical labor PE RVUs exceed the work RVUs (and
the service is not a global service), then the indirect allocator is:
indirect PE percentage (direct PE RVUs/direct percentage) + clinical
labor PE RVUs.
(Note: For global services, the indirect PE allocator is based on
both the work RVUs and the clinical labor PE RVUs. We do this to
recognize that, for the PC service, indirect PEs would be allocated
using the work RVUs, and for the TC service, indirect PEs would be
allocated using the direct PE RVUs and the clinical labor PE RVUs. This
also allows the global component RVUs to equal the sum of the PC and TC
RVUs.)
For presentation purposes, in the examples in the download file
called ``Calculation of PE RVUs under Methodology for Selected Codes'',
the formulas were divided into two parts for each service.
The first part does not vary by service and is the
indirect percentage (direct PE RVUs/direct percentage).
The second part is either the work RVU, clinical labor PE
RVU, or both depending on whether the service is a global service and
whether the clinical PE RVUs exceed the work RVUs (as described earlier
in this step).
Apply a scaling adjustment to the indirect allocators.
Step 9: Calculate the current aggregate pool of indirect PE RVUs by
multiplying the result of step 8 by the average indirect PE percentage
from the survey data.
Step 10: Calculate an aggregate pool of indirect PE RVUs for all
PFS services by adding the product of the indirect PE allocators for a
service from Step 8 and the utilization data for that service.
Step 11: Using the results of Step 9 and Step 10, calculate an
indirect PE adjustment so that the aggregate indirect allocation does
not exceed the available aggregate indirect PE RVUs and apply it to
indirect allocators calculated in Step 8.
Calculate the indirect practice cost index.
Step 12: Using the results of Step 11, calculate aggregate pools of
specialty-specific adjusted indirect PE allocators for all PFS services
for a specialty by adding the product of the adjusted indirect PE
allocator for each service and the utilization data for that service.
Step 13: Using the specialty-specific indirect PE/HR data,
calculate specialty-specific aggregate pools of indirect PE for all PFS
services for that specialty by adding the product of the indirect PE/HR
for the specialty, the work time for the service, and the specialty's
utilization for the service across all services furnished by the
specialty.
Step 14: Using the results of Step 12 and Step 13, calculate the
specialty-specific indirect PE scaling factors.
Step 15: Using the results of Step 14, calculate an indirect
practice cost index at the specialty level by dividing each specialty-
specific indirect scaling factor by the average indirect scaling factor
for the entire PFS.
Step 16: Calculate the indirect practice cost index at the service
level to ensure the capture of all indirect costs. Calculate a weighted
average of the practice cost index values for the specialties that
furnish the service. (Note: For services with TCs and PCs, we calculate
the indirect practice cost index across the global service, PCs, and
TCs. Under this method, the indirect practice cost index for a given
service (for example, echocardiogram) does not vary by the PC, TC, and
global service.)
Step 17: Apply the service level indirect practice cost index
calculated in Step 16 to the service level adjusted indirect allocators
calculated in Step 11 to get the indirect PE RVUs.
(d) Calculate the Final PE RVUs
Step 18: Add the direct PE RVUs from Step 5 to the indirect PE RVUs
from Step 17 and apply the final PE budget neutrality (BN) adjustment.
The final PE BN adjustment is calculated by comparing the sum of steps
5 and 17 to the proposed aggregate work RVUs scaled by the ratio of
current aggregate PE and work RVUs. This adjustment ensures that all PE
RVUs in the PFS account for the fact that certain specialties are
excluded from the calculation of PE RVUs but included in maintaining
overall PFS budget neutrality. (See ``Specialties excluded from
ratesetting calculation'' later in this proposed rule.)
Step 19: Apply the phase-in of significant RVU reductions and its
associated adjustment. Section 1848(c)(7) of the Act specifies that for
services that are not new or revised codes, if the total RVUs for a
service for a year would otherwise be decreased by an estimated 20
percent or more as compared to the total RVUs for the previous year,
the applicable
[[Page 40489]]
adjustments in work, PE, and MP RVUs shall be phased in over a 2-year
period. In implementing the phase-in, we consider a 19 percent
reduction as the maximum 1-year reduction for any service not described
by a new or revised code. This approach limits the year one reduction
for the service to the maximum allowed amount (that is, 19 percent),
and then phases in the remainder of the reduction. To comply with
section 1848(c)(7) of the Act, we adjust the PE RVUs to ensure that the
total RVUs for all services that are not new or revised codes decrease
by no more than 19 percent, and then apply a relativity adjustment to
ensure that the total pool of aggregate PE RVUs remains relative to the
pool of work and MP RVUs. For a more detailed description of the
methodology for the phase-in of significant RVU changes, we refer
readers to the CY 2016 PFS final rule with comment period (80 FR 70927
through 70931).
(e) Setup File Information
Specialties excluded from ratesetting calculation: For the
purposes of calculating the PE and MP RVUs, we exclude certain
specialties, such as certain NPPs paid at a percentage of the PFS and
low-volume specialties, from the calculation. These specialties are
included for the purposes of calculating the BN adjustment. They are
displayed in Table 2.
Table 2--Specialties Excluded From Ratesetting Calculation
------------------------------------------------------------------------
Specialty code Specialty description
------------------------------------------------------------------------
49...................... Ambulatory surgical center.
50...................... Nurse practitioner.
51...................... Medical supply company with certified
orthotist.
52...................... Medical supply company with certified
prosthetist.
53...................... Medical supply company with certified
prosthetist[dash]orthotist.
54...................... Medical supply company not included in 51, 52,
or 53.
55...................... Individual certified orthotist.
56...................... Individual certified prosthetist.
57...................... Individual certified
prosthetist[dash]orthotist.
58...................... Medical supply company with registered
pharmacist.
59...................... Ambulance service supplier, e.g., private
ambulance companies, funeral homes, etc.
60...................... Public health or welfare agencies.
61...................... Voluntary health or charitable agencies.
73...................... Mass immunization roster biller.
74...................... Radiation therapy centers.
87...................... All other suppliers (e.g., drug and department
stores).
88...................... Unknown supplier/provider specialty.
89...................... Certified clinical nurse specialist.
96...................... Optician.
97...................... Physician assistant.
A0...................... Hospital.
A1...................... SNF.
A2...................... Intermediate care nursing facility.
A3...................... Nursing facility, other.
A4...................... HHA.
A5...................... Pharmacy.
A6...................... Medical supply company with respiratory
therapist.
A7...................... Department store.
A8...................... Grocery store.
B1...................... Supplier of oxygen and/or oxygen related
equipment (eff. 10/2/2007).
B2...................... Pedorthic personnel.
B3...................... Medical supply company with pedorthic
personnel.
B4...................... Rehabilitation Agency.
B5...................... Ocularist.
C1...................... Centralized Flu.
C2...................... Indirect Payment Procedure.
C5...................... Dentistry.
------------------------------------------------------------------------
Crosswalk certain low volume physician specialties:
Crosswalk the utilization of certain specialties with relatively low
PFS utilization to the associated specialties.
Physical therapy utilization: Crosswalk the utilization
associated with all physical therapy services to the specialty of
physical therapy.
Identify professional and technical services not
identified under the usual TC and 26 modifiers: Flag the services that
are PC and TC services but do not use TC and 26 modifiers (for example,
electrocardiograms). This flag associates the PC and TC with the
associated global code for use in creating the indirect PE RVUs. For
example, the professional service, CPT code 93010 (Electrocardiogram,
routine ECG with at least 12 leads; interpretation and report only), is
associated with the global service, CPT code 93000 (Electrocardiogram,
routine ECG with at least 12 leads; with interpretation and report).
[[Page 40490]]
Payment modifiers: Payment modifiers are accounted for in
the creation of the file consistent with current payment policy as
implemented in claims processing. For example, services billed with the
assistant at surgery modifier are paid 16 percent of the PFS amount for
that service; therefore, the utilization file is modified to only
account for 16 percent of any service that contains the assistant at
surgery modifier. Similarly, for those services to which volume
adjustments are made to account for the payment modifiers, time
adjustments are applied as well. For time adjustments to surgical
services, the intraoperative portion in the work time file is used;
where it is not present, the intraoperative percentage from the payment
files used by contractors to process Medicare claims is used instead.
Where neither is available, we use the payment adjustment ratio to
adjust the time accordingly. Table 3 details the manner in which the
modifiers are applied.
Table 3--Application of Payment Modifiers to Utilization Files
------------------------------------------------------------------------
Volume
Modifier Description adjustment Time adjustment
------------------------------------------------------------------------
80,81,82............ Assistant at 16%............ Intraoperative
Surgery. portion.
AS.................. Assistant at 14% (85% * 16%) Intraoperative
Surgery--Physic portion.
ian Assistant.
50 or LT and RT..... Bilateral 150%........... 150% of work
Surgery. time.
51.................. Multiple 50%............ Intraoperative
Procedure. portion.
52.................. Reduced Services 50%............ 50%.
53.................. Discontinued 50%............ 50%.
Procedure.
54.................. Intraoperative Preoperative + Preoperative +
Care only. Intraoperative Intraoperative
Percentages on portion.
the payment
files used by
Medicare
contractors to
process
Medicare
claims.
55.................. Postoperative Postoperative Postoperative
Care only. Percentage on portion.
the payment
files used by
Medicare
contractors to
process
Medicare
claims.
62.................. Co-surgeons..... 62.5%.......... 50%.
66.................. Team Surgeons... 33%............ 33%.
------------------------------------------------------------------------
We also make adjustments to volume and time that correspond to
other payment rules, including special multiple procedure endoscopy
rules and multiple procedure payment reductions (MPPRs). We note that
section 1848(c)(2)(B)(v) of the Act exempts certain reduced payments
for multiple imaging procedures and multiple therapy services from the
BN calculation under section 1848(c)(2)(B)(ii)(II) of the Act. These
MPPRs are not included in the development of the RVUs.
For anesthesia services, we do not apply adjustments to volume
since we use the average allowed charge when simulating RVUs;
therefore, the RVUs as calculated already reflect the payments as
adjusted by modifiers, and no volume adjustments are necessary.
However, a time adjustment of 33 percent is made only for medical
direction of two to four cases since that is the only situation where a
single practitioner is involved with multiple beneficiaries
concurrently, so that counting each service without regard to the
overlap with other services would overstate the amount of time spent by
the practitioner furnishing these services.
Work RVUs: The setup file contains the work RVUs from this
proposed rule.
(6) Equipment Cost per Minute
The equipment cost per minute is calculated as:
(1/(minutes per year * usage)) * price * ((interest rate/(1-(1/((1 +
interest rate)-life of equipment)))) + maintenance)
Where:
minutes per year = maximum minutes per year if usage were continuous
(that is, usage=1); generally 150,000 minutes.
usage = variable, see discussion below in this proposed rule.
price = price of the particular piece of equipment.
life of equipment = useful life of the particular piece of
equipment.
maintenance = factor for maintenance; 0.05.
interest rate = variable, see discussion below in this proposed
rule.
Usage: We currently use an equipment utilization rate assumption of
50 percent for most equipment, with the exception of expensive
diagnostic imaging equipment, for which we use a 90 percent assumption
as required by section 1848(b)(4)(C) of the Act.
Stakeholders have often suggested that particular equipment items
are used less frequently than 50 percent of the time in the typical
setting and that CMS should reduce the equipment utilization rate based
on these recommendations. We appreciate and share stakeholders'
interest in using the most accurate assumption regarding the equipment
utilization rate for particular equipment items. However, we believe
that absent robust, objective, auditable data regarding the use of
particular items, the 50 percent assumption is the most appropriate
within the relative value system. We welcome the submission of data
that would support an alternative rate.
[[Page 40491]]
Maintenance: This factor for maintenance was finalized in the CY
1998 PFS final rule with comment period (62 FR 33164). As we previously
stated in the CY 2016 PFS final rule with comment period (80 FR 70897),
we do not believe the annual maintenance factor for all equipment is
precisely 5 percent, and we concur that the current rate likely
understates the true cost of maintaining some equipment. We also
believe it likely overstates the maintenance costs for other equipment.
When we solicited comments regarding sources of data containing
equipment maintenance rates, commenters were unable to identify an
auditable, robust data source that could be used by CMS on a wide
scale. We do not believe that voluntary submissions regarding the
maintenance costs of individual equipment items would be an appropriate
methodology for determining costs. As a result, in the absence of
publicly available datasets regarding equipment maintenance costs or
another systematic data collection methodology for determining a
different maintenance factor, we do not believe that we have sufficient
information at present to propose a variable maintenance factor for
equipment cost per minute pricing. We continue to investigate potential
avenues for determining equipment maintenance costs across a broad
range of equipment items.
Interest Rate: In the CY 2013 PFS final rule with comment period
(77 FR 68902), we updated the interest rates used in developing an
equipment cost per minute calculation (see 77 FR 68902 for a thorough
discussion of this issue). The interest rate was based on the Small
Business Administration (SBA) maximum interest rates for different
categories of loan size (equipment cost) and maturity (useful life). We
are not proposing any changes to these interest rates for CY 2020. The
Interest rates are listed in Table 4.
Table 4--SBA Maximum Interest Rates
------------------------------------------------------------------------
Interest
Price Useful life years rate (%)
------------------------------------------------------------------------
<$25K.............................. <7.................... 7.50
$25K to $50K....................... <7.................... 6.50
>$50K.............................. <7.................... 5.50
<$25K.............................. 7+.................... 8.00
$25K to $50K....................... 7+.................... 7.00
>$50K.............................. 7+.................... 6.00
------------------------------------------------------------------------
3. Changes to Direct PE Inputs for Specific Services
This section focuses on specific PE inputs. The direct PE inputs
are included in the CY 2020 direct PE input public use files, which are
available on the CMS website under downloads for the CY 2020 PFS
proposed rule at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/PhysicianFeeSched/PFS-Federal-Regulation-Notices.html.
a. Standardization of Clinical Labor Tasks
As we noted in the CY 2015 PFS final rule with comment period (79
FR 67640-67641), we continue to make improvements to the direct PE
input database to provide the number of clinical labor minutes assigned
for each task for every code in the database instead of only including
the number of clinical labor minutes for the preservice, service, and
postservice periods for each code. In addition to increasing the
transparency of the information used to set PE RVUs, this level of
detail would allow us to compare clinical labor times for activities
associated with services across the PFS, which we believe is important
to maintaining the relativity of the direct PE inputs. This information
would facilitate the identification of the usual numbers of minutes for
clinical labor tasks and the identification of exceptions to the usual
values. It would also allow for greater transparency and consistency in
the assignment of equipment minutes based on clinical labor times.
Finally, we believe that the detailed information can be useful in
maintaining standard times for particular clinical labor tasks that can
be applied consistently to many codes as they are valued over several
years, similar in principle to the use of physician preservice time
packages. We believe that setting and maintaining such standards would
provide greater consistency among codes that share the same clinical
labor tasks and could improve relativity of values among codes. For
example, as medical practice and technologies change over time, changes
in the standards could be updated simultaneously for all codes with the
applicable clinical labor tasks, instead of waiting for individual
codes to be reviewed.
In the CY 2016 PFS final rule with comment period (80 FR 70901), we
solicited comments on the appropriate standard minutes for the clinical
labor tasks associated with services that use digital technology. After
consideration of comments received, we finalized standard times for
clinical labor tasks associated with digital imaging at 2 minutes for
``Availability of prior images confirmed'', 2 minutes for ``Patient
clinical information and questionnaire reviewed by technologist, order
from physician confirmed and exam protocoled by radiologist'', 2
minutes for ``Review examination with interpreting MD'', and 1 minute
for ``Exam documents scanned into PACS.'' Exam completed in RIS system
to generate billing process and to populate images into Radiologist
work queue.'' In the CY 2017 PFS final rule (81 FR 80184 through
80186), we finalized a policy to establish a range of appropriate
standard minutes for the clinical labor activity, ``Technologist QCs
images in PACS, checking for all images, reformats, and dose page.''
These standard minutes will be applied to new and revised codes that
make use of this clinical labor activity when they are reviewed by us
for valuation. We finalized a policy to establish 2 minutes as the
standard for the simple case, 3 minutes as the standard for the
intermediate case, 4 minutes as the standard for the complex case, and
5 minutes as the standard for the highly complex case. These values
were based upon a review of the existing minutes assigned for this
clinical labor activity; we determined that 2 minutes is the duration
for most services and a small number of codes with more complex forms
of digital imaging have higher values.
[[Page 40492]]
We also finalized standard times for clinical labor tasks
associated with pathology services in the CY 2016 PFS final rule with
comment period (80 FR 70902) at 4 minutes for ``Accession specimen/
prepare for examination'', 0.5 minutes for ``Assemble and deliver
slides with paperwork to pathologists'', 0.5 minutes for ``Assemble
other light microscopy slides, open nerve biopsy slides, and clinical
history, and present to pathologist to prepare clinical pathologic
interpretation'', 1 minute for ``Clean room/equipment following
procedure'', 1 minute for ``Dispose of remaining specimens, spent
chemicals/other consumables, and hazardous waste'', and 1 minute for
``Prepare, pack and transport specimens and records for in-house
storage and external storage (where applicable).'' We do not believe
these activities would be dependent on number of blocks or batch size,
and we believe that these values accurately reflect the typical time it
takes to perform these clinical labor tasks.
In reviewing the RUC-recommended direct PE inputs for CY 2019, we
noticed that the 3 minutes of clinical labor time traditionally
assigned to the ``Prepare room, equipment and supplies'' (CA013)
clinical labor activity were split into 2 minutes for the ``Prepare
room, equipment and supplies'' activity and 1 minute for the ``Confirm
order, protocol exam'' (CA014) activity. We proposed to maintain the 3
minutes of clinical labor time for the ``Prepare room, equipment and
supplies'' activity and remove the clinical labor time for the
``Confirm order, protocol exam'' activity wherever we observed this
pattern in the RUC-recommended direct PE inputs. Commenters explained
in response that when the new version of the PE worksheet introduced
the activity codes for clinical labor, there was a need to translate
old clinical labor tasks into the new activity codes, and that a prior
clinical labor task was split into two of the new clinical labor
activity codes: CA007 (``Review patient clinical extant information and
questionnaire'') in the preservice period, and CA014 (``Confirm order,
protocol exam'') in the service period. Commenters stated that the same
clinical labor from the old PE worksheet was now divided into the CA007
and CA014 activity codes, with a standard of 1 minute for each
activity. We agreed with commenters that we would finalize the RUC-
recommended 2 minutes of clinical labor time for the CA007 activity
code and 1 minute for the CA014 activity code in situations where this
was the case. However, when reviewing the clinical labor for the
reviewed codes affected by this issue, we found that several of the
codes did not include this old clinical labor task, and we also noted
that several of the reviewed codes that contained the CA014 clinical
labor activity code did not contain any clinical labor for the CA007
activity. In these situations, we continue to believe that in these
cases the 3 total minutes of clinical staff time would be more
accurately described by the CA013 ``Prepare room, equipment and
supplies'' activity code, and we finalized these clinical labor
refinements. For additional details, we direct readers to the
discussion in the CY 2019 PFS final rule (83 FR 59463-59464).
Historically, the RUC has submitted a ``PE worksheet'' that details
the recommended direct PE inputs for our use in developing PE RVUs. The
format of the PE worksheet has varied over time and among the medical
specialties developing the recommendations. These variations have made
it difficult for both the RUC's development and our review of code
values for individual codes. Beginning with its recommendations for CY
2019, the RUC has mandated the use of a new PE worksheet for purposes
of their recommendation development process that standardizes the
clinical labor tasks and assigns them a clinical labor activity code.
We believe the RUC's use of the new PE worksheet in developing and
submitting recommendations will help us to simplify and standardize the
hundreds of different clinical labor tasks currently listed in our
direct PE database. As we did in previous calendar years, to facilitate
rulemaking for CY 2020, we are continuing to display two versions of
the Labor Task Detail public use file: One version with the old listing
of clinical labor tasks, and one with the same tasks crosswalked to the
new listing of clinical labor activity codes. These lists are available
on the CMS website under downloads for the CY 2020 PFS proposed rule at
https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/PhysicianFeeSched/PFS-Federal-Regulation-Notices.html.
b. Equipment Recommendations for Scope Systems
During our routine reviews of direct PE input recommendations, we
have regularly found unexplained inconsistencies involving the use of
scopes and the video systems associated with them. Some of the scopes
include video systems bundled into the equipment item, some of them
include scope accessories as part of their price, and some of them are
standalone scopes with no other equipment included. It is not always
clear which equipment items related to scopes fall into which of these
categories. We have also frequently found anomalies in the equipment
recommendations, with equipment items that consist of a scope and video
system bundle recommended, along with a separate scope video system.
Based on our review, the variations do not appear to be consistent with
the different code descriptions.
To promote appropriate relativity among the services and facilitate
the transparency of our review process, during the review of the
recommended direct PE inputs for the CY 2017 PFS proposed rule, we
developed a structure that separates the scope, the associated video
system, and any scope accessories that might be typical as distinct
equipment items for each code. Under this approach, we proposed
standalone prices for each scope, and separate prices for the video
systems and accessories that are used with scopes.
(1) Scope Equipment
Beginning in the CY 2017 PFS proposed rule (81 FR 46176 through
46177), we proposed standardizing refinements to the way scopes have
[[Page 40493]]
been defined in the direct PE input database. We believe that there are
four general types of scopes: Non-video scopes; flexible scopes; semi-
rigid scopes, and rigid scopes. Flexible scopes, semi-rigid scopes, and
rigid scopes would typically be paired with one of the scope video
systems, while the non-video scopes would not. The flexible scopes can
be further divided into diagnostic (or non-channeled) and therapeutic
(or channeled) scopes. We proposed to identify for each anatomical
application: (1) A rigid scope; (2) a semi-rigid scope; (3) a non-video
flexible scope; (4) a non-channeled flexible video scope; and (5) a
channeled flexible video scope. We proposed to classify the existing
scopes in our direct PE database under this classification system, to
improve the transparency of our review process and improve appropriate
relativity among the services. We planned to propose input prices for
these equipment items through future rulemaking.
We proposed these changes only for the reviewed codes for CY 2017
that made use of scopes, along with updated prices for the equipment
items related to scopes utilized by these services. We did not propose
to apply these policies to codes with inputs reviewed prior to CY 2017.
We also solicited comment on this separate pricing structure for
scopes, scope video systems, and scope accessories, which we could
consider proposing to apply to other codes in future rulemaking. We did
not finalize price increases for a series of other scopes and scope
accessories, as the invoices submitted for these components indicated
that they are different forms of equipment with different product IDs
and different prices. We did not receive any data to indicate that the
equipment on the newly submitted invoices was more typical in its use
than the equipment that we were currently using for pricing.
We did not make further changes to existing scope equipment in CY
2017 to allow the RUC's PE Subcommittee the opportunity to provide
feedback. However, we believed there was some miscommunication on this
point, as the RUC's PE Subcommittee workgroup that was created to
address scope systems stated that no further action was required
following the finalization of our proposal. Therefore, we made further
proposals in the CY 2018 PFS proposed rule (82 FR 33961 through 33962)
to continue clarifying scope equipment inputs, and sought comments
regarding the new set of scope proposals. We considered creating a
single scope equipment code for each of the five categories detailed in
this rule: (1) A rigid scope; (2) a semi-rigid scope; (3) a non-video
flexible scope; (4) a non-channeled flexible video scope; and (5) a
channeled flexible video scope. Under the current classification
system, there are many different scopes in each category depending on
the medical specialty furnishing the service and the part of the body
affected. We stated our belief that the variation between these scopes
was not significant enough to warrant maintaining these distinctions,
and we believed that creating and pricing a single scope equipment code
for each category would help provide additional clarity. We sought
public comment on the merits of this potential scope organization, as
well as any pricing information regarding these five new scope
categories.
After considering the comments on the CY 2018 PFS proposed rule, we
did not finalize our proposal to create and price a single scope
equipment code for each of the five categories previously identified.
Instead, we supported the recommendation from the commenters to create
scope equipment codes on a per-specialty basis for six categories of
scopes as applicable, including the addition of a new sixth category of
multi-channeled flexible video scopes. Our goal was to create an
administratively simple scheme that would be easier to maintain and
help to reduce administrative burden. In 2018, the RUC convened a Scope
Equipment Reorganization Workgroup to incorporate feedback from expert
stakeholders with the intention of making recommendations to us on
scope organization and scope pricing. Since the workgroup was not
convened in time to submit recommendations for the CY 2019 PFS
rulemaking cycle, we delayed proposals for any further changes to scope
equipment until CY 2020 in order to incorporate the feedback from the
aforementioned workgroup.
(2) Scope Video System
We proposed in the CY 2017 PFS proposed rule (81 FR 46176 through
46177) to define the scope video system as including: (1) A monitor;
(2) a processor; (3) a form of digital capture; (4) a cart; and (5) a
printer. We believe that these equipment components represent the
typical case for a scope video system. Our model for this system was
the ``video system, endoscopy (processor, digital capture, monitor,
printer, cart)'' equipment item (ES031), which we proposed to re-price
as part of this separate pricing approach. We obtained current pricing
invoices for the endoscopy video system as part of our investigation of
these issues involving scopes, which we proposed to use for this re-
pricing. In response to comments, we finalized the addition of a
digital capture device to the endoscopy video system (ES031) in the CY
2017 PFS final rule (81 FR 80188). We finalized our proposal to price
the system at $33,391, based on component prices of $9,000 for the
processor, $18,346 for the digital capture device, $2,000 for the
monitor, $2,295 for the printer, and $1,750 for the cart. In the CY
2018 PFS final rule (82 FR 52991 through 52993), we outlined, but did
not finalize, a proposal to add an LED light source into the cost of
the scope video system (ES031), which would remove the need for a
separate light source in these procedures. We also described a proposal
to increase the price of the scope video system by $1,000 to cover the
expense of miscellaneous small equipment associated with the system
that falls below the threshold of individual equipment pricing as scope
accessories (such as cables, microphones, foot pedals, etc.). With the
addition of the LED light (equipment code EQ382 at a price of $1,915),
the updated total price of the scope video system would be set at
$36,306.
We did not finalize this updated pricing to the scope video system
in CY 2018, but we did propose and finalize the updated pricing for CY
2019 to $36,306 along with changing the name of the ES031 equipment
item to ``scope video system (monitor, processor, digital capture,
cart, printer, LED light)'' to reflect the fact that the use of the
ES031 scope video system is not limited to endoscopy procedures.
(3) Scope Accessories
We understand that there may be other accessories associated with
the use of scopes. We finalized a proposal in the CY 2017 PFS final
rule (81 FR 80188) to separately price any scope accessories outside
the use of the scope video system, and individually evaluate their
inclusion or exclusion as direct PE inputs for particular codes as
usual under our current policy based on whether they are typically used
in furnishing the services described by the particular codes.
(4) Scope Proposals for CY 2020
The Scope Equipment Reorganization Workgroup organized by the RUC
submitted detailed recommendations to CMS for consideration in the CY
2020 rule cycle, describing 23 different types of scope equipment, the
HCPCS codes associated with each scope type, and a series of invoices
for scope pricing. We
[[Page 40494]]
appreciate the information provided by the workgroup and continue to
welcome additional comments and feedback from stakeholders. Based on
the recommendations from the workgroup, we are proposing to establish
23 new scope equipment codes (see Table 5).
Table 5--CY 2020 Proposed New Scope Equipment Codes
------------------------------------------------------------------------
Proposed scope
CMS code equipment Proposed price Number of
description invoices
------------------------------------------------------------------------
ES070................ rigid scope, .............. 0
cystoscopy.
ES071................ rigid scope, .............. 0
hysteroscopy.
ES072................ rigid scope, .............. 0
otoscopy.
ES073................ rigid scope, .............. 0
nasal/sinus
endoscopy.
ES074................ rigid scope, .............. 0
proctosigmoidosc
opy.
ES075................ rigid scope, $3,966.08 5
laryngoscopy.
ES076................ rigid scope, 14,500.00 1
colposcopy.
ES077................ non-channeled .............. 0
flexible digital
scope,
hysteroscopy.
ES078................ non-channeled .............. 0
flexible digital
scope,
nasopharyngoscop
y.
ES079................ non-channeled .............. 0
flexible digital
scope,
bronchoscopy.
ES080................ non-channeled 21,485.51 7
flexible digital
scope,
laryngoscopy.
ES081................ channeled .............. 0
flexible digital
scope,
cystoscopy.
ES082................ channeled .............. 0
flexible digital
scope,
hysteroscopy.
ES083................ channeled .............. 0
flexible digital
scope,
bronchoscopy.
ES084................ channeled 18,694.39 5
flexible digital
scope,
laryngoscopy.
ES085................ multi-channeled 17,360.00 1
flexible digital
scope, flexible
sigmoidoscopy.
ES086................ multi-channeled 38,058.81 6
flexible digital
scope,
colonoscopy.
ES087................ multi-channeled .............. 0
flexible digital
scope,
esophagoscopy
gastroscopy
duodenoscopy
(EGD).
ES088................ multi-channeled 34,585.35 5
flexible digital
scope,
esophagoscopy.
ES089................ multi-channeled .............. 0
flexible digital
scope, ileoscopy.
ES090................ multi-channeled .............. 0
flexible digital
scope,
pouchoscopy.
ES091................ ultrasound .............. 0
digital scope,
endoscopic
ultrasound.
ES092................ non-video 5,078.04 4
flexible scope,
laryngoscopy.
------------------------------------------------------------------------
We note that we did not receive invoices for many of the new scope
equipment items. There also was some inconsistency in the workgroup
recommendations regarding the non-channeled flexible digital scope,
laryngoscopy (ES080) equipment item and the non-video flexible scope,
laryngoscopy (ES092) equipment item. These scopes were listed as a
single equipment item in some of the workgroup materials and listed as
separate equipment items in other materials. We are proposing to
establish them as separate equipment items based on the submitted
invoices, which demonstrated that these were two different types of
scopes with distinct price points of approximately $17,000 and $5,000
respectively.
We noted a similar issue with the submitted invoices for the rigid
scope, laryngoscopy (ES075) equipment item. Among the eight total
invoices, five of them were clustered around a price point of
approximately $4,000 while the other three invoices had prices of
roughly $15,000 apiece. The invoices indicated that these prices came
from two distinct types of equipment, and as a result we are proposing
to consider these items separately. We are proposing to use the initial
five invoices to establish a proposed price of $3,966.08 for the rigid
scope, laryngoscopy (ES075) equipment item. We note that this is a
close match for the current price of $3,178.08 used by the endoscope,
rigid, laryngoscopy (ES010) equipment, which is the closest equivalent
scope equipment. The other three invoices appear to describe a type of
stroboscopy system rather than a scope, and they have an average price
of $14,737. This is a reasonably close match for the price of our
current stroboscoby system (ES065) equipment, which has a CY 2020 price
of $17,950.28 as it transitions to a final CY 2022 destination price of
$16,843.87 (see the 4-year pricing transition of the market-based
supply and equipment pricing update discussed later in this section for
more information). We believe that these invoices reinforce the value
established by the market-based pricing update for the stroboscoby
system carried out last year, and we are not proposing to update the
price of the ES065 equipment at this time. However, we are open to
feedback from stakeholders if they believe it would be more accurate to
assign a price of $14,737 to the stroboscoby system based on these
invoice submissions, as opposed to maintaining the current pricing
transition to a CY 2022 price of $16,843.87.
For the eight new scope equipment items where we have submitted
invoices for pricing, we are proposing to replace the existing scopes
with the new scope equipment. We received recommendations from the
RUC's scope workgroup regarding which HCPCS codes make use of the new
scope equipment items, and we are proposing to make this scope
replacement for approximately 100 HCPCS codes in total (see Table 6).
BILLING CODE 4120-01-P
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BILLING CODE 4120-01-C
In all but three cases, we are proposing for the new scope
equipment item to replace the existing scope with the identical amount
of equipment time. For CPT codes 92612 (Flexible endoscopic evaluation
of swallowing by cine or video recording), 92614 (Flexible endoscopic
evaluation, laryngeal sensory testing by cine or video recording), and
92616 (Flexible endoscopic evaluation of swallowing and laryngeal
sensory testing by cine or video recording), the current scopes in use
are the FEES video system (ES027) and the FEESST video system (ES028).
Since we are proposing the use of a non-channeled flexible digital
scope that requires a corresponding scope video system, we are adding
the ES080 equipment at the same equipment time
[[Page 40499]]
to these three procedures rather than replacing the ES027 and ES028
equipment. In all other cases, we are proposing to replace the current
scope equipment listed in Table 6 with the new scope equipment, while
maintaining the same amount of equipment time.
We identified inconsistencies with the workgroup recommendations
for a small number of HCPCS codes. CPT code 45350 (Sigmoidoscopy,
flexible; with band ligation(s) (e.g., hemorrhoids)) was recommended to
include a multi-channeled flexible digital scope, flexible
sigmoidoscopy (ES085), however, we noted that this CPT code does not
include any scopes among its current direct PE inputs. CPT code 31595
was recommended to include a non-channeled flexible digital scope,
laryngoscopy (ES080) but it no longer exists as a CPT code after having
been deleted for CY 2019. CPT code 43232 (Esophagoscopy, flexible,
transoral; with transendoscopic ultrasound-guided intramural or
transmural fine needle aspiration/biopsy(s)) was recommended to include
a multi-channeled flexible digital scope, esophagoscopy (ES088), but it
does not include a scope amongst its direct PE inputs any longer
following clarification from the same workgroup recommendations that
CPT code 43232 is never performed in the nonfacility setting. In all
three of these cases, we are not proposing to add one of the new scope
equipment items to these procedures.
We did not receive pricing information along with the workgroup
recommendations for the other 15 new scope equipment items. For CY
2020, we are proposing to establish new equipment codes for these
scopes as detailed in Table 5. However, due to a lack of pricing
information, we are not proposing to replace existing scope equipment
with the new equipment items as we did for the other eight new scope
equipment items for CY 2020. We welcome additional feedback from
stakeholders regarding the pricing of these scope equipment items,
especially the submission of detailed invoices with pricing data. We
are proposing to transition the scopes for which we do have pricing
information over to the new equipment items for CY 2020, and we look
forward to engaging with stakeholders to assist in pricing and then
transitioning the remaining scopes in future rulemaking.
c. Technical Corrections to Direct PE Input Database and Supporting
Files
Subsequent to the publication of the CY 2019 PFS final rule,
stakeholders alerted us to several clerical inconsistencies in the
direct PE database. We are proposing to correct these inconsistencies
as described below and reflected in the CY 2020 proposed direct PE
input database displayed on the CMS website under downloads for the CY
2020 PFS proposed rule at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/PhysicianFeeSched/PFS-Federal-Regulation-Notices.html.
For CY 2020, we are proposing to address the following
inconsistencies:
The RUC's Scope Equipment Reorganization Workgroup
recommended deletion of the non-facility inputs for CPT codes 43231
(Esophagoscopy, flexible, transoral; with endoscopic ultrasound
examination) and 43232 (Esophagoscopy, flexible, transoral; with
transendoscopic ultrasound-guided intramural or transmural fine needle
aspiration/biopsy(s)). The gastroenterology specialty societies stated
that these services are never performed in the non-facility setting.
After our own review of these services, we agree with the workgroup's
recommendation, and we are proposing to remove the non-facility direct
PE inputs for these two CPT codes.
In rulemaking for CY 2018, we reviewed a series of CPT
codes describing nasal sinus endoscopy surgeries. At that time, we
sought comments on whether the broader family of nasal sinus endoscopy
surgery services should be subject to the special rules for multiple
endoscopic procedures instead of the standard multiple procedure
payment reduction. We received very few comments in response to our
solicitation. In the CY 2018 PFS final rule (82 FR 53043), we indicated
that we would continue to explore this option for future rulemaking. We
are proposing to apply the special rule for multiple endoscopic
procedures to this family of codes beginning in CY 2020. This proposal
would treat this group of CPT codes consistently with other similar
endoscopic procedures when codes within the CPT code family are billed
together with another endoscopy service in the same family. Similar to
other similar endoscopic procedure code families, we are proposing that
CPT code 31231 (Nasal endoscopy, diagnostic, unilateral or bilateral
(separate procedure)) would be the base procedure for the remainder of
nasal sinus endoscopies. The codes affected by this proposal are as
follows (see Table 7).
Table 7--Proposed Nasal Sinus Endoscopy Codes Subject to Special Rules
for Multiple Endoscopic Procedures
------------------------------------------------------------------------
CPT code Short descriptor
------------------------------------------------------------------------
31231................................ Nasal endoscopy dx.
31233................................ Nasal/sinus endoscopy dx.
31235................................ Nasal/sinus endoscopy dx.
31237................................ Nasal/sinus endoscopy surg.
31238................................ Nasal/sinus endoscopy surg.
31239................................ Nasal/sinus endoscopy surg.
31240................................ Nasal/sinus endoscopy surg.
31241................................ Nsl/sins ndsc w/artery lig.
31253................................ Nsl/sins ndsc total.
31254................................ Nsl/sins ndsc w/prtl ethmdct.
31255................................ Nsl/sins ndsc w/tot ethmdct.
31256................................ Exploration maxillary sinus.
31257................................ Nsl/sins ndsc tot w/sphendt.
31259................................ Nsl/sins ndsc sphn tiss rmvl.
31267................................ Endoscopy maxillary sinus.
31276................................ Nsl/sins ndsc frnt tiss rmvl.
31287................................ Nasal/sinus endoscopy surg.
31288................................ Nasal/sinus endoscopy surg.
31290................................ Nasal/sinus endoscopy surg.
31291................................ Nasal/sinus endoscopy surg.
31292................................ Nasal/sinus endoscopy surg.
31293................................ Nasal/sinus endoscopy surg.
31294................................ Nasal/sinus endoscopy surg.
31295................................ Sinus endo w/balloon dil.
31296................................ Sinus endo w/balloon dil.
31297................................ Sinus endo w/balloon dil.
31298................................ Nsl/sins ndsc w/sins dilat.
------------------------------------------------------------------------
Special rules for multiple endoscopic procedures would apply if any
of the procedures listed in Table 7 are billed together for the same
patient on the same day. We apply the multiple endoscopy payment rules
to a code family before ranking the family with other procedures
performed on the same day (for example, if multiple endoscopies in the
same family are reported on the same day as endoscopies in another
family, or on the same day as a non-endoscopic procedure). If an
endoscopic procedure is reported together with its base procedure, we
do not pay separately for the base procedure. Payment for the base
procedure is included in the payment for the other endoscopy. For
additional information about the payment adjustment under the special
rule for multiple endoscopic services, we refer readers to the CY 1992
PFS final rule where this policy was established (56 FR 59515) and to
Pub. 100-04, Medicare Claims Processing Manual, Chapter 23 (available
on the CMS website at https://www.cms.gov/Regulations-and-Guidance/Guidance/Manuals/Downloads/clm104c23.pdf).
d. Updates to Prices for Existing Direct PE Inputs
In the CY 2011 PFS final rule with comment period (75 FR 73205), we
finalized a process to act on public
[[Page 40500]]
requests to update equipment and supply price and equipment useful life
inputs through annual rulemaking, beginning with the CY 2012 PFS
proposed rule. For CY 2020, we are proposing the following price
updates for existing direct PE inputs.
We are proposing to update the price of one supply and one
equipment item in response to the public submission of invoices. As
these pricing updates were each part of the formal review for a code
family, we are proposing that the new pricing take effect for CY 2020
for these items instead of being phased in over 4 years. For the
details of these proposed price updates, please refer to Table 22,
Proposed CY 2020 Invoices Received for Existing Direct PE Inputs in
section II.N., Proposed Valuation of Specific Codes, of this proposed
rule.
We are also proposing to update the name of the EP001 equipment
item from ``DNA/digital image analyzer (ACIS)'' to ``DNA/Digital Image
Analyzer'' due to clarification from stakeholders regarding the typical
use of this equipment.
(1) Market-Based Supply and Equipment Pricing Update
Section 220(a) of the Protecting Access to Medicare Act of 2014
(PAMA) (Pub. L. 113-93) provides that the Secretary may collect or
obtain information from any eligible professional or any other source
on the resources directly or indirectly related to furnishing services
for which payment is made under the PFS, and that such information may
be used in the determination of relative values for services under the
PFS. Such information may include the time involved in furnishing
services; the amounts, types and prices of PE inputs; overhead and
accounting information for practices of physicians and other suppliers,
and any other elements that would improve the valuation of services
under the PFS.
As part of our authority under section 1848(c)(2)(M) of the Act, we
initiated a market research contract with StrategyGen to conduct an in-
depth and robust market research study to update the PFS direct PE
inputs (DPEI) for supply and equipment pricing for CY 2019. These
supply and equipment prices were last systematically developed in 2004-
2005. StrategyGen submitted a report with updated pricing
recommendations for approximately 1300 supplies and 750 equipment items
currently used as direct PE inputs. This report is available as a
public use file displayed on the CMS website under downloads for the CY
2019 PFS final rule at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/PhysicianFeeSched/PFS-Federal-Regulation-Notices.html.
The StrategyGen team of researchers, attorneys, physicians, and
health policy experts conducted a market research study of the supply
and equipment items currently used in the PFS direct PE input database.
Resources and methodologies included field surveys, aggregate
databases, vendor resources, market scans, market analysis, physician
substantiation, and statistical analysis to estimate and validate
current prices for medical equipment and medical supplies. StrategyGen
conducted secondary market research on each of the 2,072 DPEI medical
equipment and supply items that CMS identified from the current DPEI.
The primary and secondary resources StrategyGen used to gather price
data and other information were:
Telephone surveys with vendors for top priority items
(Vendor Survey).
Physician panel validation of market research results,
prioritized by total spending (Physician Panel).
The General Services Administration system (GSA).
An aggregate health system buyers database with discounted
prices (Buyers).
Publicly available vendor resources, that is, Amazon
Business, Cardinal Health (Vendors).
Federal Register, current DPEI data, historical proposed
and final rules prior to CY 2018, and other resources; that is, AMA RUC
reports (References).
StrategyGen prioritized the equipment and supply research based on
current share of PE RVUs attributable by item provided by CMS.
StrategyGen developed the preliminary Recommended Price (RP)
methodology based on the following rules in hierarchical order
considering both data representativeness and reliability.
(1) If the market share, as well as the sample size, for the top
three commercial products were available, the weighted average price
(weighted by percent market share) was the reported RP. Commercial
price, as a weighted average of market share, represents a more robust
estimate for each piece of equipment and a more precise reference for
the RP.
(2) If no data were available for commercial products, the current
CMS prices were used as the RP.
GSA prices were not used to calculate the StrategyGen recommended
prices, due to our concern that the GSA system curtails the number and
type of suppliers whose products may be accessed on the GSA Advantage
website, and that the GSA prices may often be lower than prices that
are available to non-governmental purchasers. After reviewing the
StrategyGen report, we proposed to adopt the updated direct PE input
prices for supplies and equipment as recommended by StrategyGen.
StrategyGen found that despite technological advancements, the
average commercial price for medical equipment and supplies has
remained relatively consistent with the current CMS price.
Specifically, preliminary data indicated that there was no
statistically significant difference between the estimated commercial
prices and the current CMS prices for both equipment and supplies. This
cumulative stable pricing for medical equipment and supplies appears
similar to the pricing impacts of non-medical technology advancements
where some historically high-priced equipment (that is, desktop PCs)
has been increasingly substituted with current technology (that is,
laptops and tablets) at similar or lower price points. However, while
there were no statistically significant differences in pricing at the
aggregate level, medical specialties would experience increases or
decreases in their Medicare payments if CMS were to adopt the pricing
updates recommended by StrategyGen. At the service level, there may be
large shifts in PE RVUs for individual codes that happened to contain
supplies and/or equipment with major changes in pricing, although we
note that codes with a sizable PE RVU decrease would be limited by the
requirement to phase in significant reductions in RVUs, as required by
section 1848(c)(7) of the Act. The phase-in requirement limits the
maximum RVU reduction for codes that are not new or revised to 19
percent in any individual calendar year.
We believe that it is important to make use of the most current
information available for supply and equipment pricing instead of
continuing to rely on pricing information that is more than a decade
old. Given the potentially significant changes in payment that would
occur, both for specific services and more broadly at the specialty
level, in the CY 2019 PFS proposed rule we proposed to phase in our use
of the new direct PE input pricing over a 4-year period using a 25/75
percent (CY 2019), 50/50 percent (CY 2020), 75/25 percent (CY 2021),
and 100/0 percent (CY 2022) split between new and old pricing. This
approach is consistent with how we have previously incorporated
significant new data into the calculation of PE RVUs, such as the 4-
year transition period finalized in CY 2007 PFS final rule with comment
period when changing to the ``bottom-
[[Page 40501]]
up'' PE methodology (71 FR 69641). This transition period will not only
ease the shift to the updated supply and equipment pricing, but will
also allow interested parties an opportunity to review and respond to
the new pricing information associated with their services.
We proposed to implement this phase-in over 4 years so that supply
and equipment values transition smoothly from the prices we currently
include to the final updated prices in CY 2022. We proposed to
implement this pricing transition such that one quarter of the
difference between the current price and the fully phased-in price is
implemented for CY 2019, one third of the difference between the CY
2019 price and the final price is implemented for CY 2020, and one half
of the difference between the CY 2020 price and the final price is
implemented for CY 2021, with the new direct PE prices fully
implemented for CY 2022. An example of the transition from the current
to the fully-implemented new pricing is provided in Table 8.
Table 8--Example of Direct PE Pricing Transition
------------------------------------------------------------------------
------------------------------------------------------------------------
Current Price............... $100
Final Price................. 200 ....................
Year 1 (CY 2019) Price.. 125 \1/4\ difference
between $100 and
$200.
Year 2 (CY 2020) Price.. 150 \1/3\ difference
between $125 and
$200.
Year 3 (CY 2021) Price.. 175 \1/2\ difference
between $150 and
$200.
Final (CY 2022) Price... 200 ....................
------------------------------------------------------------------------
For new supply and equipment codes for which we establish prices
during the transition years (CYs 2019, 2020 and 2021) based on the
public submission of invoices, we proposed to fully implement those
prices with no transition since there are no current prices for these
supply and equipment items. These new supply and equipment codes would
immediately be priced at their newly established values. We also
proposed that, for existing supply and equipment codes, when we
establish prices based on invoices that are submitted as part of a
revaluation or comprehensive review of a code or code family, they will
be fully implemented for the year they are adopted without being phased
in over the 4-year pricing transition. The formal review process for a
HCPCS code includes a review of pricing of the supplies and equipment
included in the code. When we find that the price on the submitted
invoice is typical for the item in question, we believe it would be
appropriate to finalize the new pricing immediately along with any
other revisions we adopt for the code valuation.
For existing supply and equipment codes that are not part of a
comprehensive review and valuation of a code family and for which we
establish prices based on invoices submitted by the public, we proposed
to implement the established invoice price as the updated price and to
phase in the new price over the remaining years of the proposed 4-year
pricing transition. During the proposed transition period, where price
changes for supplies and equipment are adopted without a formal review
of the HCPCS codes that include them (as is the case for the many
updated prices we proposed to phase in over the 4-year transition
period), we believe it is important to include them in the remaining
transition toward the updated price. We also proposed to phase in any
updated pricing we establish during the 4-year transition period for
very commonly used supplies and equipment that are included in 100 or
more codes, such as sterile gloves (SB024) or exam tables (EF023), even
if invoices are provided as part of the formal review of a code family.
We would implement the new prices for any such supplies and equipment
over the remaining years of the proposed 4-year transition period. Our
proposal was intended to minimize any potential disruptive effects
during the proposed transition period that could be caused by other
sudden shifts in RVUs due to the high number of services that make use
of these very common supply and equipment items (meaning that these
items are included in 100 or more codes).
We believed that implementing the proposed updated prices with a 4-
year phase-in would improve payment accuracy, while maintaining
stability and allowing stakeholders the opportunity to address
potential concerns about changes in payment for particular items.
Updating the pricing of direct PE inputs for supplies and equipment
over a longer time frame will allow more opportunities for public
comment and submission of additional, applicable data. We welcomed
feedback from stakeholders on the proposed updated supply and equipment
pricing, including the submission of additional invoices for
consideration.
We received many comments regarding the market-based supply and
equipment pricing proposal following the publication of the CY 2019 PFS
proposed rule. For a full discussion of these comments, we direct
readers to the CY 2019 PFS final rule (83 FR 59475-59480). In each
instance in which a commenter raised questions about the accuracy of a
supply or equipment code's recommended price, the StrategyGen
contractor conducted further research on the item and its price with
special attention to ensuring that the recommended price was based on
the correct item in question and the clarified unit of measure. Based
on the commenters' requests, the StrategyGen contractor conducted an
extensive examination of the pricing of any supply or equipment items
that any commenter identified as requiring additional review. Invoices
submitted by multiple commenters were greatly appreciated and ensured
that medical equipment and supplies were re-examined and clarified.
Multiple researchers reviewed these specified supply and equipment
codes for accuracy and proper pricing. In most cases, the contractor
also reached out to a team of nurses and their physician panel to
further validate the accuracy of the data and pricing information. In
some cases, the pricing for individual items needed further
clarification due to a lack of information or due to significant
variation in packaged items. After consideration of the comments and
this additional price research, we updated the recommended prices for
approximately 70 supply and equipment codes identified by the
commenters. Table 9 in the CY 2019 PFS final rule lists the supply and
equipment codes with price changes based on feedback from the
commenters and the resulting additional research into pricing (83 FR
59479-59480).
After consideration of the public comments, we finalized our
proposals associated with the market research study to update the PFS
direct PE inputs for supply and equipment pricing. We continue to
believe that implementing the proposed updated prices with a 4-year
phase-in will improve payment
[[Page 40502]]
accuracy, while maintaining stability and allowing stakeholders the
opportunity to address potential concerns about changes in payment for
particular items. We continue to welcome feedback from stakeholders on
the proposed updated supply and equipment pricing, including the
submission of additional invoices for consideration.
For CY 2020, we received invoice submissions for approximately 30
supply and equipment codes from stakeholders as part of the second year
of the market-based supply and equipment pricing update. These invoices
were reviewed by the StrategyGen contractor and the submitted invoices
were used in many cases to supplement the pricing originally proposed
for the CY 2019 PFS rule cycle. The contractor reviewed the invoices,
as well as prior data for the relevant supply/equipment codes to make
sure the item in the invoice was representative of the supply/equipment
item in question and aligned with past research. Based on this
research, we are proposing to update the prices of the following supply
and equipment items:
BILLING CODE 4120-01-P
[[Page 40503]]
[GRAPHIC] [TIFF OMITTED] TP14AU19.004
BILLING CODE 4120-01-C
For most supply and equipment items, there was an alignment between
the research carried out by the StrategyGen contractor and the
submitted invoice. The updated CY 2020 pricing was calculated using an
average between the previous market research and the newly submitted
invoices in these cases. In some cases the submitted invoices were not
representative of market prices, such as for the centrifuge with rotor
(EP007) equipment item where the invoice price of $8,563 appeared to be
an outlier. We did not use the invoices to calculate our pricing
recommendation in these situations and instead continued to rely on our
prior pricing data. In other instances, such as for the kit, probe,
cryoablation, prostate (Galil-Endocare)
[[Page 40504]]
(SA099) supply item, our research indicated that the submitted invoice
price was more representative of the commercial price than our CY 2019
research and pricing. We are proposing the new invoice prices for these
supply and equipment items due to our belief in their greater accuracy.
For some of the remaining supply and equipment items, such as the
five-gallon paraffin (EP031) equipment and the Olympus DP21 camera
(EP089) equipment, we maintained the extant pricing for CY 2019 due to
a lack of sufficient data to update the pricing. In these situations
where we did not have an updated price for CY 2019, we believe that the
newly submitted invoices are more representative of the current
commercial prices that are being paid on the market. We are again
proposing the new invoice prices for these supply and equipment items
due to our belief in their greater accuracy.
In addition, we were alerted by stakeholders that the price of the
EM visit pack (SA047) supply did not match the sum of the component
prices of the supplies included in the pack. After reviewing the prices
of the individual component supplies, we agree with the stakeholders
that there was a discrepancy in the previous pricing of this supply
pack. We are proposing to update the price of the EM visit pack to
$5.47 to match the sum of the prices of the component supplies, and
proposing to continue to transition towards this price over the
remaining years of the phase-in period.
We finalized a policy last year to phase in the new supply and
equipment pricing over 4 years so that supply and equipment values
transition smoothly from their current prices to the final updated
prices in CY 2022. We finalized our proposal to implement this pricing
transition such that one quarter of the difference between the current
price and the fully phased in price was implemented for CY 2019, one
third of the difference between the CY 2019 price and the final price
is implemented for CY 2020, and one half of the difference between the
CY 2020 price and the final price is implemented for CY 2021, with the
new direct PE prices fully implemented for CY 2022. An example of the
transition from the current to the fully-implemented new pricing is
provided in Table 8. For CY 2020, one third of the difference between
the CY 2019 price and the final price will be implemented as per the
previously finalized policy.
The full list of updated supply and equipment pricing as it will be
implemented over the 4-year transition period will be made available as
a public use file displayed on the CMS website under downloads for the
CY 2020 PFS proposed rule at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/PhysicianFeeSched/PFS-Federal-Regulation-Notices.html.
(2) Invoice Submission
We routinely accept public submission of invoices as part of our
process for developing payment rates for new, revised, and potentially
misvalued codes. Often these invoices are submitted in conjunction with
the RUC-recommended values for the codes. For CY 2020, we noted that
some stakeholders have submitted invoices for new, revised, or
potentially misvalued codes after the February 10th deadline
established for code valuation recommendations. To be included in a
given year's proposed rule, we generally need to receive invoices by
the same February 10th deadline we noted for consideration of RUC
recommendations. However, we would consider invoices submitted as
public comments during the comment period following the publication of
the PFS proposed rule, and would consider any invoices received after
February 10th or outside of the public comment process as part of our
established annual process for requests to update supply and equipment
prices.
(3) Adjustment to Allocation of Indirect PE for Some Office-Based
Services
In the CY 2018 PFS final rule (82 FR 52999 through 53000), we
established criteria for identifying the services most affected by the
indirect PE allocation anomaly that does not allow for a site of
service differential that accurately reflects the relative indirect
costs involved in furnishing services in nonfacility settings. We also
finalized a modification in the PE methodology for allocating indirect
PE RVUs to better reflect the relative indirect PE resources involved
in furnishing these services. The methodology, as described, is based
on the difference between the ratio of indirect PE to work RVUs for
each of the codes meeting eligibility criteria and the ratio of
indirect PE to work RVU for the most commonly reported visit code. We
refer readers to the CY 2018 PFS final rule (82 FR 52999 through 53000)
for a discussion of our process for selecting services subject to the
revised methodology, as well as a description of the methodology, which
we began implementing for CY 2018 as the first year of a 4-year
transition. For CY 2020, we are proposing to continue with the third
year of the transition of this adjustment to the standard process for
allocating indirect PE.
C. Determination of Malpractice Relative Value Units (RVUs)
1. Overview
Section 1848(c) of the Act requires that each service paid under
the PFS be composed of three components: Work, PE, and malpractice (MP)
expense. As required by section 1848(c)(2)(C)(iii) of the Act,
beginning in CY 2000, MP RVUs are resource based. Section
1848(c)(2)(B)(i) of the Act also requires that we review, and if
necessary adjust, RVUs no less often than every 5 years. In the CY 2015
PFS final rule with comment period, we implemented the third review and
update of MP RVUs. For a comprehensive discussion of the third review
and update of MP RVUs, see the CY 2015 proposed rule (79 FR 40349
through 40355) and final rule with comment period (79 FR 67591 through
67596). In the CY 2018 proposed rule (82 FR 33965 through 33970), we
proposed to update the specialty-level risk factors used in the
calculation of MP RVUs, prior to the next required 5 year update (CY
2020), using the updated MP premium data that were used in the eighth
Geographic Practice Cost Index (GPCI) update for CY 2017; however the
proposal was ultimately not finalized for CY 2018.
We consider the following factors when we determine MP RVUs for
individual PFS services: (1) Specialty-level risk factors derived from
data on specialty-specific MP premiums incurred by practitioners; (2)
service-level risk factors derived from Medicare claims data of the
weighted average risk factors of the specialties that furnish each
service; and (3) an intensity/complexity of service adjustment to the
service-level risk factor based on either the higher of the work RVU or
clinical labor portion of the direct PE RVU. Prior to CY 2016, MP RVUs
were only updated once every 5 years, except in the case of new and
revised codes.
As explained in the CY 2011 PFS final rule with comment period (75
FR 73208), MP RVUs for new and revised codes effective before the next
5-year review of MP RVUs were determined either by a direct crosswalk
from a similar source code or by a modified crosswalk to account for
differences in work RVUs between the new/revised code and the source
code. For the modified crosswalk approach, we adjusted (or scaled) the
MP RVU for the new/revised code to reflect the difference in work RVU
between the source code and the new/revised work RVU (or, if greater,
the difference in the
[[Page 40505]]
clinical labor portion of the fully implemented PE RVU) for the new
code. For example, if the proposed work RVU for a revised code was 10
percent higher than the work RVU for its source code, the MP RVU for
the revised code would be increased by 10 percent over the source code
MP RVU. Under this approach, the same risk factor was applied for the
new/revised code and source code, but the work RVU for the new/revised
code was used to adjust the MP RVUs for risk.
In the CY 2016 PFS final rule with comment period (80 FR 70906
through 70910), we finalized a policy to begin conducting annual MP RVU
updates to reflect changes in the mix of practitioners providing
services (using Medicare claims data), and to adjust MP RVUs for risk
for intensity and complexity (using the work RVU or clinical labor
RVU). We also finalized a policy to modify the specialty mix assignment
methodology (for both MP and PE RVU calculations) to use an average of
the three most recent years of data instead of a single year of data.
Under this approach, for new and revised codes, we generally assign a
specialty-level risk factor to individual codes based on the same
utilization assumptions we make regarding specialty mix we use for
calculating PE RVUs and for PFS budget neutrality. We continue to use
the work RVU or clinical labor RVU to adjust the MP RVU for each code
for intensity and complexity. In finalizing this policy, we stated that
the specialty-level risk factors would continue to be updated through
notice and comment rulemaking every 5 years using updated premium data,
but would remain unchanged between the 5-year reviews.
Section 1848(e)(1)(C) of the Act requires us to review, and if
necessary, adjust the GPCIs at least every 3 years. For CY 2020, we are
conducting the statutorily required 3-year review of the GPCIs, which
coincides with the statutorily required 5-year review of the MP RVUs.
We note that the MP premium data used to update the MP GPCIs are the
same data used to determine the specialty-level risk factors, which are
used in the calculation of MP RVUs. Going forward, we believe it would
be logical and efficient to align the update of MP premium data used to
determine the MP RVUs with the update of the MP GPCI. Therefore, we are
proposing to align the update of MP premium data with the update to the
MP GPCIs, that is, we are proposing to review, and if necessary update
the MP RVUs at least every 3 years, similar to our review and update of
the GPCIs. If we align the two updates, we would conduct the next
statutorily-mandated review and update of both the GPCI and MP RVU for
implementation in CY 2023. We are proposing to implement the fourth
comprehensive review and update of MP RVUs for CY 2020 and are seeking
comment on these proposals.
2. Methodology for the Proposed Revision of Resource-Based Malpractice
RVUs
a. General Discussion
We calculated the proposed MP RVUs using updated malpractice
premium data obtained from state insurance rate filings. The
methodology used in calculating the proposed CY 2020 review and update
of resource-based MP RVUs largely parallels the process used in the CY
2015 update; however, we are proposing to incorporate several
methodological refinements, which are described below in this proposed
rule. The MP RVU calculation requires us to obtain information on
specialty-specific MP premiums that are linked to specific services,
and using this information, we derive relative risk factors for the
various specialties that furnish a particular service. Because MP
premiums vary by state and specialty, the MP premium information must
be weighted geographically and by specialty. We calculated the proposed
MP RVUs using four data sources: Malpractice premium data presumed to
be in effect as of December 31, 2017; CY 2018 Medicare payment and
utilization data; higher of the CY 2020 proposed work RVUs or the
clinical labor portion of the direct PE RVUs; and CY 2019 GPCIs. We
will use the higher of the CY 2020 final work RVUs or clinical labor
portion of the direct PE RVUs in our calculation to develop the CY 2020
final MP RVUs while maintaining overall PFS budget neutrality.
Similar to the CY 2015 update, the proposed MP RVUs were calculated
using specialty-specific malpractice premium data because they
represent the expense incurred by practitioners to obtain malpractice
insurance as reported by insurers. For CY 2020, the most current
malpractice premium data available, with a presumed effective date of
no later than December 31, 2017, were obtained from insurers with the
largest market share in each state. We identified insurers with the
largest market share using the National Association of Insurance
Commissioners (NAIC) market share report. This annual report provides
state-level market share for entities that provide premium liability
insurance (PLI) in a state. Premium data were downloaded from the
System for Electronic Rates & Forms Filing Access Interface (SERFF)
(accessed from the NAIC website) for participating states. For non-
SERFF states, data were downloaded from the state-specific website (if
available online) or obtained directly from the state's alternate
access to filings. For SERFF states and non-SERFF states with online
access to filings, the 2017 market share report was used to select
companies. For non-SERFF states without online access to filings, the
2016 market share report was used to identify companies. These were the
most current data available during the data collection and acquisition
process.
Malpractice insurance premium data were collected from all 50
States, and the District of Columbia. Efforts were made to collect
filings from Puerto Rico; however, no recent filings were submitted at
the time of data collection and therefore filings from the previous
update were used. Consistent with the CY 2015 update, no filings were
collected for the other U.S. territories: American Samoa, Guam, Virgin
Islands, or Northern Mariana Islands. Malpractice premiums were
collected for coverage limits of $1 million/$3 million, mature, claims-
made policies (policies covering claims made, rather than those
covering losses occurring, during the policy term). A $1 million/$3
million liability limit policy means that the most that would be paid
on any claim is $1 million and the most that the policy would pay for
claims over the timeframe of the policy is $3 million. Adjustments were
made to the premium data to reflect mandatory surcharges for patient
compensation funds (PCF, funds used to pay for any claim beyond the
state's statutory amount, thereby limiting an individual physician's
liability in cases of a large suit) in states where participation in
such funds is mandatory.
Premium data were included for all physician and NPP specialties,
and all risk classifications available in the collected rate filings.
Although premium data were collected from all states, the District of
Columbia, and previous filings for Puerto Rico were utilized, not all
specialties had distinct premium data in the rate filings from all
states. In previous updates, specialties for which premium data were
not available for at least 35 states, and specialties for which there
were not distinct risk groups (surgical, non-surgical, and surgical
with obstetrics) among premium data in the rate filings, were
crosswalked to a similar specialty, either conceptually or based on
available premium data. This resulted in not using those premium data
because
[[Page 40506]]
the 35 state threshold was not met. In this proposed CY 2020 update, we
note that the proposed methodological improvement discussed below in
this proposed rule expands the specialties and amount of filings data
used to develop the proposed risk factors, which are used to develop
the proposed MP RVUs.
b. Proposed Methodological Refinements
For the CY 2020 update, we are proposing the following
methodological improvements to the development of MP premium data:
(1) Downloading and using a broader set of filings from the largest
market share insurers in each state, beyond those listed as
``physician'' and ``surgeon'' to obtain a more comprehensive data set.
(2) Combining minor surgery and major surgery premiums to create
the surgery service risk group, which yields a more representative
surgical risk factor. In the previous update, only premiums for major
surgery were used in developing the surgical risk factor.
(3) Utilizing partial and total imputation to develop a more
comprehensive data set when CMS specialty names are not distinctly
identified in the insurer filings, which sometimes use unique specialty
names.
In instances where insurers report data for some (but not all)
specialties that explicitly corresponded to a CMS specialty, where
those data were missing, we propose to use partial imputation based on
available data to establish what the premiums would likely have been
had that specialty been delineated in the filing. In instances where
there are no data corresponding to a CMS specialty in the filing, we
propose to use total imputation to establish premiums.
For example, if a specialty of Sleep Medicine is listed on the
insurer's rate filing, this rate will be matched to the CMS specialty
Sleep Medicine (C0). However, if the Sleep Medicine specialty is not
listed on the insurer's rate filing, under our proposed methodology,
the insurer's rate filing for General Practice would be matched to the
CMS specialty of Sleep Medicine (C0). In this example, we believe
General Practice is likely to be consistent with the rate that a Sleep
Medicine provider would be charged by that insurer. This proposed
methodological improvement means that instead of discarding specialty-
specific information from some insurers' filings because other insurers
lacked that same level of detail, we would instead impute the missing
rates at the insurer/specialty level in an effort to utilize as much of
the information from the filings as possible.
We are seeking comment on these proposed methodological
improvements. Additional technical details are available in our interim
report, ``Interim Report for the CY 2020 Update of GPCIs and MP RVUs
for the Medicare Physician Fee Schedule,'' on our website. It is
located under the supporting documents section for the CY 2020 PFS
proposed rule located at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/PhysicianFeeSched/.
c. Steps for Calculating Malpractice RVUs
Calculation of the proposed MP RVUs conceptually follows the
specialty-weighted approach used in the CY 2015 final rule with comment
period (79 FR 67591), along with the above proposed methodological
improvements. The specialty-weighted approach bases the MP RVUs for a
given service on a weighted average of the risk factors of all
specialties furnishing the service. This approach ensures that all
specialties furnishing a given service are reflected in the calculation
of the MP RVUs. The steps for calculating the proposed MP RVUs are
described below.
Step (1): Compute a preliminary national average premium for each
specialty.
Insurance rating area malpractice premiums for each specialty are
mapped to the county level. The specialty premium for each county is
then multiplied by its share of the total U.S. population (from the
U.S. Census Bureau's 2013-2017 American Community Survey (ACS) 5-year
estimates). This is in contrast to the method used for creating
national average premiums for each specialty in the 2015 update; in
that update, specialty premiums were weighted by the total RVU per
county, rather than by the county share of the total U.S. population.
We refer readers to the CY 2016 PFS final rule with comment period (80
FR 70909) for a discussion of why we have adopted a weighting method
based on share of total U.S. population. This calculation is then
divided by the average MP GPCI across all counties for each specialty
to yield a normalized national average premium for each specialty. The
specialty premiums are normalized for geographic variation so that the
locality cost differences (as reflected by the 2019 GPCIs) would not be
counted twice. Without the geographic variation adjustment, the cost
differences among fee schedule areas would be reflected once under the
methodology used to calculate the MP RVUs and again when computing the
service specific payment amount for a given fee schedule area.
Step (2): Determine which premium service risk groups to use within
each specialty.
Some specialties had premium rates that differed for surgery,
surgery with obstetrics, and non-surgery. These premium classes are
designed to reflect differences in risk of professional liability and
the cost of malpractice claims if they occur. To account for the
presence of different classes in the malpractice premium data and the
task of mapping these premiums to procedures, we calculated distinct
risk factors for surgical, surgical with obstetrics, and nonsurgical
procedures where applicable. However, the availability of data by
surgery and non-surgery varied across specialties. Historically, no
single approach accurately addressed the variability in premium class
among specialties, and we previously employed several methods for
calculating average premiums by specialty. These methods are discussed
below.
Developing Distinct Service Risk Groups: We determined that there
were sufficient data for surgery and non-surgery premiums, as well as
sufficient differences in rates between classes for 15 specialties
(there were 10 such specialties in the CY 2015 update). These
specialties are listed in Table 10. Additionally, as described in the
proposed methodological refinements, in some instances, we combined
minor surgery and major surgery premiums to create a premium to develop
the surgery service risk group, rather than discard minor surgery
premium data as was done in the previous update. Therefore, we
calculated a national average surgical premium and non-surgical premium
for those specialties. For all other specialties (those that are not
listed in Table 10) that typically do not distinguish premiums as
described above, a single risk factor was calculated, and that
specialty risk factor was applied to all services performed by those
specialties.
This is consistent with prior practice; however, we have refined
the nomenclature to more precisely describe that some specialties are
delineated into service risk groups, as is the case for surgical, non-
surgical, and surgical with obstetrics, and some specialties are not
further delineated into service risk subgroups and are instead referred
to as ``All''--meaning that all services performed by that specialty
receive the same risk factor.
[[Page 40507]]
Table 10--Proposed Specialties Subdivided Into Service Risk Groups
------------------------------------------------------------------------
Service risk groups Specialties
------------------------------------------------------------------------
Surgery/No Surgery............. Otolaryngology (04), Cardiology (06),
Dermatology (07), Gastroenterology
(10), Neurology (13), Ophthalmology
(18), Urology (34), Geriatric Medicine
(38), Nephrology (39), Endocrinology
(46), Podiatry (48), Emergency
Medicine (93).
Surgery/No Surgery/OB.......... General Practice (01), Family Practice
(08), OB/GYN (16).
------------------------------------------------------------------------
Step (3): Calculate a risk factor for each specialty.
The relative differences in national average premiums between
specialties are expressed in our methodology as a specialty-level risk
factor. These risk factors are calculated by dividing the national
average premium for each specialty by the national average premium for
the specialty with the lowest premiums for which we had sufficient and
reliable data, which remains allergy and immunology (03). For
specialties with rate filings that are indicative of sufficient
surgical and non-surgical premium data, we recognized those service-
risk groups (that is, surgical, and non-surgical) as risk groups of the
specialty and we calculated both a surgical and non-surgical risk
factor. Similarly, for specialties with rate filings that distinguished
surgical premiums with obstetrics, we recognized that service-risk
subgroup of the specialty and calculated a separate surgical with
obstetrics risk factor.
(a) Technical Component (TC) Only Services
We note that for determining the risk factor for suppliers of TC-
only services in the CY 2015 update, we updated the premium data for
independent diagnostic testing facilities (IDTFs) that we used in the
CY 2010 update. Those data were obtained from a survey conducted by the
Radiology Business Management Association (RBMA) in 2009; we ultimately
used those data to calculate an updated TC specialty risk factor. We
applied the updated TC specialty risk factor to suppliers of TC-only
services. In the CY 2015 final rule with comment period (79 FR 67595),
RBMA voluntarily submitted updated MP premium information collected
from IDTFs in 2014, and requested that we use the data for calculating
the CY 2015 MP RVUs for TC-only services. We declined to utilize the
data and stated that we believe further study is necessary and we would
consider this matter and propose any changes through future rulemaking.
We continue to believe that data for a broader set of TC-only services
are needed, and are working to acquire a broader set of data.
For CY 2020, we propose to assign a risk factor of 1.00 for TC-only
services, which corresponds to the lowest physician specialty-level
risk factor. We assigned the risk factor of 1.00 to the TC-only
services because we do not have sufficient comparable professional
liability premium data for the full range of clinicians that furnish
TC-only services. In lieu of comprehensive, comparable data, we propose
to assign 1.00, the lowest physician specialty-level risk factor
calculated using the updated premium data, as the default minimum risk
factor. However, we seek information on the most comparable and
appropriate proxy for the broader set of TC-only services for future
use, as well as any empirical information that would support assignment
of an alternative risk factor for these services.
Table 11 shows the proposed risk factors by specialty type and
service risk group.
BILLING CODE 4120-01-P
[[Page 40508]]
[GRAPHIC] [TIFF OMITTED] TP14AU19.005
[[Page 40509]]
[GRAPHIC] [TIFF OMITTED] TP14AU19.006
BILLING CODE 4120-01-C
Step (4): Calculate malpractice RVUs for each CPT/HCPCS code.
Resource-based MP RVUs were calculated for each CPT/HCPCS code that
has work or PE RVUs. The first step was to identify the percentage of
services furnished by each specialty for each respective CPT/HCPCS
code. This
[[Page 40510]]
percentage was then multiplied by each respective specialty's risk
factor as calculated in Step 3. The products for all specialties for
the CPT/HCPCS code were then added together, yielding a specialty-
weighted service specific risk factor reflecting the weighted
malpractice costs across all specialties furnishing that procedure. The
service specific risk factor was multiplied by the greater of the work
RVU or clinical labor portion of the direct PE RVU for that service, to
reflect differences in the complexity and risk-of-service between
services.
Low volume service codes: As we discussed above in this proposed
rule, for low volume services code, we finalized the proposal in the CY
2018 PFS final rule (82 FR 53000 through 53006) to apply the list of
expected specialties instead of the claims-based specialty mix for low
volume services to address stakeholder concerns about the year to year
variability in PE and MP RVUs for low volume services (which also
includes no volume services); these are defined as codes that have 100
allowed services or fewer. These service-level overrides are used to
determine the specialty for low volume procedures for both PE and MP.
In the CY 2018 PFS final rule (82 FR 53000 through 53006), we also
finalized our proposal to eliminate general use of an MP-specific
specialty-mix crosswalk for new and revised codes. However, we
indicated that we would continue to consider, in conjunction with
annual recommendations, specific recommendations regarding specialty
mix assignments for new and revised codes, particularly in cases where
coding changes are expected to result in differential reporting of
services by specialty, or where the new or revised code is expected to
be low-volume. Absent such information, the specialty mix assumption
for a new or revised code would derive from the analytic crosswalk in
the first year, followed by the introduction of actual claims data,
which is consistent with our approach for developing PE RVUs.
For CY 2020, we are soliciting public comment on the list of
expected specialties. We also note that the list has been updated to
include a column indicating if a service is identified as a low volume
service for CY 2020, and therefore, whether or not the service-level
override is being applied for CY 2020. The proposed list of codes and
expected specialties is available on our website under downloads for
the CY 2020 PFS proposed rule at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/PhysicianFeeSched/PFS-Federal-Regulation-Notices.html.
Step (5): Rescale for budget neutrality.
The statute requires that changes to fee schedule RVUs must be
budget neutral. Thus, the last step is to adjust for relativity by
rescaling the proposed MP RVUs so that the total proposed resource
based MP RVUs are equal to the total current resource based MP RVUs
scaled by the ratio of the pools of the proposed and current MP and
work RVUs. This scaling is necessary to maintain the work RVUs for
individual services from year to year while also maintaining the
overall relationship among work, PE, and MP RVUs.
Specialties Excluded from Ratesetting Calculation: In section II.B.
of this proposed rule, Determination of Practice Expense Relative Value
Units, we discuss specialties that are excluded from ratesetting for
the purposes of calculating PE RVUs. We are proposing to treat those
excluded specialties in a consistent manner for the purposes of
calculating MP RVUs. We note that all specialties are included for
purposes of calculating the final BN adjustment. The list of
specialties excluded from the ratesetting calculation for the purpose
of calculating the PE RVUs that we are proposing to also exclude for
the purpose of calculating MP RVUs is available in section II.B. of
this proposed rule, Determination of Practice Expense Relative Value
Units. The proposed resource based MP RVUs are shown in Addendum B,
which is available on the CMS website under the downloads section of
the CY 2020 PFS rule at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/PhysicianFeeSched/.
Because a different share of the resources involved in furnishing
PFS services is reflected in each of the three fee schedule components,
implementation of the resource-based MP RVU update will have much
smaller payment effects than implementing updates of resource-based
work RVUs and resource-based PE RVUs. On average, work represents about
50.9 percent of payment for a service under the fee schedule, PE about
44.8 percent, and MP about 4.3 percent. Therefore, a 25 percent change
in PE RVUs or work RVUs for a service would result in a change in
payment of about 11 to 13 percent. In contrast, a corresponding 25
percent change in MP values for a service would yield a change in
payment of only about 1 percent. Estimates of the effects on payment by
specialty type can be found in section VI. of this proposed rule,
Regulatory Impact Analysis.
Additional information on our proposed methodology for updating the
MP RVUs is available in the ``Interim Report for the CY 2020 Update of
GPCIs and MP RVUs for the Medicare Physician Fee Schedule,'' which is
available on the CMS website under the downloads section of the CY 2020
PFS proposed rule at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/PhysicianFeeSched/.
D. Geographic Practice Cost Indices (GPCIs)
1. Background
Section 1848(e)(1)(A) of the Act requires us to develop separate
Geographic Practice Cost Indices (GPCIs) to measure relative cost
differences among localities compared to the national average for each
of the three fee schedule components (that is, work, practice expense
(PE), and malpractice (MP)). We discuss the localities established
under the PFS below in this section. Although the statute requires that
the PE and MP GPCIs reflect full relative cost differences, section
1848(e)(1)(A)(iii) of the Act requires that the work GPCIs reflect only
one-quarter of the relative cost differences compared to the national
average. In addition, section 1848(e)(1)(G) of the Act sets a permanent
1.5 work GPCI floor for services furnished in Alaska beginning January
1, 2009, and section 1848(e)(1)(I) of the Act sets a permanent 1.0 PE
GPCI floor for services furnished in frontier states (as defined in
section 1848(e)(1)(I) of the Act) beginning January 1, 2011.
Additionally, section 1848(e)(1)(E) of the Act provided for a 1.0 floor
for the work GPCIs, which was set to expire at the end of 2017. Section
50201 of the Bipartisan Budget Act of 2018 (BBA of 2018) (Pub. L. 115-
123, enacted February 9, 2018) amended the statute to extend the 1.0
floor for the work GPCIs through CY 2019 (that is, for services
furnished no later than December 31, 2019).
Section 1848(e)(1)(C) of the Act requires us to review and, if
necessary, adjust the GPCIs at least every 3 years. Section
1848(e)(1)(C) of the Act requires that, if more than 1 year has elapsed
since the date of the last previous GPCI adjustment, the adjustment to
be applied in the first year of the next adjustment shall be \1/2\ of
the adjustment that otherwise would be made. Therefore, since the
previous GPCI update was implemented in CYs 2017 and 2018, we are
proposing to phase in \1/2\ of the latest GPCI adjustment in CY 2020.
[[Page 40511]]
We have completed a review of the GPCIs and are proposing new GPCIs
in this proposed rule. We also calculate a geographic adjustment factor
(GAF) for each PFS locality. The GAFs are a weighted composite of each
PFS localities work, PE and MP expense GPCIs using the national GPCI
cost share weights. While we do not actually use GAFs in computing the
fee schedule payment for a specific service, they are useful in
comparing overall areas costs and payments. The actual effect on
payment for any actual service would deviate from the GAF to the extent
that the proportions of work, PE and MP RVUs for the service differ
from those of the GAF.
As noted above, section 50201 of the BBA of 2018 extended the 1.0
work GPCI floor for services furnished only through December 31, 2019.
Therefore, the proposed CY 2020 work GPCIs and summarized GAFs do not
reflect the 1.0 work floor. However, as required by sections
1848(e)(1)(G) and (I) of the Act, the 1.5 work GPCI floor for Alaska
and the 1.0 PE GPCI floor for frontier states are permanent, and
therefore, applicable in CY 2020. See Addenda D and E to this proposed
rule for the CY 2020 proposed GPCIs and summarized proposed GAFs
available on the CMS website under the supporting documents section of
the CY 2020 PFS proposed rule at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/PhysicianFeeSched/.
2. Payment Locality Background
Prior to 1992, Medicare payments for physicians' services were made
under the reasonable charge system. Payments under this system largely
reflected the charging patterns of physicians, which resulted in large
differences in payment for physicians' services among types of
services, physician specialties and geographic payment areas.
Local Medicare carriers initially established 210 payment
localities, to reflect local physician charging patterns and economic
conditions. These localities changed little between the inception of
Medicare in 1967 and the beginning of the PFS in 1992. In 1994, we
undertook a study that culminated in a comprehensive locality revision
(based on locality resource cost differences as reflected by the GPCIs)
that we implemented in 1997. The development of the current locality
structure is described in detail in the CY 1997 PFS final rule (61 FR
34615) and the subsequent final rule with comment period (61 FR 59494).
The revised locality structure reduced the number of localities from
210 to 89, and increased the number of statewide localities from 22 to
34.
Section 220(h) of the Protecting Access to Medicare Act (PAMA)
(Pub. L. 113-93, enacted April 1, 2014) required modifications to the
payment localities in California for payment purposes beginning with
2017. As a result, in the CY 2017 PFS final rule (81 FR 80265 through
80268) we established 23 additional localities, increasing the total
number of PFS localities from 89 to 112. The 112 payment localities
include 34 statewide areas (that is, only one locality for the entire
state) and 75 localities in the other 16 states, with 10 states having
two localities, two states having three localities, one state having
four localities, and three states having five or more localities. The
remainder of the 112 PFS payment localities are comprised as follows:
The combined District of Columbia, Maryland, and Virginia suburbs;
Puerto Rico; and the Virgin Islands. We note that the localities
generally represent a grouping of one or more constituent counties.
The current 112 fee schedule areas are defined alternatively by
state boundaries (for example, Wisconsin), metropolitan areas (for
example, Metropolitan St. Louis, MO), portions of a metropolitan area
(for example, Manhattan), or rest-of-state areas that exclude
metropolitan areas (for example, Rest of Missouri). This locality
configuration is used to calculate the GPCIs that are in turn used to
calculate locality adjusted payments for physicians' services under the
PFS.
As stated in the CY 2011 PFS final rule with comment period (75 FR
73261), changes to the PFS locality structure would generally result in
changes that are budget neutral within a state. For many years, before
making any locality changes, we have sought consensus from among the
professionals whose payments would be affected. We refer readers to the
CY 2014 PFS final rule with comment period (78 FR 74384 through 74386)
for further discussion regarding additional information about locality
configuration considerations.
3. GPCI Update
As required by the statute, we developed GPCIs to measure relative
cost differences among payment localities compared to the national
average for each of the three fee schedule components (that is, work,
PE, and MP). We describe the data sources and methodologies we use to
calculate each of the three GPCIs below in this section. Additional
information on the CY 2020 GPCI update is available in an interim
report, ``Interim Report for the CY 2020 Update of GPCIs and MP RVUs
for the Medicare Physician Fee Schedule,'' on our website located under
the supporting documents section for the CY 2020 PFS proposed rule at
https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/PhysicianFeeSched/.
a. Work GPCIs
The work GPCIs are designed to reflect the relative cost of
physician labor by Medicare PFS locality. As required by statute, the
work GPCI reflects one quarter of the relative wage differences for
each locality compared to the national average.
To calculate the work GPCIs, we use wage data for seven
professional specialty occupation categories, adjusted to reflect one-
quarter of the relative cost differences for each locality compared to
the national average, as a proxy for physicians' wages. Physicians'
wages are not included in the occupation categories used in calculating
the work GPCI because Medicare payments are a key determinant of
physicians' earnings. Including physician wage data in calculating the
work GPCIs would potentially introduce some circularity to the
adjustment since Medicare payments typically contribute to or influence
physician wages. That is, including physicians' wages in the physician
work GPCIs would, in effect, make the indices, to some extent,
dependent upon Medicare payments.
The work GPCI updates in CYs 2001, 2003, 2005, and 2008 were based
on professional earnings data from the 2000 Census. However, for the CY
2011 GPCI update (75 FR 73252), the 2000 data were outdated and wage
and earnings data were not available from the more recent Census
because the ``long form'' was discontinued. Therefore, we used the
median hourly earnings from the 2006 through 2008 Bureau of Labor
Statistics (BLS) Occupational Employment Statistics (OES) wage data as
a replacement for the 2000 Census data. The BLS OES data meet several
criteria that we consider to be important for selecting a data source
for purposes of calculating the GPCIs. For example, the BLS OES wage
and employment data are derived from a large sample size of
approximately 200,000 establishments of varying sizes nationwide from
every metropolitan area and can be easily accessible to the public at
no cost. Additionally, the BLS OES is updated regularly, and includes a
comprehensive set of occupations and industries (for example, 800
occupations in 450 industries). For the CY 2014 GPCI update, we used
updated BLS OES data (2009 through 2011) as a
[[Page 40512]]
replacement for the 2006 through 2008 data to compute the work GPCIs;
and for the CY 2017 GPCI update, we used updated BLS OES data (2011
through 2014) as a replacement for the 2009 through 2011 data to
compute the work GPCIs.
Because of its reliability, public availability, level of detail,
and national scope, we believe the BLS OES data continue to be the most
appropriate source of wage and employment data for use in calculating
the work GPCIs (and as discussed below, the employee wage component and
purchased services component of the PE GPCI). Therefore, for the
proposed CY 2020 GPCI update, we used updated BLS OES data (2014
through 2017) as a replacement for the 2011 through 2014 data to
compute the work GPCIs.
b. Practice Expense (PE) GPCIs
The PE GPCIs are designed to measure the relative cost difference
in the mix of goods and services comprising PEs (not including MP
expenses) among the PFS localities as compared to the national average
of these costs. Whereas the physician work GPCIs (and as discussed
later in this section, the MP GPCIs) are comprised of a single index,
the PE GPCIs are comprised of four component indices (employee wages;
purchased services; office rent; and equipment, supplies and other
miscellaneous expenses). The employee wage index component measures
geographic variation in the cost of the kinds of skilled and unskilled
labor that would be directly employed by a physician practice. Although
the employee wage index adjusts for geographic variation in the cost of
labor employed directly by physician practices, it does not account for
geographic variation in the cost of services that typically would be
purchased from other entities, such as law firms, accounting firms,
information technology consultants, building service managers, or any
other third-party vendor. The purchased services index component of the
PE GPCI (which is a separate index from employee wages) measures
geographic variation in the cost of contracted services that physician
practices would typically buy. For more information on the development
of the purchased service index, we refer readers to the CY 2012 PFS
final rule with comment period (76 FR 73084 through 73085). The office
rent index component of the PE GPCI measures relative geographic
variation in the cost of typical physician office rents. For the
medical equipment, supplies, and miscellaneous expenses component, we
believe there is a national market for these items such that there is
not significant geographic variation in costs. Therefore, the
equipment, supplies and other miscellaneous expense cost index
component of the PE GPCI is given a value of 1.000 for each PFS
locality.
For the previous update to the GPCIs (implemented in CY 2017), we
used 2011 through 2014 BLS OES data to calculate the employee wage and
purchased services indices for the PE GPCI. As discussed previously in
this section, because of its reliability, public availability, level of
detail, and national scope, we continue to believe the BLS OES is the
most appropriate data source for collecting wage and employment data.
Therefore, in calculating the proposed CY 2020 GPCI update, we used
updated BLS OES data (2014 through 2017) as a replacement for the 2011
through 2014 data for purposes of calculating the employee wage
component and purchased service index component of the PE GPCI. In
calculating the proposed CY 2020 GPCI update, for the office rent index
component of the PE GPCI we used the most recently available, 2013
through 2017, American Community Survey (ACS) 5-year estimates as a
replacement for the 2009 through 2013 ACS data.
c. Malpractice Expense (MP) GPCIs
The MP GPCIs measure the relative cost differences among PFS
localities for the purchase of professional liability insurance (PLI).
The MP GPCIs are calculated based on insurer rate filings of premium
data for $1 million to $3 million mature claims-made policies (policies
for claims made rather than losses occurring during the policy term).
For the CY 2017 GPCI update, we used 2014 and 2015 malpractice premium
data. The proposed CY 2020 MP GPCI update reflects premium data
presumed in effect as of December 30, 2017. We note that we finalized a
few technical refinements to the MP GPCI methodology in CY 2017, and
refer readers to the CY 2017 PFS final rule (81 FR 80270) for
additional discussion.
d. GPCI Cost Share Weights
For CY 2020 GPCIs, we are proposing to continue to use the current
cost share weights for determining the PE GPCI values and locality
GAFs. We refer readers to the CY 2014 PFS final rule with comment
period (78 FR 74382 through 74383), for further discussion regarding
the 2006-based MEI cost share weights revised in CY 2014 that we also
finalized for use in the CY 2017 GPCI update.
The proposed GPCI cost share weights for CY 2020 are displayed in
Table 12.
Table 12--Proposed Cost Share Weights for CY 2020 GPCI Update
------------------------------------------------------------------------
Proposed CY 2020
Expense category Current cost cost share weight
share weight (%) (%)
------------------------------------------------------------------------
Work.............................. 50.866 50.866
Practice Expense.................. 44.839 44.839
--Employee Compensation....... 16.553 16.553
--Office Rent................. 10.223 10.223
--Purchased Services.......... 8.095 8.095
--Equipment, Supplies, Other.. 9.968 9.968
Malpractice Insurance............. 4.295 4.295
-------------------------------------
Total......................... 100.000 100.000
------------------------------------------------------------------------
e. PE GPCI Floor for Frontier States
Section 10324(c) of the Affordable Care Act added a new
subparagraph (I) under section 1848(e)(1) of the Act to establish a 1.0
PE GPCI floor for physicians' services furnished in frontier states
effective January 1, 2011. In accordance with section 1848(e)(1)(I) of
the Act, beginning in CY 2011, we applied a 1.0 PE GPCI floor for
physicians' services furnished in states determined to be frontier
states. In general, a frontier state is one in which at least 50
percent of the counties are ``frontier counties,'' which are those that
[[Page 40513]]
have a population per square mile of less than 6. For more information
on the criteria used to define a frontier state, we refer readers to
the FY 2011 Inpatient Prospective Payment System (IPPS) final rule (75
FR 50160 through 50161). There are no changes in the states identified
as Frontier States for the CY 2020 PFS proposed rule. The qualifying
states are: Montana; Wyoming; North Dakota; South Dakota; and Nevada.
In accordance with statute, we would apply a 1.0 PE GPCI floor for
these states in CY 2020.
f. Methodology for Calculating GPCIs in the U.S. Territories
Prior to CY 2017, for all the island territories other than Puerto
Rico, the lack of comprehensive data about unique costs for island
territories had minimal impact on GPCIs because we used either the
Hawaii GPCIs (for the Pacific territories: Guam; American Samoa; and
Northern Mariana Islands) or used the unadjusted national averages (for
the Virgin Islands). In an effort to provide greater consistency in the
calculation of GPCIs given the lack of comprehensive data regarding the
validity of applying the proxy data used in the States in accurately
accounting for variability of costs for these island territories, in
the CY 2017 PFS final rule (81 FR 80268 through 80270), we finalized a
policy to treat the Caribbean Island territories (the Virgin Islands
and Puerto Rico) in a consistent manner. We do so by assigning the
national average of 1.0 to each GPCI index for both Puerto Rico and the
Virgin Islands. We refer readers to the CY 2017 PFS final rule for a
comprehensive discussion of this policy.
g. California Locality Update to the Fee Schedule Areas Used for
Payment Under Section 220(h) of the Protecting Access to Medicare Act
Section 220(h) of the PAMA added a new section 1848(e)(6) to the
Act that modified the fee schedule areas used for payment purposes in
California beginning in CY 2017. Prior to CY 2017, the fee schedule
areas used for payment in California were based on the revised locality
structure that was implemented in 1997 as previously discussed.
Beginning in CY 2017, section 1848(e)(6)(A)(i) of the Act required that
the fee schedule areas used for payment in California must be
Metropolitan Statistical Areas (MSAs) as defined by the Office of
Management and Budget (OMB) as of December 31 of the previous year; and
section 1848(e)(6)(A)(ii) of the Act required that all areas not
located in an MSA must be treated as a single rest-of-state fee
schedule area. The resulting modifications to California's locality
structure increased its number of localities from 9 under the current
locality structure to 27 under the MSA-based locality structure;
although for the purposes of payment the actual number of localities
under the MSA-based locality structure is 32. We refer readers to the
CY 2017 PFS final rule (81 FR 80267) for a detailed discussion of this
operational consideration.
Section 1848(e)(6)(D) of the Act defined transition areas as the
fee schedule areas for 2013 that were the rest-of-state locality, and
locality 3, which was comprised of Marin County, Napa County, and
Solano County. Section 1848(e)(6)(B) of the Act specified that the GPCI
values used for payment in a transition area are to be phased in over 6
years, from 2017 through 2022, using a weighted sum of the GPCIs
calculated under the new MSA-based locality structure and the GPCIs
calculated under the current PFS locality structure. That is, the GPCI
values applicable for these areas during this transition period are a
blend of what the GPCI values would have been for California under the
current locality structure, and what the GPCI values would be for
California under the MSA-based locality structure. For example, in CY
2020, which represents the fourth year, the applicable GPCI values for
counties that were previously in rest-of-state or locality 3 and are
now in MSAs are a blend of \2/3\ of the GPCI value calculated for the
year under the MSA-based locality structure, and \1/3\ of the GPCI
value calculated for the year under the current locality structure. The
proportions continue to shift by \1/6\ in each subsequent year so that,
by CY 2021, the applicable GPCI values for counties within transition
areas are a blend of \5/6\ of the GPCI value for the year under the
MSA-based locality structure, and \1/6\ of the GPCI value for the year
under the current locality structure. Beginning in CY 2022, the
applicable GPCI values for counties in transition areas are the values
calculated solely under the new MSA-based locality structure. For
clarity, we reiterate that this incremental phase-in is only applicable
to those counties that are in transition areas that are now in MSAs,
which are only some of the counties in the 2013 California rest-of
state locality and locality 3.
Additionally, section 1848(e)(6)(C) of the Act establishes a hold
harmless for transition areas beginning with CY 2017 whereby the
applicable GPCI values for a year under the new MSA-based locality
structure may not be less than what they would have been for the year
under the current locality structure. There are a total of 58 counties
in California, 50 of which are in transition areas as defined in
section 1848(e)(6)(D) of the Act. The eight counties that are not
within transition areas are: Orange; Los Angeles; Alameda; Contra
Costa; San Francisco; San Mateo; Santa Clara; and Ventura counties.
For the purposes of calculating budget neutrality and consistent
with the PFS budget neutrality requirements as specified under section
1848(c)(2)(B)(ii)(II) of the Act, we finalized the policy to start by
calculating the national GPCIs as if the current localities are still
applicable nationwide; then, for the purposes of payment in California,
we override the GPCI values with the values that are applicable for
California consistent with the requirements of section 1848(e)(6) of
the Act. This approach is consistent with the implementation of the
GPCI floor provisions that have previously been implemented--that is,
as an after-the-fact adjustment that is implemented for purposes of
payment after both the GPCIs and PFS budget neutrality have already
been calculated.
Additionally, section 1848(e)(1)(C) of the Act requires that, if
more than 1 year has elapsed since the date of the last previous GPCI
adjustment, the adjustment to be applied in the first year of the next
adjustment shall be \1/2\ of the adjustment that otherwise would be
made. However, since section 1848(e)(6)(B) of the Act provides for a
gradual phase in of the GPCI values under the new MSA-based locality
structure for California, specifically in one-sixth increments over 6
years, if we were to also apply the requirement to phase in \1/2\ of
the adjustment in year 1 of the GPCI update then the first year
increment would effectively be \1/12\. Therefore, in CY 2017, we
finalized a policy that the requirement at section 1848(e)(1)(C) of the
Act to phase in \1/2\ of the adjustment in year 1 of the GPCI update
would not apply to counties that were previously in the rest-of-state
or locality 3 and are now in MSAs that are subject to the blended
phase-in as described above in this section. We reiterate that this is
only applicable through CY 2021 since, beginning in CY 2022, the GPCI
values for such areas in an MSA would be fully based on the values
calculated under the new MSA-based locality structure for California.
For a comprehensive discussion of this provision, transition areas, and
operational considerations, we refer readers to the CY 2017 PFS final
rule (81 FR 80265 through 80268).
[[Page 40514]]
h. Refinements to the GPCI Methodology
In the process of calculating GPCIs for the purposes of this
proposed rule, we identified two technical refinements to the
methodology that yield improvements over the current method; these
refinements are applicable to the work GPCI and the employee wage index
and purchased services index components of the PE GPCI. We are
proposing to weight by total employment when computing county median
wages for each occupation code which addresses the fact that the
occupation wage can vary by industry within a county. Additionally, we
are also proposing to use a weighted average when calculating the final
county-level wage index; this removes the possibility that a county
index would imply a wage of 0 for any occupation group not present in
the county's data. These proposed methodological refinements yield
improved mathematical precision. Additional information on the GPCI
methodology and the proposed refinements are available in the interim
report, ``Interim Report for the CY 2020 Update of GPCIs and MP RVUs
for the Medicare Physician Fee Schedule'' on our website located under
the supporting documents section of the CY 2020 PFS proposed rule at
https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/PhysicianFeeSched/.
i. Proposed GPCI Update Summary
As explained above in the Background section above, the periodic
review and adjustment of GPCIs is mandated by section 1848(e)(1)(C) of
the Act. At each update, the proposed GPCIs are published in the PFS
proposed rule to provide an opportunity for public comment and further
revisions in response to comments prior to implementation. The proposed
CY 2020 updated GPCIs for the first and second year of the 2-year
transition, along with the GAFs, are displayed in Addenda D and E to
this proposed rule available on our website under the supporting
documents section of the CY 2020 PFS proposed rule web page at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/PhysicianFeeSched/.
E. Potentially Misvalued Services Under the PFS
1. Background
Section 1848(c)(2)(B) of the Act directs the Secretary to conduct a
periodic review, not less often than every 5 years, of the RVUs
established under the PFS. Section 1848(c)(2)(K) of the Act requires
the Secretary to periodically identify potentially misvalued services
using certain criteria and to review and make appropriate adjustments
to the relative values for those services. Section 1848(c)(2)(L) of the
Act also requires the Secretary to develop a process to validate the
RVUs of certain potentially misvalued codes under the PFS, using the
same criteria used to identify potentially misvalued codes, and to make
appropriate adjustments.
As discussed in section II.N. of this proposed rule, Valuation of
Specific Codes, each year we develop appropriate adjustments to the
RVUs taking into account recommendations provided by the RUC, MedPAC,
and other stakeholders. For many years, the RUC has provided us with
recommendations on the appropriate relative values for new, revised,
and potentially misvalued PFS services. We review these recommendations
on a code-by-code basis and consider these recommendations in
conjunction with analyses of other data, such as claims data, to inform
the decision-making process as authorized by law. We may also consider
analyses of work time, work RVUs, or direct PE inputs using other data
sources, such as Department of Veteran Affairs (VA), National Surgical
Quality Improvement Program (NSQIP), the Society for Thoracic Surgeons
(STS), and the Merit-based Incentive Payment System (MIPS) data. In
addition to considering the most recently available data, we assess the
results of physician surveys and specialty recommendations submitted to
us by the RUC for our review. We also consider information provided by
other stakeholders. We conduct a review to assess the appropriate RVUs
in the context of contemporary medical practice. We note that section
1848(c)(2)(A)(ii) of the Act authorizes the use of extrapolation and
other techniques to determine the RVUs for physicians' services for
which specific data are not available and requires us to take into
account the results of consultations with organizations representing
physicians who provide the services. In accordance with section 1848(c)
of the Act, we determine and make appropriate adjustments to the RVUs.
In its March 2006 Report to the Congress (https://www.medpac.gov/docs/default-source/reports/Mar06_Ch03.pdf?sfvrsn=0), MedPAC discussed
the importance of appropriately valuing physicians' services, noting
that misvalued services can distort the market for physicians'
services, as well as for other health care services that physicians
order, such as hospital services. In that same report, MedPAC
postulated that physicians' services under the PFS can become misvalued
over time. MedPAC stated, ``When a new service is added to the
physician fee schedule, it may be assigned a relatively high value
because of the time, technical skill, and psychological stress that are
often required to furnish that service. Over time, the work required
for certain services would be expected to decline as physicians become
more familiar with the service and more efficient in furnishing it.''
We believe services can also become overvalued when PE declines. This
can happen when the costs of equipment and supplies fall, or when
equipment is used more frequently than is estimated in the PE
methodology, reducing its cost per use. Likewise, services can become
undervalued when physician work increases or PE rises.
As MedPAC noted in its March 2009 Report to Congress (https://www.medpac.gov/docs/default-source/reports/march-2009-report-to-congress-medicare-payment-policy.pdf), in the intervening years since
MedPAC made the initial recommendations, CMS and the RUC have taken
several steps to improve the review process. Also, section
1848(c)(2)(K)(ii) of the Act augments our efforts by directing the
Secretary to specifically examine, as determined appropriate,
potentially misvalued services in the following categories:
Codes that have experienced the fastest growth.
Codes that have experienced substantial changes in PE.
Codes that describe new technologies or services within an
appropriate time period (such as 3 years) after the relative values are
initially established for such codes.
Codes which are multiple codes that are frequently billed
in conjunction with furnishing a single service.
Codes with low relative values, particularly those that
are often billed multiple times for a single treatment.
Codes that have not been subject to review since
implementation of the fee schedule.
Codes that account for the majority of spending under the
PFS.
Codes for services that have experienced a substantial
change in the hospital length of stay or procedure time.
Codes for which there may be a change in the typical site
of service since the code was last valued.
Codes for which there is a significant difference in
payment for the
[[Page 40515]]
same service between different sites of service.
Codes for which there may be anomalies in relative values
within a family of codes.
Codes for services where there may be efficiencies when a
service is furnished at the same time as other services.
Codes with high intraservice work per unit of time.
Codes with high PE RVUs.
Codes with high cost supplies.
Codes as determined appropriate by the Secretary.
Section 1848(c)(2)(K)(iii) of the Act also specifies that the
Secretary may use existing processes to receive recommendations on the
review and appropriate adjustment of potentially misvalued services. In
addition, the Secretary may conduct surveys, other data collection
activities, studies, or other analyses, as the Secretary determines to
be appropriate, to facilitate the review and appropriate adjustment of
potentially misvalued services. This section also authorizes the use of
analytic contractors to identify and analyze potentially misvalued
codes, conduct surveys or collect data, and make recommendations on the
review and appropriate adjustment of potentially misvalued services.
Additionally, this section provides that the Secretary may coordinate
the review and adjustment of any RVU with the periodic review described
in section 1848(c)(2)(B) of the Act. Section 1848(c)(2)(K)(iii)(V) of
the Act specifies that the Secretary may make appropriate coding
revisions (including using existing processes for consideration of
coding changes) that may include consolidation of individual services
into bundled codes for payment under the PFS.
2. Progress in Identifying and Reviewing Potentially Misvalued Codes
To fulfill our statutory mandate, we have identified and reviewed
numerous potentially misvalued codes as specified in section
1848(c)(2)(K)(ii) of the Act, and we intend to continue our work
examining potentially misvalued codes in these areas over the upcoming
years. As part of our current process, we identify potentially
misvalued codes for review, and request recommendations from the RUC
and other public commenters on revised work RVUs and direct PE inputs
for those codes. The RUC, through its own processes, also identifies
potentially misvalued codes for review. Through our public nomination
process for potentially misvalued codes established in the CY 2012 PFS
final rule with comment period, other individuals and stakeholder
groups submit nominations for review of potentially misvalued codes as
well. Individuals and stakeholder groups may submit codes for review
under the potentially misvalued codes initiative to CMS in one of two
ways. Nominations may be submitted to CMS via email or through postal
mail. Email submissions should be sent to the CMS emailbox
[email protected], with the phrase ``Potentially
Misvalued Codes'' in the subject line. Physical letters for nominations
should be sent via the U.S. Postal Service to the Centers for Medicare
and Medicaid Service, Mail Stop: C4-01-26, 7500 Security Blvd.,
Baltimore, Maryland 21244. Envelopes containing the nomination letters
must be labeled ``Attention: Division of Practitioner Services,
Potentially Misvalued Codes''. Nominations for consideration in our
next annual rule cycle should be received by our February 10th
deadline. Since CY 2009, as a part of the annual potentially misvalued
code review and Five-Year Review process, we have reviewed
approximately 1,700 potentially misvalued codes to refine work RVUs and
direct PE inputs. We have assigned appropriate work RVUs and direct PE
inputs for these services as a result of these reviews. A more detailed
discussion of the extensive prior reviews of potentially misvalued
codes is included in the Medicare Program; Payment Policies Under the
Physician Fee Schedule, Five-Year Review of Work Relative Value Units,
Clinical Laboratory Fee Schedule: Signature on Requisition, and Other
Revisions to Part B for CY 2012; Final Rule (76 FR 73052 through 73055)
(hereinafter referred to as the CY 2012 PFS final rule with comment
period). In the CY 2012 PFS final rule with comment period (76 FR 73055
through 73958), we finalized our policy to consolidate the review of
physician work and PE at the same time, and established a process for
the annual public nomination of potentially misvalued services.
In the Medicare Program; Revisions to Payment Policies Under the
Physician Fee Schedule, DME Face-to-Face Encounters, Elimination of the
Requirement for Termination of Non-Random Prepayment Complex Medical
Review and Other Revisions to Part B for CY 2013 (77 FR 68892)
(hereinafter referred to as the CY 2013 PFS final rule with comment
period), we built upon the work we began in CY 2009 to review
potentially misvalued codes that have not been reviewed since the
implementation of the PFS (so-called ``Harvard-valued codes''). In the
Medicare Program; Revisions to Payment Policies Under the Physician Fee
Schedule and Other Revisions to Part B for CY 2009; and Revisions to
the Amendment of the E-Prescribing Exemption for Computer Generated
Facsimile Transmissions; Proposed Rule (73 FR 38589) (hereinafter
referred to the CY 2009 PFS proposed rule), we requested
recommendations from the RUC to aid in our review of Harvard-valued
codes that had not yet been reviewed, focusing first on high-volume,
low intensity codes. In the fourth Five-Year Review (76 FR 32410), we
requested recommendations from the RUC to aid in our review of Harvard-
valued codes with annual utilization of greater than 30,000 services.
In the CY 2013 PFS final rule with comment period, we identified
specific Harvard-valued services with annual allowed charges that total
at least $10,000,000 as potentially misvalued. In addition to the
Harvard-valued codes, in the CY 2013 PFS final rule with comment period
we finalized for review a list of potentially misvalued codes that have
stand-alone PE (codes with physician work and no listed work time and
codes with no physician work that have listed work time).
In the Medicare Program; Revisions to Payment Policies under the
Physician Fee Schedule and Other Revisions to Part B for CY 2016 final
rule with comment period (80 FR 70886) (hereinafter referred to as the
CY 2016 PFS final rule with comment period), we finalized for review a
list of potentially misvalued services, which included eight codes in
the neurostimulators analysis-programming family (CPT codes 95970-
95982). We also finalized as potentially misvalued 103 codes identified
through our screen of high expenditure services across specialties.
In the Medicare Program; Revisions to Payment Policies under the
Physician Fee Schedule and Other Revisions to Part B for CY 2017;
Medicare Advantage Bid Pricing Data Release; Medicare Advantage and
Part D Medical Loss Ratio Data Release; Medicare Advantage Provider
Network Requirements; Expansion of Medicare Diabetes Prevention Program
Model; Medicare Shared Savings Program Requirements final rule (81 FR
80170) (hereinafter referred to as the CY 2017 PFS final rule), we
finalized for review a list of potentially misvalued services, which
included eight codes in the end-stage renal disease home dialysis
family (CPT codes 90963-90970). We also finalized as potentially
misvalued 19 codes
[[Page 40516]]
identified through our screen for 0-day global services that are
typically billed with an evaluation and management (E/M) service with
modifier 25.
In the CY 2018 PFS final rule, we finalized arthrodesis of
sacroiliac joint (CPT code 27279) as potentially misvalued. Through the
use of comment solicitations with regard to specific codes, we also
examined the valuations of other services, in addition to, new
potentially misvalued code screens (82 FR 53017 through 53018).
3. CY 2020 Identification and Review of Potentially Misvalued Services
In the CY 2012 PFS final rule with comment period (76 FR 73058), we
finalized a process for the public to nominate potentially misvalued
codes. In the CY 2015 PFS final rule with comment period (79 FR 67606
through 67608), we modified this process whereby the public and
stakeholders may nominate potentially misvalued codes for review by
submitting the code with supporting documentation by February 10th of
each year. Supporting documentation for codes nominated for the annual
review of potentially misvalued codes may include the following:
Documentation in peer reviewed medical literature or other
reliable data that demonstrate changes in physician work due to one or
more of the following: Technique, knowledge and technology, patient
population, site-of-service, length of hospital stay, and work time.
An anomalous relationship between the code being proposed
for review and other codes.
Evidence that technology has changed physician work.
Analysis of other data on time and effort measures, such
as operating room logs or national and other representative databases.
Evidence that incorrect assumptions were made in the
previous valuation of the service, such as a misleading vignette,
survey, or flawed crosswalk assumptions in a previous evaluation.
Prices for certain high cost supplies or other direct PE
inputs that are used to determine PE RVUs are inaccurate and do not
reflect current information.
Analyses of work time, work RVU, or direct PE inputs using
other data sources (for example, VA, NSQIP, the STS National Database,
and the MIPS data).
National surveys of work time and intensity from
professional and management societies and organizations, such as
hospital associations.
We evaluate the supporting documentation submitted with the
nominated codes and assess whether the nominated codes appear to be
potentially misvalued codes appropriate for review under the annual
process. In the following year's PFS proposed rule, we publish the list
of nominated codes and indicate for each nominated code whether we
agree with its inclusion as a potentially misvalued code. The public
has the opportunity to comment on these and all other proposed
potentially misvalued codes. In that year's final rule, we finalize our
list of potentially misvalued codes.
a. Public Nominations
We received three submissions that nominated codes for review under
the potentially misvalued code initiative, prior to our February 10,
2019 deadline. In addition to three public nominations, CMS also
nominated one additional code for review.
One commenter requested that CMS consider CPT code 10005 (Fine
needle aspiration biopsy, including ultrasound guidance; first lesion)
and CPT code 10021 (Fine needle aspiration biopsy, without imaging
guidance; first lesion) for nomination as potentially misvalued. We
note that these two CPT codes were recently reviewed within a family of
13 similar codes. Our review of these codes and our rationale for
finalizing the current values are discussed extensively in the CY 2019
PFS final rule (83 FR 59517). For CPT code 10021, the RUC recommended a
32 percent reduction from its previous physician time and a 5 percent
reduction in the work RVU. The commenter disagreed with this change and
stated that there was a change in intensity of the procedure now as
compared to what it was in 1995 when this code was last evaluated. The
commenter also stated that there was a change in intensity of the work
performed due to use of more complicated equipment, more stringent
specimen sampling that allow for extensive examination of smaller and
deeper lesions within the body. The commenter disagreed with the CMS'
crosswalked CPT code 36440 (Push blood transfusion, patient 2 years or
younger) and presented CPT codes 40490 (Biopsy of lip) and 95865
(Needle measurement and recording of electrical activity of muscles of
voice box) as more appropriate crosswalks.
Another commenter requested that CMS consider HCPCS code G0166
(External counterpulsation, per treatment session) as potentially
misvalued. This code was reviewed for the CY 2019 PFS final rule (83 FR
59578), and the work RVU and direct PE inputs as recommended by the AMA
RUC were finalized by CMS. We finalized the valuation of this code with
no refinements. However, the commenter noted that the PE inputs that
were considered for this code did not fully reflect the total resources
required to deliver the service. We will review the commenter's
submission of additional new data and public comments received in
combination with what was previously presented in the CY 2019 PFS final
rule.
CMS nominated CPT code 76377 (3D rendering with interpretation and
reporting of computed tomography, magnetic resonance imaging,
ultrasound, or other tomographic modality with image postprocessing
under concurrent supervision; requiring image postprocessing on an
independent workstation) as potentially misvalued. CPT code 76376 (3D
rendering with interpretation and reporting of computed tomography,
magnetic resonance imaging, ultrasound, or other tomographic modality
with image postprocessing under concurrent supervision; not requiring
image postprocessing on an independent workstation) was reviewed by the
AMA RUC at the April 2018 RUC meeting. However, CPT code 76377, which
is very similar to CPT code 76376, was not reviewed, and is likely now
misvalued, in light of the similarities between the two codes. The
specialty societies noted that the two codes are different because they
are utilized by different patient populations (as evidenced by the ICD-
10 diagnoses); however, we view both codes to be similar enough that
CPT code 76377 should be reviewed to maintain relativity in the code
family.
We are proposing the aforementioned public and CMS nominated codes
as potentially misvalued and welcome public comment on these codes.
Another commenter provided information to CMS in which they stated
that the work involved in furnishing services represented by the
office/outpatient evaluation and management (E/M) code set (CPT codes
99201-99215) has changed sufficiently to warrant revaluation.
Specifically, the commenter stated that these codes have not been
reviewed in over 12 years and in that time have suffered passive
devaluation as more and more procedures and other services have been
added to the CPT code set, which are subsequently valued in a budget
neutral manner, through notice and comment rulemaking, on the Medicare
PFS. The commenter also stated that re-evaluation of these codes is
critical to the success
[[Page 40517]]
of CMS' objective of advancing value-based care through the
introduction of advanced alternative payment models (APMs) as these
APMs rely on the underlying E/M codes as the basis for payment or
reference price for bundled payments.
We acknowledge the points made by the commenter, and continue to
consider the best ways to recognize the significant changes in
healthcare practice as discussed by the commenter. We agree, in
principle, that the existing set of office/outpatient E/M CPT codes may
not be correctly valued. In recent years, we have specifically
considered how best to update and revalue the E/M codes, which
represent a significant proportion of PFS expenditures, and have also
engaged in ongoing dialogue with the practitioner community. In the CY
2019 PFS proposed and final rules, in part due to these ongoing
stakeholder discussions, we proposed and finalized changes to E/M
payment and documentation requirements to implement policy objectives
focused on reducing provider documentation burden (83 FR 59625).
Concurrently, the CPT Editorial Panel, under similar burden reduction
guiding principles, convened a workgroup and proposed to refine and
revalue the existing E/M office/outpatient code set. We thank the
commenter for the views represented in their comment. As stated earlier
in this section, we agree in principle that the existing set of office/
outpatient E/M CPT codes may not be correctly valued, and therefore, we
will continue to consider opportunities to revalue these codes, in
light of their significance to payment for services billed under
Medicare.
Table 13 lists the HCPCS and CPT codes that we are proposing as
potentially misvalued.
Table 13--HCPCS and CPT Codes Proposed as Potentially Misvalued
------------------------------------------------------------------------
CPT/HCPCS code Short description
------------------------------------------------------------------------
10005................................ Fna bx w/us gdn 1st les.
10021................................ Fna bx w/o img gdn 1st les.
76377................................ 3d render w/intrp postproces.
G0166................................ Extrnl counterpulse, per tx.
------------------------------------------------------------------------
F. Payment for Medicare Telehealth Services Under Section 1834(m) of
the Act
As discussed in this rule and in prior rulemaking, several
conditions must be met for Medicare to make payment for telehealth
services under the PFS. For further details, see the full discussion of
the scope of Medicare telehealth services in the CY 2018 PFS final rule
(82 FR 53006) and in 42 CFR 410.78 and 414.65.
1. Adding Services to the List of Medicare Telehealth Services
In the CY 2003 PFS final rule with comment period (67 FR 79988), we
established a process for adding services to or deleting services from
the list of Medicare telehealth services in accordance with section
1834(m)(4)(F)(ii) of the Act. This process provides the public with an
ongoing opportunity to submit requests for adding services, which are
then reviewed by us. Under this process, we assign any submitted
request to add to the list of telehealth services to one of the
following two categories:
Category 1: Services that are similar to professional
consultations, office visits, and office psychiatry services that are
currently on the list of telehealth services. In reviewing these
requests, we look for similarities between the requested and existing
telehealth services for the roles of, and interactions among, the
beneficiary, the physician (or other practitioner) at the distant site
and, if necessary, the telepresenter, a practitioner who is present
with the beneficiary in the originating site. We also look for
similarities in the telecommunications system used to deliver the
service; for example, the use of interactive audio and video equipment.
Category 2: Services that are not similar to those on the
current list of telehealth services. Our review of these requests
includes an assessment of whether the service is accurately described
by the corresponding code when furnished via telehealth and whether the
use of a telecommunications system to furnish the service produces
demonstrated clinical benefit to the patient. Submitted evidence should
include both a description of relevant clinical studies that
demonstrate the service furnished by telehealth to a Medicare
beneficiary improves the diagnosis or treatment of an illness or injury
or improves the functioning of a malformed body part, including dates
and findings, and a list and copies of published peer reviewed articles
relevant to the service when furnished via telehealth. Our evidentiary
standard of clinical benefit does not include minor or incidental
benefits.
Some examples of clinical benefit include the following:
Ability to diagnose a medical condition in a patient
population without access to clinically appropriate in-person
diagnostic services.
Treatment option for a patient population without access
to clinically appropriate in-person treatment options.
Reduced rate of complications.
Decreased rate of subsequent diagnostic or therapeutic
interventions (for example, due to reduced rate of recurrence of the
disease process).
Decreased number of future hospitalizations or physician
visits.
More rapid beneficial resolution of the disease process
treatment.
Decreased pain, bleeding, or other quantifiable symptom.
Reduced recovery time.
The list of telehealth services, including the proposed additions
described later in this section, can be located on the CMS website at
https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/PhysicianFeeSched/PFS-Federal-Regulation-Notices.html.
Historically, requests to add services to the list of Medicare
telehealth services had to be submitted and received no later than
December 31 of each calendar year to be considered for the next
rulemaking cycle. However, beginning in CY 2019 we stated that for CY
2019 and onward, we intend to accept requests through February 10,
consistent with the deadline for our receipt of code valuation
recommendations from the RUC. For example, to be considered during PFS
rulemaking for CY 2021, requests to add services to the list of
Medicare telehealth services must be submitted and received by February
10, 2020. Each request to add a service to the list of Medicare
telehealth services must include any supporting documentation the
requester wishes us to consider as we review the request. Because we
use the annual PFS rulemaking process as the vehicle to make changes to
the list of Medicare telehealth services, requesters should be advised
that any information submitted as part of a request is subject to
public disclosure for this purpose. For more information on submitting
a request to add services to the list of Medicare telehealth services,
including where to mail these requests, see our website at https://www.cms.gov/Medicare/Medicare-General-Information/Telehealth/.
2. Requests To Add Services to the List of Telehealth Services for CY
2020
Under our current policy, we add services to the telehealth list on
a Category 1 basis when we determine that they are similar to services
on the existing telehealth list for the roles of,
[[Page 40518]]
and interactions among, the beneficiary, physician (or other
practitioner) at the distant site and, if necessary, the telepresenter.
As we stated in the CY 2012 PFS final rule with comment period (76 FR
73098), we believe that the Category 1 criteria not only streamline our
review process for publicly requested services that fall into this
category, but also expedite our ability to identify codes for the
telehealth list that resemble those services already on this list.
We did not receive any requests from the public for additions to
the Medicare Telehealth list for CY 2020. We believe that the vast
majority of services under the PFS that can be appropriately furnished
as Medicare telehealth services have already been added to the list.
However, there are three HCPCS G-codes describing new services
being proposed in section II.H. of this rule for CY 2020 which we
believe are sufficiently similar to services currently on the
telehealth list to be added on a Category 1 basis. Therefore, we are
proposing to add the face-to-face portions of the following services to
the telehealth list on a Category 1 basis for CY 2020:
HCPCS code GYYY1: Office-based treatment for opioid use
disorder, including development of the treatment plan, care
coordination, individual therapy and group therapy and counseling; at
least 70 minutes in the first calendar month.
HCPCS code GYYY2: Office-based treatment for opioid use
disorder, including care coordination, individual therapy and group
therapy and counseling; at least 60 minutes in a subsequent calendar
month.
HCPCS code GYYY3: Office-based treatment for opioid use
disorder, including care coordination, individual therapy and group
therapy and counseling; each additional 30 minutes beyond the first 120
minutes (List separately in addition to code for primary procedure).
Similar to our addition of the required face-to-face visit
component of TCM services to the Medicare Telehealth list in the CY
2014 PFS final rule with comment period (78 FR 74403), since HCPCS
codes GYYY1, GYYY2, and GYYY3 include face-to-face psychotherapy
services, we believe that the face-to-face portions of these services
are sufficiently similar to services currently on the list of Medicare
telehealth services for these services to be added under Category 1.
Specifically, we believe that the psychotherapy portions of the bundled
codes are similar to the psychotherapy codes described by CPT codes
90832 and 90853, which are currently on the Medicare telehealth
services list. We note that like certain other non-face-to-face PFS
services, the other components of HCPCS codes GYYY1-3 describing care
coordination are commonly furnished remotely using telecommunications
technology, and do not require the patient to be present in-person with
the practitioner when they are furnished. As such, we do not need to
consider whether the non-face-to-face aspects of HCPCS codes GYYY1-3
are similar to other telehealth services. Were these components of
HCPCS codes GYYY1-3 separately billable, they would not need to be on
the Medicare telehealth list to be covered and paid in the same way as
services delivered without the use of telecommunications technology.
As discussed in the CY 2019 PFS final rule (83 FR 59496), we note
that section 2001(a) of the SUPPORT Act (Pub. L. 115-271, October 24,
2018) amended section 1834(m) of the Act, adding a new paragraph (7)
that removes the geographic limitations for telehealth services
furnished on or after July 1, 2019, for individuals diagnosed with a
substance use disorder (SUD) for the purpose of treating the SUD or a
co-occurring mental health disorder. Section 1834(m)(7) of the Act also
allows telehealth services for treatment of a diagnosed SUD or co-
occurring mental health disorder to be furnished to individuals at any
telehealth originating site (other than a renal dialysis facility),
including in a patient's home. Section 2001(a) of the SUPPORT Act
additionally amended section 1834(m) of the Act to require that no
originating site facility fee will be paid in instances when the
individual's home is the originating site. We believe that adding HCPCS
codes GYYY1, GYYY2, and GYYY3 will complement the existing policies
related to flexibilities in treating SUDs under Medicare Telehealth.
We note that we welcome public nominations for additions to the
Medicare telehealth list. More information on the nomination process is
posted under the Telehealth section of the CMS website, which can be
accessed at the following web address https://www.cms.gov/Medicare/Medicare-General-Information/Telehealth/.
G. Medicare Coverage for Opioid Use Disorder Treatment Services
Furnished by Opioid Treatment Programs (OTPs)
1. Overview
Opioid use disorder (OUD) and deaths from prescription and illegal
opioid overdoses have reached alarming levels. The Centers for Disease
Control and Prevention (CDC) estimated 47,000 overdose deaths were from
opioids in 2017 and 36 percent of those deaths were from prescription
opioids.\1\ OUD has become a public health crisis. On October 26, 2017,
Acting Health and Human Services Secretary, Eric D. Hargan declared a
nationwide public health emergency on the opioid crisis as requested by
President Donald Trump.\2\ This public health emergency was renewed by
Secretary Alex M. Azar II on January 24, 2018, April 24, 2018, July 23,
2018, and October 21, 2018, January 17, 2019 and most recently, on
April 19, 2019.\3\
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\1\ https://www.cdc.gov/drugoverdose/data/.
\2\ https://www.hhs.gov/about/news/2017/10/26/hhs-acting-secretary-declares-public-health-emergency-address-national-opioid-crisis.html.
\3\ https://www.phe.gov/emergency/news/healthactions/phe/Pages/opioid-19apr2019.aspx.
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The Medicare population, including individuals who are eligible for
both Medicare and Medicaid, has the fastest growing prevalence of OUD
compared to the general adult population, with more than 300,000
beneficiaries diagnosed with OUD in 2014.\4\ An effective treatment for
OUD is known as medication-assisted treatment (MAT). The Substance
Abuse and Mental Health Services Administration (SAMHSA) defines MAT as
the use of medication in combination with behavioral health services to
provide an individualized approach to the treatment of substance use
disorder, including opioid use disorder (42 CFR 8.2). Currently,
Medicare covers medications for MAT, including buprenorphine,
buprenorphine-naloxone combination products, and extended-release
injectable naltrexone under Part B or Part D, but does not cover
methadone. Medicare also covers counseling and behavioral therapy
services that are reasonable and necessary and furnished by
practitioners that can bill and receive payment under Medicare.
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\4\ https://jamanetwork.com/journals/jamapsychiatry/fullarticle/2535238.
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Historically, Medicare has not covered methadone for MAT because of
the unique manner in which this drug is dispensed and administered.
Medicare Part B covers physician-administered drugs, drugs used in
[[Page 40519]]
conjunction with durable medical equipment, and certain other
statutorily specified drugs. Medicare Part D covers drugs that are
dispensed upon a prescription by a pharmacy. Methadone for MAT is not a
drug administered by a physician under the incident to benefit like
other MAT drugs (that is, implanted buprenorphine or injectable
extended-release naltrexone) and therefore has not previously been
covered by Medicare Part B. Methadone for MAT is also not a drug
dispensed by a pharmacy like certain other MAT drugs (that is
buprenorphine or buprenorphine-naloxone combination products) and
therefore is not covered under Medicare Part D. Methadone for MAT is a
schedule II controlled substance that is highly regulated because it
has a high potential for abuse which may lead to severe psychological
or physical dependence. As a result, methadone for MAT can only be
dispensed and administered by an opioid treatment program (OTP) as
provided under section 303(g)(1) of the Controlled Substances Act (21
U.S.C. 823(g)(1)) and 42 CFR part 8. Additionally, OTPs, which are
healthcare entities that focus on providing MAT for people diagnosed
with OUD, were not previously entities that could bill and receive
payment from Medicare for the services they furnish. Therefore, there
has historically been a gap in Medicare coverage of MAT for OUD since
methadone (one of the three FDA-approved drugs for MAT) has not been
covered.
Section 2005 of the Substance Use-Disorder Prevention that Promotes
Opioid Recovery and Treatment for Patients and Communities Act (the
SUPPORT Act) (Pub. L. 115-271, enacted October 24, 2018) added a new
section 1861(jjj) to the Act, establishing a new Part B benefit
category for OUD treatment services furnished by an OTP beginning on or
after January 1, 2020. Section 1861(jjj)(1) of the Act defines OUD
treatment services as items and services furnished by an OTP (as
defined in section 1861(jjj)(2)) for treatment of OUD. Section 2005 of
the SUPPORT Act also amended the definition of ``medical and other
health services'' in section 1861(s) of the Act to provide for coverage
of OUD treatment services and added a new section 1834(w) to the Act
and amended section 1833(a)(1) of the Act to establish a bundled
payment to OTPs for OUD treatment services furnished during an episode
of care beginning on or after January 1, 2020.
OTPs must have a current, valid certification from SAMHSA to
satisfy the Controlled Substances Act registration requirement under 21
U.S.C. 823(g)(1). To obtain SAMHSA certification, OTPs must have a
valid accreditation by an accrediting body approved by SAMHSA, and must
be certified by SAMHSA as meeting federal opioid treatment standards in
42 CFR 8.12. There are currently about 1,700 OTPs nationwide.\5\ All
states except Wyoming have OTPs. Approximately 74 percent of patients
receiving services from OTPs receive methadone for MAT, with the vast
majority of the remaining patients receiving buprenorphine.\6\
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\5\ https://dpt2.samhsa.gov/treatment/directory.aspx.
\6\ https://wwwdasis.samhsa.gov/dasis2/nssats.htm.
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Many payers currently cover MAT services for treatment of OUD.
Medicaid \7\ is one of the largest payers of medications for substance
use disorder (SUD), including methadone for MAT provided in OTPs.\8\
OUD treatment services and MAT are also covered by other payers such as
TRICARE and private insurers. TRICARE established coverage and payment
for MAT and OUD treatment services furnished by OTPs in late 2016 (81
FR 61068). In addition, as discussed in the ``Patient Protection and
Affordable Care Act; HHS Notice of Benefit and Payment Parameters for
2020'' proposed rule, many qualified health plans covered MAT
medications for plan year 2018 (84 FR 285).
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\7\ Medicaid provides health care coverage to 65.9 million
Americans, including low-income adults, children, pregnant women,
elderly adults and people with disabilities. Medicaid is
administered by states, according to federal requirements, and is
funded jointly by states and the federal government. States have the
flexibility to administer the Medicaid program to meet their own
state needs within the Medicaid program parameters set forth in
federal statute and regulations. As a result, there is variation in
how each state implements its programs.
\8\ https://store.samhsa.gov/system/files/medicaidfinancingmatreport.pdf.
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In the CY 2019 PFS final rule (83 FR 59497), we included a Request
for Information (RFI) to solicit public comments on the implementation
of the new Medicare benefit category for OUD treatment services
furnished by OTPs established by section 2005 of the SUPPORT Act. We
received 9 public comments. Commenters were generally supportive of the
new benefit and expanding access to OUD treatment for Medicare
beneficiaries. We received feedback that the bundled payments to OTPs
should recognize the intensity of services furnished in the initiation
stages, durations of care, the needs of patients with more complex
needs, costs of emerging technologies, and use of peer support groups.
We also received feedback that costs associated with care coordination
among the beneficiary's practitioners should be included in the bundled
payment given the myriad of health issues beneficiaries with OUD face.
We considered this feedback as we developed our proposals for
implementing the new benefit category for OUD treatment services
furnished by OTPs and the proposed bundled payments for these services.
To implement section 2005 of the SUPPORT Act, we are proposing to
establish rules to govern Medicare coverage of and payment for OUD
treatment services furnished in OTPs. In the following discussion, we
propose to establish definitions of OUD treatment services and OTP for
purposes of the Medicare Program. We also propose a methodology for
determining Medicare payment for such services provided by OTPs. We are
proposing to codify these policies in a new section of the regulations
at Sec. 410.67. For a discussion about Medicare enrollment
requirements and the proposed program integrity approach for OTPs, we
refer readers to section III.H. Medicare Enrollment of Opioid Treatment
Programs, in this proposed rule.
2. Proposed Definitions
a. Opioid Use Disorder Treatment Services
The SUPPORT Act amended section 1861 of the Act by adding a new
subsection (jjj)(1) that defines ``opioid use disorder treatment
services'' as the items and services that are furnished by an OTP for
the treatment of OUD, as set forth in subparagraphs (A) through (F) of
section 1861(jjj)(1) of the Act which include:
Opioid agonist and antagonist treatment medications
(including oral, injected, or implanted versions) that are approved by
the Food and Drug Administration (FDA) under section 505 of the Federal
Food, Drug, and Cosmetic Act (FFDCA) (21 U.S.C. 355) for use in the
treatment of OUD;
Dispensing and administration of such medications, if
applicable;
Substance use counseling by a professional to the extent
authorized under state law to furnish such services;
Individual and group therapy with a physician or
psychologist (or other mental health professional to the extent
authorized under state law);
Toxicology testing; and
Other items and services that the Secretary determines are
appropriate (but in no event to include meals or transportation).
As described previously, section 1861(jjj)(1)(A) of the Act defines
covered OUD treatment services to include oral,
[[Page 40520]]
injected, and implanted opioid agonist and antagonist medications
approved by FDA under section 505 of the FFDCA for use in the treatment
of OUD. There are three drugs currently approved by the FDA for the
treatment of opioid dependence: Buprenorphine, methadone, and
naltrexone.\9\ FDA notes that all three of these medications have been
demonstrated to be safe and effective in combination with counseling
and psychosocial support and that those seeking treatment for an OUD
should be offered access to all three options as this allows providers
to work with patients to select the medication best suited to an
individual's needs.\10\ Each of these medications is discussed below in
more detail.
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\9\ https://www.fda.gov/drugs/drugsafety/informationbydrugclass/ucm600092.htm.
\10\ https://www.fda.gov/drugs/drugsafety/informationbydrugclass/ucm600092.htm.
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Buprenorphine is FDA-approved for acute and chronic pain in
addition to opioid dependence. It is listed by the Drug Enforcement
Administration (DEA) as a Schedule III controlled substance because of
its moderate to low potential for physical and psychological
dependence.\11\ \12\ The medication's partial agonist properties allow
for its use in opioid replacement therapy, which is a process of
treating OUD by using a substance, for example, buprenorphine or
methadone, to substitute for a stronger full agonist opioid.\13\
Buprenorphine drug products that are currently FDA-approved and
marketed for the treatment of opioid dependence include oral
buprenorphine and naloxone \14\ films and tablets, an extended-release
buprenorphine injection for subcutaneous use, and a buprenorphine
implant for subdermal administration.\15\ In most patients with opioid
dependence, the initial oral dose is 2 to 4 mg per day with a
maintenance dose of 8-12 mg per day.\16\ Dosing for the extended-
release injection is 300 mg monthly for the first 2 months followed by
a maintenance dose of 100 mg monthly.\17\ The extended-release
injection is indicated for patients who have initiated treatment with
an oral buprenorphine product for a minimum of 7 days.\18\ The
buprenorphine implant consists of four rods containing 74.2 mg of
buprenorphine each, and provides up to 6 months of treatment for
patients who are clinically stable on low-to-moderate doses of an oral
buprenorphine-containing product.\19\ Currently, federal regulations
permit buprenorphine to be prescribed or dispensed by qualifying
physicians and qualifying other practitioners at office-based practices
and dispensed in OTPs.\20\ \21\
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\11\ https://www.deadiversion.usdoj.gov/schedules/orangebook/c_cs_alpha.pdf.
\12\ https://www.dea.gov/drug-scheduling.
\13\ https://www.ncbi.nlm.nih.gov/books/NBK459126/.
\14\ Naloxone is added to buprenorphine in order to reduce its
abuse potential and limit diversion.
\15\ https://www.fda.gov/drugs/drugsafety/informationbydrugclass/ucm600092.htm.
\16\ https://www.ncbi.nlm.nih.gov/books/NBK459126/.
\17\ https://www.accessdata.fda.gov/drugsatfda_docs/label/2018/209819s001lbl.pdf.
\18\ https://www.accessdata.fda.gov/drugsatfda_docs/label/2018/209819s001lbl.pdf.
\19\ https://www.accessdata.fda.gov/drugsatfda_docs/label/2018/204442s006lbl.pdf.
\20\ https://www.fda.gov/Drugs/NewsEvents/ucm611659.htm.
\21\ 21 U.S.C. 823(g)(2).
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Methadone is FDA-approved for management of severe pain in addition
to opioid dependence. It is listed by the DEA as a Schedule II
controlled substance because of its high potential for abuse, with use
potentially leading to severe psychological or physical dependence.\22\
\23\ Methadone drug products that are FDA-approved for the treatment of
opioid dependence include oral methadone concentrate and tablets.\24\
In patients with opioid dependence, the total daily dose of methadone
on the first day of treatment should not ordinarily exceed 40 mg,
unless the program physician documents in the patient's record that 40
milligrams did not suppress opioid abstinence, with clinical stability
generally achieved at doses between 80 to 120 mg/day.\25\ By law,
methadone can only be dispensed through an OTP certified by SAMHSA.\26\
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\22\ https://www.deadiversion.usdoj.gov/schedules/orangebook/c_cs_alpha.pdf.
\23\ https://www.dea.gov/drug-scheduling.
\24\ https://www.fda.gov/drugs/drugsafety/informationbydrugclass/ucm600092.htm.
\25\ https://www.accessdata.fda.gov/drugsatfda_docs/label/2018/017116s032lbl.pdf.
\26\ https://www.samhsa.gov/medication-assisted-treatment/treatment/methadone.
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Naltrexone is FDA-approved to treat alcohol dependence in addition
to opioid use disorder.\27\ Unlike buprenorphine and methadone, which
activate opioid receptors, naltrexone binds and blocks opioid receptors
and reduces opioid cravings.\28\ Therefore, naltrexone is not a
scheduled substance; there is no abuse and diversion potential with
naltrexone.29 30 The naltrexone drug product that is FDA-
approved for the treatment of opioid dependence is an extended-release,
intramuscular injection.\31\ The recommended dose is 380 mg delivered
intramuscularly every 4 weeks or once a month after the patient has
achieved an opioid-free duration of a minimum of 7-10 days.\32\
Naltrexone can be prescribed by any health care provider who is
licensed to prescribe medications.\33\
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\27\ https://www.accessdata.fda.gov/drugsatfda_docs/label/2018/021897s042lbl.pdf.
\28\ https://www.samhsa.gov/medication-assisted-treatment/treatment/naltrexone.
\29\ https://www.deadiversion.usdoj.gov/schedules/orangebook/c_cs_alpha.pdf.
\30\ https://www.samhsa.gov/medication-assisted-treatment/treatment/naltrexone.
\31\ https://www.fda.gov/drugs/drugsafety/informationbydrugclass/ucm600092.htm.
\32\ https://www.accessdata.fda.gov/drugsatfda_docs/label/2018/021897s042lbl.pdf.
\33\ https://www.samhsa.gov/medication-assisted-treatment/treatment/naltrexone.
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We propose that the OUD treatment services that may be furnished by
OTPs include the first five items and services listed in the statutory
definition described above, specifically the medications approved by
the FDA under section 505 of the FFDCA for use in the treatment of OUD;
the dispensing and administration of such medication, if applicable;
substance use counseling; individual and group therapy; and toxicology
testing. We also propose to use our discretion under section
1861(jjj)(1)(F) of the Act to include other items and services that the
Secretary determines are appropriate to include the use of
telecommunications for certain services, as discussed later in this
section. We propose to codify this definition of OUD treatment services
furnished by OTPs at Sec. 410.67(b). As part of this definition, we
also propose to specify that an OUD treatment service is an item or
service that is furnished by an OTP that meets the applicable
requirements to participate in the Medicare Program and receive
payment.
We seek comment on any other items and services (not including
meals or transportation as they are statutorily prohibited) currently
covered and paid for under Medicare Part B when furnished by Medicare-
enrolled providers/suppliers that the Secretary should consider adding
to this definition, including any evidence supporting the impact of the
use of such items and services in the treatment of OUD and enumeration
of their costs. We are particularly interested in public feedback on
whether intake activities, which may include services such as an
initial physical examination, initial assessments and preparation of a
treatment plan, as well as periodic assessments, should be included in
the definition of OUD treatment services. Additionally, we understand
that while the current FDA-approved medications under section 505 of
the FFDCA for the treatment of OUD are opioid agonists and antagonist
medications, other
[[Page 40521]]
medications that are not opioid agonist and antagonist medications,
including drugs and biologicals, could be developed for the treatment
of OUD in the future. We would like public feedback on whether there
are any drug development efforts in the pipeline that could result in
medications intended for use in the treatment of OUD with a novel
mechanism of action that does not involve opioid agonist and antagonist
mechanisms (that is, outside of activating and/or blocking opioid
receptors). We also welcome comment on how medications that may be
approved by the FDA in the future for use in the treatment of OUD with
a novel mechanism of action, such as medications approved under section
505 of the FFDCA to treat OUD and biological products licensed under
section 351 of the Public Health Service Act to treat OUD, should be
considered in the context of OUD treatment services provided by OTPs,
and whether CMS should use the discretion afforded under section
1861(jjj)(1)(F) of the Act to include such medications in the
definition of OUD treatment services given the possibility that such
medications could be approved in the future.
b. Opioid Treatment Program
Section 2005 of the SUPPORT Act also amended section 1861 of the
Act by adding a new subsection (jjj)(2) to define an OTP as an entity
meeting the definition of OTP in 42 CFR 8.2 or any successor regulation
(that is, a program or practitioner engaged in opioid treatment of
individuals with an opioid agonist treatment medication registered
under 21 U.S.C. 823(g)(1)), that meets the additional requirements set
forth in subparagraphs (A) through (D) of section 1861(jjj)(2) of the
Act. Specifically that the OTP:
Is enrolled under section 1866(j) of the Act;
Has in effect a certification by SAMHSA for such a
program;
Is accredited by an accrediting body approved by SAMHSA;
and
Meets such additional conditions as the Secretary may find
necessary to ensure the health and safety of individuals being
furnished services under such program and the effective and efficient
furnishing of such services.
These requirements are discussed in more detail in this section.
(1) Enrollment
As discussed previously, under section 1861(jjj)(2)(A) of the Act,
an OTP must be enrolled in Medicare to receive Medicare payment for
covered OUD treatment services under section 1861(jjj)(1) of the Act.
We refer the reader to section III.H. of this proposed rule, Medicare
Enrollment of Opioid Treatment Programs, for further details on our
proposed policies related to enrollment of OTPs.
(2) Certification by SAMHSA
As provided in section 1861(jjj)(2)(B) of the Act, OTPs must be
certified by SAMHSA to furnish Medicare-covered OUD treatment services.
SAMHSA has created a system to certify and accredit OTPs, which is
governed by 42 CFR part 8, subparts B and C. This regulatory framework
allows SAMHSA to focus its oversight efforts on improving treatment
rather than solely ensuring that OTPs are meeting regulatory criteria,
and preserves states' authority to regulate OTPs. To be certified by
SAMHSA, OTPs must comply with the federal opioid treatment standards as
outlined in Sec. 8.12, be accredited by a SAMHSA-approved
accreditation body, and comply with any other conditions for
certification established by SAMHSA. Specifically, SAMHSA requires OTPs
to provide the following services:
General--OTPs shall provide adequate medical, counseling,
vocational, educational, and other assessment and treatment services.
Initial medical examination services--OTPs shall require
each patient to undergo a complete, fully documented physical
evaluation by a program physician or a primary care physician, or an
authorized healthcare professional under the supervision of a program
physician, before admission to the OTP.
Special services for pregnant patients--OTPs must maintain
current policies and procedures that reflect the special needs of
patients who are pregnant. Prenatal care and other gender specific
services for pregnant patients must be provided either by the OTP or by
referral to appropriate healthcare providers.
Initial and periodic assessment services--Each patient
accepted for treatment at an OTP shall be assessed initially and
periodically by qualified personnel to determine the most appropriate
combination of services and treatment.
Counseling services--OTPs must provide adequate substance
abuse counseling to each patient as clinically necessary by a program
counselor, qualified by education, training, or experience to assess
the patient's psychological and sociological background.
Drug abuse testing services--OTPs must provide adequate
testing or analysis for drugs of abuse, including at least eight random
drug abuse tests per year, per patient in maintenance treatment, in
accordance with generally accepted clinical practice. For patients in
short-term detoxification treatment, defined in 42 CFR 8.2 as
detoxification treatment not in excess of 30 days, the OTP shall
perform at least one initial drug abuse test. For patients receiving
long-term detoxification treatment, the program shall perform initial
and monthly random tests on each patient.
The provisions governing recordkeeping and patient confidentiality
at Sec. 8.12(g)(1) require that OTPs shall establish and maintain a
recordkeeping system that is adequate to document and monitor patient
care. All records are required to be kept confidential in accordance
with all applicable federal and state requirements. The requirements at
Sec. 8.12(g)(2) state that OTPs shall document in each patient's
record that the OTP made a good faith effort to review whether or not
the patient is enrolled in any other OTP. A patient enrolled in an OTP
shall not be permitted to obtain treatment in any other OTP except in
exceptional circumstances, which is determined by the medical director
or program physician of the OTP in which the patient is enrolled (42
CFR 8.12(g)(2)). Additionally, the requirements at Sec. 8.12(h)
address medication administration, dispensing, and use.
SAMHSA requires that OTPs shall ensure that opioid agonist
treatment medications are administered or dispensed only by a
practitioner licensed under the appropriate state law and registered
under the appropriate state and federal laws to administer or dispense
opioid drugs, or by an agent of such a practitioner, supervised by and
under the order of the licensed practitioner. OTPs shall use only those
opioid agonist treatment medications that are approved by the FDA for
use in the treatment of OUD. They must maintain current procedures that
are adequate to ensure that the dosing requirements are met, and each
opioid agonist treatment medication used by the program is administered
and dispensed in accordance with its approved product labeling.
At Sec. 8.12(i), regarding unsupervised or ``take-home'' use of
opioid agonist treatment medications, SAMHSA has specified that OTPs
must follow requirements specified by SAMHSA to limit the potential for
diversion of opioid agonist treatment medications to the illicit market
when dispensed to patients as take-homes, including maintaining current
procedures to identify the theft or diversion of take-
[[Page 40522]]
home medications. The requirements at Sec. 8.12(j) for interim
maintenance treatment, state that the program sponsor of a public or
nonprofit private OTP subject to the approval of SAMHSA and the state,
may place an individual, who is eligible for admission to comprehensive
maintenance treatment, in interim maintenance treatment if the
individual cannot be placed in a public or nonprofit private
comprehensive program within a reasonable geographic area and within 14
days of the individual's application for admission to comprehensive
maintenance treatment. Patients in interim maintenance treatment are
permitted to receive daily dosing, but take-homes are not permitted.
During interim maintenance treatment, initial treatment plans and
periodic treatment plan evaluations are not required and a primary
counselor is not required to be assigned to the patient. The OTP must
be able to transfer these patients from interim maintenance into
comprehensive maintenance treatment within 120 days. Interim
maintenance treatment must be provided in a manner consistent with all
applicable federal and state laws.
The SAMHSA requirements at Sec. 8.12(b) address administrative and
organizational structure, requiring that an OTP's organizational
structure and facilities shall be adequate to ensure quality patient
care and meet the requirements of all pertinent federal, state, and
local laws and regulations. At a minimum, each OTP shall formally
designate a program sponsor and medical director who is a physician who
is licensed to practice medicine in the jurisdiction in which the OTP
is located. The program sponsor shall agree on behalf of the OTP to
adhere to all requirements set forth in 42 CFR part 8, subpart C and
any regulations regarding the use of opioid agonist treatment
medications in the treatment of OUD, which may be promulgated in the
future. The medical director shall assume responsibility for
administering all medical services performed by the OTP. In addition,
the medical director shall be responsible for ensuring that the OTP is
in compliance with all applicable federal, state, and local laws and
regulations.
The provision governing patient admission criteria at Sec. 8.12(e)
requires that an OTP shall maintain current procedures designed to
ensure that patients are admitted to maintenance treatment by qualified
personnel who have determined, using accepted medical criteria such as
those listed in the Diagnostic and Statistical Manual of Mental
Disorders, including that the person has an OUD, and that the person
has had an OUD at least 1 year before admission for treatment. If under
18 years of age, the patient is required to have had two documented
unsuccessful attempts at short-term detoxification or drug-free
treatment within a 12-month period and have the written consent of a
parent, legal guardian or responsible adult designated by the relevant
state authority to be eligible for maintenance treatment.
To ensure continuous quality improvement, the requirements at Sec.
8.12(c) state that an OTP must maintain current quality assurance and
quality control plans that include, among other things, annual reviews
of program policies and procedures and ongoing assessment of patient
outcomes and a current Diversion Control Plan as part of its quality
assurance program.
The requirements at Sec. 8.12(d) with respect to staff
credentials, state that each person engaged in the treatment of OUD
must have sufficient education, training, and experience, or any
combination thereof, to enable that person to perform the assigned
functions.
In addition to meeting the criteria described above, OTPs must
apply to SAMHSA for certification. As part of the conditions for
certification, SAMHSA specifies that OTPs shall:
Comply with all pertinent state laws and regulations.
Allow inspections and surveys by duly authorized employees
of SAMHSA, by accreditation bodies, by the DEA, and by authorized
employees of any relevant State or federal governmental authority.
Comply with the provisions of 42 CFR part 2 (regarding
confidentiality of substance use disorder patient records).
Notify SAMHSA within 3 weeks of any replacement or other
change in the status of the program sponsor or medical director.
Comply with all regulations enforced by the DEA under 21
CFR chapter II, and be registered by the DEA before administering or
dispensing opioid agonist treatment medications.
Operate in accordance with federal opioid treatment
standards and approved accreditation elements.
Furthermore, SAMHSA has issued additional guidance for OTPs that
describes how programs can achieve and maintain compliance with federal
regulations.\34\
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\34\ https://store.samhsa.gov/system/files/pep15-fedguideotp.pdf.
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(3) Accreditation of OTPs by a SAMHSA-Approved Accrediting Body
As provided in section 1861(jjj)(2)(C) of the Act, OTPs must be
accredited by a SAMHSA-approved accrediting body in order to furnish
Medicare-covered OUD treatment services. In 2001, the Department of
Health and Human Services (HHS) and SAMHSA issued final regulations to
establish a new oversight system for the treatment of substance use
disorders with MAT (42 CFR part 8). SAMHSA-approved accrediting bodies
evaluate OTPs and perform site visits to ensure SAMHSA's opioid
dependency treatment standards are met. SAMHSA also requires OTPs to be
accredited by a SAMHSA-approved accrediting body (42 CFR 8.11).
The SAMHSA regulations establish procedures for an entity to apply
to become a SAMHSA-approved accrediting body (42 CFR 8.3). When
determining whether to approve an applicant as an accreditation body,
SAMHSA examines the following:
Evidence of the nonprofit status of the applicant (that
is, of fulfilling Internal Revenue Service requirements as a nonprofit
organization) if the applicant is not a state governmental entity or
political subdivision;
The applicant's accreditation elements or standards and a
detailed discussion showing how the proposed accreditation elements or
standards will ensure that each OTP surveyed by the applicant is
qualified to meet or is meeting each of the federal opioid treatment
standards set forth in Sec. 8.12;
A detailed description of the applicant's decision-making
process, including:
++ Procedures for initiating and performing onsite accreditation
surveys of OTPs;
++ Procedures for assessing OTP personnel qualifications;
++ Copies of an application for accreditation, guidelines,
instructions, and other materials the applicant will send to OTPs
during the accreditation process;
++ Policies and procedures for notifying OTPs and SAMHSA of
deficiencies and for monitoring corrections of deficiencies by OTPs;
for suspending or revoking an OTP's accreditation; and to ensure
processing of applications for accreditation and for renewal of
accreditation within a timeframe approved by SAMHSA; and;
++ A description of the applicant's appeals process to allow OTPs
to contest adverse accreditation decisions.
Policies and procedures established by the accreditation
body to avoid conflicts of interest, or the appearance of conflicts of
interest;
[[Page 40523]]
A description of the education, experience, and training
requirements for the applicant's professional staff, accreditation
survey team membership, and the identification of at least one licensed
physician on the applicant's staff;
A description of the applicant's training policies;
Fee schedules, with supporting cost data;
Satisfactory assurances that the applicant will comply
with the requirements of Sec. 8.4, including a contingency plan for
investigating complaints under Sec. 8.4(e);
Policies and procedures established to protect
confidential information the applicant will collect or receive in its
role as an accreditation body; and
Any other information SAMHSA may require.
SAMHSA periodically evaluates the performance of accreditation
bodies primarily by inspecting a selected sample of the OTPs accredited
by the accrediting body and by evaluating the accreditation body's
reports of surveys conducted, to determine whether the OTPs surveyed
and accredited by the accreditation body are in compliance with the
federal opioid treatment standards. There are currently six SAMHSA-
approved accreditation bodies.\35\
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\35\ https://www.samhsa.gov/medication-assisted-treatment/opioid-treatment-accrediting-bodies/approved.
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(4) Provider Agreement
Section 2005(d) of the SUPPORT Act amends section 1866(e) of the
Act by adding a new paragraph (3) which includes opioid treatment
programs (but only with respect to the furnishing of opioid use
disorder treatment services) as a ``provider of services'' for purposes
of section 1866 of the Act. All providers of services under section
1866 of the Act must enter into a provider agreement with the Secretary
and comply with other requirements specified in that section. These
requirements are implemented at 42 CFR part 489. Therefore, we are
proposing to amend part 489 to include OTPs (but only with respect to
the furnishing of opioid use disorder treatment services) as a
provider. Specifically, we are proposing to add OTPs (but only with
respect to the furnishing of opioid use disorder treatment services) to
the list of providers in Sec. 489.2. This addition makes clear that
the other requirements specified in Section 1866, and implemented in
part 489, which include the limits on charges to beneficiaries, would
apply to OTPs (with respect to the furnishing of opioid use disorder
treatment services). We are also proposing additional changes to make
clear that certain parts of part 489, which implement statutory
requirements other than section 1866 of the Act, do not apply to OTPs.
For example, since we are not proposing any conditions of participation
for OTPs, we are proposing to amend Sec. 489.10(a), which states that
providers specified in Sec. 489.2 must meet conditions of
participation, to add that OTPs must meet the requirements set forth in
part 489 and elsewhere in that chapter. In addition, we are proposing
to specify that the effective date of the provider agreement is the
date on which CMS accepts a signed agreement (proposed amendment to
Sec. 489.13(a)(2)), and is not dependent on surveys or an accrediting
organization's determination related to conditions of participation.
Finally, as noted earlier in the preamble, OTPs are required to be
certified by SAMHSA and accredited by an accrediting body approved by
SAMHSA. In Sec. 489.53, we are proposing to create a basis for
termination of the provider agreement if the OTP no longer meets the
requirements set forth in part 489 or elsewhere in that chapter
(including if it no longer has a SAMHSA certification or accreditation
by a SAMHSA-approved accrediting body). Finally, we are also proposing
to revise 42 CFR part 498 to ensure that OTPs have access to the appeal
process in case of an adverse determination concerning continued
participation in the Medicare program. Specifically, we are amending
the definition of provider in Sec. 498.2 to include OTPs. We are
continuing to review the application of the provider agreement
requirements to OTPs and may make further amendments to parts 489 and
498 as necessary to ensure that the existing provider agreement
regulations are applied to OTPs consistent with our proposals and
Section 2005 of the SUPPORT Act.
(5) Additional Conditions
As provided in section 1861(jjj)(2)(D) of the Act, to furnish
Medicare-covered OUD treatment services, OTPs must meet any additional
conditions as the Secretary may find necessary to ensure the health and
safety of individuals being furnished services under such program and
the effective and efficient furnishing of such services. The
comprehensive OTP standards for certification of OTPs address the same
topics as would be addressed by CMS supplier standards, such as client
assessment and the services required to be provided. Furthermore, the
detailed process established by SAMHSA for selecting and overseeing its
accreditation organizations is similar to the accrediting organization
oversight process that would typically be established by CMS. Thus, we
believe the existing SAMHSA certification and accreditation
requirements are both appropriate and sufficient to ensure the health
and safety of individuals being furnished services by OTPs, as well as
the effective and efficient furnishing of such services. We also
believe that creating additional conditions at this time for
participation in Medicare by OTPs could create unnecessary regulatory
duplication and could be potentially burdensome for OTPs. Therefore,
CMS is not proposing any additional conditions for participation in
Medicare by OTPs at this time. We welcome public comments on this
proposed approach, including input on whether there are any additional
conditions that should be required for OTPs furnishing Medicare-covered
OUD treatment services.
(6) Proposed Definition of Opioid Treatment Program
We propose to define ``opioid treatment program'' at Sec.
410.67(b) as an entity that is an opioid treatment program as defined
in 42 CFR 8.2 (or any successor regulation) and meets the applicable
requirements for an OTP. We propose to codify this definition at Sec.
410.67(b). In addition, we propose that for an OTP to participate and
receive payment under the Medicare program, the OTP must be enrolled
under section 1866(j) of the Act, have in effect a certification by
SAMHSA for such a program, and be accredited by an accrediting body
approved by SAMHSA. We are also proposing that an OTP must have a
provider agreement as required by section 1866(a) of the Act. We
propose to codify these requirements at Sec. 410.67(c). We welcome
public comments on the proposed definition of OTP and the proposed
Medicare requirements for OTPs.
3. Proposed Bundled Payments for OUD Treatment Services
Section 1834(w) of the Act, added by section 2005 of the SUPPORT
Act, directs the Secretary to pay to the OTP an amount that is equal to
100 percent of a bundled payment for OUD treatment services that are
furnished by the OTP to an individual during an episode of care. We are
proposing to establish bundled payments for OUD treatment services
which, as discussed above, would include the medications approved by
the FDA under section 505
[[Page 40524]]
of the FFDCA for use in the treatment of OUD; the dispensing and
administration of such medication, if applicable; substance use
counseling; individual and group therapy; and toxicology testing. In
calculating the proposed bundled payments, we propose to apply separate
payment methodologies for the drug component (which includes the
medications approved by the FDA under section 505 of the FFDCA for use
in the treatment of OUD) and the non-drug component (which includes the
dispensing and administration of such medications, if applicable;
substance use counseling; individual and group therapy; and toxicology
testing) of the bundled payments. We propose to calculate the full
bundled payment rate by combining the drug component and the non-drug
components. Below, we discuss our proposals for determining the bundled
payments for OUD treatment services. As part of this discussion, we
address payment rates for these services under the Medicaid and TRICARE
programs, duration of the episode of care for which the bundled payment
is made (including partial episodes), methodology for determining
bundled payment rates for the drug and non-drug components, site of
service, coding and beneficiary cost sharing. We propose to codify the
methodology for determining the bundled payment rates for OUD treatment
services at Sec. 410.67(d).
a. Review of Medicaid and TRICARE Programs
Section 1834(w)(2) of the Act, added by section 2005(c) of the
SUPPORT Act, provides that in developing the bundled payment rates for
OUD treatment services furnished by OTPs, the Secretary may consider
payment rates paid to the OTPs for comparable services under the state
plans under title XIX of the Act (Medicaid) or under the TRICARE
program under chapter 55 of title 10 of the United States Code
(U.S.C.). The payments for comparable services under TRICARE and
Medicaid programs are discussed below. We understand that many private
payers cover services furnished by OTPs, and welcome comment on the
scope of private payer OTP coverage and the payment rates private
payers have established for OTPs furnishing comparable OUD treatment
services. We may consider this information as part of the development
of the final bundled payment rates for OUD treatment services furnished
by OTPs in the final rule.
(1) TRICARE
In the ``TRICARE: Mental Health and Substance Use Disorder
Treatment'' final rule, which appeared in the September 2, 2016 Federal
Register (81 FR 61068) (hereinafter referred to as the 2016 TRICARE
final rule), the Department of Defense (DOD) finalized its methodology
for determining payments for services furnished to TRICARE
beneficiaries by an OTP in the regulations at 32 CFR 199.14(a)(2)(ix).
The payments are also described in Chapter 7, Section 5 and Chapter 1,
Section 15 of the TRICARE Reimbursement Manual 6010.61-M, April 1,
2015. As discussed in the 2016 TRICARE final rule, a number of
commenters indicated that they believed the rates established by DOD
are near market rates and acceptable (81 FR 61079).
In the 2016 TRICARE final rule, DOD established separate payment
methodologies for treatment in OTPs based on the particular medication
being administered. DOD finalized a weekly all-inclusive per diem rate
for OTPs when furnishing methadone for MAT. Under 32 CFR
199.14(a)(2)(ix)(A)(3)(i), this weekly rate includes the cost of the
drug and the cost of related non-drug services (that is, the costs
related to the intake/assessment, drug dispensing and screening and
integrated psychosocial and medical treatment and supportive services),
hereafter referred as the non-drug services. We note that the services
included in the TRICARE weekly bundle are generally comparable to the
definition of OUD treatment services in Section 2005 of the SUPPORT
Act. The weekly all-inclusive per diem rate for these services was
determined based on preliminary review of industry billing practices
(which included Medicaid and other third-party payers) for the
dispensing of methadone, including an estimated daily drug cost of $3
and a daily estimated cost of $15 for the non-drug services. These
daily costs were converted to an estimated weekly per diem rate of $126
($18 per day x 7 days) in the 2016 TRICARE final rule. Under 32 CFR
199.14(a)(2)(iv)(C)(S), this rate is updated annually by the Medicare
hospital inpatient prospective payment system (IPPS) update factor. The
2019 TRICARE weekly per diem rate for methadone treatment in an OTP is
$133.15.\36\ Beneficiary cost-sharing consists of a flat copayment that
may be applied to this weekly rate.
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\36\ https://health.mil/Military-Health-Topics/Business-Support/Rates-and-Reimbursement/MHSUD-Facility-Rates.
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DOD also established payment rates for other medications used for
MAT (buprenorphine and extended-release injectable naltrexone) to allow
OTPs to bill for the full range of medications available. Under 32 CFR
199.14(a)(2)(ix)(A)(3)(ii), DOD established a fee-for-service payment
methodology for buprenorphine and extended-release injectable
naltrexone because they are more likely to be prescribed and
administered in an office-based treatment setting but are still
available for treatment furnished in an OTP. DOD stated in the 2016
TRICARE final rule (81 FR 61080) that treatment with buprenorphine and
naltrexone is more variable in dosage and frequency than with
methadone. Therefore, TRICARE pays for these medications and the
accompanying non-drug services separately on a fee-for-service basis.
Buprenorphine is paid based on 95 percent of average wholesale price
(AWP) and the non-drug component is paid on a per visit basis at an
estimated cost of $22.50 per visit. Extended-release injectable
naltrexone is paid at the average sales price (ASP) plus a drug
administration fee while the non-drug services are also paid at an
estimated per visit cost of $22.50. DOD also reserved discretion to
establish the payment methodology for new drugs and biologicals that
may become available for the treatment of SUDs in OTPs.
DOD instructed that OTPs use the ``Alcohol and/or other drug use
services, not otherwise specified'' H-code for billing the non-drug
services when buprenorphine or naltrexone is used, and required OTPs to
also include both the J-code and the National Drug Code (NDC) for the
drug used, as well as the dosage and acquisition cost on the claim
form.\37\ Drugs listed on Medicare's Part B ASP files are paid using
the ASP.\38\ Drugs not appearing on the Medicare ASP file are paid at
the lesser of billed charges or 95 percent of the AWP.\39\ Using this
methodology, TRICARE estimated a daily drug cost of $10 for
buprenorphine and a monthly drug cost of $1,129 for extended-release
injectable naltrexone.\40\
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\37\ 81 FR 61080.
\38\ https://manuals.health.mil/pages/DisplayManualHtmlFile/TR15/30/AsOf/TR15/C7S5.html; https://manuals.health.mil/pages/DisplayManualHtmlFile/TR15/30/AsOf/TR15/c1s15.html2FM10546.
\39\ https://manuals.health.mil/pages/DisplayManualHtmlFile/TR15/30/AsOf/TR15/C7S5.html; https://manuals.health.mil/pages/DisplayManualHtmlFile/TR15/30/AsOf/TR15/c1s15.html2FM10546.
\40\ 81 FR 61080.
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[[Page 40525]]
(2) Medicaid (Title XIX)
States have the flexibility to administer the Medicaid program to
meet their own needs within the Medicaid program parameters set forth
in federal statute and regulations. All states cover and pay for some
form of medications for medication-assisted treatment of OUD under
their Medicaid programs. However, as of 2018, only 42 states covered
methadone for MAT for OUD under their Medicaid programs.\41\ We note
that section 1006(b) of the SUPPORT Act amends sections 1902 and 1905
of the Social Security Act to require that Medicaid State plans cover
all drugs approved under section 505 of the FFDCA to treat OUD,
including methadone, and all biological products licensed under section
351 of the Public Health Service Act to treat OUD, beginning October 1,
2020. This requirement sunsets on September 30, 2025.
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\41\ https://store.samhsa.gov/system/files/medicaidfinancingmatreport.pdf.
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In reviewing Medicaid payments for OUD treatment services furnished
by OTPs in a few states, we found significant variation in the MAT
coverage, OUD treatment services, and payment structure among the
states. Thus, it is difficult to identify a standardized Medicaid
payment amount for OTP services. A number of factors such as the unit
of payment, types of services bundled within a payment code, and how
MAT services are paid varied among the states. For example, for
treatment of OUD using methadone for MAT, most OTPs bill under HCPCS
code H0020 (Alcohol and/or drug services; methadone administration and/
or service (provision of the drug by a licensed program)) under the
Medicaid program; however, the unit of payment varies by state from
daily, weekly, or monthly. For example, the unit of payment in
California is daily for methadone treatment,\42\ while the unit of
payment in Maryland for methadone maintenance is weekly,\43\ and
Vermont uses a monthly unit \44\ of payment of these OUD treatment
items and services.
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\42\ https://www.dhcs.ca.gov/formsandpubs/Documents/MHSUDS%20Information%20Notices/MHSUDS_Information_Notices_2018/MHSUDS_Information_Notice_18_037_SPA_Rates_Exhibit.pdf.
\43\ https://health.maryland.gov/bhd/Documents/Rebundling%20Initiative%209-6-16.pdf.
\44\ https://www.healthvermont.gov/sites/default/files/documents/pdf/ADAP_Medicaid%20Rate%20Sheet.pdf.
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For the other MAT drugs, all states cover buprenorphine and the
buprenorphine-naloxone medications; \45\ however, fewer than 70 percent
cover the implanted or extended-release injectable versions of
buprenorphine.\46\ In addition, all states cover the extended-release
injectable naltrexone.\47\ We also found that many states pay different
rates based on the specific type of drug used for MAT.
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\45\ https://store.samhsa.gov/system/files/medicaidfinancingmatreport.pdf.
\46\ https://store.samhsa.gov/system/files/medicaidfinancingmatreport.pdf.
\47\ https://store.samhsa.gov/system/files/medicaidfinancingmatreport.pdf.
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Non-drug items and services may be included in a bundled payment
with the drug or paid separately, depending on the state, and can
include dosing, dispensing and administration of the drug, individual
and group counseling, and toxicology testing. In some states, certain
services such as assessments, individual and group counseling, and
toxicology testing can be billed separately. For example, some states
(such as Maryland,\48\ Texas,\49\ and California) \50\ separately
reimburse for individual and group counseling services, while other
states (such as Vermont \51\ and New Mexico) \52\ included these
services in the OUD bundled payment.
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\48\ https://health.maryland.gov/bhd/Documents/Rebundling%20Initiative%209-6-16.pdf.
\49\ https://www.tmhp.com/News_Items/2018/11-Nov/11-16-18%20Substance%20Use%20Disorder%20Benefits%20to%20Change%20for%20Texas%20Medicaid%20January%201,%202019.pdf.
\50\ https://www.dhcs.ca.gov/formsandpubs/Documents/MHSUDS%20Information%20Notices/MHSUDS_Information_Notices_2018/MHSUDS_Information_Notice_18_037_SPA_Rates_Exhibit.pdf.
\51\ https://www.healthvermont.gov/sites/default/files/documents/pdf/ADAP_Medicaid%20Rate%20Sheet.pdf.
\52\ https://www.hsd.state.nm.us/uploads/FileLinks/e7cfb008157f422597cccdc11d2034f0/MAT_Proposed_reimb_MAD_website_pdf.pdf.
https://stre.samhsa.gov/system/files/medicaidfinancingmatreport.pdfnm.us/uploads/FileLinks/c78b68d063e04ce5adffe29376ff402e/12_10_MAT_OTC_Clinics_Supp_09062012__2_.pdf.
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b. Aspects of the Bundle
(1) Duration of Bundle
Section 1834(w)(1) of the Act requires the Secretary to pay an OTP
an amount that is equal to 100 percent of the bundled payment for OUD
treatment services that are furnished by the OTP to an individual
during an episode of care (as defined by the Secretary) beginning on or
after January 1, 2020. We are proposing that the duration of an episode
of care for OUD treatment services would be a week (that is, a
contiguous 7-day period that may start on any day of the week). This is
similar to the structure of the TRICARE bundled payment to OTPs for
methadone, which is based on a weekly bundled rate (81 FR 61079), as
well as the payments by some state Medicaid programs. Given this
similarity to existing coding structures, we believe a weekly duration
for an episode of care would be most familiar to OTPs and therefore the
least disruptive to adopt. We welcome comments on whether we should
consider a daily or monthly bundled payment. We are proposing to define
an episode of care at Sec. 410.67(b) as a 1 week (contiguous 7-day)
period.
We recognize that patients receiving MAT are often on this
treatment regimen for an indefinite amount of time and therefore, we
are not proposing any maximum number of weeks during an overall course
of treatment for OUD.
(a) Requirements for an Episode
We note that SAMHSA requires OTPs to have a treatment plan for each
patient that identifies the frequency with which items and services are
to be provided (Sec. 8.12(f)(4)). We recognize that there is a range
of service intensity depending on the severity of a patient's OUD and
stage of treatment and therefore, a ``full weekly bundle'' may consist
of a very different frequency of services for a patient in the initial
phase of treatment compared to a patient in the maintenance phase of
treatment, but that we would still consider the requirements to bill
for the full weekly bundle to be met if the patient is receiving the
majority of the services identified in their treatment plan at that
time. However, for the purposes of valuation, we assumed one substance
use counseling session, one individual therapy session, and one group
therapy session per week and one toxicology test per month. Given the
anticipated changes in service intensity over time based on the
individual patient's needs, we expect that treatment plans would be
updated to reflect these changes or noted in the patient's medical
record, for example, in a progress note. In cases where the OTP has
furnished the majority (51 percent or more) of the services identified
in the patient's current treatment plan (including any changes noted in
the patient's medical record) over the course of a week, we propose
that it could bill for a full weekly bundle. We are proposing to codify
the payment methodology for full episodes of care (as well as partial
episodes of care and non-drug episodes of care, as discussed below) in
Sec. 410.67(d)(2).
(b) Partial Episode of Care
We understand that there may be instances in which a beneficiary
does not receive all of the services expected in a given week due to
any number of issues, including, for example, an inpatient
hospitalization during which a
[[Page 40526]]
beneficiary would not be able to go to the OTP or inclement weather
that impedes access to transportation. To provide more accurate payment
to OTPs in cases where a beneficiary is not able to or chooses not to
receive all items and services described in their treatment plan or the
OTP is unable to furnish services, for example, in the case of a
natural disaster, we are proposing to establish separate payment rates
for partial episodes that correspond with each of the full weekly
bundles. In cases where the OTP has furnished at least one of the items
or services (for example, dispensing one day of an oral MAT medication
or one counseling session or one toxicology test) but less than 51
percent of the items and services included in OUD treatment services
identified in the patient's current treatment plan (including any
changes noted in the patient's medical record) over the course of a
week, we propose that it could bill for a partial weekly bundle. In
cases in which the beneficiary does not receive a drug during the
partial episode, we propose that the code describing a non-drug partial
weekly bundle must be used. For example, the OTP could bill for a
partial episode in instances where the OTP is transitioning the
beneficiary from one OUD medication to another and therefore the
beneficiary is receiving less than a week of one type of medication. In
those cases, two partial episodes could be billed, one for each of the
medications, or one partial episode and one full episode, if all
requirements for billing are met. We intend to monitor this issue and
will consider whether we would need to make changes to this policy in
future rulemaking to ensure that the billing for partial episodes is
not being abused. We are proposing to define a partial episode of care
in Sec. 410.67(b) and to codify the payment methodology for partial
episodes in Sec. 410.67(d). We seek comments on our proposed approach
to full and partial episodes, including the threshold that should be
applied to determine when an OTP may bill for the full weekly bundle
versus a partial episode. We also seek comment on the minimum threshold
that should be applied to determine when a partial episode could be
billed (for example, at least one item or service, or an alternative
threshold such as 10 or 25 percent of the items and services included
in OUD treatment services identified in the patient's current treatment
plan (including any changes noted in the patient's medical record) over
the course of a week). We also welcome feedback regarding whether any
other payers of OTP services allow for billing partial bundles and what
thresholds they use.
(c) Non-Drug Episode of Care
In addition to the bundled payments for full and partial episodes
of care that are based on the medication administered for treatment
(and include both a drug and non-drug component described in detail
below), we are proposing to establish a non-drug episode of care to
provide a mechanism for OTPs to bill for non-drug services, including
substance use counseling, individual and group therapy, and toxicology
testing that are rendered during weeks when a medication is not
administered, for example, in cases where a patient is being treated
with injectable buprenorphine or naltrexone on a monthly basis or has a
buprenorphine implant. We are proposing to codify this non-drug episode
of care at Sec. 410.67(d).
(2) Drug and Non-Drug Components
As discussed above, in establishing the bundled payment rates, we
propose to develop separate payment methodologies for the drug
component and the non-drug (which includes the dispensing and
administration of such medication, if applicable; substance use
counseling; individual and group therapy; and toxicology testing)
components of the bundled payment. Each of these components is
discussed in this section.
(a) Drug Component
As discussed previously, the cost of medications used by OTPs to
treat OUD varies widely. Creating a single bundled payment rate that
does not reflect the type of drug used could result in access issues
for beneficiaries who might be best served by treatment using a more
expensive medication. As a result, we believe that the significant
variation in the cost of these drugs needs to be reflected adequately
in the bundled payment rates for OTP services to avoid impairing access
to appropriate care.
Section 1834(w)(2) of the Act states that the Secretary may
implement the bundled payment to OTPs though one or more bundles based
on a number of factors, including the type of medication provided (such
as buprenorphine, methadone, extended-release injectable naltrexone, or
a new innovative drug). Accordingly, consistent with the discretion
afforded under section 1834(w)(2) of the Act, and after consideration
of payment rates paid to OTPs for comparable services by other payers
as discussed above, we propose to base the OTP bundled payment rates,
in part, on the type of medication used for treatment. Specifically, we
propose the following categories of bundled payments to reflect those
drugs currently approved by the FDA under section 505 of the FFDCA for
use in treatment of OUD:
Methadone (oral).
Buprenorphine (oral).
Buprenorphine (injection).
Buprenorphine (implant).
Naltrexone (injection).
In addition, we propose to create a category of bundled payment
describing a drug not otherwise specified to be used for new drugs (as
discussed further below). We are also proposing a non-drug bundled
payment to be used when medication is not administered (as discussed
further below). We believe creating these categories of bundled
payments based on the drug used for treatment would strike a reasonable
balance between recognizing the variable costs of these medications and
the statutory requirement to make a bundled payment for OTP services.
We propose to codify this policy of establishing the categories of
bundled payments based on the type of opioid agonist and antagonist
treatment medication in Sec. 410.67(d)(1).
i. New Drugs
We anticipate that there may be new FDA-approved opioid agonist and
antagonist treatment medications to treat OUD in the future. In the
scenario where an OTP furnishes MAT using a new FDA-approved opioid
agonist or antagonist medication for OUD treatment that is not
specified in one of our existing codes, we propose that OTPs would bill
for the episode of care using the medication not otherwise specified
(NOS) code, HCPCS code GXXX9 (or GXXX19 for a partial episode). In such
cases, we propose to use the typical or average maintenance dose to
determine the drug cost for the new bundle. Then, we propose that
pricing would be determined based on the relevant pricing methodology
as described later in this section (section II.G.) of the proposed rule
or invoice pricing in the event the information necessary to apply the
relevant pricing methodology is not available. For example, in the case
of injectable and implantable drugs, which are generally covered and
paid for under Medicare Part B, we propose to use the methodology in
section 1847A of the Act (which bases most payments on ASP). For oral
medications, which are generally covered and paid for under Medicare
Part D, we propose to use ASP-based payment when we receive
manufacturer-submitted ASP data for
[[Page 40527]]
these drugs. In the event that we do not receive manufacturer-submitted
ASP pricing data, we are considering several potential pricing
mechanisms (as discussed further below) to estimate the payment amounts
for oral drugs typically paid for under Medicare Part D but that would
become OTP drugs paid under Part B when used as part of MAT furnished
in an OTP. We are not proposing a specific pricing mechanism at this
time for the situation in which we do not receive manufacturer-
submitted ASP pricing data, but are requesting public comment on
several potential approaches for estimating the acquisition cost and
payment amounts for these drugs. We will consider the comments received
in developing our final policy for determining these drug prices. If
the information necessary to apply the alternative pricing methodology
chosen for the oral drugs is also not available to price the new
medication, we propose to use invoice pricing until either ASP pricing
data or the information necessary to apply the chosen pricing
methodology becomes available to price the medication. We are proposing
to codify this approach for determining the amount of the bundled
payment for new medications in Sec. 410.67(d)(2).The medication NOS
code would be used until CMS has the opportunity to consider through
rulemaking establishing a unique bundled payment for episodes of care
during which the new drug is furnished. We welcome comments on this
proposed approach to the treatment of new drugs used for MAT in OTPs.
As discussed above, we also welcome comments on how new medications
that may be approved by the FDA in the future for use in the treatment
of OUD with a novel mechanism of action (for example, not an opioid
agonist and/or antagonist), such as medications approved under section
505 of the FFDCA to treat OUD and biological products licensed under
section 351 of the Public Health Service Act to treat OUD, should be
considered in the context of OUD treatment services provided by OTPs.
We additionally welcome comments on how such new drugs with a novel
mechanism of action should be priced, and specifically whether pricing
for these new non-opioid agonist and/or antagonist medications should
be determined using the same pricing methodology proposed for new
opioid agonist and antagonist treatment medications, described above or
whether an alternative pricing methodology should be used.
(b) Non-Drug Component
i. Counseling, Therapy, Toxicology Testing, and Drug Administration
As discussed above, the bundled payment is for OUD treatment
services furnished during the episode of care, which we are proposing
to define as the FDA-approved opioid agonist and antagonist treatment
medications, the dispensing and administration of such medications (if
applicable), substance use disorder counseling by a professional to the
extent authorized under state law to furnish such services, individual
and group therapy with a physician or psychologist (or other mental
health professional to the extent authorized under state law), and
toxicology testing. The non-drug component of the OUD treatment
services includes all items and services furnished during an episode of
care except for the medication.
Under the SAMSHA certification standards at Sec. 8.12(f)(5), OTPs
must provide adequate substance abuse counseling to each patient as
clinically necessary. We note that section 1861(jjj)(1)(C) of the Act,
as added by section 2005(b) of the SUPPORT Act defines OUD treatment
services as including ``substance use counseling by a professional to
the extent authorized under state law to furnish such services.''
Therefore, professionals furnishing therapy or counseling services for
OUD treatment must be operating within state law and scope of practice.
These professionals could include licensed professional counselors,
licensed clinical alcohol and drug counselors, and certified peer
specialists that are permitted to furnish this type of therapy or
counseling by state law and scope of practice. To the extent that the
individuals furnishing therapy or counseling services are not
authorized under state law to furnish such services, the therapy or
counseling services would not be covered as OUD treatment services.
Additionally, under SAMSHA certification standards at Sec.
8.12(f)(6), OTPs are required to provide adequate testing or analysis
for drugs of abuse, including at least eight random drug abuse tests
per year, per patient in maintenance treatment, in accordance with
generally accepted clinical practice. These drug abuse tests (which are
identified as toxicology tests in the definition of OUD treatment
services in section 1861(jjj)(1)(E) of the Act) are used for
diagnosing, monitoring and evaluating progress in treatment. The
testing typically includes tests for opioids and other controlled
substances. Urinalysis is primarily used for this testing; however,
there are other types of testing such as hair or fluid analysis that
could be used. We note that any of these types of toxicology tests
would be considered to be OUD treatment services and would be included
in the bundled payment for services furnished by an OTP.
The non-drug component of the bundle also includes the cost of drug
dispensing and/or administration, as applicable. Additional details
regarding our proposed approach for pricing this aspect of the non-drug
component of the bundle are included in our discussion of payment rates
later in this section.
ii. Other Services
As discussed earlier, we are proposing to define OUD treatment
services as those items and services that are specifically enumerated
in section 1861(jjj)(1) of the Act, including services that are
furnished via telecommunications technology, and are seeking comment on
any other items and services we might consider including as OUD
treatment services under the discretion given to the Secretary in
subparagraph (F) of that section to determine other appropriate items
and services. If we were to finalize a definition of OUD treatment
services that includes any other items or services, such as intake
activities or periodic assessments as discussed above, we would
consider whether any changes to the payment rates for the bundled
payments are necessary. See below for additional discussion related to
how we could price these services.
(3) Adjustment to Bundled Payment Rate for Additional Counseling or
Therapy Services
In addition to the items and services already included in the
proposed bundles, we recognize that counseling and therapy are
important components of MAT and that patients may need to receive
counseling and/or therapy more frequently at certain points in their
treatment. We seek to ensure that patients have access to these needed
services. Accordingly, we are proposing to adjust the bundled payment
rates through the use of an add-on code in order to account for
instances in which effective treatment requires additional counseling
or group or individual therapy to be furnished for a particular patient
that substantially exceeds the amount specified in the patient's
individualized treatment plan. As noted previously, we understand that
there is variability in the frequency of services a patient might
receive in a given week depending on the patient's severity and stage
of treatment; however, we assume
[[Page 40528]]
that a typical case might include one substance use counseling session,
one individual therapy session, and one group therapy session per week.
We further understand that the frequency of services will vary among
patients and will change over time based on the individual patient's
needs. We expect that the patient's treatment plan or the medical
record will be updated to reflect when there are changes in the
expected frequency of medically necessary services based on the
patient's condition and following such an update, the add-on code
should no longer be billed if the frequency of the patient's counseling
and/or therapy services is consistent with the treatment plan or
medical record. In the case of unexpected or unforeseen circumstances
that are time-limited, resolve quickly, and do not lead to updates to
the treatment plan, we expect that the medical necessity for billing
the add-on code would be documented in the medical record. This add-on
code (HCPCS code GXX19) would describe each additional 30 minutes of
counseling or group or individual therapy furnished in a week of MAT,
which could be billed in conjunction with the codes describing the full
episode of care or the partial episodes. For example, there may be some
weeks when a patient has a relapse or unexpected psychosocial stressors
arise that warrant additional reasonable and necessary counseling
services that were not foreseen at the time that the treatment plan was
developed. Additionally, we note that there may be situations in which
the add-on code could be billed in conjunction with the code for a
partial episode; for example, if a patient requires prolonged
counseling services on the initial day of treatment, but does not
return for any of the other services specified in their treatment plan,
such as daily medication dispensing, for the remainder of that week. We
acknowledge that an unintended consequence of using the treatment plan
is a potential incentive for OTPs to document minimal counseling and/or
therapy needs for a beneficiary, thereby resulting in increased
opportunity for billing the add-on code. We expect that OTPs will
ensure that treatment plans reflect the full scope of services expected
to be furnished during an episode of care and that they will update
treatment plans regularly to reflect changes. We intend to monitor this
issue and will consider whether we need to make changes to this policy
through future rulemaking to ensure that this adjustment is not being
abused. We welcome comments on the proposed add-on code and the
threshold for billing. We propose to codify this adjustment to the
bundled payment rate for additional counseling or therapy services in
Sec. 410.67(d)(3)(i).
(4) Site of Service (Telecommunications)
In recent years, we have sought to decrease barriers to access to
care by furthering policies that expand the use of communication
technologies. In the CY 2019 PFS final rule (83 FR 59482), we finalized
new separate payments for communication technology-based services,
including a virtual check-in and a remote evaluation of pre-recorded
patient information. SAMHSA's federal guidelines (https://store.samhsa.gov/system/files/pep15-fedguideotp.pdf) for OTPs refer to
the CMS guidance on telemedicine and also state that OTPs are advised
to proceed with full understanding of requirements established by state
or health professional licensing boards. SAMHSA's federal guidelines
for OTPs state that exceptional attention needs to be paid to data
security and privacy in this evolving field. Telemedicine services
should, under no circumstances, expand the scope of practice of a
healthcare professional or permit practice in a jurisdiction (the
location of the patient) where the provider is not licensed.
We are proposing to allow OTPs to furnish the substance use
counseling, individual therapy, and group therapy included in the
bundle via two-way interactive audio-video communication technology, as
clinically appropriate, in order to increase access to care for
beneficiaries. We believe this is an appropriate approach because, as
discussed previously, we expect the telehealth services that will be
furnished by OTPs will be similar to the Medicare telehealth services
furnished under section 1834(m) of the Act, and the use of two-way
interactive audio-video communication technology is required for these
Medicare telehealth services under Sec. 410.78(a)(3). By allowing use
of communication technology in furnishing these services, OTPs in rural
communities or other health professional shortage areas could
facilitate treatment through virtual care coming from an urban or other
external site; however, we note that the physicians and other
practitioners furnishing these services would be required to comply
with all applicable requirements related to professional licensing and
scope of practice.
We note that section 1834(m) of the Act applies only to Medicare
telehealth services furnished by a physician or other practitioner.
Because OUD treatment services furnished by an OTP are not considered
to be services furnished by a physician or other practitioner, the
restrictions of section 1834(m) of the Act would not apply.
Additionally, we note that counseling or therapy furnished via
communication technology as part of OUD treatment services furnished by
an OTP must not be separately billed by the practitioner furnishing the
counseling or therapy because these services would already be paid
through the bundled payment made to the OTP.
We are proposing to include language in Sec. 410.67(b) in the
definition of opioid use disorder treatment services to allow OTPs to
use two-way interactive audio-video communication technology, as
clinically appropriate, in furnishing substance use counseling and
individual and group therapy services, respectively. We invite comment
as to whether this proposal, including whether furnishing these
services through communication technology is clinically appropriate. We
also invite public comment on other components of the bundle that may
be clinically appropriate to be furnished via communication technology,
while also considering SAMHSA's guidance that OTPs should pay
exceptional attention to data security and privacy.
(5) Coding
We are proposing to adopt a coding structure for OUD treatment
services that varies by the medication administered. To operationalize
this approach, we are proposing to establish G codes for weekly bundles
describing treatment with methadone, buprenorphine oral, buprenorphine
injectable, buprenorphine implants (insertion, removal, and insertion/
removal), extended-release injectable naltrexone, a non-drug bundle,
and one for a medication not otherwise specified. We also propose to
establish partial episode G codes to correspond with each of those
bundles, respectively. Additionally, we propose to create an add-on
code to describe additional counseling that is furnished beyond the
amount specified in the patient's treatment plan. As discussed above,
we are seeking comment on whether to include intake activities and
periodic assessments in the definition of OUD treatment services. Were
we to finalize including these activities in the definition of OUD
treatment services, we welcome feedback on whether we should consider
modifying the payment associated with the bundle or creating add-on
codes for services such as the
[[Page 40529]]
initial physical examination, initial assessments and preparation of a
treatment plan, periodic assessments or additional toxicology testing,
and if so, what inputs we might consider in pricing such services, such
as payment amounts for similar services under the PFS or Clinical Lab
Fee Schedule (CLFS). For example, to price the initial assessment,
medical examination, and development of a treatment plan, we could
crosswalk to the Medicare payment rate for a level 3 Evaluation and
Management (E/M) visit for a new patient and to price the periodic
assessments, we could crosswalk to the Medicare payment rate for a
level 3 E/M visit for an established patient. To price additional
toxicology testing, we could crosswalk to the Medicare payment for
presumptive drug testing, such as that described by CPT code 80305.
Additionally, we welcome feedback on whether we should consider
creating codes to describe bundled payments that include only the cost
of the drug and drug administration as applicable in order to account
for beneficiaries who are receiving interim maintenance treatment (as
described previously in this section) or other situations in which the
beneficiary is not receiving all of the services described in the full
bundles.
Regarding the non-drug bundle, we note that this code would be
billed for services furnished during an episode of care or partial
episode of care when a medication is not administered. For example,
when a patient receives a buprenorphine injection on a monthly basis,
the OTP will only require payment for the medication during the first
week of the month when the injection is given, and therefore, would
bill the code describing the bundle that includes injectable
buprenorphine during the first week of the month and would bill the
code describing the non-drug bundle for the remaining weeks in that
month for services such as substance use counseling, individual and
group therapy, and toxicology testing.
As discussed previously, we propose that the codes describing the
bundled payment for an episode of care with a medication not otherwise
specified, HCPCS codes GXXX9 and GXX18, should be used when the OTP
furnishes MAT with a new opioid agonist or antagonist treatment
medication approved by the FDA under section 505 of the FFDCA for the
treatment of OUD. OTPs would use these codes until we have the
opportunity to propose and finalize a new G code to describe the
bundled payment for treatment using that drug and price it accordingly
in the next rulemaking cycle. We note that the code describing the
weekly bundle for a medication not otherwise specified should not be
used when the drug being administered is not a new opioid agonist or
antagonist treatment medication approved by the FDA under section 505
of the FFDCA for the treatment of OUD, and therefore, for which
Medicare would not have the authority to make payment since section
1861(jjj)(1)(A) of the Act requires that the medication must be an
opioid agonist or antagonist treatment medication approved by the FDA
under section 505 of the FFDCA for the treatment of OUD. Given the
program integrity concerns regarding the potential for misuse of such a
code, we also welcome comments as to whether this code is needed.
The codes and long descriptors for the proposed OTP bundled
services are:
HCPCS code GXXX1: Medication assisted treatment,
methadone; weekly bundle including dispensing and/or administration,
substance use counseling, individual and group therapy, and toxicology
testing, if performed (provision of the services by a Medicare-enrolled
Opioid Treatment Program).
HCPCS code GXXX2: Medication assisted treatment,
buprenorphine (oral); weekly bundle including dispensing and/or
administration, substance use counseling, individual and group therapy,
and toxicology testing if performed (provision of the services by a
Medicare-enrolled Opioid Treatment Program).
HCPCS code GXXX3: Medication assisted treatment,
buprenorphine (injectable); weekly bundle including dispensing and/or
administration, substance use counseling, individual and group therapy,
and toxicology testing if performed (provision of the services by a
Medicare-enrolled Opioid Treatment Program).
HCPCS code GXXX4: Medication assisted treatment,
buprenorphine (implant insertion); weekly bundle including dispensing
and/or administration, substance use counseling, individual and group
therapy, and toxicology testing if performed (provision of the services
by a Medicare-enrolled Opioid Treatment Program).
HCPCS code GXXX5: Medication assisted treatment,
buprenorphine (implant removal); weekly bundle including dispensing
and/or administration, substance use counseling, individual and group
therapy, and toxicology testing if performed (provision of the services
by a Medicare-enrolled Opioid Treatment Program).
HCPCS code GXXX6: Medication assisted treatment,
buprenorphine (implant insertion and removal); weekly bundle including
dispensing and/or administration, substance use counseling, individual
and group therapy, and toxicology testing if performed (provision of
the services by a Medicare-enrolled Opioid Treatment Program).
HCPCS code GXXX7: Medication assisted treatment,
naltrexone; weekly bundle including dispensing and/or administration,
substance use counseling, individual and group therapy, and toxicology
testing if performed (provision of the services by a Medicare-enrolled
Opioid Treatment Program).
HCPCS code GXXX8: Medication assisted treatment, weekly
bundle not including the drug, including substance use counseling,
individual and group therapy, and toxicology testing if performed
(provision of the services by a Medicare-enrolled Opioid Treatment
Program).
HCPCS code GXXX9: Medication assisted treatment,
medication not otherwise specified; weekly bundle including dispensing
and/or administration, substance use counseling, individual and group
therapy, and toxicology testing, if performed (provision of the
services by a Medicare-enrolled Opioid Treatment Program).
HCPCS code GXX10: Medication assisted treatment,
methadone; weekly bundle including dispensing and/or administration,
substance use counseling, individual and group therapy, and toxicology
testing if performed (provision of the services by a Medicare-enrolled
Opioid Treatment Program); partial episode. Do not report with GXXX1.
HCPCS code GXX11: Medication assisted treatment,
buprenorphine (oral); weekly bundle including dispensing and/or
administration, substance use counseling, individual and group therapy,
and toxicology testing if performed (provision of the services by a
Medicare-enrolled Opioid Treatment Program); partial episode. Do not
report with GXXX2.
HCPCS code GXX12: Medication assisted treatment,
buprenorphine (injectable); weekly bundle including dispensing and/or
administration, substance use counseling, individual and group therapy,
and toxicology testing if performed (provision of the services by a
Medicare-enrolled Opioid Treatment Program); partial episode. Do not
report with GXXX3.
[[Page 40530]]
HCPCS code GXX13: Medication assisted treatment,
buprenorphine (implant insertion); weekly bundle including dispensing
and/or administration, substance use counseling, individual and group
therapy, and toxicology testing if performed (provision of the services
by a Medicare-enrolled Opioid Treatment Program); partial episode (only
to be billed once every 6 months). Do not report with GXXX4.
HCPCS code GXX14: Medication assisted treatment,
buprenorphine (implant removal); weekly bundle including dispensing
and/or administration, substance use counseling, individual and group
therapy, and toxicology testing if performed (provision of the services
by a Medicare-enrolled Opioid Treatment Program); partial episode. Do
not report with GXXX5.
HCPCS code GXX15: Medication assisted treatment,
buprenorphine (implant insertion and removal); weekly bundle including
dispensing and/or administration, substance use counseling, individual
and group therapy, and toxicology testing if performed (provision of
the services by a Medicare-enrolled Opioid Treatment Program); partial
episode. Do not report with GXXX6.
HCPCS code GXX16: Medication assisted treatment,
naltrexone; weekly bundle including dispensing and/or administration,
substance use counseling, individual and group therapy, and toxicology
testing if performed (provision of the services by a Medicare-enrolled
Opioid Treatment Program); partial episode. Do not report with GXXX7.
HCPCS code GXX17: Medication assisted treatment, weekly
bundle not including the drug, including substance use counseling,
individual and group therapy, and toxicology testing if performed
(provision of the services by a Medicare-enrolled Opioid Treatment
Program); partial episode. Do not report with GXXX8.
HCPCS code GXX18: Medication assisted treatment,
medication not otherwise specified; weekly bundle including dispensing
and/or administration, substance use counseling, individual and group
therapy, and toxicology testing, if performed (provision of the
services by a Medicare-enrolled Opioid Treatment Program); partial
episode. Do not report with GXXX9.
HCPCS code GXX19: Each additional 30 minutes of counseling
or group or individual therapy in a week of medication assisted
treatment, (provision of the services by a Medicare-enrolled Opioid
Treatment Program); List separately in addition to code for primary
procedure.
See Table 15 for proposed valuations for HCPCS codes GXXX1-GXX19.
We propose that only an entity enrolled with Medicare as an OTP could
bill these codes. Additionally, we propose that OTPs would be limited
to billing only these codes describing bundled payments, and may not
bill for other codes, such as those paid under the PFS.
(6) Payment Rates
The codes describing the proposed OTP bundled services (HCPCS codes
GXXX1-GXX19) would be assigned flat dollar payment amounts, which are
listed in Table 15. As discussed previously, section 2005 of the
SUPPORT Act amended the definition of ``medical and other health
services'' in section 1861(s) of the Act to provide for coverage of OUD
treatment services furnished by an OTP and also added a new section
1834(w) to the Act and amended section 1833(a)(1) of the Act to
establish a bundled payment to OTPs for OUD treatment services
furnished during an episode of care beginning on or after January 1,
2020. Therefore, OUD treatment services and the payments for such
services are wholly separate from physicians' services, as defined
under section 1848(j)(3) of the Act, and for which payment is made
under the section 1848 of the Act. Because OUD treatment services are
not considered physicians' services and are paid outside the PFS, they
would not be priced using relative value units (RVUs).
Consistent with section 1834(w) of the Act, which requires the
Secretary to make a bundled payment for OUD treatment services
furnished by OTPs, we are proposing to build the payment rates for OUD
treatment services by combining the cost of the drug and the non-drug
components (as applicable) into a single bundled payment as described
in more detail below.
(a) Drug Component
As part of determining a payment rate for these proposed bundles
for OUD treatment services, a dosage of the applicable medication must
be selected in order to calculate the costs of the drug component of
the bundle. We propose to use the typical or average maintenance dose,
as discussed earlier in this section, to determine the drug costs for
each of the proposed bundles. As dosing for some, but not all, of these
drugs varies considerably, this approach attempts to strike an
appropriate balance between high- and low-dose drug regimens in the
context of a bundled payment. Specifically, we propose to calculate
payment rates using a 100 mg daily dose for methadone, a 10 mg daily
dose for oral buprenorphine, a 100 mg monthly dose for the extended-
release buprenorphine injection, four rods each containing 74.2 mg of
buprenorphine for the 6-month buprenorphine implant, and a 380 mg
monthly dose for extended-release injectable naltrexone. We invite
public comments on our proposal to use the typical maintenance dose in
order to calculate the drug component of the bundled payment rate for
each of the proposed codes. We also seek comment on the specific
typical maintenance dosage level that we have identified for each drug,
and a process for identifying the typical maintenance dose for new
opioid agonist or antagonist treatment medication approved by the FDA
under section 505 of the FFDCA when such medications are billed using
the medication NOS code, such as using the FDA-approved prescribing
information or a review of the published, preferably peer-reviewed,
literature. We note that the bundled payment rates are intended to be
comprehensive with respect to the drugs provided; therefore, we do not
intend to include any other amounts related to drugs, other than for
administration, as discussed below. This means, for example, that we
would not pay for drug wastage, which we do not anticipate to be
significant in the OTP setting.
i. Potential Drug Pricing Data Sources
Payment structures that are closely tailored to the provider's
actual acquisition cost reduce the likelihood that a drug will be
chosen primarily for a reason that is unrelated to the clinical care of
the patient, such as the drug's profit margin for a provider. We are
proposing to estimate an OTP's costs for the drug component of the
bundles based on available data regarding drug costs rather than a
provider-specific cost-to-charge ratio or another more direct
assessment of facility or industry-specific drug costs. OTPs do not
currently report costs associated with their services to the Medicare
program, and we do not believe that a cost-to-charge ratio based on
such reported information could be available for a significant period
of time. Furthermore, we are unaware of any industry-specific data that
may be used to more accurately assess the prices at which OTPs acquire
the medications used for OUD treatment. Therefore, at this time, we are
proposing to estimate an OTP's costs for the drugs used in MAT based on
other available data sources, rather than applying a cost-to-charge
ratio or
[[Page 40531]]
another more direct assessment of drug acquisition cost, though we
intend to continue to explore alternate ways to gather this
information. As described in greater detail below, we propose that the
payment amounts for the drug component of the bundles be based on CMS
pricing mechanisms currently in place. We request comment on other
potential data sources for pricing OUD treatment medications either
generally or specifically with respect to acquisition by OTPs. In the
case of oral drugs that we are proposing to include in the OTP bundled
payments and for which we do not receive manufacturer-submitted ASP
data, we are considering several potential approaches for determining
the payment amounts for the drug component of the bundles. Although we
are not proposing a specific pricing mechanism at this time, we are
soliciting comments on several different approaches, and we intend to
develop a final policy for determining the payment amount for the drug
component of the relevant bundles after considering the comments
received.
In considering the payment amount for the drug component of each of
the bundled payments that include a drug, we will begin by breaking the
drugs into two categories based on their current coverage and payment
by Medicare. First, we discuss the injectable and implantable drugs,
which are generally covered and paid for under Medicare Part B, and
then discuss the oral medications, which are generally covered and paid
for under Medicare Part D.\53\ Buprenorphine (injection), buprenorphine
(implant), and naltrexone (injection) would fall into the former
category and methadone and buprenorphine (oral) would fall into the
latter category.
---------------------------------------------------------------------------
\53\ Because, by law, methadone used in MAT cannot be dispensed
by a pharmacy, it is not currently considered a Part D drug when
used for MAT. Methadone used for this purpose can be dispensed only
through an OTP certified by SAMHSA. However, methadone dispensed for
pain may be considered a Part D drug and can be dispensed by a
pharmacy.
---------------------------------------------------------------------------
ii. Part B Drugs
Part B includes a limited drug benefit that encompasses drugs and
biologicals described in section 1861(t) of the Act. Currently, covered
Part B drugs fall into three general categories: Drugs furnished
incident to a physician's services, drugs administered via a covered
item of durable medical equipment, and other drugs specified by statute
(generally in section 1861(s)(2) of the Act). Types of providers and
suppliers that are paid for all or some of the Medicare-covered Part B
drugs that they furnish include physicians, pharmacies, durable medical
equipment suppliers, hospital outpatient departments, and end-stage
renal disease (ESRD) facilities.
The majority of Part B drug expenditures are for drugs furnished
incident to a physician's service. Drugs furnished incident to a
physician's service are typically injectable drugs that are
administered in a non-facility setting (covered under section
1861(s)(2)(A) of the Act) or in a hospital outpatient setting (covered
under section 1861(s)(2)(B) of the Act). The statute (sections
1861(s)(2)(A) and 1861(s)(2)(B) of the Act) limits ``incident to''
services to drugs that are not usually self-administered; self-
administered drugs, such as orally administered tablets and capsules
are not paid for under the ``incident to'' provision. Payment for drugs
furnished incident to a physician's service falls under section 1842(o)
of the Act. In accordance with section 1842(o)(1)(C) of the Act,
``incident to'' drugs furnished in a non-facility setting are paid
under the methodology in section 1847A of the Act. ``Incident to''
drugs furnished in a facility setting also are paid using the
methodology in section 1847A of the Act when it has been incorporated
under the relevant payment system (for example, the Hospital Outpatient
Prospective Payment System (OPPS) \54\).
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\54\ See https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/HospitalOutpatientPPS/.
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In most cases, determining payment using the methodology in section
1847A of the Act means payment is based on the ASP plus a statutorily
mandated 6 percent add-on. The payment for these drugs does not include
costs for administering the drug to the patient (for example, by
injection or infusion); payments for these physician and hospital
services are made separately, and the payment amounts are determined
under the PFS \55\ and the OPPS, respectively. The ASP payment amount
determined under section 1847A of the Act reflects a volume-weighted
ASP for all NDCs that are assigned to a HCPCS code. The ASP is
calculated quarterly using manufacturer-submitted data on sales to all
purchasers (with limited exceptions as articulated in section
1847A(c)(2) of the Act such as sales at nominal charge and sales exempt
from best price) with manufacturers' rebates, discounts, and price
concessions reflected in the manufacturer's determination of ASP.
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\55\ See https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/PhysicianFeeSched/.
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Although the Part B drug benefit is generally considered to be
limited in scope, it includes many categories of drugs and encompasses
a variety of care settings and payment methodologies. In addition to
the ``incident to'' drugs described above, Part B also covers and pays
for certain oral drugs with specific benefit categories defined under
section 1861(s) of the Act including certain oral anti-cancer drugs and
certain oral antiemetic drugs. In accordance with section 1842(o)(1) of
the Act or through incorporation under the relevant payment system as
discussed above, most of these oral Part B drugs are also paid based on
the ASP methodology described in section 1847A of the Act.
However, at times Part B drugs are paid based on wholesale
acquisition cost (WAC) as authorized under section 1847A(c)(4) of the
Act \56\ or average manufacturer price (AMP)-based price substitutions
as authorized under section 1847A(d) of the Act.\57\ Also, in
accordance with section 1842(o) of the Act, other payment methodologies
may be applied to determine the payment amount for certain Part B
drugs, for example, AWP-based payments (using current AWP) are made for
influenza, pneumococcal pneumonia, and hepatitis B vaccines.\58\ We
also use current AWP to make payment under the OPPS for very new drugs
without an ASP.\59\ Contractors may also make independent payment
amount determinations in situations where a national price is not
available for physician and other supplier claims and for drugs that
are specifically excluded from payment based on section 1847A of the
Act (for example, radiopharmaceuticals as noted in section 303(h) of
the Medicare Prescription Drug, Improvement and Modernization Act of
2003 (MMA) (Pub. L. 108-173, enacted December 8, 2003). In such cases,
pricing may be determined based on compendia or invoices.\60\
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\56\ See 75 FR 73465-73466, the section titled Partial Quarter
ASP data.
\57\ See 77 FR 69140.
\58\ Section 1842(o)(1)(A)(iv) of the Act.
\59\ 80 FR 70426 and 80 FR 70442-3; Medicare Claims Processing
Manual 100-04, Chapter 17, Section 20.1.3.
\60\ Medicare Claims Processing Manual 100-04, Chapter 17,
Section 20.1.3.
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While most Part B drugs are paid based on the ASP methodology,
MedPAC has noted that the ASP methodology may encourage the use of more
expensive drugs because the 6 percent add-on generates more revenue
[[Page 40532]]
for more expensive drugs.\61\ The ASP payment amount also does not vary
based on the price an individual provider or supplier pays to acquire
the drug. The statute does not identify a reason for the additional 6
percent add-on above ASP; however, as noted in the MedPAC report (and
by sources cited in the report), the add-on is needed to account for
handling and overhead costs and/or for additional mark-up in the
distribution channels that are not captured in the manufacturer-
reported ASP.\62\
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\61\ See MedPAC Report to the Congress: Medicare and the Health
Care Delivery System June 2015, pages 65-72.
\62\ Ibid.
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We propose to use the methodology in section 1847A of the Act
(which bases most payments on ASP) to set the payment rates for the
``incident to'' drugs. However, we propose to limit the payment amounts
for ``incident to'' drugs to 100 percent of the volume-weighted ASP for
a HCPCS code instead of 106 percent of the volume-weighted ASP for a
HCPCS code. We believe limiting the add-on will incentivize the use of
the most clinically appropriate drug for a given patient. In addition,
we understand that many OTPs purchase directly from drug manufacturers,
thereby limiting the markup from distribution channels. We also propose
to use the same version of the quarterly manufacturer-submitted data
used for calculating the most recently posted ASP data files in
preparing the CY 2020 payment rates for OTPs. Please note that the
quarterly ASP Drug Pricing Files include ASP plus 6 percent payment
amounts.\63\ Accordingly, we would adjust these amounts consistent with
our proposal to limit the payment amounts for these drugs to 100
percent of the volume-weighted ASP for a HCPCS code. Proposed payment
rates are provided below in this section of this proposed rule. A
discussion of the proposed annual payment update methodology is also
provided below. We propose to codify the ASP payment methodology for
the drug component at Sec. 410.67(d)(2). We solicit public comment on
these proposals, as well as on using alternative ASP-based payments to
price these drugs, such as a rolling average of the past year's ASP
payment rates.
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\63\ See https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Part-B-Drugs/McrPartBDrugAvgSalesPrice/2016ASPFiles.html.
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iii. Oral Drugs
We propose to use ASP-based payment, which would be determined
based on ASP data that have been calculated consistent with the
provisions in 42 CFR part 414, subpart 800, to set the payment rates
for the oral product categories when we receive manufacturer-submitted
ASP data for these drugs. We believe that using the ASP pricing data
for oral OTP drugs currently covered under Part D \64\ would facilitate
the computation of the estimated costs of these drugs. However, we do
not collect ASP pricing information under section 1927(b) of the Act
for these drugs. We request public comment on whether manufacturers
would be willing to submit ASP pricing data for OTP drugs currently
covered under Part D on a voluntary basis.
---------------------------------------------------------------------------
\64\ Please note that methadone is not currently considered a
Part D drug when used for MAT. Methadone used for this purpose can
be dispensed only through an OTP certified by SAMHSA. However,
methadone dispensed for pain may be considered a Part D drug.
---------------------------------------------------------------------------
We also propose to limit the payment amounts for oral drugs to 100
percent of the volume-weighted ASP for a HCPCS code instead of 106
percent of the volume-weighted ASP for a HCPCS code. We believe
limiting the add-on will incentivize the use of the most clinically
appropriate drug for a given patient. In addition, we understand that
many OTPs purchase directly from drug manufacturers, thereby limiting
the markup from distribution channels. We propose to use the same
version of the quarterly manufacturer-submitted data used for
calculating the most recently posted ASP data files in preparing the CY
2020 payment rates for OTPs. Please note that the quarterly ASP Drug
Pricing Files include ASP plus 6 percent payment amounts.\65\
Accordingly, we would adjust these amounts consistent with our proposal
to limit the payment amounts for these drugs to 100 percent of the
volume-weighted ASP for a HCPCS code. Proposed payment rates are
provided below in this section of this proposed rule. A discussion of
the proposed annual payment update methodology is also provided below.
We propose to codify the ASP payment methodology for the drug component
at Sec. 410.67(d)(2). We solicit public comment on these proposals, as
well as on using alternative ASP-based payments to price these drugs,
such as a rolling average of the past year's ASP payment rates.
---------------------------------------------------------------------------
\65\ See https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Part-B-Drugs/McrPartBDrugAvgSalesPrice/2016ASPFiles.html.
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In the event that we do not receive manufacturer-submitted ASP
pricing data, we are considering several potential pricing mechanisms
to estimate the payment amounts for oral drugs typically paid for under
Medicare Part D but that would become OTP drugs paid under Part B when
used as part of MAT in an OTP. We are not proposing a specific pricing
mechanism for these drugs at this time, but are requesting public
comment on the following potential approaches for estimating the
acquisition cost and payment amounts for these drugs and on alternative
approaches. We will consider the comments received in developing our
final policy for determining these drug prices.
Approach 1: The Methodology in Section 1847A of the Act
One approach for estimating the cost of the drugs that are
currently covered under Part D and for which ASP data are not available
would be to use the methodology in section 1847A of the Act. Please see
above for a discussion of the methodology in section 1847A of the Act.
Under the methodology in section 1847A of the Act, when ASP data are
not available, this option would price drugs using, for example, WAC or
invoice pricing.
Approach 2: Medicare's Part D Prescription Drug Plan Finder Data
On January 28, 2005, we issued the ``Medicare Program; Medicare
Prescription Drug Benefit'' final rule (70 FR 4194) which implemented
the Medicare voluntary prescription drug benefit, as enacted by section
101 of the MMA. Beginning on January 1, 2006, a prescription drug
benefit program was available to beneficiaries with much broader drug
coverage than was previously provided under Part B to include: Brand-
name prescription drugs and biologicals, generic drugs, biosimilars,
vaccines, and medical supplies associated with the injection of
insulin.\66\ This prescription drug benefit is offered to Medicare
beneficiaries through Medicare Advantage Drug Plans (MA-PDs) and stand-
alone Prescription Drug Plans (PDPs). The prescription drug benefit
under Medicare Part D is administered based on the ``negotiated
prices'' of covered Part D drugs. Under Sec. 423.100 of the Part D
regulations, the negotiated price of a Part D drug equals the amount
paid by the Part D sponsor (or its pharmacy benefit manager) to the
pharmacy at the point-of-sale for that drug. Typically, these Part D
``negotiated prices'' are based on AWP minus a percentage for brand
drugs or either the maximum allowable cost, which is based on
proprietary methodologies used to establish the same payment for
therapeutically equivalent products marketed by multiple labelers with
different AWPs,
[[Page 40533]]
or the Generic Effective Rate, which guarantees aggregate minimum
reimbursement (for example, AWP-85 percent). The negotiated price under
Part D also includes a dispensing fee (for example, $1-$2), which is
added to the cost of the drug.
---------------------------------------------------------------------------
\66\ See section 1860D-2(e) of the Act.
---------------------------------------------------------------------------
Many of the beneficiaries who choose to enroll in Part D drug plans
must pay premiums, deductibles, and copayments/co-insurance. The
Medicare Prescription Drug Plan Finder is an online tool available at
https://www.medicare.gov. This web tool allows beneficiaries to make
informed choices about enrolling in Part D plans by comparing the
plans' benefit packages, premiums, formularies, pharmacies, and pricing
data. PDPs and MA-PDs are required to submit this information to CMS
for posting on the Medicare Drug Plan Finder. The database structure
provides the drug pricing and pharmacy network information necessary to
accurately communicate plan information in a comparative format. The
Medicare Prescription Drug Plan Finder displays information on
pharmacies that are contracted to participate in the sponsors' network
as either retail or mail order pharmacies.
Another approach for estimating the cost of the drugs that are
currently covered under Part D and for which ASP data are not available
would be to use data retrieved from the online Medicare Prescription
Drug Plan Finder. For example, the Part D drug prices for each drug
used by an OTP as part of MAT could be estimated based on a national
average price charged by all Part D plans and their network pharmacies.
However, the prices listed in the Medicare Prescription Drug Plan
Finder generally reflect the prices that are negotiated by larger
buying groups, as larger pharmacies often have significant buying power
and smaller pharmacies generally contract with a pharmacy services
administrative organization (PSAO). As a result, our primary concern
with this pricing approach is that such prices may fail to reflect the
drug prices that smaller OTP facilities may pay in acquiring these
drugs and could therefore disadvantage these facilities. If we were to
select this pricing approach for oral drugs for which ASP data are not
available, we would anticipate setting the pricing for these drugs
using the most recent Medicare Drug Plan Finder data available at the
drafting of the CY 2020 PFS final rule. We note that, for the Part B
ESRD prospective payment system (PPS) outlier calculation, which
provides ESRD facilities with additional payment in situations where
the costs for treating patients exceed an established threshold under
the ESRD PPS, we chose to adopt the ASP methodology in section 1847A of
the Act, and the other pricing methodologies under section 1847A of the
Act, as appropriate, when ASP data are not available, to price the
renal dialysis drugs and biological products that were or would have
been separately billable under Part B prior to implementation of the
ESRD PPS,\67\ and the national average drug prices based on the
Medicare Prescription Drug Plan Finder as the data source for pricing
the renal dialysis drugs or biological products that were or would have
been separately covered under Part D prior to implementation of the
ESRD PPS.\68\
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\67\ 82 FR 50742 through 50745.
\68\ 75 FR 49142.
---------------------------------------------------------------------------
We believe that all of the MAT drugs proposed for inclusion in the
OTP benefit that are currently covered under Part D have clinical
treatment indications beyond MAT such as for the treatment of pain.\69\
These drugs will continue to be covered under Part D for these other
indications. Buprenorphine will continue to be covered under Part D for
MAT as well. Consequently, Part D pricing information should continue
to be available for these drugs and could be used in the computation of
payment under the approach discussed above.
---------------------------------------------------------------------------
\69\ For example, while methadone is not covered by Medicare
Part D for MAT, methadone dispensed for pain may be considered a
Part D drug.
---------------------------------------------------------------------------
Because, by law, methadone used in MAT cannot be dispensed by a
pharmacy, it is not currently considered a Part D drug when used for
MAT. Methadone used for this purpose can be dispensed only through an
OTP certified by SAMHSA. However, methadone dispensed for pain may be
considered a Part D drug and can be dispensed by a pharmacy.
Accordingly, we also seek comment on the applicability of Part D
payment rates for methadone dispensed by a pharmacy to methadone
dispensed by an OTP for MAT.
Approach 3: Wholesale Acquisition Cost (WAC)
Another approach for estimating the cost of the oral drugs that we
propose to include as part of the bundled payments but for which ASP
data are not available would be to use WAC. Section 1847A(c)(6)(B) of
the Act defines WAC as the manufacturer's list price for the drug to
wholesalers or direct purchasers in the U.S., not including prompt pay
or other discounts, rebates, or reductions in price, for the most
recent month for which the information is available, as reported in
wholesale price guides or other publications of drug pricing data. As
noted above in the discussion of Part B drugs, WAC is used as the basis
for pricing some Part B drugs; for example, it is used when it is less
than ASP in the case of single source drugs (section 1847A(b)(4) of the
Act) and in cases where ASP is unavailable during the first quarter of
sales (section 1847A(c)(4) of the Act).
Because WAC is the manufacturer's list price to wholesalers, we
believe that it is more reflective of the price paid by the end user
than the AWP. As a result, we believe that this pricing mechanism would
be consistent with pricing that currently occurs for drugs that are
separately billable under Part B. However, we have concerns about the
fact that WAC does not include prompt pay or other discounts, rebates,
or reductions in price. If we select this option to estimate the cost
of certain drugs, we would develop pricing using the most recent data
files available at the drafting of the CY 2020 PFS final rule.
Approach 4: National Average Drug Acquisition Cost (NADAC)
Another approach for estimating the cost of the oral drugs that we
propose to include as part of the bundled payments but for which ASP
data are not available would be to use Medicaid's NADAC survey. This
survey provides another national drug pricing benchmark. CMS conducts
surveys of retail community pharmacy prices, including drug ingredient
costs, to develop the NADAC pricing benchmark. The NADAC was designed
to create a national benchmark that is reflective of the prices paid by
retail community pharmacies to acquire prescription and over-the-
counter covered outpatient drugs and is available for consideration by
states to assist with their individual pharmacy payment policies.
State Medicaid agencies reimburse pharmacy providers for prescribed
covered outpatient drugs dispensed to Medicaid beneficiaries. The
reimbursement formula consists of two parts: (1) Drug ingredient costs;
and (2) a professional dispensing fee. In a final rule with comment
period titled ``Medicaid Program; Covered Outpatient Drugs,'' which
appeared in the February 1, 2016 Federal Register (81 FR 5169), we
revised the methodology that state Medicaid programs use to determine
drug ingredient costs, establishing an Actual Acquisition Cost (AAC)
based determination, as opposed to a determination based on estimated
acquisition costs (EAC). AAC is defined
[[Page 40534]]
at 42 CFR 447.502 as the agency's determination of the pharmacy
providers' actual prices paid to acquire drugs marketed or sold by
specific manufacturers. As explained in the Covered Outpatient Drugs
final rule with comment period (81 FR 5175), CMS believes shifting from
an EAC to an AAC based determination of ingredient costs is more
consistent with the dictates of section 1902(a)(30)(A) of the Act. In
2010, a working group within the National Association of State Medicaid
Directors (NASMD) recommended the establishment of a single national
pricing benchmark based on average drug acquisition costs. Pricing
metrics based on actual drug purchase prices provide greater accuracy
and transparency in how drug prices are established and are more
resistant to manipulation. The NASMD requested that CMS coordinate,
develop, and support this benchmark.
Section 1927(f) of the Act provides, in part, that CMS may contract
with a vendor to conduct monthly surveys with respect to prices for
covered outpatient drugs dispensed by retail community pharmacies. We
entered into a contract with Myers & Stauffer, LLC to perform a monthly
nationwide retail price survey of retail community pharmacy covered
outpatient drug prices (CMS-10241, OMB 0938-1041) and to provide states
with weekly updates on pricing files, that is, the NADAC files. The
NADAC survey process focuses on drug ingredient costs for retail
community pharmacies. The survey collects acquisition costs for covered
outpatient drugs purchased by retail pharmacies, which include invoice
prices from independent and chain retail community pharmacies. The
survey data provide information that CMS uses to assure compliance with
federal requirements. We believe NADAC data could be used to set the
prices for the oral drugs furnished by OTPs for which ASP data are not
available. Survey data on invoice prices provide the closest pricing
metric to ASP that we are aware of. However, similar to the other
available pricing metrics, we have concerns about the applicability of
retail pharmacy prices to the acquisition costs available to OTPs since
we have no evidence to suggest that these entities would be able to
acquire drugs at a similar price point. If we select this option, we
would develop pricing using the most recent data files available at the
drafting of the CY 2020 PFS final rule.
Alternative Methadone Pricing: TRICARE
We are also considering an approach for estimating the cost of
methadone using the amount calculated by TRICARE. As discussed above in
this section of this proposed rule, the TRICARE rates for medications
used in OTPs to treat opioid use disorder are spelled out in the 2016
TRICARE final rule (81 FR 61068); in the regulations at Sec.
199.14(a)(2)(ix); and in Chapter 7, Section 5 and Chapter 1, Section 15
of the TRICARE Reimbursement Manual 6010.61-M, April 1, 2015.
In the 2016 TRICARE final rule, DOD established separate payment
methodologies for OTPs based on the particular medication being
administered for treatment.\70\ Based on TRICARE's review of industry
billing practices, the initial weekly bundled rate for administration
of methadone included a daily drug cost of $3, which is subject to an
update factor.\71\
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\70\ 81 FR 61079.
\71\ 81 FR 61079.
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This option would only be applicable for methadone because TRICARE
has developed a fee-for-service payment methodology for buprenorphine
and naltrexone.\72\ In the 2016 TRICARE final rule, the DOD stated that
the payments for buprenorphine and naltrexone are more variable in
dosage and frequency for both the drug and non-drug services.\73\
Accordingly, TRICARE pays for drugs listed on Medicare's Part B ASP
files, such as the injectable and implantable versions of buprenorphine
using the ASP; drugs not appearing on the Medicare ASP file, such as
oral buprenorphine, are priced at the lesser of billed charges or 95
percent of the AWP.\74\
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\72\ 81 FR 61080.
\73\ 81 FR 61080.
\74\ https://manuals.health.mil/pages/DisplayManualHtmlFile/TR15/30/AsOf/TR15/C7S5.html; https://manuals.health.mil/pages/DisplayManualHtmlFile/TR15/30/AsOf/TR15/c1s15.html2FM10546.
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We believe that pricing methadone consistent with the TRICARE
payment rate may provide a reasonable payment amount for methadone when
ASP data are not available. As DOD noted in the 2016 TRICARE final
rule, ``a number of commenters indicated that they believed the rates
DOD proposed for OTPs' services are near market rates and are
acceptable.'' \75\
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\75\ 81 FR 61080.
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We are proposing to codify this proposal to apply an alternative
approach for determining the payment rate for oral drugs only if ASP
data are not available in Sec. 410.67(d)(2). We request public comment
on the potential alternative approaches set forth above for estimating
the cost of oral drugs that we propose to include as part of the
bundled payments but for which ASP data are not available, including
any other alternate sources of data to estimate the cost of these oral
MAT drugs. Payment rates based on these different options are set forth
in Table 14. We will consider the comments received on these different
potential approaches when deciding on the approach that we will use to
determine the payment rates for these drugs in the CY 2020 PFS final
rule. We also invite public comment on any other potential data sources
for estimating the provider acquisition costs of OTP drugs currently
paid under either Part B or Part D. As noted previously, we welcome
comments on how new drugs with a novel mechanism of action should be
priced, and specifically whether pricing for non-opioid agonist and/or
antagonist medications should be determined using the same pricing
methodology, including the alternatives discussed above, as would be
used for medications included in the proposed definition of OUD
treatment services.
TABLE 14--Estimated * Initial Drug Payment Rates for Each Pricing
Approach
------------------------------------------------------------------------
Estimated initial
Pricing approach (or Estimated initial weekly drug payment
alternative) weekly drug payment for oral
for methadone buprenorphine
------------------------------------------------------------------------
Proposal: ASP-Based Payment. ASPs currently not ASPs currently not
reported. reported.
Approach 1: The Methodology $29.61.............. $117.68.
in Section 1847A of the Act.
Approach 2: Medicare's Part 22.47............... 97.65.
D Prescription Drug Plan
Finder Data.
Approach 3: WAC............. 27.93............... 111.02.
Approach 4: NADAC........... 11.76............... 97.02.
[[Page 40535]]
Alternative Methadone 22.19............... N/A.
Pricing: TRICARE.
------------------------------------------------------------------------
* The estimated payment amounts in this table are based on data files
posted at the time of the drafting of this proposed rule. We would
develop the final pricing for CY 2020 using the most recent data files
available at the drafting of the CY 2020 PFS final rule.
(b) Non-Drug Component
To price the non-drug component of the bundled payments, we are
proposing to use a crosswalk to the non-drug component of the TRICARE
weekly bundled rate for services furnished when a patient is prescribed
methadone. As described above, in 2016, TRICARE finalized a weekly
bundled rate for administration of methadone that included a daily drug
cost of $3, along with a $15 per day cost for non-drug services (that
is, the costs related to the intake/assessment, drug dispensing and
screening and integrated psychosocial and medical treatment and
supportive services). The daily projected per diem cost ($18/day) was
converted to a weekly rate of $126 ($18/day x 7 days) (81 FR 61079).
TRICARE updates the weekly bundled methadone rate for OTPs annually
using the Medicare update factor used for other mental health care
services rendered (that is, the Inpatient Prospective Payment System
update factor) under TRICARE (81 FR 61079). The updated amount for CY
2019 to $133.15 (of which $22.19 is the methadone cost and the
remainder, $110.96, is for the non-drug services).\76\ We believe using
the TRICARE weekly bundled rate is a reasonable approach to setting the
payment rate for the non-drug component of the bundled payments to
OTPs, particularly given the time constraints in developing a payment
methodology prior to the January 1, 2020 effective date of this new
Medicare benefit category. The TRICARE rate is an established national
payment rate that was established through notice and comment
rulemaking. As a result, OTPs and other interested parties had an
opportunity to present information regarding the costs of these
services. Furthermore the TRICARE rate describes a generally similar
bundle of services to those services that are included in the
definition of OUD treatment services in section 1861(jjj)(1) of the
Act. We recognize that there are differences in the patient population
for TRICARE compared with the Medicare beneficiary population. However,
as OTP services have not previously been covered by Medicare, it is not
clear what impact, if any, these differences would have on the cost of
the services included in the non-drug component of the proposed bundled
payments. We are proposing to codify the methodology for determining
the payment rate for the non-drug component of the bundled payments
using the TRICARE weekly rate for non-drug services at Sec.
410.67(d)(2). As part of this proposal, we would plan to monitor
utilization of non-drug services by Medicare beneficiaries and, if
needed, would consider in future rulemaking ways we could tailor the
TRICARE payment rate for these non-drug services to the Medicare
population, including dually eligible beneficiaries.
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\76\ https://health.mil/Military-Health-Topics/Business-Support/Rates-and-Reimbursement/MHSUD-Facility-Rates.
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Because the TRICARE payment rate for the non-drug services included
in its weekly bundled rate for methadone includes daily administration
of methadone, as part of our proposed approach we would adjust the
TRICARE payment rate for non-drug services for most of the other
bundled payments to more accurately reflect the cost of administering
the other drugs used in MAT. For the oral buprenorphine bundled
payment, we propose to retain the same amount as the rate for the
methadone bundled payment based on an assumption that this drug is also
being dispensed daily. We understand that patients who have stabilized
may be given 7-14 day supplies of oral buprenorphine at a time, but for
the purposes of developing the proposed rates, we valued this service
to include daily drug dispensing to account for cases where daily drug
dispensing is occurring. For the injectable drugs (buprenorphine and
naltrexone), we propose to subtract from the non-drug component, an
amount that is comparable to the dispensing fees paid by several state
Medicaid programs ($10.50) for a week of daily dispensing of methadone.
This adjustment accounts for the fact that these injectable drugs are
not oral drugs that are dispensed daily; we would then instead add the
fee that Medicare pays for the administration of an injection (which is
currently $16.94 under the CY 2019 non-facility Medicare payment rate
for CPT code 96372). We propose to update the amount of this adjustment
annually using the same methodology that we are proposing to use to
update the non-drug component of the bundled payments.
Similarly, the payment rates for the non-drug component of the
codes for the weekly bundled payments for buprenorphine implants would
be adjusted to add an amount for insertion and/or removal based on a
direct crosswalk to the non-facility payment rates under the Medicare
PFS for the insertion, removal, or insertion and removal of these
implants, which describe the physician work, practice expense (PE), and
malpractice costs associated with these procedures, and to remove the
costs of daily drug dispensing (determined based on the dispensing fees
paid by several state Medicaid programs for a week of daily dispensing
of methadone, currently $10.50). For HCPCS code GXXX5, we would use a
crosswalk to the rate for HCPCS code G0516 (Insertion of non-
biodegradable drug delivery implants, 4 or more (services for subdermal
rod implant)); for HCPCS code GXXX6, we would use a crosswalk to the
rate for HCPCS code G0517 (Removal of non-biodegradable drug delivery
implants, 4 or more (services for subdermal implants)); and for HCPCS
code GXXX7, we would use a crosswalk to the rate for HCPCS code G0518
(Removal with reinsertion, non-biodegradable drug delivery implants, 4
or more (services for subdermal implants)). The amounts for HCPCS codes
G0516, G0517 and G0518 under the CY 2019 non-facility Medicare payment
rate are $111.00, $126.86, and $204.70, respectively.
In order to determine the payment rates for the code describing a
non-drug bundled payment, HCPCS code GXXX8, we propose to use a
crosswalk to the reimbursement rate for the non-drug services included
in the TRICARE weekly bundled rate for administration of methadone,
adjusted to subtract the cost of methadone dispensing (using an amount
that is comparable to the dispensing fees paid by several state
Medicaid programs for a week of daily dispensing of methadone, which is
currently $10.50).
We propose that the payment rate for the add-on code, HCPCS code
GXX19, would be based on 30 minutes of
[[Page 40536]]
substance use counseling and valued based on a crosswalk to the rates
set by state Medicaid programs for similar services.
i. Medication Not Otherwise Specified
We would expect the non-drug component for medication not otherwise
specified bundled payments (HCPCS code GXXX9) to be consistent with the
pricing methodology for the other bundled payments and therefore, be
based on a crosswalk to the TRICARE rate, adjusted for any applicable
administration and dispensing fees. For example, for oral medications,
we would use the rate for the non-drug services included in the TRICARE
methadone bundle, based on an assumption that the drug is also being
dispensed daily. For the injectable medications, we would adjust the
TRICARE payment rate for non-drug services using the same methodology
we are proposing for injectable medications above (to subtract an
amount for daily dispensing and add the non-facility Medicare payment
rate for administration of the injection). For implantable medications,
we would also use the same methodology we propose above, with the same
crosswalked non-facility Medicare payment rates (for insertion,
removal, and insertion and removal). We welcome comments on all of the
proposed pricing methodologies described in this section. As noted
above, we also welcome comments on how new drugs with a novel mechanism
of action (that is, drugs that are not opioid agonists and/or
antagonists) should be priced. We additionally welcome comments on how
the price of the non-drug component of such bundled payments should be
determined, in particular the dispensing and/or administration fees,
including whether the methodology we propose above for determining the
payment rate for the non-drug component of an episodes of are that
includes a new opioid agonist and antagonist medication (which is based
on whether the drug is oral, injectable, or implantable) would be
appropriate to use for these new drugs.
(c) Partial Episode of Care
For HCPCS codes GXX10 and GXX11 (codes describing partial episodes
for methadone and oral buprenorphine), we propose that the payment
rates for the non-drug component would be calculated by taking one half
of the payment rate for the non-drug component for the corresponding
weekly bundles. We chose one half as the best approximation of the
median cost of the services furnished during a partial episode
consistent with our proposal above to make a partial episode bundled
payment when the majority of services described in a beneficiary's
treatment plan are not furnished during a specific episode of care.
However, we welcome comment on other methods that could be used to
calculate these payment rates. We propose that the payment rates for
the drug component of these partial episode bundles would be calculated
by taking one half of the payment rate for the drug component of the
corresponding weekly bundles.
For HCPCS codes GXX12 and GXX16 (codes describing partial episodes
for injectable buprenorphine and naltrexone), we propose that the
payment rates for the drug component would be the same as the payment
rate for the drug component of the full weekly bundle so that the OTP
would be reimbursed for the cost of the drug that is given at the start
of the episode. For the non-drug component, we propose that the payment
rate would be calculated as follows: The TRICARE non-drug component
payment rate ($110.96), adjusted to remove the cost of daily
administration of an oral drug ($10.50), then divided by two; that
amount would be added to the fee that Medicare pays for the
administration of an injection (which is currently $16.94 under the CY
2019 non-facility Medicare payment rate for CPT code 96372).
For HCPCS codes GXX13, GXX14, GXX15 (codes describing partial
episodes for the buprenorphine implant insertion, removal, and
insertion and removal, respectively) we propose that the payment rates
for drug component would be the same as the payment rate for the
corresponding weekly bundle. For the non-drug component, we propose
that the payment rate would be calculated as follows: The TRICARE non-
drug component payment rate ($110.96), adjusted to remove the cost of
daily administration of an oral drug ($10.50), then divided by two;
that amount would be added to the Medicare non-facility payment rate
for the insertion, removal, or insertion and removal of the implants,
respectively (based on the non-facility rates for HCPCS codes G0516,
G0517, and G0518, which are currently $111.00, $126.86, and $204.70,
respectively).
For HCPCS code GXX17 (code describing a non-drug partial episode of
care), we propose that the payment rate would be calculated by taking
one half of the payment rate for the corresponding weekly bundle.
We propose that the payment rate for the code describing partial
episodes for a medication not otherwise specified (HCPCS code GXX18)
would be calculated based on whether the medication is oral, injectable
or implantable, following the methodology described above. For oral
drugs, we would follow the methodology described for HCPCS codes GXX10
and GXX11. For injectable drugs, we would follow the methodology
described for HCPCS codes GXX12 and GXX16. For implantable drugs, we
would follow the methodology described for HCPCS codes GXX13, GXX14,
and GXX15. We welcome comments on how partial episodes of care using
new drugs with a novel mechanism of action (that is, non-opioid agonist
and/or antagonist treatment medications) should be priced. For example,
we could use the same approach described previously for pricing new
opioid agonist and antagonist medications not otherwise specified,
which is to follow the methodology based on whether the drug is oral,
injectable or implantable.
BILLING CODE 4120-01-P
[[Page 40537]]
[GRAPHIC] [TIFF OMITTED] TP14AU19.007
[[Page 40538]]
[GRAPHIC] [TIFF OMITTED] TP14AU19.008
[[Page 40539]]
[GRAPHIC] [TIFF OMITTED] TP14AU19.009
BILLING CODE 4120-01-C
(8) Place of Service (POS) Code for Services Furnished at OTPs
We are creating a new POS code specific to OTPs since there are no
existing POS codes that specifically describe OTPs. Claims for OTP
services would include this place of service code. We note that POS
codes are available for use by all payers. We are not proposing to make
any differential payment based on the use of this new POS code. Further
guidance will be issued regarding the POS code that should be used by
OTPs.
c. Duplicative Payments Under Parts B or D
Section 1834(w)(1) of the Act, added by section 2005(c) of the
SUPPORT Act, requires the Secretary to ensure, as determined
appropriate by the Secretary, that no duplicative payments are made
under Part B or Part D for items and services furnished by an OTP. We
note that many of the individual items or services provided by OTPs
that would be included in the bundled payment rates under our proposal
may also be appropriately available to beneficiaries through other
Medicare benefits. Although we recognize the potential for significant
program integrity concerns when similar items or services are payable
under separate Medicare benefits, we also believe that it is important
that any efforts to prevent duplicative payments not inadvertently
restrict Medicare beneficiaries' access to other Medicare benefits even
for the time period they are being treated by an OTP. For example, we
believe that a beneficiary receiving counseling or therapy as part of
an OTP bundle of services may also be receiving medically reasonable
and necessary counseling or therapy as part of a physician's service
during the same time period. Similarly, we believe there could be
circumstances where Medicare beneficiaries with OUD could receive
treatment and/or medication from non-OTP entities that would not result
in duplicative payments, presuming that both the OTP and the other
entity appropriately furnished separate medically necessary services or
items. Consequently, we do not believe that provision of the same kinds
of services by both an OTP and a separate provider or supplier would
itself constitute a duplicative payment.
We believe that duplicative payments would result from the
submission of claims to Medicare leading to payment for drugs furnished
to a Medicare beneficiary and the associated dispensing fees on a
certain date of service to both an OTP and another provider or supplier
under a different benefit. In these circumstances, we would consider
only one of the claims to be paid for appropriately. Accordingly, for
purposes of implementing section 1834(w)(1) of the Act, we propose to
consider payment for medications delivered, administered or dispensed
to the beneficiary as part of the OTP bundled payment to be a
duplicative payment if delivery, administration or dispensing of the
same medications was also separately paid under Medicare Parts B or D.
We propose to codify this policy at Sec. 410.67(d)(4). We understand
that some OTPs negotiate arrangements whereby community pharmacies
supply MAT-related medications to OTPs. If the OTP provides medically
necessary MAT-related medications as part of an episode of care, we
would expect the OTP to take measures to ensure that there is no claim
for payment for these drugs other than as part of the OTP bundled
payment. (For example, the MAT drugs billed by an OTP as part of a
bundled payment should not be reported to or paid under a Part D plan.)
We expect that OTPs will take reasonable steps to ensure that the items
and services furnished under their care are not reported or billed
under a different Medicare benefit. CMS intends to monitor for
duplicative payments, and would take appropriate action as needed when
such duplicative payments are identified. Therefore, we are proposing
that in cases where a payment for drugs used as part of an OTP's
treatment plan is identified as being a duplicative payment because the
same costs were paid under a different Medicare benefit, CMS will
generally recoup the duplicative payment made to the OTP as the OTP
would be in the best position to know whether or not the drug that is
included as part of the beneficiary's treatment plan is furnished by
the OTP or by another provider or supplier given that the OTP is
responsible for managing the beneficiary's overall OUD treatment. We
propose to codify this policy at Sec. 410.67(d)(4). CMS notes that
this general approach would not preclude CMS or other auditors from
conducting appropriate oversight of duplicative payments made to the
other provider or suppliers, particularly in cases of fraud and/or
abuse.
[[Page 40540]]
d. Cost Sharing
Section 2005(c) of the SUPPORT Act amends section 1833(a)(1) of the
Act, relating to payment of Part B services, by adding a new
subparagraph (CC), which specifies with respect to OUD treatment
services furnished by an OTP during an episode of care that the amount
paid shall be equal to the amount payable under section 1834(w) of the
Act less any copayment required as specified by the Secretary. Section
1834(w) of the Act, which was also added by section 2005(c) of the
SUPPORT Act, requires that the Secretary pay an amount that is equal to
100 percent of a bundled payment under this part for OUD treatment
services. Given these two provisions, we believe that there is
flexibility for CMS to set the copayment amount for OTP services either
at zero or at an amount above zero. Therefore, we are proposing to set
the copayment at zero for a time-limited duration (for example, for the
duration of the national opioid crisis), as we believe this would
minimize barriers to patient access to OUD treatment services. Setting
the copayment at zero also ensures OTP providers receive the full
Medicare payment amount for Medicare beneficiaries if secondary payers
are not available or do not pay the copayment, especially for those
dually eligible for Medicare and Medicaid.\77\ We intend to continue to
monitor the opioid crisis in order to determine at what point in the
future a copayment may be imposed. At such a time we deem appropriate,
we would institute cost sharing through future notice and comment
rulemaking. We welcome feedback from the public on our proposal to set
the copayment at zero for a time-limited duration, such as for the
duration of the national opioid crisis, and any other metrics CMS might
consider using to determine when to start requiring a copayment. In
developing our proposed approach, we also considered other
alternatives, such as setting the copayment at a fixed fee calculated
based on 20 percent of the payment rate for the bundle, consistent with
the standard copayment requirement for other Part B services, or
applying a flat dollar copayment amount similar to TRICARE's copayment;
however, we recognize that setting the copayment for OUD services at a
non-zero amount could create a barrier to access to treatment for many
beneficiaries. We propose to codify the proposed copayment amount of
zero at Sec. 410.67(e). We welcome feedback on our proposal to set the
copayment amount for OTP services at zero, and on the alternatives
considered, including whether we should consider any of these
alternatives for CY 2020 or future years.
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\77\ For those dually eligible individuals in the Qualified
Medicare Beneficiary program (7.7 million of the 12 million dually
eligible individuals in 2017), state Medicaid programs cover the
Medicare Part A and B deductible and coinsurance. However, section
4714 of the Balanced Budget Act of 1997 (Pub. L. 105-33) provides
discretion for states to pay Medicare cost-sharing only if the
Medicaid payment rate for the service is above the Medicare paid
amount for the service. Since most states opt for this discretion,
and most Medicaid rates are lower than Medicare's, states often do
not pay the provider for the Medicare cost-sharing amount. Providers
are further prohibited from collecting the Medicare cost-sharing
amount from the beneficiary, effectively having to take a discount
compared to the amount received for other Medicare beneficiaries.
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Separately, we note that the Part B deductible would apply for OUD
treatment services, as mandated for all Part B services by section
1833(b) of the Act.
4. Adjustments to Bundled Payment Rates for OUD Treatment Services
The costs of providing OUD treatment services will likely vary over
time and depending on the geographic location where the services are
furnished. Below we discuss our proposed adjustments to the bundled
payment rates to account for these factors.
a. Locality Adjustment
Section 1834(w)(2) of the Act, as added by section 2005(c) of the
SUPPORT Act provides that the Secretary may implement the bundled
payment for OUD treatment services furnished by OTPs through one or
more bundles based on the type of medications, the frequency of
services, the scope of services furnished, characteristics of the
individuals furnished such services, or other factors as the Secretary
determines appropriate. The cost for the provision of OTP treatment
services, like many other healthcare services covered by Medicare, will
likely vary across the country based upon the differing cost in a given
geographic locality. To account for such geographic cost differences in
the provision of services, in a number of payment systems, Medicare
routinely applies geographic locality adjustments to the payment rates
for particular services. As we believe OTP treatment services will also
be subject to varying cost based upon the geographic locality where the
services are furnished, we propose to apply a geographic locality
adjustment to the bundled payment rate for OTP treatment services.
Below, we discuss our proposed approach with respect to the drug
component (which reflects payment for the drug) and the non-drug
component (which reflects payment for all other services furnished to
the beneficiary by the OTP, such as drug administration, counseling,
toxicology testing, etc.) of the bundled payment.
(1) Drug Component
Because our proposed approaches for pricing the MAT drugs included
in the bundles all reflect national pricing, and because there is no
geographic adjustment factor applied to the payment of Part B drugs
under the ASP methodology, we do not believe that it is necessary to
adjust the drug component of the bundled payment rates for OTP services
based upon geographic locality. Therefore, we are proposing not to
apply a geographic locality adjustment to the drug component of the
bundled payment rate for OTP services.
(2) Non-Drug Component
Unlike the national pricing of drugs, the costs for the services
included in the non-drug component of the OTP bundled payment for OUD
treatments are not constant across all geographic localities. For
example, OTPs' costs for rent or employee wages could vary
significantly across different localities and could potentially result
in disparate costs for the services included in the non-drug component
of OUD treatment services. Because the costs of furnishing the services
included in the non-drug component of the OTP bundled payment for OUD
treatment services will vary based upon the geographic locality in
which the services are provided, we believe it would be appropriate to
apply a geographic locality adjustment to the non-drug component of the
bundled payments. We believe that the geographic variation in cost of
the non-drug services provided by OTPs will be similar to the
geographic variation in the cost of services furnished in physician
offices. Therefore, to account for the differential costs of OUD
treatment services across the country, we are proposing to adjust the
non-drug component of the bundled payment rates for OUD treatment
services using an approach similar to the established methodology used
to geographically adjust payments under the PFS based upon the location
where the service is furnished. The PFS currently provides for an
adjustment to the payment for PFS services based upon the fee schedule
area in which the service is provided through the use of Geographic
Practice Cost Indices (GPCIs), which measure the relative cost
differences among localities compared to the national average for each
of the
[[Page 40541]]
three fee schedule components (work, PE, and malpractice).
Although we are proposing to adjust the non-drug component of the
OUD treatment services using an approach similar to the established
methodology used to adjust PFS payment for geographic locality, because
GPCIs provide for the application of geographic locality adjustments to
the three distinct components of PFS services, and the OTP bundled
payment is a flat rate payment for all OUD treatment services furnished
during an episode of care, a single factor would be required to apply
the geographic locality adjustment to the non-drug component of the OTP
bundled payment rate. Therefore, to apply a geographic locality
adjustment to the non-drug component of the OTP bundled payment for OUD
treatment services through a single factor, we are proposing to use the
Geographic Adjustment Factor (GAF) at Sec. 414.26. Specifically, we
are proposing to use the GAF to adjust the payment for the non-drug
component of the OTP bundled payment to reflect the costs of furnishing
the non-drug component of OUD treatment services in each of the PFS fee
schedule areas. The GAF is calculated using the GPCIs under the PFS,
and is used to account for cost differences in furnishing physicians'
services in differing geographic localities. The GAF is calculated for
each fee schedule area as the weighted composite of all three GPCIs
(work, PE, and malpractice) for that given locality using the national
GPCI cost share weights. In developing this proposal, we also
considered geographically adjusting the payment for the non-drug
component of the OTP bundled payment using only the PE GPCI value for
each fee schedule area. However, because the the non-drug component of
OUD treatment services is comprised of work, PE, and malpractice
expenses, we ultimately decided to propose using the GAF as we believe
the weighted composite of all three GPCIs reflected in the GAF would be
the more appropriate geographic adjustment factor to reflect geographic
variations in the cost of furnishing these services.
The GAF, which is determined under Sec. 414.26, is further
discussed earlier in section II.D.1. of this proposed rule and the
specific GAF values for each payment locality are posted in Addendum D
to this proposed rule. In developing the proposed geographic locality
adjustment for the non-drug component of the OUD treatment services
payment rate, we also considered other potential locality adjustments,
such as the Inpatient Prospective Payment System (IPPS) hospital wage
index. However, we have opted to propose using the GAF as we believe
the services provided in an OTP more closely resemble the services
provided at a physician office than the services provided in other
settings, such as inpatient hospitals. We propose to codify using the
GAF to adjust the non-drug component of the OTP bundled payments to
reflect the cost differences in furnishing these services in differing
geographic localities at Sec. 410.67(d)(3)(ii). We invite public
comment on our proposal to adjust the non-drug component of the OTP
bundled payments for geographic variations in the costs of furnishing
OUD treatment services using the GAF. We also welcome comments on any
factors, other than the GAF, that could be used to make this payment
adjustment.
Additionally, we note that the majority of OTPs operate in urban
localities. In light of this fact, we are interested in receiving
information on whether rural areas have appropriate access to treatment
for OUD. We are particularly interested in any potential limitations on
access to care for OUD in rural areas and whether there are additional
adjustments to the proposed bundled payments that should be made to
account for the costs incurred by OTPs in furnishing OUD treatment
services in rural areas. We invite public comment on this issue and
potential solutions we could consider adopting to address this
potential issue through future rulemaking.
b. Annual Update
Section 1834(w)(3) of the Act, as added by section 2005(c) of the
SUPPORT Act, requires that the Secretary provide an update each year to
the OTP bundled payment rates. To fulfill this statutory requirement,
we are proposing to apply a blended annual update, comprised of
distinct updates for the drug and non-drug components of the bundled
payment rates, to account for the differing rate of growth in the
prices of drugs relative to other services. We propose that this
blended annual update for the OTP bundled payment rates would first
apply for determining the CY 2021 OTP bundled payment rates. The
specific details of the proposed updates for the drug and non-drug
components respectively are discussed in this section.
(1) Drug Component
As stated above, we are proposing to establish the pricing of the
drug component of the OTP bundled payment rates for OUD treatment
services based on CMS pricing mechanisms currently in place. To
recognize the potential change in costs of the drugs used in MAT from
year to year and to fulfill the requirement to provide an annual update
to the OTP bundled payment rates, we are proposing to update the
payment for the drug component based upon the changes in drug costs
reported under the pricing mechanism used to establish the pricing of
the drug component of the applicable bundled payment rate, as discussed
earlier. As an example, if we were to finalize our proposal to price
the drug component of the bundled payment rate for episodes of care
that include injectable and implantable drugs generally covered and
paid under Medicare Part B using ASP data, the pricing of the drug
component for these OTP bundled payments, would be updated using the
most recently available ASP data at the time of ratesetting for the
applicable calendar year. Similarly, if we finalize our proposal to
price the drug component of the bundled payment rate for episodes of
care that include oral drugs using ASP data, if such data are
available, we would also update the pricing of the drug component using
the most recently available ASP data at the time of ratesetting for the
applicable calendar year. Previously, we also discussed a number of
alternative data sources that could be used to price oral drugs in the
drug component of OTP bundled payments in cases when we do not receive
manufacturer-submitted ASP pricing data. As an example, if we were to
use NADAC data as discussed as one of the alternatives, to determine
the payment for the drug component of the bundled payment for oral
drugs in cases when we do not have manufacturer-submitted ASP pricing
data, this payment rate would also be updated using the most recently
available NADAC data at the time of ratesetting for the applicable
calendar year. We propose to codify this methodology for determining
the annual update to the payment rate for the drug component at Sec.
410.67(d)(3)(i).
In developing the proposal to annually update the pricing of the
drug component of the OUD treatment services payment rate, we also
considered other methodologies, including applying a single uniform
update factor to the drug and non-drug components of the proposed
payment rates. We ultimately determined not to propose the use of a
single uniform update factor, because we believe that it is important
to apply an annual update to the payment rates that recognizes the
differing rate of growth of drug costs
[[Page 40542]]
compared to the rate of growth in the cost of the other services. In
addition, we also considered annually updating the pricing of the drug
component of the OUD treatment services payment rate via an established
update factor such as the Producer Price Index (PPI) for chemicals and
allied products, analgesics (WPU06380202). The PPI for chemicals and
allied products, analgesics is a subset of the PPI produced by the
Bureau of Labor Statistics, which measures the average change over time
in the selling prices received by domestic producers for their output.
Ultimately we decided against updating the pricing of the drug
component of the OUD treatment services payment rate via an established
update factor such as the PPI in favor of our proposed approach because
we believe the proposed approach updated the pricing of the drug
component of the OUD treatment services payment rate in the manner most
familiar to stakeholders. We invite public comment on our proposed
approach to updating the drug component of the bundled payment rates.
We also seek comment on possible alternate methodologies for updating
the drug component of the payment rate for OUD treatment services, such
as use of the PPI for chemicals and allied products, analgesics.
(2) Non-Drug Component
To account for the potential changing costs of the services
included in the non-drug component of the bundled payment rates for OUD
treatment services, we are proposing to update the non-drug component
of the bundled payment for OUD treatment services based upon the
Medicare Economic Index (MEI). The MEI is defined in section 1842(i)(3)
of the Act and the methodology for computing the MEI is described in
Sec. 405.504(d). The MEI is used to update the payment rates for
physician services under section 1842(b)(3) of the Act, which states
that prevailing charge levels beginning after June 30, 1973, may not
exceed the level from the previous year except to the extent that the
Secretary finds, on the basis of appropriate economic index data, that
such a higher level is justified by year-to-year economic changes. The
MEI is a fixed-weight input price index that reflects the physicians'
own time and the physicians' practice expenses, with an adjustment for
the change in economy-wide, private nonfarm business multifactor
productivity. The MEI was last revised in the CY 2014 PFS final rule
with comment period (78 FR 74264). In developing the proposed update
factor for the non-drug component of the OUD treatment services payment
rate, we considered other potential update factors, such as the Bureau
of Labor Statistics Consumer Price Index for All Items for Urban
Consumers (Bureau of Labor Statistics #CUUR0000SA0 (https://www.bls.gov/cpi/data.htm) and the IPPS hospital market basket reduced
by the multifactor productivity adjustment. The Consumer Price Index
for All Items (CPI-U) is a measure of the average change over time in
the prices paid by urban consumers for a market basket of consumer
goods and services. However, we concluded that a healthcare-specific
update factor, such as the MEI, would be more appropriate for OTPs than
the CPI-U, which measures general inflation, as the MEI would more
accurately reflect the change in the prices of goods and services
included in the non-drug component of the OTP bundled payments.
Similarly, we believe the MEI would be more appropriate than the
IPPS market basket to update the non-drug component of the bundled
payment rates as the services provided by an OTP more closely resemble
the services provided at a physician office than the services provided
by an inpatient hospital. Accordingly, we propose to update the payment
amount for the non-drug component of each of the bundled payment rates
for OUD treatment services furnished by OTPs based upon the most
recently available historical annual growth in the MEI available at the
time of rulemaking. We propose to codify this proposal at Sec.
410.67(d)(3)(iii). We invite public comment on this proposal.
H. Bundled Payments Under the PFS for Substance Use Disorders
1. Background and Proposal
In the CY 2019 PFS proposed rule (83 FR 35730), we solicited
comment on creating a bundled episode of care payment for management
and counseling treatment for substance use disorders. We received
approximately 50 comments on this topic, most of which were supportive
of creating a separate bundled payment for these services. Some
commenters recommended focusing the bundle on services related to
medication assisted treatment (MAT) used in treatment for opioid use
disorder (OUD). Several commenters also recommended that we establish
higher payment amounts for patients with more complex needs who require
more intensive services and management, and also expressed concern that
an episode of care that limited the duration of treatment would not be
conducive to treating OUD, given the chronic nature of this disorder.
Other commenters recommended that we establish separate bundled
payments for treatment of substance use disorders that does, and does
not, involve MAT.
In response to the public comments, we are proposing to establish
bundled payments for the overall treatment of OUD, including
management, care coordination, psychotherapy, and counseling
activities. We note that, if a patient's treatment involves MAT, this
proposed bundled payment would not include payment for the medication
itself. Billing and payment for medications under Medicare Part B or
Part D would remain unchanged. Additionally, payment for medically
necessary toxicology testing would not be included in the proposed OUD
bundle, and would continue to be billed separately under the Clinical
Lab Fee Schedule. We are also proposing in this proposed rule to
implement the new Medicare Part B benefit added by section 2005 of the
SUPPORT Act for coverage of certain services furnished by Opioid
Treatment Programs (OTPs) beginning in CY 2020. We believe the proposed
bundled payment under the PFS for OUD treatment described below will
create an avenue for physicians and other health professionals to bill
for a bundle of services that is similar to the new bundled OUD
treatment services benefit, but not furnished by an OTP. By creating a
separate bundled payment for these services under the PFS, we hope to
incentivize increased provision of counseling and care coordination for
patients with OUD in the office setting, thereby expanding access to
OUD care.
To implement this new bundled payment, we are proposing to create
two HCPCS G-codes to describe monthly bundles of services that include
overall management, care coordination, individual and group
psychotherapy and counseling for office-based OUD treatment. Although
we considered proposing weekly-reported codes to describe a bundle of
services that would align with the proposed OTP bundle, we believe that
monthly-reported codes will better align with the practice and billing
of other types of care management services furnished in office settings
and billed under the PFS (for example, behavioral health integration
(BHI) services). We believe monthly-reported codes would be less
administratively burdensome for practitioners, and more likely to be
consistent with care management and prescribing patterns in the office
setting (as compared with an OTP) given the increased use of long-
acting MAT drugs (such as injectable naltrexone or
[[Page 40543]]
implanted buprenorphine) in the office setting compared to the OTP
setting. Based on feedback we received through the comment
solicitation, we are proposing to create a code to describe the initial
month of treatment, which would include intake activities and
development of a treatment plan, as well as assessments to aid in
development of the treatment plan in addition to care coordination,
individual therapy, group therapy, and counseling; a code to describe
subsequent months of treatment including care coordination, individual
therapy, group therapy, and counseling; and an add-on code that could
be billed in circumstances when effective treatment requires additional
resources for a particular patient that substantially exceed the
resources included in the base codes. In other words, the add-on code
would address extraordinary circumstances that are not contemplated by
the bundled code. We acknowledge that the course of treatment for OUD
is variable, and in some instances, the first several months of
treatment may be more resource intensive. We welcome comments on
whether we should consider creating a separately billable code or codes
to describe additional resources involved in furnishing OUD treatment-
related services after the first month, for example, when substantial
revisions to the treatment plan are needed, and what resource inputs we
might consider in setting values for such codes.
We believe that, in general, bundled payments create incentives to
provide efficient care by mitigating incentives tied to volume of
services furnished, and that these incentives can be undermined by
creating separate billing mechanisms to account for higher resource
costs for particular patients. However, we share some of the concerns
raised by commenters that an OUD bundle should not inadvertently limit
the appropriate amount of OUD care furnished to patients with varying
medical needs. In consideration of this concern, we are proposing to
create an add-on code to make appropriate payment for additional
resource costs in order to mitigate the risks that the bundled OUD
payment might limit clinically-indicated patient care for patients that
require significantly more care than is in the range of what is typical
for the kinds of care described by the base codes. However, we are also
interested in comments regarding ways we might better stratify the
coding for OUD treatment to reflect the varying needs of patients
(based on complexity or frequency of services, for example) while
maintaining the full advantage of the bundled payment, including
increased efficiency and flexibility in furnishing care.
We anticipate that these services would often be billed by
addiction specialty practitioners, but note that these codes are not
limited to any particular physician or non-physician practitioner
specialty. Additionally, unlike the codes that describe care furnished
using the psychiatric collaborative care model (CPT codes 99492, 99493,
and 99494), which require consultation with a psychiatric consultant,
we are not proposing to require consultation with a specialist as a
condition of payment for these codes.
The codes and descriptors for the proposed services are:
HCPCS code GYYY1: Office-based treatment for opioid use
disorder, including development of the treatment plan, care
coordination, individual therapy and group therapy and counseling; at
least 70 minutes in the first calendar month.
HCPCS code GYYY2: Office-based treatment for opioid use
disorder, including care coordination, individual therapy and group
therapy and counseling; at least 60 minutes in a subsequent calendar
month.
HCPCS code GYYY3: Office-based treatment for opioid use
disorder, including care coordination, individual therapy and group
therapy and counseling; each additional 30 minutes beyond the first 120
minutes (List separately in addition to code for primary procedure).
For the purposes of valuation for HCPCS codes GYYY1 and GYYY2, we
are assuming two individual psychotherapy sessions per month and four
group psychotherapy sessions per month; however, we understand that the
number of therapy and counseling sessions furnished per month will vary
among patients and also fluctuate over time based on the individual
patient's needs. Consistent with the methodology for pricing other
services under the PFS, HCPCS codes GYYY1, GYYY2, and GYYY3 are valued
based on what we believe to be a typical case, and we understand that
based on variability in patient needs, some patients will require more
resources, and some fewer. In order to maintain the advantages inherent
in developing a payment bundle, we are proposing that the add-on code
(HCPCS code GYYY3) can only be billed when the total time spent by the
billing professional and the clinical staff furnishing the OUD
treatment services described by the base code exceeds double the
minimum amount of service time required to bill the base code for the
month. We believe it is appropriate to limit billing of the add-on code
to situations where medically necessary OUD treatment services for a
particular patient exceed twice the minimum service time for the base
code because, as noted above, the add-on code is intended to address
extraordinary situations where effective treatment requires additional
resources that substantially exceed the resources included in the base
codes. For example, the needs of a particular patient in a month may be
unusually acute, well beyond the needs of the typical patient; or there
may be some months when psychosocial stressors arise that were
unforeseen at the time the treatment plan was developed, but warrant
additional or more intensive therapy services for the patient. We are
proposing that when the time requirement is met, HCPCS code GYYY3 could
be billed as an add-on code during the initial month or subsequent
months of OUD treatment. Practitioners should document the medical
necessity for the use of the add-on code in the patient's medical
record. We welcome comments on this proposal.
We are proposing to value HCPCS codes GYYY1, GYYY2, and GYYY3 using
a building block methodology that sums the work RVUs and direct PE
inputs from codes that describe the component services we believe would
be typical, consistent with the approach we have previously used in
valuing monthly care management services that include face-to-face
services within the payment. For HCPCS code GYYY1, we developed
proposed inputs using a crosswalk to CPT code 99492 (Initial
psychiatric collaborative care management, first 70 minutes in the
first calendar month of behavioral health care manager activities, in
consultation with a psychiatric consultant, and directed by the
treating physician or other qualified health care professional, with
the following required elements: Outreach to and engagement in
treatment of a patient directed by the treating physician or other
qualified health care professional; initial assessment of the patient,
including administration of validated rating scales, with the
development of an individualized treatment plan; review by the
psychiatric consultant with modifications of the plan if recommended;
entering patient in a registry and tracking patient follow-up and
progress using the registry, with appropriate documentation, and
participation in weekly caseload consultation with the psychiatric
[[Page 40544]]
consultant; and provision of brief interventions using evidence-based
techniques such as behavioral activation, motivational interviewing,
and other focused treatment strategies.), which is assigned a work RVU
of 1.70, plus CPT code 90832 (Psychotherapy, 30 minutes with patient),
which is assigned a work RVU of 1.50 (assuming two over the course of
the month), and CPT code 90853 (Group psychotherapy (other than of a
multiple-family group)), which is assigned a work RVU of 0.59 (assuming
four over the course of a month), for a work RVU of 7.06. The required
minimum number of minutes described in HCPCS code GYYY1 is also based
on a crosswalk to CPT codes 99492. Additionally, for HCPCS code GYYY1,
we are proposing to use a crosswalk to the direct PE inputs associated
with CPT code 99492, CPT code 90832 (times two), and CPT code 90853
(times four). We believe that the work and practice expense described
by these crosswalk codes is analogous to the services described in
HCPCS code GYYY1 because HCPCS code GYYY1 includes similar care
coordination activities as described in CPT code 99492 and bundles in
the psychotherapy services described in CPT codes 90832 and 90853.
We are proposing to value HCPCS code GYYY2 using a crosswalk to CPT
code 99493 (Subsequent psychiatric collaborative care management, first
60 minutes in a subsequent month of behavioral health care manager
activities, in consultation with a psychiatric consultant, and directed
by the treating physician or other qualified health care professional,
with the following required elements: Tracking patient follow-up and
progress using the registry, with appropriate documentation;
participation in weekly caseload consultation with the psychiatric
consultant; ongoing collaboration with and coordination of the
patient's mental health care with the treating physician or other
qualified health care professional and any other treating mental health
providers; additional review of progress and recommendations for
changes in treatment, as indicated, including medications, based on
recommendations provided by the psychiatric consultant; provision of
brief interventions using evidence-based techniques such as behavioral
activation, motivational interviewing, and other focused treatment
strategies; monitoring of patient outcomes using validated rating
scales; and relapse prevention planning with patients as they achieve
remission of symptoms and/or other treatment goals and are prepared for
discharge from active treatment), which is assigned a work RVU of 1.53,
plus CPT code 90832, which is assigned a work RVU of 1.50 (assuming two
over the course of the month), and CPT code 90853, which is assigned a
work RVU of 0.59 (assuming four over the course of a month), for a work
RVU of 6.89. The required minimum number of minutes described in HCPCS
code GYYY2 is also based on a crosswalk to CPT codes 99493. For HCPCS
code GYYY2, we are proposing to use a crosswalk to the direct PE inputs
associated with CPT code 99493, CPT code 90832 (times two), and CPT
code 90853 (times four). We believe that the work and practice expense
described by these crosswalk codes is analogous to the services
described in HCPCS code GYYY2 because HCPCS code GYYY2 includes similar
care coordination activities as described in CPT code 99493 and bundles
in the psychotherapy services described in CPT codes 90832 and 90853.
We are proposing to value HCPCS code GYYY3 using a crosswalk to CPT
code 99494 (Initial or subsequent psychiatric collaborative care
management, each additional 30 minutes in a calendar month of
behavioral health care manager activities, in consultation with a
psychiatric consultant, and directed by the treating physician or other
qualified health care professional (List separately in addition to code
for primary procedure)), which is assigned a work RVU of 0.82. The
required minimum number of minutes described in HCPCS code GYYY2 is
also based on a crosswalk to CPT codes 99493. For HCPCS code GYYY3, we
are proposing to use a crosswalk to the direct PE inputs associated
with CPT code 99494. We believe that the work and practice expense
described by this crosswalk code is analogous to the services described
in HCPCS code GYYY3 because HCPCS code GYYY3 includes similar care
coordination activities as described in CPT code 99494.
For additional details on the proposed direct PE inputs for HCPCS
codes GYYY1-GYYY3, see Table 22.
We understand that many beneficiaries with OUD have comorbidities
and may require medically-necessary psychotherapy services for other
behavioral health conditions. In order to avoid duplicative billing, we
are proposing that, when furnished to treat OUD, CPT codes 90832,
90834, 90837, and 90853 may not be reported by the same practitioner
for the same beneficiary in the same month as HCPCS codes GYYY1, GYYY2,
and GYYY3. We welcome comments on this proposal.
We are proposing that practitioners reporting the OUD bundle must
furnish a separately reportable initiating visit in association with
the onset of OUD treatment, since the bundle requires a level of care
coordination that cannot be effective without appropriate evaluation of
the patient's needs. This is similar to the requirements for chronic
care management (CCM) services (CPT codes 99487, 99489, 99490, and
99491) and BHI services (CPT codes 99484, 99492, 99493, and 99494)
finalized in the CY 2017 PFS final rule (81 FR 80239) The initiating
visit would establish the beneficiary's relationship with the billing
practitioner, ensure the billing practitioner assesses the beneficiary
to determine clinical appropriateness of MAT in cases where MAT is
being furnished, and provide an opportunity to obtain beneficiary
consent to receive care management services (as discussed further
below). We propose that the same services that can serve as the
initiating visit for CCM services and BHI services can serve as the
initiating visit for the proposed services described by HCPCS codes
GYYY1-GYYY3. For new patients or patients not seen by the practitioner
within a year prior to the commencement of CCM services and BHI
services, the billing practitioner must initiate the service during a
``comprehensive'' E/M visit (levels 2 through 5 E/M visits), annual
wellness visit (AWV) or initial preventive physical exam (IPPE). The
face-to-face visit included in transitional care management (TCM)
services (CPT codes 99495 and 99496) also qualifies as a
``comprehensive'' visit for CCM and BHI initiation. We propose that
these visits could similarly serve as the initiating visit for OUD
services.
We are proposing that the counseling, therapy, and care
coordination described in the proposed OUD treatment codes could be
provided by professionals who are qualified to provide the services
under state law and within their scope of practice ``incident to'' the
services of the billing physician or other practitioner. We are also
proposing that the billing clinician would manage the patient's overall
care, as well as supervise any other individuals participating in the
treatment, similar to the structure of the BHI codes describing the
psychiatric collaborative care model finalized in the CY 2017 PFS final
rule (81 FR 80229), in which services are reported by a treating
physician or other qualified health care professional and include the
services of the treating physician or other qualified health care
professional,
[[Page 40545]]
as well as the services of other professionals who furnish services
incident to the services of the treating physician or other qualified
health care professional. Additionally, we are proposing to add these
codes to the list of designated care management services for which we
allow general supervision of the non-face-to-face portion of the
required services. Consistent with policies for other separately
billable care management services under the PFS, because these proposed
OUD treatment bundles include non-face-to-face care management
components, we are proposing that the billing practitioner or clinical
staff must document in the beneficiary's medical record that they
obtained the beneficiary's consent to receive the services, and that,
as part of the consent, they informed the beneficiary that there is
cost sharing associated with these services, including potential
deductible and coinsurance amounts, for both in-person and non-face-to-
face services that are provided.
We are also proposing to allow any of the individual therapy, group
therapy and counseling services included in HCPCS codes GYYY1, GYYY2,
and GYYY3 to be furnished via telehealth, as clinically appropriate, in
order to increase access to care for beneficiaries. As discussed in
section II.F. of this proposed rule regarding Telehealth Services, like
certain other non-face-to-face PFS services, the components of HCPCS
codes GYYY1 through GYYY3 describing care coordination are commonly
furnished remotely using telecommunications technology, and do not
require the patient to be present in-person with the practitioner when
they are furnished. As such, these services are not considered
telehealth services for purposes of Medicare, and we do not need to
consider whether the non-face-to-face aspects of HCPCS codes GYYY1
through GYYY3 are similar to other telehealth services. If the non-
face-to-face components of HCPCS codes GYYY1 through GYYY3 were
separately billable, they would not need to be on the Medicare
telehealth list to be covered and paid in the same way as services
delivered without the use of telecommunications technology.
Section 2001(a) of the SUPPORT Act amended section 1834(m) of the
Act, adding a new paragraph (7) that removes the geographic limitations
for telehealth services furnished on or after July 1, 2019, to an
individual with a substance use disorder (SUD) diagnosis for purposes
of treatment of such disorder or co-occurring mental health disorder.
The new paragraph at section 1834(m)(7) of the Act also allows
telehealth services for treatment of a diagnosed SUD or co-occurring
mental health disorder to be furnished to individuals at any telehealth
originating site (other than a renal dialysis facility), including in a
patient's home. As discussed in section II.F. of this proposed rule,
Telehealth Services, we are proposing to add HCPCS codes GYYY1, GYYY2,
and GYYY3 to the list of Medicare Telehealth services. Because certain
required services (such as individual psychotherapy or group
psychotherapy services) that are included in the proposed OUD bundled
payment codes would be furnished to treat a diagnosed SUD, and would
ordinarily require a face-to-face encounter, they could be furnished
more broadly as telehealth services as permitted under section
1834(m)(7) of the Act.
For these proposed services described above (HCPCS codes GYYY1,
GYYY2, and GYYY3), we seek comment on how these potential codes,
descriptors, and payment rates align with state Medicaid coding and
payment rates for the purposes of state payment of cost sharing for
Medicare-Medicaid dually eligible individuals. Additionally, we
understand that treatment for OUD can vary, and that MAT alone has
demonstrated efficacy. In cases where a medication such as
buprenorphine or naltrexone is used to treat OUD alone, without therapy
or counseling, we note that existing applicable codes can be used to
furnishing and bill for that care (for example, using E/M visits, in
lieu of billing the bundled OUD codes proposed here).
As discussed in section II.G. of this proposed rule, Medicare
Coverage for Certain Services Furnished by Opioid Treatment Programs,
we are proposing to set the copayment at zero for OUD services
furnished by an OTP, given the flexibility in section 1834(w)(1) of the
Act for us to set the copayment amount for OTP services either at zero
or at an amount above zero. We note that we do not have the statutory
authority to eliminate the deductible and coinsurance requirements for
the bundled OUD treatment services under the PFS. We acknowledge the
potential impact of coinsurance on patient health care decisions and
intend to monitor its impact if these proposals were to be finalized.
Finally, we recognize that historically, the CPT Editorial Panel
has frequently created CPT codes describing services that we originally
established using G-codes and adopted them through the CPT Editorial
Panel process. We note that we would consider new using any available
CPT coding to describe services similar to those described here in
future rulemaking, as early as CY 2021. We would consider and adopt any
such CPT codes through subsequent rulemaking.
Additionally, we understand that in some cases, OUD can first
become apparent to practitioners in the emergency department setting.
We recognize that there is not specific coding that describes diagnosis
of OUD or the initiation of, or referral for, MAT in the emergency
department setting. We are seeking comment on the use of MAT in the
emergency department setting, including initiation of MAT and the
potential for either referral or follow-up care, as well as the
potential for administration of long-acting MAT agents in this setting,
in order to better understand typical practice patterns to help inform
whether we should consider making separate payment for such services in
future rulemaking. We welcome feedback from stakeholders and the public
on other potential bundles describing services for other substance use
disorders for our consideration in future rulemaking.
2. Rural Health Clinics (RHCs) and Federally-Qualified Health Centers
(FQHCs)
In the CY 2018 PFS final rule (82 FR 53169 through 53180), we
established payment for General Care Management (CCM) services using
HCPCS G0511 which is an RHC and FQHC-specific G code for at least 20
minutes of CCM, complex CCM, or general behavioral health services.
Payment for this code is currently set at the average of the non-
facility, non-geographically adjusted payment rates for CPT codes
99490, 99487, 99491, and 99484. The types of chronic conditions that
are eligible for care management services include mental health or
behavioral health conditions, including substance use disorders.
In the CY 2018 PFS final rule with comment period (82 FR 53169
through 53180), we also established payment for psychiatric
Collaborative Care Services (CoCM) using HCPCS code G0512, which is an
RHC and FQHC specific G-code for at least 70 minutes in the first
calendar month, and at least 60 minutes in subsequent calendar months
of psychiatric CoCM services. Payment for this code is set at the
average of the non-facility, non-geographically adjusted rates for CPT
codes 99492 and 99493. The psychiatric CoCM model of care may be used
to treat patients with any behavioral health condition that is being
treated by the billing practitioner, including substance use disorders.
[[Page 40546]]
RHCs and FQHCs can also bill for individual psychotherapy services
using CPT codes 90791, 90792, 90832, 90834, 90837, 90839, or 90845,
which are billable visits under the RHC all-inclusive rate (AIR) and
FQHC Prospective Payment System (PPS) when furnished by an RHC or FQHC
practitioner. If a qualified mental health service is furnished on the
same day as a qualified primary care service, the RHC or FQHC can bill
for 2 visits.
RHCs and FQHCs are engaged primarily in providing services that are
furnished typically in a physician's office or an outpatient clinic. As
a result of the proposed bundled payment under the PFS for OUD
treatment furnished by physicians, we reviewed the applicability of
RHCs and FQHCs furnishing and billing for similar services.
Specifically, we considered establishing a new RHC and FQHC specific G
code for OUD treatment with the payment rate set at the average of the
non-facility, non-geographically adjusted payment rates for GYYY1 and
GYYY2, beginning on January 1, 2020. The requirements to bill the
services would be similar to the requirements under the PFS for GYYY1
and GYYY2, including that an initiating visit with a primary care
practitioner must occur within one year before OUD services begin, and
that consent be obtained before services are furnished.
However, because RHCs and FQHCs that choose to furnish OUD services
can continue to report these individual codes when treating OUD, and
can also offer their patients comprehensive care coordination services
using HCPCS codes G0511 and G0512, we do not believe that adding a new
and separate code to report a bundle of OUD services is necessary.
Therefore, we are not proposing to add a new G code for a bundle of OUD
service.
I. Physician Supervision for Physician Assistant (PA) Services
1. Background
Section 4072(e) of the Omnibus Budget Reconciliation Act of 1986
(Pub. L. 99-509, October 21, 1986), added section 1861(s)(2)(K)(i) of
the Act to establish a benefit for services furnished by a physician
assistant (PA) under the supervision of a physician. We have
interpreted this physician supervision requirement in the regulation at
Sec. 410.74(a)(2)(iv) to require PA services to be furnished under the
general supervision of a physician. This general supervision
requirement was based upon another longstanding regulation at Sec.
410.32(b)(3)(i) that defines three levels of supervision for diagnostic
tests, which are general, direct and personal supervision. Of these
three supervision levels, general supervision is the most lenient.
Specifically, the general supervision requirement means that PA
services must be furnished under a physician's overall direction and
control, but the physician's presence is not required during the
performance of PA services.
In the CY 2018 PFS proposed rule (82 FR 34172 through 34173), we
published a request for information (RFI) on CMS flexibilities and
efficiencies. In response to this RFI, commenters including PA
stakeholders informed us about recent changes in the practice of
medicine for PAs, particularly regarding physician supervision. These
commenters also reached out separately to CMS with their concerns. They
stated that PAs are now practicing more autonomously, like nurse
practitioners (NPs) and clinical nurse specialists (CNSs), as members
of medical teams that often consist of physicians, nonphysician
practitioners and other allied health professionals. This changed
approach to the delivery of health care services involving PAs has
resulted in changes to scope of practice laws for PAs regarding
physician supervision across some states. According to these
commenters, some states have already relaxed their requirements for PAs
related to physician supervision, some states have made changes and are
now silent about their physician supervision requirements, while other
states have not yet changed their PA scope of practice in terms of
their physician supervision requirements. Overall, these commenters
believe that as states continue to make changes to their physician
supervision requirements for PAs, the Medicare requirement for general
supervision of PA services may become increasingly out of step with
current medical practice, imposing a more stringent standard than state
laws governing physician supervision of PA services. Furthermore, as
currently defined, stakeholders have suggested that the supervision
requirement is often misinterpreted or misunderstood in a manner that
restricts PAs' ability to practice to the full extent of their
education and expertise. The stakeholders have suggested that the
current regulatory definition of physician supervision as it applies to
PAs could inappropriately restrict the practice of PAs in delivering
their professional services to the Medicare population.
We note that we have understood our current policy to require
general physician supervision for PA services to fulfill the statutory
physician supervision requirement; and we believe that general
physician supervision gives PAs flexibility to furnish their
professional services without the need for a physician's physical
presence or availability. Nonetheless, we appreciate the concerns
articulated by stakeholders. To more fully understand the current
landscape for medical practice involving PA services and how the
current regulatory definition may be problematic, we invite public
comments on specific examples of changes in state law and state scope
of practice rules that enable PAs to practice more broadly such that
those rules are in tension with the Medicare requirement for general
physician supervision of PA services that has been in place since the
inception of the PA benefit category under Medicare law.
Given the commenters' understanding of ongoing changes underway to
the state scope of practice laws regarding physician supervision of PA
services, commenters on our CY 2018 RFI have requested that CMS
reconsider its interpretation of the statutory requirement that PA
services must be furnished under the supervision of a physician to
allow PAs to operate similarly to NPs and CNSs, who are required by
section 1861(s)(2)(K)(ii) of the Act to furnish their services ``in
collaboration'' with a physician. In general, we have interpreted
collaboration for this purpose at Sec. Sec. 410.75(c)(3) and
410.76(c)(3) of our regulations to mean a process in which an NP or CNS
(respectively) works with one or more physicians to deliver health care
services within the scope of the practitioner's expertise, with medical
direction and appropriate supervision as provided by state law in which
the services are performed. The commenters stated that allowing PA
services to be furnished using such a collaborative process would offer
PAs the flexibility necessary to deliver services more effectively
under today's health care system in accordance with the scope of
practice in the state(s) where they practice, rather than being limited
by the system that was in place when PA services were first covered
under Medicare Part B over 30 years ago.
2. Proposal
After considering the comments we received on the RFI, as well as
information we received regarding the scope of practice laws in some
states regarding supervision requirements for PAs, we are proposing to
revise the regulation at Sec. 410.74 that establishes physician
supervision requirements for PAs. Specifically, we are proposing to
[[Page 40547]]
revise Sec. 410.74(a)(2) to provide that the statutory physician
supervision requirement for PA services at section 1861(s)(2)(K)(i) of
the Act would be met when a PA furnishes their services in accordance
with state law and state scope of practice rules for PAs in the state
in which the services are furnished, with medical direction and
appropriate supervision as provided by state law in which the services
are performed. In the absence of state law governing physician
supervision of PA services, the physician supervision required by
Medicare for PA services would be evidenced by documentation in the
medical record of the PA's approach to working with physicians in
furnishing their services. Consistent with current rules, such
documentation would need to be available to CMS, upon request. This
proposed change would substantially align the regulation on physician
supervision for PA services at Sec. 410.74(a)(2) with our current
regulations on physician collaboration for NP and CNS services at
Sec. Sec. 410.75(c)(3) and 410.76(c)(3). We continue to engage with
key stakeholders on this issue and receive information on the expanded
role of nonphysician practitioners as members of the medical team. As
we are informed about transitions in state law and state scope of
practice governing physician supervision, as well as changes in the way
that PAs practice, we acknowledge the state's role and autonomy to
establish, uphold, and enforce their state laws and PA scope of
practice requirements to ensure that an appropriate level of physician
oversight occurs when PAs furnish their professional services to
Medicare Part B patients. Our policy proposal on this issue largely
defers to state law and state scope of practice and enables states the
flexibility to develop requirements for PA services that are unique and
appropriate for their respective state, allowing the states to be
accountable for the safety and quality of health care services that PAs
furnish.
J. Review and Verification of Medical Record Documentation
1. Background
In an effort to reduce mandatory and duplicative medical record
evaluation and management (E/M) documentation requirements, we
finalized an amended regulatory provision at 42 CFR part 415, subpart
D, in the CY 2019 PFS final rule (83 FR 59653 through 59654).
Specifically, Sec. 415.172(a) requires as a condition of payment under
the PFS that the teaching physician (as defined in Sec. 415.152) must
be present during certain portions of services that are furnished with
the involvement of residents (individuals who are training in a
graduate medical education program). Section 415.174(a) provides for an
exception to the teaching physician presence requirements in the case
of certain E/M services under certain conditions, but requires that the
teaching physician must direct and review the care provided by no more
than four residents at a time. Sections 415.172(b) and 415.174(a)(6),
respectively require that the teaching physician's presence and
participation in services involving residents must be documented in the
medical record. We amended these regulations to provide that a
physician, resident, or nurse may document in the patient's medical
record that the teaching physician presence and participation
requirements were met. As a result, for E/M visits furnished beginning
January 1, 2019, the extent of the teaching physician's participation
in services involving residents may be demonstrated by notes in the
medical records made by a physician, resident, or nurse.
For the same burden reduction purposes, we issued CR 10412,
Transmittal 3971 https://www.cms.gov/Regulations-and-Guidance/Guidance/Transmittals/2018Downloads/R3971CP.pdf on February 2, 2018, which
revised a paragraph in our manual instructions on ``Teaching Physician
Services'' at Pub. 100-04, Medicare Claims Processing Manual, Chapter
12, Section 100.1.1B., to reduce duplicative documentation requirements
by allowing a teaching physician to review and verify (sign/date) notes
made by a student in a patient's medical record for E/M services,
rather than having to re-document the information, largely duplicating
the student's notes. We issued corrections to CR 10412 through
Transmittal 4068 https://www.cms.gov/Regulations-and-Guidance/Guidance/Transmittals/2018Downloads/R4068CP.pdf and re-issued the CR on May 31,
2018. Pub. 100-04, Medicare Claims Processing Manual, Chapter 12,
Section 100 contains a list of definitions pertinent to teaching
physician services. Following these amendments to our regulations and
manual, certain stakeholders raised concerns about the definitions in
this section, particularly those for teaching physician, student, and
documentation; and when considered in conjunction with the
interpretation of the manual provision at Pub. 100-04, Medicare Claims
Processing Manual, Chapter 12, Section 100.1.1B., which addresses
documentation of E/M services involving students. While there is no
regulatory definition of student, the manual instruction defines a
student as an individual who participates in an accredited educational
program (for example, a medical school) that is not an approved
graduate medical education (GME) program. The manual instructions also
specify that a student is never considered to be an intern or a
resident, and that Medicare does not pay for services furnished by a
student (see Section 100.1.1B. for a discussion concerning E/M service
documentation performed by students).
We are aware that nonphysician practitioners who are authorized
under Medicare Part B to furnish and be paid for all levels of E/M
services are seeking similar relief from burdensome E/M documentation
requirements that would allow them to review and verify medical record
notes made by their students, rather than having to re-document the
information. These nonphysician practitioners include nurse
practitioners (NPs), clinical nurse specialists (CNSs), and certified
nurse-midwives (CNMs), collectively referred to hereafter for purposes
of this discussion as advanced practice registered nurses (APRNs), as
well as physician assistants (PAs). Subsequent to the publication of
the CY 2019 PFS final rule (83 FR 59653 through 59654), through
feedback from listening sessions hosted by CMS' Documentation
Requirements Simplification workgroup, we began to hear concerns from a
variety of stakeholders about the requirements for teaching physician
review and verification of documentation added to the medical record by
other individuals. Physician and nonphysician practitioner stakeholders
expressed concern about the scope of the changes to Sec. Sec.
415.172(b) and 415.174(a)(6) which authorize only a physician,
resident, or nurse to include notes in the medical record to document
E/M services furnished by teaching physicians, because they believed
that students and other members of the medical team should be similarly
permitted to provide E/M medical record documentation. In addition to
students, these stakeholders indicated that ``other members of the
medical team'' could include individuals who the teaching physician,
other physicians, PA and APRN preceptors designate as being appropriate
to document services in the medical record, which the billing
practitioner would then review and verify, and rely upon for billing
purposes.
Subsequent to the publication of the student documentation manual
[[Page 40548]]
instruction change at section 100.1.1B of the Medicare Claims
Processing Manual, representatives of PAs and APRNs requested
clarification about whether PA and APRN preceptors and their students
were subject to the same E/M documentation requirements as teaching
physicians and their medical students. These stakeholders suggested
that the reference to ``student'' in the manual instruction on E/M
documentation provided by students is ambiguous because it does not
specify ``medical student''. These stakeholders also suggested that the
definition of ``student'' in section 100 of this manual instruction is
ambiguous because PA and APRN preceptors also educate students who are
individuals who participate in an accredited educational program that
is not an approved GME program. Accordingly, these stakeholders
expressed concern that the uncertainty throughout the health care
industry, including among our contractors, concerning the student E/M
documentation review and verification policy under these manual
guidelines results in unequal treatment as compared to teaching
physicians. The stakeholders stated that depending on how the manual
instruction is interpreted, PA and APRN preceptors may be required to
re-document E/M services in full when their students include notes in
the medical records, without having the same option that teaching
physicians do to simply review and verify medical student
documentation.
2. Proposal
After considering the concerns expressed by these stakeholders, we
believe it would be appropriate to provide broad flexibility to the
physicians, PAs and APRNs (regardless of whether they are acting in a
teaching capacity) who document and who are paid under the PFS for
their professional services. Therefore, we propose to establish a
general principle to allow the physician, the PA, or the APRN who
furnishes and bills for their professional services to review and
verify, rather than re-document, information included in the medical
record by physicians, residents, nurses, students or other members of
the medical team. This principle would apply across the spectrum of all
Medicare-covered services paid under the PFS. Because this proposal is
intended to apply broadly, we propose to amend regulations for teaching
physicians, physicians, PAs, and APRNs to add this new flexibility for
medical record documentation requirements for professional services
furnished by physicians, PAs and APRNs in all settings. We invite
comments on this proposal.
Specifically, to reflect our simplified and standardized approach
to medical record documentation for all professional services furnished
by physicians, PAs and APRNs paid under the PFS, we are proposing to
amend Sec. Sec. 410.20 (Physicians' services), 410.74 (PA services),
410.75 (NP services), 410.76 (CNS services) and 410.77 (CNM services)
to add a new paragraph entitled, ``Medical record documentation.'' This
paragraph would specify that, when furnishing their professional
services, the clinician may review and verify (sign/date) notes in a
patient's medical record made by other physicians, residents, nurses,
students, or other members of the medical team, including notes
documenting the practitioner's presence and participation in the
services, rather than fully re-documenting the information. We note
that, while the proposed change addresses who may document services in
the medical record, subject to review and verification by the
furnishing and billing clinician, it does not modify the scope of, or
standards for, the documentation that is needed in the medical record
to demonstrate medical necessity of services, or otherwise for purposes
of appropriate medical recordkeeping.
We are also proposing to make conforming amendments to Sec. Sec.
415.172(b) and 415.174(a)(6) to also allow physicians, residents,
nurses, students, or other members of the medical team to enter
information in the medical record that can then be reviewed and
verified by a teaching physician without the need for re-documentation.
We invite comments on these proposed amendments to our regulations.
K. Care Management Services
1. Background
In recent years, we have updated PFS payment policies to improve
payment for care management and care coordination. Working with the CPT
Editorial Panel and other clinicians, we have expanded the suite of
codes describing these services. New CPT codes were created that
distinguish between services that are face-to-face; represent a single
encounter, monthly service or both; are timed services; represent
primary care versus specialty care; address specific conditions; and
represent the work of the billing practitioner, their clinical staff,
or both (see Table 16). Additional information regarding recent new
codes and associated PFS payment rules is available on our website at
https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/PhysicianFeeSched/Care-Management.html.
Table 16--Summary of Special Care Management Codes
------------------------------------------------------------------------
Service Summary
------------------------------------------------------------------------
Care Plan Oversight (CPO) (also Supervision of home health,
referred to as Home Health hospice, per month.
Supervision, Hospice Supervision)
(HCPCS Codes G0181, G0182).
ESRD Monthly Services (CPT Codes 90951- ESRD management, with and
70). without face-to-face visits,
by age, per month.
Transitional Care Management (TCM) Management of transition from
(adopted in 2013) (CPT Codes 99495, acute care or certain
99496). outpatient stays to a
community setting, with face-
to-face visit, once per
patient within 30 days post-
discharge.
Chronic Care Management (CCM) (adopted Management of all care for
in 2015, 2017, 2019) (CPT Codes 99487, patients with two or more
99489, 99490, 99491). serious chronic conditions,
timed, per month.
Advance Care Planning (ACP) (adopted in Counseling/discussing advance
2016) (CPT Codes 99497, 99498). directives, face-to-face,
timed.
Behavioral Health Integration (BHI) Management of behavioral health
(adopted in 2017) (CPT Codes 99484, conditions(s), timed, per
99492, 99493, 99494). month.
Assessment/Care Planning for Cognitive Assessment and care planning of
Impairment (adopted in 2017) (CPT Code cognitive impairment, face-to-
99483). face visit.
Prolonged Evaluation & Management (E/M) Non-face-to-face E&M work
Without Direct Patient Contact related to a face-to-face
(adopted in 2017) (CPT Codes 99358, visit, timed.
99359).
[[Page 40549]]
Remote Patient Monitoring (adopted in Review and analysis of patient-
2019) (CPT Code 99091). generated health data, timed,
per 30 days.
Interprofessional Consultation (adopted Inter-practitioner
in 2019) (CPT Codes 99446, 99447, consultation.
99448, 99449, 99451, 99452).
------------------------------------------------------------------------
Based on our review of the Medicare claims data we estimate that
approximately 3 million unique beneficiaries (9 percent of the Medicare
fee-for-service (FFS) population) receive these services annually, with
higher use of chronic care management (CCM), transitional care
management (TCM), and advance care planning (ACP) services. We believe
gaps remain in coding and payment, such as for care management of
patients having a single, serious, or complex chronic condition. In
this proposed rule, we continue our ongoing work in this area through
code set refinement related to TCM services and CCM services, in
addition to proposing new coding for principal care management (PCM)
services, and addressing chronic care remote physiologic monitoring
(RPM) services.
2. Transitional Care Management (TCM) Services
Utilization of TCM services has increased each year since CMS
established coding and began paying separately for TCM services.
Specifically, there were almost 300,000 TCM professional claims during
2013, the first year of TCM services, and almost 1.3 million
professional claims during 2018, the most recent year of complete
claims data. However, based upon an analysis of claims data by Bindman
and Cox,\78\ utilization of TCM services is low when compared to the
number of Medicare beneficiaries with eligible discharges.
Additionally, Bindman and Cox noted that the beneficiaries who received
TCM services demonstrated reduced readmission rates, lower mortality,
and decreased health care costs. Based upon these findings, we believe
that increasing utilization of TCM services could positively affect
patient outcomes.
---------------------------------------------------------------------------
\78\ Bindman, AB, Cox DF. Changes in health care costs and
mortality associated with transitional care management services
after a discharge among Medicare beneficiaries [published online
July 30, 2018]. JAMA Intern Med, doi:10.1001/
jamainternmed.2018.2572.
---------------------------------------------------------------------------
In developing a proposal designed to increase utilization of TCM
services, we considered possible factors contributing to low
utilization. Bindman and Cox identified two likely contributing
factors: The administrative burdens associated with billing TCM
services and the payment amount to physicians for services.
We focused initially on the requirements for billing TCM services.
In reviewing the TCM billing requirements, we noted that we had
established in the CY 2013 PFS final rule with comment period a list of
57 HCPCS codes that cannot be billed during the 30-day period covered
by TCM services by the same practitioner reporting TCM (77 FR 68990).
This list mirrored reporting restrictions put in place by the CPT
Editorial Panel for the TCM codes upon their creation. At the time we
established separate payment for the TCM CPT codes, we agreed with the
CPT Editorial Panel that the services described by the 57 codes could
be overlapping and duplicative with TCM in their definition and scope;
although, many of these codes were not separately payable or covered
under the PFS so even if they were reported for PFS payment, they would
not be have been separately paid (see, for example, 77 FR 68985). In
response to those concerns, we adopted billing restrictions to avoid
duplicative billing and payment for covered services. In our recent
analysis of the services associated with the 57 codes, we found that
the majority of codes on the list remain either bundled, noncovered by
Medicare, or invalid for Medicare payment purposes. Table 17 provides
detailed information regarding the subset of these codes that would be
separately payable under the PFS (Status Indicator ``A'') and, as such,
are the focus of this year's CY 2020 proposed policy for TCM. Fourteen
(14) codes on the list represent active codes that are paid separately
under the PFS and that upon reconsideration, we believe may not
substantially overlap with TCM services and should be separately
payable alongside TCM. For example, CPT code 99358 (Prolonged E/M
service before and/or after direct patient care; first hour; non-face-
to-face time spent by a physician or other qualified health care
professional on a given date providing prolonged service) would allow
the physician or other qualified healthcare professional extra time to
review records and manage patient support services after the face-to-
face visit required as part of TCM services. CPT code 99091 (Collection
& interpretation of physiologic data, requiring a minimum of 30 minutes
each 30 days) would permit the physician or other qualified healthcare
professional to collect and analyze physiologic parameters associated
with the patient's chronic disease.
Thus, after review of the services described by these 14 HCPCS
codes, we believe these codes, when medically necessary, may complement
TCM services rather than substantially overlap or duplicate services.
We also believe removing the billing restrictions associated with these
codes may increase utilization of TCM services.
Table 17--14 HCPCS Codes That Currently Cannot Be Billed Concurrently
With TCM by the Same Practitioner and Are Active Codes Payable by
Medicare PFS
------------------------------------------------------------------------
Code family HCPCS code Descriptor
------------------------------------------------------------------------
Prolonged Services without Direct 99358 Prolonged E/M service
Patient Contact. before and/or after
direct patient care;
first hour; non-face-to-
face time spent by a
physician or other
qualified health care
professional on a given
date providing
prolonged service.
99359 Prolonged E/M service
before and/or after
direct patient care;
each additional 30
minutes beyond the
first hour of prolonged
services.
[[Page 40550]]
Home and Outpatient International 93792 Patient/caregiver
Normalized Ratio (INR) 93793 training for initiation
Monitoring Services. of home INR monitoring.
Anticoagulant management
for a patient taking
warfarin; includes
review and
interpretation of a new
home, office, or lab
INR test result,
patient instructions,
dosage adjustment and
scheduling of
additional test(s).
End Stage Renal Disease Services 90960 ESRD related services
(patients who are 20+ years). monthly with 4 or more
face-to-face visits per
month; for patients 20
years and older.
90961 ESRD related services
monthly with 2-3 face-
to-face visits per
month; for patients 20
years and older.
90962 ESRD related services
with 1 face-to-face
visit per month; for
patients 20 years and
older.
90966 ESRD related services
for home dialysis per
full month; for
patients 20 years and
older.
90970 ESRD related services
for dialysis less than
a full month of
service; per day; for
patient 20 years and
older.
Interpretation of Physiological 99091 Collection &
Data. interpretation of
physiologic data,
requiring a minimum of
30 minutes each 30
days.
Complex Chronic Care Management 99487 Complex Chronic Care
Services. 99489 with 60 minutes of
clinical staff time per
calendar month.
Complex Chronic Care;
additional 30 minutes
of clinical staff time
per month.
Care Plan Oversight Services..... G0181 Physician supervision of
a patient receiving
Medicare-covered
services provided by a
participating home
health agency (patient
not present) requiring
complex and
multidisciplinary care
modalities within a
calendar month; 30+
minutes.
G0182 Physician supervision of
a patient receiving
Medicare-covered
hospice services (Pt
not present) requiring
complex and
multidisciplinary care
modalities; within a
calendar month; 30+
minutes.
------------------------------------------------------------------------
Thus, with the goal of increasing medically appropriate use of TCM
services, we are proposing to revise our billing requirements for TCM
by allowing TCM codes to be billed concurrently with any of these
codes. Before we finalize such a rule, however, we seek comment on
whether overlap of services exists, and if so, which services should be
restricted from being billed concurrently with TCM. We also seek
comment on whether any overlap would depend upon whether the same or a
different practitioner reports the services. We note that CPT reporting
rules generally apply at the practitioner level, and we are seeking
input from stakeholders as to whether our policy should differ based on
whether it is the same or a different practitioner reporting the
services. We are seeking comment on whether the newest CPT code in the
chronic care management services family (CPT code 99491 for CCM by a
physician or other qualified health professional, established in 2019)
overlaps with TCM or should be reportable and separately payable in the
same service period.
As part of our analysis of the utilization data for TCM services,
we also examined how current payment rates for TCM might negatively
affect the appropriate utilization of TCM services, an idea proposed by
Bindman and Cox. CPT code 99495 (Transitional Care Management services
with the following required elements: Communication (direct contact,
telephone, electronic) with the patient and/or caregiver within two
business days of discharge; medical decision making of at least
moderate complexity during the service period; face-to-face visit
within 14 calendar days of discharge) and CPT code 99496 (Transitional
Care Management services with the following required elements:
Communication (direct contact, telephone, electronic) with the patient
and/or caregiver within two business days of discharge; medical
decision making of at least high complexity during the service period;
face-to-face visit within 7 calendar days of discharge) were resurveyed
during 2018 as part of a regular RUC review of new technologies or
services. For this RUC resurvey, several years of claims data were
available and clinicians had more experience to inform their views
about the work required to furnish TCM services. Based upon the results
of the 2018 RUC survey of the two TCM codes, the RUC recommended a
slight increase in work RVUs for both codes. We believe the results
from the new survey will better reflect the work involved in furnishing
TCM services as care management services. Thus, also for CY 2020, we
are proposing the RUC-recommended work RVU of 2.36 for CPT code 99495
and the RUC-recommended work RVU of 3.10 for CPT code 99496. We are not
proposing any direct PE refinements to the RUC's recommendations for
this code family.
3. Chronic Care Management (CCM) Services
CCM services are comprehensive care coordination services per
calendar month, furnished by a physician or non-physician practitioner
(NPP) managing overall care and their clinical staff, for patients with
two or more serious chronic conditions. There are currently two subsets
of codes: One for non-complex chronic care management (starting in
2015, with a new code for 2019) and a set of codes for complex chronic
care management (starting in 2017). Table 17 provides a high-level
summary of the CCM service elements.
Early data show that, in general, CCM services are increasing
patient and practitioner satisfaction, saving costs and enabling solo
practitioners to remain in independent practice.\79\ Utilization has
reached approximately 75 percent of the level we initially assumed
under the PFS when we began paying for CCM services separately under
the PFS. While these are positive results, we believe that CCM services
(especially complex CCM services) continue to be underutilized. In
addition, we note that, at the February 2019 CPT Editorial Panel
meeting, certain specialty associations requested refinements to the
existing CCM codes, and consideration of their proposal was postponed.
Also, we have heard from some stakeholders suggesting that the
[[Page 40551]]
time increments for non-complex CCM performed by clinical staff should
be changed to recognize finer increments of time, and that certain
requirements related to care planning are unclear. Based on our
consideration of this ongoing feedback, we believe some of the
refinements requested by specialty associations and other stakeholders
may be necessary to improve payment accuracy, reduce unnecessary burden
and help ensure that beneficiaries who need CCM services have access to
them. Accordingly, we are proposing the following changes to the CCM
code set for CY 2020.
---------------------------------------------------------------------------
\79\ https://innovation.cms.gov/Files/reports/chronic-care-mngmt-finalevalrpt.pdf.
---------------------------------------------------------------------------
a. Non-Complex CCM Services by Clinical Staff (CPT Code 99490, HCPCS
Codes GCCC1 and GCCC2)
Currently, the clinical staff CPT code for non-complex CCM, CPT
code 99490 (Chronic care management services, at least 20 minutes of
clinical staff time directed by a physician or other qualified health
care professional, per calendar month, with the following required
elements: Multiple (two or more) chronic conditions expected to last at
least 12 months, or until the death of the patient; chronic conditions
place the patient at significant risk of death, acute exacerbation/
decompensation, or functional decline; comprehensive care plan
established, implemented, revised, or monitored.) describes 20 or more
minutes of clinical staff time spent performing chronic care management
activities under the direction of a physician/qualified health care
professional. When we initially adopted this code for payment and, in
feedback we have since received, a number of stakeholders suggested
that CMS undervalued the PE RVU because we assumed that the minimum
time for the code (20 minutes of clinical staff time) would be typical
(see, for example, 79 FR 67717 through 67718). In the CY 2017 PFS final
rule with comment period, we continued to consider whether the payment
amount for CPT code 99490 is appropriate, given the amount of time
typically spent furnishing CCM services (81 FR 80243 through 80244). We
adopted the complex CCM codes for payment beginning in CY 2017, in
part, to pay more appropriately for services furnished to beneficiaries
requiring longer service times.
There are two CPT codes for complex CCM:
CPT code 99487 (Complex chronic care management services,
with the following required elements: Multiple (two or more) chronic
conditions expected to last at least 12 months, or until the death of
the patient; chronic conditions place the patient at significant risk
of death, acute exacerbation/decompensation, or functional decline;
establishment or substantial revision of a comprehensive care plan;
moderate or high complexity medical decision making; 60 minutes of
clinical staff time directed by physician or other qualified health
care professional, per calendar month. (Complex chronic care management
services of less than 60 minutes duration, in a calendar month, are not
reported separately); and
CPT code 99489 (each additional 30 minutes of clinical
staff time directed by a physician or other qualified health care
professional, per calendar month (List separately in addition to code
for primary procedure).
Complex CCM describes care management for patients who require not
only more clinical staff time, but also complex medical decision-
making. Some stakeholders continue to recommend that, in addition to
separate payment for the complex CCM codes, we should create an add-on
code for non-complex CCM, such that non-complex CCM would be defined
and valued in 20-minute increments of time with additional payment for
each additional 20 minutes, or extra payment for 20 to 40 minutes of
clinical staff time spent performing care management activities.
We agree that coding changes that identify additional time
increments would improve payment accuracy for non-complex CCM.
Accordingly, we propose to adopt two new G codes with new increments of
clinical staff time instead of the existing single CPT code (CPT code
99490). The first G code would describe the initial 20 minutes of
clinical staff time, and the second G code would describe each
additional 20 minutes thereafter. We intend these would be temporary G
codes, to be used for PFS payment instead of CPT code 99490 until the
CPT Editorial Panel can consider revisions to the current CPT code set.
We would consider adopting any CPT code(s) once the CPT Editorial Panel
completes its work. We acknowledge that imposing a transitional period
during which G codes would be used under the PFS in lieu of the CPT
codes is potentially disruptive, and are seeking comment on whether the
benefit of proceeding with the proposed G codes outweighs the burden of
transitioning to their use in the intervening year(s) before a decision
by the CPT Editorial Panel.
We are proposing that the base code would be HCPCS code GCCC1
(Chronic care management services, initial 20 minutes of clinical staff
time directed by a physician or other qualified health care
professional, per calendar month, with the following required elements:
Multiple (two or more) chronic conditions expected to last at least 12
months, or until the death of the patient; chronic conditions place the
patient at significant risk of death, acute exacerbation/
decompensation, or functional decline; and comprehensive care plan
established, implemented, revised, or monitored. (Chronic care
management services of less than 20 minutes duration, in a calendar
month, are not reported separately)). We propose a work RVU of 0.61 for
HCPCS code GCCC1, which we crosswalked from CPT code 99490. We believe
these codes have a similar amount of work since they would have the
same intra-service time of 15 minutes.
We propose an add-on HCPCS code GCCC2 (Chronic care management
services, each additional 20 minutes of clinical staff time directed by
a physician or other qualified health care professional, per calendar
month (List separately in addition to code for primary procedure). (Use
GCCC2 in conjunction with GCCC1). (Do not report GCCC1, GCCC2 in the
same calendar month as GCCC3, GCCC4, 99491)). We are proposing a work
RVU of 0.54 for HCPCS code GCCC2 based on a crosswalk to CPT code 11107
(Incisional biopsy of skin (eg, wedge) (including simple closure, when
performed); each separate/additional lesion (List separately in
addition to code for primary procedure)), which has a work RVU of 0.54,
which we believe accurately reflects the work associated with each
additional 20 minutes of CCM services. Both codes have the same
intraservice time of 15 minutes. We note that the nature of the PFS
relative value system is such that all services are appropriately
subject to comparisons to one another. Although codes that describe
clinically similar services are sometimes stronger comparator codes,
codes need not share the same site of service, patient population, or
utilization level to serve as an appropriate crosswalk. In this case,
CPT code 11107 shares a similar work intensity to proposed HCPCS code
GCCC2. Furthermore, although HCPCS codes GCCC1 and GCCC2 share the same
intraservice time, add-on codes often have lower intensity than the
base codes because they describe the continuation of an already
initiated service.
We are soliciting public comment on whether we should limit the
number of times this add-on code (HCPCS code GCCC2) can be reported in
a given service period for a given beneficiary. It
[[Page 40552]]
is not clear how often more than 40 minutes of clinical staff time is
currently spent or is medically necessary. In addition, once 60 minutes
of clinical staff time is spent, many or most patients might also
require complex medical decision-making, and such patients would be
already described under existing coding for complex CCM. A limit (such
as allowing the add-on code to be reported only once per service period
per beneficiary) may be appropriate in order to maintain distinctions
between complex and non-complex CCM, as well as appropriately limit
beneficiary cost sharing and program spending to medically necessary
services. We note that complex CCM already describes (in part) 60 or
more minutes of clinical staff time in a service period. We are seeking
comment on whether and how often beneficiaries who do not require
complex CCM (for example, do not require the complex medical decision
making that is part of complex CCM) would need 60 or more minutes of
non-complex CCM clinical staff time and thereby warrant more than one
use of HCPCS code GCCC2 within a service period.
b. Complex CCM Services (CPT Codes 99487 and 99489, and HCPCS Codes
GCCC3 and GCCC4)
Currently, the CPT codes for complex CCM include in the code
descriptors a requirement for establishment or substantial revision of
the comprehensive care plan (see above). The code descriptors for
complex CCM also include moderate to high complexity medical decision-
making (moderate to high complexity medical decision-making is an
explicit part of the services). We propose to adopt two new G codes
that would be used for billing under the PFS instead of CPT codes 99487
and 99489, and that would not include the service component of
substantial care plan revision. We believe it is not necessary to
explicitly include substantial care plan revision because patients
requiring moderate to high complexity medical decision making
implicitly need and receive substantial care plan revision. The service
component of substantial care plan revision is potentially duplicative
with the medical decision making service component and, therefore, we
believe it is unnecessary as a means of distinguishing eligible
patients. Instead of CPT code 99487, we propose to adopt HCPCS code
GCCC3 (Complex chronic care management services, with the following
required elements: Multiple (two or more) chronic conditions expected
to last at least 12 months, or until the death of the patient; chronic
conditions place the patient at significant risk of death, acute
exacerbation/decompensation, or functional decline; comprehensive care
plan established, implemented, revised, or monitored; moderate or high
complexity medical decision making; 60 minutes of clinical staff time
directed by physician or other qualified health care professional, per
calendar month. (Complex chronic care management services of less than
60 minutes duration, in a calendar month, are not reported
separately)). We are proposing a work RVU of 1.00 for HCPCS code GCCC3,
which is a crosswalk to CPT code 99487.
Instead of CPT code 99489, we propose to adopt HCPCS code GCCC4
(each additional 30 minutes of clinical staff time directed by a
physician or other qualified health care professional, per calendar
month (List separately in addition to code for primary procedure).
(Report GCCC4 in conjunction with GCCC3). (Do not report GCCC4 for care
management services of less than 30 minutes additional to the first 60
minutes of complex chronic care management services during a calendar
month)). We are proposing a work RVU of 0.50 for HCPCS code GCCC4,
which is a crosswalk to CPT code 99489.
We intend these would be temporary G codes to remain in place until
the CPT Editorial Panel can consider revising the current code
descriptors for complex CCM services. We would consider adopting any
new or revised complex CCM CPT code(s) once the CPT Editorial Panel
completes its work. We acknowledge that imposing a transitional period
during which G codes would be used under the PFS in lieu of the CPT
codes is potentially disruptive. We are seeking comment on whether the
benefit of proceeding with the proposed G codes outweighs the burden of
transitioning to their use in the intervening year(s) before a decision
by the CPT Editorial Panel.
c. Typical Care Plan
In 2013, in working with the physician community to develop and
propose the CCM codes for PFS payment, the medical community
recommended and CMS agreed that adequate care planning is integral to
managing patients with multiple chronic conditions. We stated our
belief that furnishing care management to beneficiaries with multiple
chronic conditions requires complex and multidisciplinary care
modalities that involve, among other things, regular physician
development and/or revision of care plans and integration of new
information into the care plan (78 FR 43337). In the CY 2014 PFS final
rule with comment period (78 FR 74416 through 74418), consistent with
recommendations CMS received in 2013 from the AMA's Complex Chronic
Care Coordination Workgroup, we finalized a CCM scope of service
element for a patient-centered plan of care with the following
characteristics: It is a comprehensive plan of care for all health
problems and typically includes, but is not limited to, the following
elements: Problem list; expected outcome and prognosis; measurable
treatment goals; cognitive and functional assessment; symptom
management; planned interventions; medical management; environmental
evaluation; caregiver assessment; community/social services ordered;
how the services of agencies and specialists unconnected to the
practice will be directed/coordinated; identify the individuals
responsible for each intervention, requirements for periodic review;
and when applicable, revisions of the care plan.
The CPT Editorial Panel also incorporated and adopted this language
in the prefatory language for Care Management Services codes (page 49
of the 2019 CPT Codebook) including CCM services.
As we continue to consider the need for potential refinements to
the CCM code set, we have heard that there is still some confusion in
the medical community regarding what a care plan typically includes. We
have re-reviewed this language for CCM, and we believe there may be
aspects of the typical care plan language we adopted for CCM that are
redundant or potentially unduly burdensome. We note that because these
are ``typical'' care plan elements, these elements do not comprise a
set of strict requirements that must be included in a care plan for
purposes of billing for CCM services; the elements are intended to
reflect those that are typically, but perhaps not always, included in a
care plan as medically appropriate for a particular beneficiary.
Nevertheless, we are proposing to eliminate the phrase ``community/
social services ordered, how the services of agencies and specialists
unconnected to the practice will be directed/coordinated, identify the
individuals responsible for each intervention'' and insert the phrase
``interaction and coordination with outside resources and practitioners
and providers.'' We believe simpler language would describe the
important work of interacting and coordinating with resources external
to the practice. While it is preferable, when feasible, to identify who
is responsible for
[[Page 40553]]
interventions, it may be difficult to maintain an up-to-date listing of
responsible individuals especially when they are outside of the
practice, for example, when there is staff turnover or assignment
changes.
Our proposed new language would read: The comprehensive care plan
for all health issues typically includes, but is not limited to, the
following elements:
Problem list.
Expected outcome and prognosis.
Measurable treatment goals.
Cognitive and functional assessment.
Symptom management.
Planned interventions.
Medical management.
Environmental evaluation.
Caregiver assessment.
Interaction and coordination with outside resources and
practitioners and providers.
Requirements for periodic review.
When applicable, revision of the care plan.
We welcome feedback on our proposal, including language that would
best guide practitioners as they decide what to include in their
comprehensive care plan for CCM recipients.
Additional information regarding the existing requirements for
billing CCM, including links to prior rules, is available on our
website at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/PhysicianFeeSched/Care-Management.html.
4. Principal Care Management (PCM) Services
A gap we identified in coding and payment for care management
services is care management for patients with only one chronic
condition. The current CCM codes require patients to have two or more
chronic conditions. These codes are primarily billed by practitioners
who are managing a patient's total care over a month, including primary
care practitioners and some specialists such as cardiologists or
nephrologists. We have heard from a number of stakeholders, especially
those in specialties that use the office/outpatient E/M code set to
report the majority of their services, that there can be significant
resources involved in care management for a single high risk disease or
complex chronic condition that is not well accounted for in existing
coding (FR 78 74415). This issue has also been raised by the
stakeholder community in proposal submissions to the Physician-Focused
Payment Model Technical Advisory Committee (PTAC), which are available
at https://aspe.hhs.gov/ptac-physician-focused-payment-model-technical-advisory-committee. Therefore, we are proposing separate coding and
payment for Principal Care Management (PCM) services, which describe
care management services for one serious chronic condition. A
qualifying condition would typically be expected to last between three
months and a year, or until the death of the patient, may have led to a
recent hospitalization, and/or place the patient at significant risk of
death, acute exacerbation/decompensation, or functional decline.
While we are not proposing any restrictions on the specialties that
could bill for PCM, we expect that most of these services would be
billed by specialists who are focused on managing patients with a
single complex chronic condition requiring substantial care management.
We expect that, in most instances, initiation of PCM would be triggered
by an exacerbation of the patient's complex chronic condition or recent
hospitalization such that disease-specific care management is
warranted. We anticipate that in the majority of instances, PCM
services would be billed when a single condition is of such complexity
that it could not be managed as effectively in the primary care
setting, and instead requires management by another, more specialized,
practitioner. For example, a typical patient may present to their
primary care practitioner with an exacerbation of an existing chronic
condition. While the primary care practitioner may be able to provide
care management services for this one complex chronic condition, it is
also possible that the primary care practitioner and/or the patient
could instead decide that another clinician should provide relevant
care management services. In this case, the primary care practitioner
would still oversee the overall care for the patient while the
practitioner billing for PCM services would provide care management
services for the specific complex chronic condition. The treating
clinician may need to provide a disease-specific care plan or may need
to make frequent adjustments to the patient's medication regimen. The
expected outcome of PCM is for the patient's condition to be stabilized
by the treating clinician so that overall care management for the
patient's condition can be returned to the patient's primary care
practitioner. If the beneficiary only has one complex chronic condition
that is overseen by the primary care practitioner, then the primary
care practitioner would also be able to bill for PCM services. We are
proposing that PCM services include coordination of medical and/or
psychosocial care related to the single complex chronic condition,
provided by a physician or clinical staff under the direction of a
physician or other qualified health care professional.
We anticipate that many patients will have more than one complex
chronic condition. If a clinician is providing PCM services for one
complex chronic condition, management of the patient's other conditions
would continue to be managed by the primary care practitioner while the
patient is receiving PCM services for a single complex condition. It is
also possible that the patient could receive PCM services from more
than one clinician if the patient experiences an exacerbation of more
than one complex chronic condition simultaneously.
For CY 2020, we are proposing to make separate payment for PCM
services via two new G codes: HCPCS code GPPP1 (Comprehensive care
management services for a single high-risk disease, e.g., Principal
Care Management, at least 30 minutes of physician or other qualified
health care professional time per calendar month with the following
elements: One complex chronic condition lasting at least 3 months,
which is the focus of the care plan, the condition is of sufficient
severity to place patient at risk of hospitalization or have been the
cause of a recent hospitalization, the condition requires development
or revision of disease-specific care plan, the condition requires
frequent adjustments in the medication regimen, and/or the management
of the condition is unusually complex due to comorbidities) and HCPCS
code GPPP2 (Comprehensive care management for a single high-risk
disease services, e.g., Principal Care Management, at least 30 minutes
of clinical staff time directed by a physician or other qualified
health care professional, per calendar month with the following
elements: One complex chronic condition lasting at least 3 months,
which is the focus of the care plan, the condition is of sufficient
severity to place patient at risk of hospitalization or have been cause
of a recent hospitalization, the condition requires development or
revision of disease-specific care plan, the condition requires frequent
adjustments in the medication regimen, and/or the management of the
condition is unusually complex due to comorbidities). HCPCS code GPPP1
would be reported when, during the calendar month, at least 30 minutes
of physician or other qualified health care provider time is spent on
comprehensive care management for a
[[Page 40554]]
single high risk disease or complex chronic condition. HCPCS code GPPP2
would be reported when, during the calendar month, at least 30 minutes
of clinical staff time is spent on comprehensive management for a
single high risk disease or complex chronic condition.
For HCPCS code GPPP1, we are proposing a crosswalk to the work
value associated with CPT code 99217 (Observation care discharge day
management (This code is to be utilized to report all services provided
to a patient on discharge from outpatient hospital ``observation
status'' if the discharge is on other than the initial date of
``observation status.'' To report services to a patient designated as
``observation status'' or ``inpatient status'' and discharged on the
same date, use the codes for Observation or Inpatient Care Services
[including Admission and Discharge Services, 99234-99236 as
appropriate])) as we believe these values most accurately reflect the
resource costs associated when the billing practitioner performs PCM
services. CPT code 99217 has the same intraservice time as HCPCS code
GPPP1 and the physician work is of similar intensity. Therefore, we are
proposing a work RVU of 1.28 for HCPCS code GPPP1.
For HCPCS code GPPP2 we are proposing a crosswalk to the work and
PE inputs associated with CPT code 99490 (clinical staff non-complex
CCM) as we believe these values reflect the resource costs associated
with the clinician's direction of clinical staff who are performing the
PCM services, and the intraservice times and intensity of the work for
the two codes would be the same. Therefore, we are proposing a work RVU
of 0.61 for HCPCS code GPPP2.
While we are proposing separate coding and payment for PCM services
performed by clinical staff with the oversight of the billing
professional and services furnished directly by the billing
professional, we are seeking comment on whether both codes are
necessary to appropriately describe and bill for PCM services. We note
that we are basing this coding structure on the codes for CCM services
with CPT code 99491 reflecting care management by the billing
professional and CPT code 99490 reflecting care management by clinical
staff directed by a physician or other qualified health care
professional.
We acknowledge that we are concurrently proposing revisions for
both complex and non-complex CCM services. Were we not to finalize the
proposed changes for both complex and non-complex CCM services, we
believe that the overall structure and description of the CCM services
remain close enough to serve as a model for the coding structure and
description of services for the proposed PCM services. We are seeking
public comment on whether it would be appropriate to create an add-on
code for additional time spent each month (similar to HCPCS code GCCC2
discussed above) when PCM services are furnished by clinical staff
under the direction of the billing practitioner.
While we believe that PCM services describe a situation where a
patient's condition is severe enough to require care management for a
single complex chronic condition beyond what is described by CCM or
performed in the primary care setting, we are concerned that a possible
unintended consequence of making separate payment for care management
for a single chronic condition is that a patient with multiple chronic
conditions could have their care managed by multiple practitioners,
each only billing for PCM, which could potentially result in fragmented
patient care, overlaps in services, and duplicative services. While we
are not proposing additional requirements for the proposed PCM
services, we did consider alternatives such as requiring that the
practitioner billing PCM must document ongoing communication with the
patient's primary care practitioner to demonstrate that there is
continuity of care between the specialist and primary care settings, or
requiring that the patient have had a face-to-face visit with the
practitioner billing PCM within the prior 30 days to demonstrate that
they have an ongoing relationship. We are seeking comment on whether
requirements such as these are necessary or appropriate, and whether
there should be additional requirements to prevent potential care
fragmentation or service duplication.
Due to the similarity between the description of the PCM and CCM
services, both of which involve non-face-to-face care management
services, we are proposing that the full CCM scope of service
requirements apply to PCM, including documenting the patient's verbal
consent in the medical record. We are seeking comment on whether there
are required elements of CCM services that the public and stakeholders
believe should not be applicable to PCM, and should be removed or
altered. A high level summary of these requirements is available in
Table 18 and available at https://www.cms.gov/Outreach-and-Education/Medicare-Learning-Network-MLN/MLNProducts/Downloads/ChronicCareManagement.pdf. Both the initiating visit and the patient's
verbal consent are necessary as not all patients who meet the criteria
to receive separately billable PCM services may want to receive these
services. The beneficiary should be educated as to what PCM services
are and any cost sharing that may apply. Additionally, as practitioners
have informed us that beneficiary cost sharing is a significant barrier
to provision of other care management services, we are seeking comment
on how best to educate practitioners and beneficiaries on the benefits
of PCM services.
Additionally, we are proposing to add GPPP2 to the list of
designated care management services for which we allow general
supervision as described in our regulation at Sec. 410.26(b)(5). Due
to the potential for duplicative payment, we are proposing that PCM
could not be billed by the same practitioner for the same patient
concurrent with certain other care management services, such as CCM,
behavioral health integration services, and monthly capitated ESRD
payments. We are also proposing that PCM would not be billable by the
same practitioner for the same patient during a surgical global period,
as we believe those resource costs would already be included in the
valuation of the global surgical code.
Table 18--Chronic Care Management Services Summary
------------------------------------------------------------------------
CCM Service Summary *
-------------------------------------------------------------------------
Verbal Consent:
Inform regarding availability of the service; that only one
practitioner can bill per month; the right to stop services
effective at the end of any service period; and that cost sharing
applies (if no supplemental insurance).
Document that consent was obtained.
Initiating Visit for New Patients (separately paid).
Certified Electronic Health Record (EHR) Use:
Structured Recording of Core Patient Information Using
Certified EHR (demographics, problem list, medications, allergies).
[[Page 40555]]
24/7 Access (``On Call'' Service).
Designated Care Team Member.
Comprehensive Care Management:
Systematic needs assessment (medical and psychosocial).
Ensure receipt of preventive services.
Medication reconciliation, management and oversight of self-
management.
Comprehensive Electronic Care Plan:
Plan is available timely within and outside the practice
(can include fax).
Copy of care plan to patient/caregiver (format not
prescribed).
Establish, implement, revise or monitor the plan.
Management of Care Transitions/Referrals (e.g., discharges, ED visit
follow up, referrals):
Create/exchange continuity of care document(s) timely
(format not prescribed).
Home- and Community-Based Care Coordination:
Coordinate with any home- and community-based clinical
service providers, and document communication with them regarding
psychosocial needs and functional deficits.
Enhanced Communication Opportunities:
Offer asynchronous non-face-to-face methods other than
telephone, such as secure email.
------------------------------------------------------------------------
* All elements that are medically reasonable and necessary must be
furnished during the month, but all elements do not necessarily apply
every month. Consent need only be obtained once, and initiating visits
are only for new patients or patients not seen within a year prior to
initiation of CCM.
We are also seeking comment on any potential for duplicative
payment between the proposed PCM services and other services, such as
interprofessional consultation services (CPT codes 99446-99449
(Interprofessional telephone/internet/electronic health record
assessment and management service provided by a consultative physician,
including a verbal and written report to the patient's treating/
requesting physician or other qualified health care professional), CPT
code 99451 (Interprofessional telephone/internet/electronic health
record assessment and management service provided by a consultative
physician, including a written report to the patient's treating/
requesting physician or other qualified health care professional, 5
minutes or more of medical consultative time), and CPT code 99452
(Interprofessional telephone/internet/electronic health record referral
service(s) provided by a treating/requesting physician or other
qualified health care professional, 30 minutes)) or remote patient
monitoring (CPT code 99091 (Collection and interpretation of
physiologic data (e.g., ECG, blood pressure, glucose monitoring)
digitally stored and/or transmitted by the patient and/or caregiver to
the physician or other qualified health care professional, qualified by
education, training, licensure/regulation (when applicable) requiring a
minimum of 30 minutes of time, each 30 days), CPT code 99453 (Remote
monitoring of physiologic parameter(s) (e.g., weight, blood pressure,
pulse oximetry, respiratory flow rate), initial; set-up and patient
education on use of equipment), and CPT code 99457 (Remote physiologic
monitoring treatment management services, 20 minutes or more of
clinical staff/physician/other qualified health care professional time
in a calendar month requiring interactive communication with the
patient/caregiver during the month)).
5. Chronic Care Remote Physiologic Monitoring Services
Chronic Care remote physiologic monitoring (RPM) services involve
the collection, analysis, and interpretation of digitally collected
physiologic data, followed by the development of a treatment plan, and
the managing of a patient under the treatment plan. The current CPT
code 99457 is a treatment management code, billable after 20 minutes or
more of clinical staff/physician/other qualified professional time with
a patient in a calendar month.
In September 2018, the CPT Editorial Panel revised the CPT code
structure for CPT code 99457 effective beginning in CY 2020. The new
code structure retains CPT code 99457 as a base code that describes the
first 20 minutes of the treatment management services, and uses a new
add-on code to describe subsequent 20 minute intervals of the service.
The new code descriptors for CY 2020 are: CPT code 99457 (Remote
physiologic monitoring treatment management services, clinical staff/
physician/other qualified health care professional time in a calendar
month requiring interactive communication with the patient/caregiver
during the month; initial 20 minutes) and CPT code 994X0 (Remote
physiologic monitoring treatment management services, clinical staff/
physician/other qualified health care professional time in a calendar
month requiring interactive communication with the patient/caregiver
during the month; additional 20 minutes).
In considering the work RVUs for the new add-on CPT code 994X0, we
first considered the value of its base code. We previously valued the
base code at 0.61 work RVUs. Given the value of the base code, we do
not agree with the RUC-recommended work RVU of 0.61 for the add-on
code. Instead, we are proposing a work RVU of 0.50 for the add-on code.
This value is supported by CPT code 88381 (Microdissection (i.e.,
sample preparation of microscopically identified target); manual),
which has the same intraservice and total times of 20 minutes with an
XXX global period and work RVU of 0.53, as well as the survey value at
the 25th percentile. We are proposing the RUC-recommended direct PE
inputs for CPT code 994X0.
Finally, we are proposing that RPM services reported with CPT codes
99457 and 994X0 may be furnished under general supervision rather than
the currently required direct supervision. Because care management
services include establishing, implementing, revising, or monitoring
treatment plans, as well as providing support services, and because RPM
services (that is, CPT codes 99457 and 994X0) include establishing,
implementing, revising, and monitoring a specific treatment plan for a
patient related to one or more chronic conditions that are monitored
remotely, we believe that CPT codes 99457 and 994X0 should be included
as designated care management services. Designated care management
services can be furnished under general
[[Page 40556]]
supervision. Section 410.26(b)(5) of our regulations states that
designated care management services can be furnished under the general
supervision of the ``physician or other qualified health care
professional (who is qualified by education, training, licensure/
regulation and facility privileging)'' (see also 2019 CPT Codebook,
page xii) when these services or supplies are provided incident to the
services of a physician or other qualified healthcare professional. The
physician or other qualified healthcare professional supervising the
auxiliary personnel need not be the same individual treating the
patient more broadly. However, only the supervising physician or other
qualified healthcare professional may bill Medicare for incident to
services.
6. Comment Solicitation on Consent for Communication Technology-Based
Services
In the CY 2019 PFS Final Rule, CMS finalized separate payment for a
number of services that could be furnished via telecommunications
technology. Specifically, CMS finalized HCPCS code G2010 (Remote
evaluation of recorded video and/or images submitted by an established
patient (e.g., store and forward), including interpretation with
follow-up with the patient within 24 business hours, not originating
from a related E/M service provided within the previous 7 days nor
leading to an E/M service or procedure within the next 24 hours or
soonest available appointment)), HCPCS code G2012 (Brief communication
technology-based service, e.g. virtual check-in, by a physician or
other qualified health care professional who can report evaluation and
management services, provided to an established patient, not
originating from a related E/M service provided within the previous 7
days nor leading to an E/M service or procedure within the next 24
hours or soonest available appointment; 5-10 minutes of medical
discussion)), CPT codes 99446-99449 (Interprofessional telephone/
internet/electronic health record assessment and management service
provided by a consultative physician, including a verbal and written
report to the patient's treating/requesting physician or other
qualified health care professional), CPT code 99451 (Interprofessional
telephone/internet/electronic health record assessment and management
service provided by a consultative physician, including a written
report to the patient's treating/requesting physician or other
qualified health care professional, 5 minutes or more of medical
consultative time), and CPT code 99452 (Interprofessional telephone/
internet/electronic health record referral service(s) provided by a
treating/requesting physician or other qualified health care
professional, 30 minutes).
As discussed in that rule, (83 FR 59490-59491), while a few
commenters suggested that it would be less burdensome to obtain a
general consent for multiple services at once, we stipulated that
verbal consent must be documented in the medical record for each
service furnished so that the beneficiary is aware of any applicable
cost sharing. This is similar to the requirements for other non-face-
to-face care management services under the PFS.
We have continued to hear from stakeholders that requiring advance
beneficiary consent for each of these services is burdensome. For HCPCS
codes G2010 and G2012, stakeholders have stated that it is difficult
and burdensome to obtain consent at the outset of each of what are
meant to be brief check-in services. For CPT codes 99446-99449, 99451
and 99452, practitioners have informed us that it is particularly
difficult for the consulting practitioner to obtain consent from a
patient they have never seen. Given our longstanding goals to reduce
burden and promote the use of communication technology-based services,
we are seeking comment on whether a single advance beneficiary consent
could be obtained for a number of communication technology-based
services. During the consent process, the practitioner would make sure
the beneficiary is aware that utilization of these services will result
in a cost sharing obligation. We are seeking comment on the appropriate
interval of time or number of services for which consent could be
obtained, for example, for all these services furnished within a 6
month or one year period, or for a set number of services, after which
a new consent would need to be obtained. We are also seeking comment on
the potential program integrity concerns associated with allowing
advance consent and how best to minimize those concerns.
7. Rural Health Clinics (RHCs) and Federally-Qualified Health Centers
(FQHCs)
RHCs and FQHCs are paid for general care management services using
HCPCS code G0511, which is an RHC and FQHC-specific G-code for 20
minutes or more of CCM services, complex CCM services, or general
behavioral health services. Payment for this service is set at the
average of the national, non-facility payment rates for CPT codes
99490, 99487, and 99484. We are proposing to use the non-facility
payment rates for HCPCS codes GCCC1 and GCCC3 instead of the non-
facility payment rates for CPT codes 99490 and 99487, respectively, if
these changes are finalized for practitioners billing under the PFS. We
note that we are not proposing any changes in the valuation of these
codes. Upon finalization, the payment for HCPCS code G0511 would be set
at the average of the national, non-facility payment rates for HCPCS
codes GCCC1 and GCCC3 and CPT code 99484.
L. Coinsurance for Colorectal Cancer Screening Tests
Section 1861(pp) of the Act defines ``colorectal cancer screening
tests'' and, under sections 1861(pp)(1)(B) and (C) of the Act,
``screening flexible sigmoidoscopy'' and ``screening colonoscopy'' are
two of the recognized procedures. Among other things, section
1861(pp)(1)(D) of the Act authorizes the Secretary to include other
tests or procedures in the definition, and modifications to the tests
and procedures described under this subsection, ``with such frequency
and payment limits, as the Secretary determines appropriate, in
consultation with appropriate organizations.'' Section 1861(s)(2)(R) of
the Act includes these colorectal cancer screening tests in the
definition of the medical and other health services that fall within
the scope of Medicare Part B benefits described in section 1832(a)(1)
of the Act. Section 1861(ddd)(3) of the Act includes these colorectal
cancer screening services within the definition of ``preventive
services.'' In addition, section 1833(a)(1)(Y) of the Act provides for
payment for preventive services recommended by the United States
Preventive Services Task Force (USPSTF) with a grade of A or B under
the PFS at 100 percent of the lesser of the actual charge or the fee
schedule amount for these colorectal cancer screening tests, and under
the OPPS at 100 percent of the OPPS payment amount. As such, there is
no beneficiary responsibility for coinsurance for recommended
colorectal cancer screening tests as defined in section 1861(pp)(1) of
the Act.
Under these statutory provisions, we have issued regulations
governing payment for colorectal cancer screening tests at 42 CFR
410.152(l)(5). We pay 100 percent of the Medicare payment amount
established under the applicable payment methodology for the setting
for providers and suppliers, and beneficiaries are not required to pay
Part B coinsurance.
[[Page 40557]]
In addition to screening tests, which typically are furnished to
patients in the absence of signs or symptoms of illness or injury,
Medicare also covers various diagnostic tests (Sec. 410.32). In
general, diagnostic tests must be ordered by the physician or
practitioner who is treating the beneficiary, and who uses the results
of the diagnostic test in the management of the patient's specific
medical problem. Under Part B, Medicare may cover flexible
sigmoidoscopies and colonoscopies as diagnostic tests when those tests
are reasonable and necessary as specified in section 1862(a)(1)(A) of
the Act. When these services are furnished as diagnostic tests rather
than as screening tests, patients are responsible for the Part B
coinsurance (normally 20 percent) associated with these services.
We define ``colorectal cancer screening tests'' in our regulation
at Sec. 410.37(a)(1) to include ``flexible screening sigmoidoscopies''
and ``screening colonoscopies, including anesthesia furnished in
conjunction with the service.'' Under our current policies, we exclude
from the definition of colorectal screening services colonoscopies and
sigmoidoscopies that begin as a screening service, but where a polyp or
other growth is found and removed as part of the procedure. The
exclusion of these services from the definition of colorectal cancer
screening services is based upon separate provisions of the statute
dealing with the detection of lesions or growths during procedures (62
FR 59048, 59082, October 31, 1997). Section 1834(d)(2)(D) of the Act
provides that if, during the course of a screening flexible
sigmoidoscopy, a lesion or growth is detected which results in a biopsy
or removal of the lesion or growth, payment under Medicare Part B shall
not be made for the screening flexible sigmoidoscopy but shall be made
for the procedure classified as a flexible sigmoidoscopy with such
biopsy or removal. Similarly, section 1834(d)(3)(D) of the Act that
provides if, during the course of a screening colonoscopy, a lesion or
growth is detected which results in a biopsy or removal of the lesion
or growth, payment under Medicare Part B shall not be made for the
screening colonoscopy but shall be made for the procedure classified as
a colonoscopy with such biopsy or removal.
Because we interpret sections 1834(d)(2)(C)(ii) and
1834(d)(3)(C)(ii) of the Act to require us to pay for these tests as
diagnostic tests, rather than as screening tests, the 100 percent
payment rate for recommended preventive services under section
1833(a)(1)(Y) of the Act, as codified in our regulation at Sec.
410.152(l)(5), would not apply to those diagnostic procedures. As such,
beneficiaries are responsible for the usual coinsurance that applies to
the services (20 or 25 percent of the cost of the services depending on
the setting).
Under section 1833(b) of the Act, before making payment under
Medicare Part B for expenses incurred by a beneficiary for covered Part
B services, beneficiaries must first meet the applicable deductible for
the year. Section 4104 of the Affordable Care Act (that is, the Patient
Protection and Affordable Care Act (Pub. L. 111-148, enacted March 23,
2010), and the Health Care and Education Reconciliation Act of 2010
(Pub. L. 111-152, enacted March 30, 2010), collectively referred to as
the ``Affordable Care Act'') amended section 1833(b)(1) of the Act to
make the deductible inapplicable to expenses incurred for certain
preventive services that are recommended with a grade of A or B by the
USPSTF, including colorectal cancer screening tests as defined in
section 1861(pp) of the Act. Section 4104 of the Affordable Care Act
also added a sentence at the end of section 1833(b)(1) of the Act
specifying that the exception to the deductible shall apply with
respect to a colorectal cancer screening test regardless of the code
that is billed for the establishment of a diagnosis as a result of the
test, or for the removal of tissue or other matter or other procedure
that is furnished in connection with, as a result of, and in the same
clinical encounter as the screening test. Although the Affordable Care
Act addressed the applicability of the deductible in the case of a
colorectal cancer screening test that involves biopsy or tissue
removal, it did not alter the coinsurance provision in section 1833(a)
of the Act for such procedures. Although public commenters encouraged
the agency to also eliminate the coinsurance in these circumstances,
the agency found that the statute did not provide for elimination of
the coinsurance (75 FR 73170, 73431, November 29, 2010).
Beneficiaries have continued to contact us noting their
``surprise'' that a coinsurance (20 or 25 percent depending on the
setting) applies when they expected to receive a colorectal screening
procedure to which coinsurance does not apply, but instead received
what Medicare considers to be a diagnostic procedure because polyps
were discovered and removed. Similarly, physicians have also expressed
concerns about the reactions of beneficiaries when they are informed
that they will be responsible for coinsurance if polyps are discovered
and removed during what they expected to be a screening procedure to
which coinsurance does not apply. Other stakeholders and some members
of Congress have regularly expressed to us that they consider the
agency's policy on coinsurance for colorectal screening procedures
during which tissue is removed to be a misinterpretation of the law.
Over the years, we have released a wide variety of publicly
available educational materials that explain the Medicare preventive
services benefits as part of our overall outreach activities to
Medicare beneficiaries. These materials contain a complete description
of the Medicare preventive services benefits, including information on
colorectal cancer screening, and also provide relevant details on the
applicability of cost sharing. These materials can be found at https://www.cms.gov/Outreach-and-Education/Medicare-Learning-Network-MLN/MLNProducts/MLN-Publications-Items/CMS1243319.html. We believe that the
information in these materials can be instrumental in continuing to
educate physicians and beneficiaries about cost sharing obligations in
order to mitigate instances of ``surprise'' billing. We invite comment
on whether we should consider establishing a requirement that the
physician who plans to furnish a colorectal cancer screening notify the
patient in advance that a screening procedure could result in a
diagnostic procedure if polyps are discovered and removed, and that
coinsurance may apply. We specifically invite comment on whether we
should require the physician, or their staff, to provide a verbal
notice with a notation in the medical record, or whether we should
consider a different approach to informing patients of the copay
implications, such as a written notice with standard language that we
would require the physician, or their staff, to provide to patients
prior to a colorectal cancer screening. We note that we would consider
adopting such a requirement in the final rule in accordance with public
comments. We also invite comment on what mechanism, if any, we should
consider using to monitor compliance with a notification requirement if
we decide to finalize one for CY 2020 or through future rulemaking.
[[Page 40558]]
M. Therapy Services
1. Repeal of the Therapy Caps and Limitation To Ensure Appropriate
Therapy
a. Background
In the CY 2019 PFS proposed and final rules (83 FR 34850; 83 FR
59654 and 59661), we discussed the statutory requirements of section
50202 of the Bipartisan Budget Act of 2018 (BBA of 2018) (Pub. L. 115-
123, February 9, 2018). Beginning January 1, 2018, section 50202 of the
BBA of 2018 repealed the Medicare outpatient therapy caps and the
therapy cap exceptions process, while retaining the cap amounts as
limitations and requiring medical review to ensure that therapy
services are furnished when appropriate. Section 50202 of the BBA of
2018 amended section 1833(g) of the Act by adding a new paragraph
(7)(A) requiring that after expenses incurred for the beneficiary's
outpatient therapy services for the year have exceeded one or both of
the previous therapy cap amounts, all therapy suppliers and providers
must continue to use an appropriate modifier on claims. We implemented
this provision by continuing to require use of the existing KX
modifier. By using the KX modifier on the claim, the therapy supplier
or provider is attesting that the services are medically necessary and
that supportive justification is documented in the medical record. As
with the incurred expenses for the prior therapy cap amounts, there is
one amount for physical therapy (PT) and speech language pathology
(SLP) services combined, and a separate amount for occupational therapy
(OT) services. These KX modifier threshold amounts are indexed annually
by the Medicare Economic Index (MEI). After the beneficiary's incurred
expenditures for outpatient therapy services exceed the KX modifier
threshold amount for the year, claims for outpatient therapy services
without the KX modifier are denied.
Section 50202 of the BBA of 2018 also added a new paragraph 7(B) to
section 1833(g) of the Act which retained the targeted medical review
(MR) process for 2018 and subsequent years, but established a lower
threshold amount of $3,000 rather than the $3,700 threshold amount that
had applied for the original manual MR process established by section
3005(g) of the Middle Class Tax Relief and Jobs Creation Act of 2012
(MCTRJCA) (Pub. L. 112-96, February 22, 2012). The manual MR process
with a threshold amount of $3,700 was replaced by the targeted MR
process with the same threshold amount through amendments made by
section 202 of the Medicare Access and CHIP Reauthorization Act of 2015
(MACRA) (Pub. L. 114-10, April 16, 2015).
With the latest amendments made by the BBA of 2018, for CY 2018
(and each successive calendar year until 2028, at which time it is
indexed annually by the MEI), the MR threshold is $3,000 for PT and SLP
services and $3,000 for OT services. For purposes of applying the
targeted MR process, we use a criteria-based process for selecting
providers and suppliers that includes factors such as a high percentage
of patients receiving therapy beyond the medical review threshold as
compared to peers. For information on the targeted medical review
process, please visit https://www.cms.gov/Research-Statistics-Data-and-Systems/Monitoring-Programs/Medicare-FFS-Compliance-Programs/Medical-Review/TherapyCap.html.
In the CY 2019 PFS final rule (83 FR 59661), when discussing our
tracking and accrual process for outpatient therapy services in the
section on the KX Threshold Amounts, we noted that we track each
beneficiary's incurred expenses for therapy services annually by
applying the PFS-based payment amount for each service less any
applicable multiple procedure reduction for CMS-designated ``always
therapy'' services. We also stated that we use the PFS rates to accrue
expenses for therapy services provided in critical access hospitals
(CAHs) as required by section 1833(g)(6)(B) of the Act, added by
section 603(b) of the American Taxpayer Relief Act of 2012 (ATRA) (Pub.
L. 112-240, January 2, 2013). As discussed below, we mistakenly
indicated that this statutory requirement was extended by subsequent
legislation, including section 50202 of the BBA of 2018.
b. Proposed Regulatory Revisions
While we explained and implemented the changes required by section
50202 of the BBA of 2018 in CY 2019 PFS rulemaking (83 FR 34850; 83 FR
59654 and 59661), we did not codify those changes in regulation text.
We are now proposing to revise the regulations at Sec. Sec. 410.59
(outpatient occupational therapy) and 410.60 (physical therapy and
speech-language pathology) to incorporate the changes made by section
50202 of the BBA of 2018. We propose to add a new paragraph (e)(1)(v)
to Sec. Sec. 410.59 and 410.60 to clarify that the specified amounts
of annual per-beneficiary incurred expenses are no longer applied as
limitations but as threshold amounts above which services require, as a
condition of payment, inclusion of the KX modifier; and that use of the
KX modifier confirms that the services are medically necessary as
justified by appropriate documentation in the patient's medical record.
We propose to amend paragraph (e)(2) in Sec. Sec. 410.59 and 410.60 to
specify the therapy services and amounts that are accrued for purposes
of applying the KX modifier threshold, including the continued accrual
of therapy services furnished by CAHs directly or under arrangements at
the PFS-based payment rates. We are also proposing to amend paragraph
(e)(3) in Sec. Sec. 410.59 and 410.60 for the purpose of applying the
medical review threshold to clarify the threshold amounts and the
applicable years for both the manual MR process originally established
through section 3005(g) of MCTRJCA and the targeted MR process
established by the MACRA, and including the changes made through
section 50202 of the BBA of 2018 as discussed previously.
In the CY 2019 PFS final rule (83 FR 59661), we incorrectly stated
that section 1833(g)(6)(B) of the Act continues to require that we
accrue expenses for therapy services furnished by CAHs at the PFS rate
because the provision, originally added by section 603(b) of the ATRA,
was extended by subsequent legislation, including section 50202 of the
BBA of 2018. The requirement in section 1833(g)(6)(B) of the Act was
actually time-limited to services furnished in CY 2013. To apply the
therapy caps (and now the KX modifier thresholds) after the expiration
of the requirement in 1833(g)(6)(B) of the Act, we needed a process to
accrue the annual expenses for therapy services furnished by CAHs and,
in the CY 2014 PFS final rule with comment period, we elected to
continue the process prescribed in section 1833(g)(6)(B) of the Act (78
FR 74405 through 74410).
2. Proposed Payment for Outpatient PT and OT Services Furnished by
Therapy Assistants
a. Background
Section 53107 of the BBA of 2018 added a new subsection 1834(v) to
the Act to require in paragraph (1) that, for services furnished on or
after January 1, 2022, payment for outpatient physical and occupational
therapy services for which payment is made under sections 1848 or
1834(k) of the Act which are furnished in whole or in part by a therapy
assistant must be paid at 85 percent of the amount that is otherwise
applicable. Section 1834(v)(2) of the Act further required that we
establish a modifier to identify these services by January 1, 2019, and
that claims for outpatient therapy services furnished in
[[Page 40559]]
whole or in part by a therapy assistant must include the modifier
effective for dates of service beginning on January 1, 2020. Section
1834(v)(3) of the Act required that we implement the subsection through
notice and comment rulemaking.
In the CY 2019 PFS proposed and final rules (83 FR 35850 through
35852 and 83 FR 59654 through 50660, respectively), we established two
modifiers--one to identify services furnished in whole or in part by a
physical therapist assistant (PTA) and the other to identify services
furnished in whole or in part by an occupational therapy assistant
(OTA). The modifiers are defined as follows:
CQ Modifier: Outpatient physical therapy services
furnished in whole or in part by a physical therapist assistant.
CO Modifier: Outpatient occupational therapy services
furnished in whole or in part by an occupational therapy assistant.
In the CY 2019 PFS final rule, we clarified that the CQ and CO
modifiers are required to be used when applicable for services
furnished on or after January 1, 2020, on the claim line of the service
alongside the respective GP or GO therapy modifier to identify services
furnished under a PT or OT plan of care. The GP and GO therapy
modifiers, along with the GN modifier for speech-language pathology
(SLP) services, have been used since 1998 to track and accrue the per-
beneficiary incurred expenses amounts to different therapy caps, now KX
modifier thresholds, one amount for PT and SLP services combined and a
separate amount for OT services. We also clarified in the CY 2019 PFS
final rule that the CQ and CO modifiers will trigger application of the
reduced payment rate for outpatient therapy services furnished in whole
or in part by a PTA or OTA, beginning for services furnished in CY
2022.
In response to public comments on the CY 2019 PFS proposed rule, we
did not finalize our proposed definition of ``furnished in whole or in
part by a PTA or OTA'' as a service for which any minute of a
therapeutic service is furnished by a PTA or OTA. Instead, we finalized
a de minimis standard under which a service is considered to be
furnished in whole or in part by a PTA or OTA when more than 10 percent
of the service is furnished by the PTA or OTA.
We also explained in the CY 2019 PFS proposed and final rules (83
FR 35850 through 35852 and 83 FR 59654 through 59660, respectively)
that the CQ and CO modifiers would not apply to claims for outpatient
therapy services that are furnished by, or incident to the services of,
physicians or nonphysician practitioners (NPPs) including nurse
practitioners, physician assistants, and clinical nurse specialists.
This is because our regulations for outpatient physical and
occupational therapy services require that an individual furnishing
outpatient therapy services incident to the services of a physician or
NPP must meet the qualifications and standards for a therapist. As
such, only therapists and not therapy assistants can furnish outpatient
therapy services incident to the services of a physician or NPP (83 FR
59655 through 59656); and, the new PTA and OTA modifiers cannot be used
on the line of service of the professional claim when the rendering NPI
identified on the claim is a physician or an NPP. We also intend to
revise our manual provisions at Pub. 100-02, Medicare Benefit Policy
Manual (MBPM), Chapter 15, section 230, as appropriate, to reflect
requirements for the new CQ and CO modifiers that will be used to
identify services furnished in whole or in part by a PTA or OTA
starting in CY 2020. We anticipate amending these manual provisions for
CY 2020 to reflect the policies we adopt through the CY 2020 PFS notice
and comment rulemaking process.
In PFS rulemaking for CY 2019, we identified certain situations
when the therapy assistant modifiers do apply. The modifiers are
applicable to:
Therapeutic portions of outpatient therapy services
furnished by PTAs/OTAs, as opposed to administrative or other non-
therapeutic services that can be performed by others without the
education and training of OTAs and PTAs.
Services wholly furnished by PTAs or OTAs without physical
or occupational therapists.
Evaluative services that are furnished in part by PTAs/
OTAs (keeping in mind that PTAs/OTAs are not recognized to wholly
furnish PT and OT evaluation or re-evaluations).
We also identified some situations when the therapy assistant
modifiers do not apply. They do not apply when:
PTAs/OTAs furnish services that can be done by a
technician or aide who does not have the training and education of a
PTA/OTA.
Therapists exclusively furnish services without the
involvement of PTAs/OTAs.
Finally, we noted that we would be further addressing application
of the modifiers for therapy assistant services and the 10 percent de
minimis standard more specifically in PFS rulemaking for CY 2020,
including how the modifiers are applied in different scenarios for
different types of services.
b. Applying the CQ and CO Modifiers
CMS interprets the references in section 1834(v)(1) and (2) of the
Act to outpatient physical therapy ``service'' and outpatient
occupational therapy ``service'' to mean a specific procedure code that
describes a PT or OT service. This interpretation makes sense because
section 1834(v)(2) of the Act requires the use of a modifier to
identify on each request for payment, or bill submitted for an
outpatient therapy service furnished in whole or in part by a PTA/OTA.
For purposes of billing, each outpatient therapy service is identified
by a procedure code.
To apply the de minimis standard under which a service is
considered to be furnished in whole or in part by a PTA or OTA when
more than 10 percent of the service is furnished by the PTA or OTA, we
propose to make the 10 percent calculation based on the respective
therapeutic minutes of time spent by the therapist and the PTA/OTA,
rounded to the nearest whole minute. The minutes of time spent by a
PTA/OTA furnishing a therapeutic service can overlap partially or
completely with the time spent by a physical or occupational therapist
furnishing the service. We propose that the total time for a service
would be the total time spent by the therapist (whether independent of,
or concurrent with, a PTA/OTA) plus any additional time spent by the
PTA/OTA independently furnishing the therapeutic service. When deciding
whether the therapy assistant modifiers apply, we propose that if the
PTA/OTA participates in the service concurrently with the therapist for
only a portion of the total time that the therapist delivers a service,
the CQ/CO modifiers apply when the minutes furnished by the therapy
assistant are greater than 10 percent of the total minutes spent by the
therapist furnishing the service. If the PTA/OTA and the therapist each
separately furnish portions of the same service, we propose that the
CQ/CO modifiers would apply when the minutes furnished by the therapy
assistant are greater than 10 percent of the total minutes--the sum of
the minutes spent by the therapist and therapy assistant--for that
service. We propose to apply the CQ/CO modifier policies to all
services that would be billed with the respective GP or GO therapy
modifier. We believe this is appropriate because it is the same way
that CMS currently identifies physical therapy or occupational therapy
services for purposes of accruing incurred expenses for the thresholds
and targeted review process.
[[Page 40560]]
For purposes of deciding whether the 10 percent de minimis standard
is exceeded, we offer two different ways to compute this. The first is
to divide the PTA/OTA minutes by the total minutes for the service--
which is (a) the therapist's total time when PTA/OTA minutes are
furnished concurrently with the therapist, or (b) the sum of the PTA/
OTA and therapist minutes when the PTA/OTA's services are furnished
separately from the therapist; and then to multiply this number by 100
to calculate the percentage of the service that involves the PTA/OTA.
We propose to round to the nearest whole number so that when this
percentage is 11 percent or greater, the 10 percent de minimis standard
is exceeded and the CQ/CO modifier is applied. The other method is
simply to divide the total time for the service (as described above) by
10 to identify the 10 percent de minimis standard, and then to add one
minute to identify the number of minutes of service by the PTA/OTA that
would be needed to exceed the 10 percent standard. For example, where
the total time of a service is 60 minutes, the 10 percent standard is
six (6) minutes, and adding one minute yields seven (7) minutes. Once
the PTA/OTA furnishes at least 7 minutes of the service, the CQ/CO
modifier is required to be added to the claim for that service. As
noted above, we propose to round the minutes and percentages of the
service to the nearest whole integer. For example, when the total time
for the service is 45 minutes, the 10 percent calculation would be 4.5
which would be rounded up to 5, and the PTA/OTA's contribution would
need to meet or exceed 6 minutes before the CQ/CO modifier is required
to be reported on the claim. See Table 19 for minutes needed to meet or
exceed using the ``simple'' method with typical times for the total
time of a therapy service.
Table 19--Simple Method for Determining When CQ/CO Modifiers Apply
----------------------------------------------------------------------------------------------------------------
Method Two: simple method to apply 10 percent de minimis standard
-----------------------------------------------------------------------------------------------------------------
Determine the 10 percent
Total Time * examples using standard by dividing Round 10 percent standard PTA/OTA Minutes needed to
typical service total times service Total Time by 10 to next whole integer exceed--apply CQ/CO
----------------------------------------------------------------------------------------------------------------
10 1.0 1.0 2.0
15 1.5 2.0 3.0
20 2.0 2.0 3.0
30 3.0 3.0 4.0
45 4.5 5.0 6.0
60 6.0 6.0 7.0
75 7.5 8.0 9.0
----------------------------------------------------------------------------------------------------------------
Total Time equals total therapist minutes plus any PTA/OTA independent minutes. Concurrent minutes: When PTA/
OTA's minutes are furnished concurrently with the therapist, total time equals the total minutes of the
therapist's service. Separate minutes: When PTA/OTA's minutes are furnished separately from the minutes
furnished by the therapist, total time equals the sum of the minutes of the service furnished by the PT/OT
plus the minutes of the service furnished separately by the PTA/OTA.
We want to clarify that the 10 percent de minimis standard, and
therefore the CQ/CO modifiers, are not applicable to services in which
the PTA/OTA did not participate. To the extent that the PTA/OTA and the
physical therapist/occupational therapist (PT/OT) separately furnish
different services that are described by procedure codes defined in 15-
minute increments, billing examples and proposed policies are included
below in Scenario Two.
As we indicated in the CY 2019 PFS final rule, we are addressing
more specifically in this proposed rule the application of the 10
percent de minimis standard in various clinical scenarios to decide
when the CQ/CO modifiers apply. We acknowledge that application of the
10 percent de minimis standard can work differently depending on the
types of services and scenarios involving both the PTA/OTA and the PT/
OT. Therapy services are typically furnished in multiple units of the
same or different services on a given treatment day, which can include
untimed services (not billable in multiple units) and timed services
that are defined by codes described in 15-minute intervals. The
majority of the untimed services that therapists bill for fall into
three categories: (1) Evaluative procedures, (2) group therapy, and (3)
supervised modalities. We discuss each of these in greater detail
below. Only one (1) unit can be reported in the claim field labeled
``units'' for each procedure code representing an untimed service. The
preponderance of therapy services, though, are billed using codes that
are described in 15-minute increments. These services are typically
furnished to a patient on a single day in multiple units of the same
and/or different services. Under our current policy, the total number
of units of one or more timed services that can be added to a claim
depends on the total time for all the 15-minute timed codes that were
delivered to a patient on a single date of service. We address our
proposals for applying the CQ/CO modifiers using the 10 percent de
minimis standard, along with applicable billing scenarios, by category
below. In each of these scenarios, we assume that the PTA/OTA minutes
are for therapeutic services.
Evaluations and re-evaluations: CPT codes 97161 through
97163 for physical therapy evaluations for low, moderate, and high
complexity level, and CPT code 97164 for physical therapy re-
evaluation; and CPT codes 97165 through 97167 for occupational therapy
evaluations for low, moderate, and high complexity level, and CPT 97168
for occupational therapy re-evaluation. These PT and OT evaluative
procedures are untimed codes and cannot be billed in multiple units--
one unit is billed on the claim. As discussed in CY 2019 PFS rulemaking
(83 FR 35852 and 83 FR 59656) and noted above, PTAs/OTAs are not
recognized to furnish evaluative or assessment services, but to the
extent that they furnish a portion of an evaluation or re-evaluation
(such as completing clinical labor tasks for each code) that exceeds
the 10 percent de minimis standard, the appropriate therapy assistant
modifier (CQ or CO) must be used on the claim. We note that it is
possible for the PTA/OTA to furnish these minutes either concurrently
or separately from the therapist. For example, when the PTA/OTA assists
the PT/OT concurrently for a 5-minute portion of the 30 minutes that a
PT or OT spent furnishing an evaluation (for example, CPT code 97162
for moderate complexity PT evaluation or CPT code 97165 for a low
complexity OT evaluation--each have a typical therapist face-to-face
time of 30
[[Page 40561]]
minutes), the respective CQ or CO modifier is applied to the service
because the 5 minutes surpasses the 10 percent de minimis standard. In
other words, 10 percent of 30 minutes is 3 minutes, and the CQ or CO
modifier applies if the PTA/OTA furnishes more than 3 minutes, meaning
at least 4 minutes, of the service. If the PTA/OTA separately furnishes
a portion of the service that takes 5 minutes (for example, performing
clinical labor tasks such as obtaining vital signs, providing self-
assessment tool to the patient and verifying its completion), and then
the PT/OT separately (without the PTA/OTA) furnishes a 30 minute face-
to-face evaluative procedure--bringing the total time of the service to
35 minutes (the sum of the separate PTA/OTA minutes, that is, 5
minutes, plus the 30-minute therapist service), the CQ or CO modifier
would be applied to the service because the 5 minutes of OTA/PTA time
exceeds 10 percent of the 35 total minutes for the service. In other
words, 10 percent of 35 minutes is 3.5 minutes which is rounded up to 4
minutes. The CQ or CO modifier would apply when the PTA/OTA furnishes 5
or more minutes of the service, as discussed above and referenced in
Table 19.
Group Therapy: CPT code 97150 (requires constant
attendance of therapist or assistant, or both). CPT code 97150
describes a service furnished to a group of 2 or more patients. Like
evaluative services, this code is an untimed service and cannot be
billed in multiple units on the claim, so one unit of the service is
billed for each patient in the group. For the group service, the CQ/CO
modifier would apply when the PTA/OTA wholly furnishes the service
without the therapist. The CQ/CO modifier would also apply when the
total minutes of the service furnished by the PTA/OTA (whether
concurrently with, or separately from, the therapist), exceed 10
percent of the total time, in minutes, of the group therapy service
(that is, the total minutes of service spent by the therapist (with or
without the PTA/OTA) plus any minutes spent by the PTA/OTA separately
from the therapist). For example, the modifiers would apply when the
PTA/OTA participates concurrently with the therapist for 5 minutes of a
total group therapy service time of 40-minutes (based on the time of
the therapist); or when the PTA/OTA separately furnishes 5 minutes of a
total group time of 40 minutes (based on the sum of minutes of the PTA/
OTA (5) and therapist (35)).
Supervised Modalities: CPT codes 97010 through 97028, and
HCPCS codes G0281, G0183, and G0329. Modalities, in general, are
physical agents that are applied to body tissue in order to produce a
therapeutic change through various forms of energy, including but not
limited to thermal, acoustic, light, mechanical or electric. Supervised
modalities, for example vasopneumatic devices, paraffin bath, and
electrical stimulation (unattended), do not require the constant
attendance of the therapist or supervised therapy assistant, unlike the
modalities defined in 15-minute increments that are discussed in the
below category. When a supervised modality, such as whirlpool (CPT code
97022), is provided without the direct contact of a PT/OT and/or PTA/
OTA, that is, it is furnished entirely by a technician or aide, the
service is not covered and cannot be billed to Medicare. Supervised
modality services are untimed, so only one unit of the service can be
billed regardless of the number of body areas that are treated. For
example, when paraffin bath treatment is provided to both of the
patient's hands, one unit of CPT code 97018 can be billed, not two. For
supervised modalities, the CQ or CO modifier would apply to the service
when the PTA/OTA fully furnishes all the minutes of the service, or
when the minutes provided by the PTA or OTA exceed 10 percent of total
minutes of the service. For example, the CQ/CO modifiers would apply
when either (1) the PTA/OTA concurrently furnishes 2 minutes of a total
8-minute service by the therapist furnishing paraffin bath treatment
(HCPCS code 97018) because 2 minutes is greater than 10 percent of 8
minutes (0.8 minute, or 1 minute after rounding); or (2) the PTA/OTA
furnishes 3 minutes of the service separately from the therapist who
furnishes 5 minutes of treatment for a total time of 8 minutes (total
time equals the sum of the PT/OT minutes plus the separate PTA/OTA
minutes) because 3 minutes is greater than 10 percent of 8 total
minutes (0.8 minute rounded to 1 minute).
Services defined by 15-minute increments/units: These
timed codes are included in the following current CPT code ranges: CPT
codes 97032 through 97542--including the subset of codes for modalities
in the series CPT codes 97032 through 97036; and, codes for procedures
in the series CPT codes 97110-97542; CPT codes 97750-97755 for tests
and measurements; and CPT codes: 97760-97763 for orthotic management
and training and prosthetic training. Based on CPT instructions for
these codes, the therapist (or their supervised therapy assistant, as
appropriate) is required to furnish the service directly in a one-on-
one encounter with the patient, meaning they are treating only one
patient during that time. Examples of modalities requiring one-on-one
patient contact include electrical stimulation (attended), CPT code
97032, and ultrasound, CPT code 97035. Examples of procedures include
therapeutic exercise, CPT code 97110, neuromuscular reeducation, CPT
97112, and gait training, CPT code 97116.
Our policy for reporting of service units with HCPCS codes for both
untimed services and timed services (that is, only those therapy
services defined in 15-minute increments) is explained in section 20.2
of Chapter 5 of the Medicare Claims Processing Manual (MCPM). To bill
for services described by the timed codes (hereafter, those codes
described per each 15-minutes) furnished to a patient on a date of
service, the therapist or therapy assistant needs to first identify all
timed services furnished to a patient on that day, and then total all
the minutes of all those timed codes. Next, the therapist or therapy
assistant needs to identify the total number of units of timed codes
that can be reported on the claim for the physical or occupational
therapy services for a patient in one treatment day. Once the number of
billable units is identified, the therapist or therapy assistant
assigns the appropriate number of unit(s) to each timed service code
according to the total time spent furnishing each service. For example,
to bill for one 15-minute unit of a timed code, the qualified
professional (the therapist or therapy assistant) must furnish at least
8 minutes and up to 22 minutes of the service; to bill for 2 units, at
least 23 minutes and up to 37 minutes, and to bill for 3 units, at
least 38 minutes and up to 52 minutes. We note that these minute ranges
are applicable when one service, or multiple services, defined by timed
codes are furnished by the qualified professional on a treatment day.
We understand that the therapy industry often refers to these billing
conventions as the ``eight-minute rule.'' The idea is that when a
therapist or therapy provider bills for one or more units of services
that are described by timed codes, the therapist's direct, one-on-one
patient contact time would average 15 minutes per unit. This idea is
also the basis for the work values we have established for these timed
codes. Our current policies for billing of timed codes and related
documentation do not take into consideration whether a service is
furnished ``in whole or in
[[Page 40562]]
part'' by a PTA/OTA, or otherwise address the application of the CQ/CO
modifier when the 10 percent de minimis standard is exceeded, for those
services in which both the PTA/OTA and the PT/OT work together to
furnish a service or services.
To support the number of 15-minute timed units billed on a claim
for each treatment day, we require that the total timed-code treatment
time be documented in the medical record, and that the treatment note
must document each timed service, whether or not it is billed, because
the unbilled timed service(s) can impact billing. The minutes that each
service is furnished can be, but are not required to be, documented. We
also require that each untimed service be documented in the treatment
note in order to support these services billed on the claim; and, that
the total treatment time for each treatment day be documented--
including minutes spent providing services represented by the timed
codes (the total timed-code treatment time) and the untimed codes. To
minimize burden, we are not proposing changes to these documentation
requirements in this proposed rule.
Beginning January 1, 2020, in order to provide support for
application of the CQ/CO modifier(s) to the claim as required by
section 1834(v)(2)(B) of the Act and our proposed regulations at
Sec. Sec. 410.59(a)(4) and 410.60(a)(4), we propose to add a
requirement that the treatment notes explain, via a short phrase or
statement, the application or non-application of the CQ/CO modifier for
each service furnished that day. We would include this documentation
requirement in subsection in Chapter 15, MBPM, section 220.3.E on
treatment notes. Because the CQ/CO modifiers also apply to untimed
services, our proposal to revise our documentation requirement for the
daily treatment note extends to those codes and services as well. For
example, when PTAs/OTAs assist PTs/OTs to furnish services, the
treatment note could state one of the following, as applicable: (a)
``Code 97110: CQ/CO modifier applied--PTA/OTA wholly furnished''; or,
(b) ``Code 97150: CQ/CO modifier applied--PTA/OTA minutes = 15%''; or
``Code 97530: CQ/CP modifier not applied--PTA/OTA minutes less than 10%
standard.'' For those therapy services furnished exclusively by
therapists without the use of PTAs/OTA, the PT/OT could note one of the
following: ``CQ/CO modifier NA'', or ``CQ/CO modifier NA--PT/OT fully
furnished all services.'' Given that the minutes of service furnished
by or with the PTA/OTA and the total time in minutes for each service
(timed and untimed) are used to decide whether the CQ/CO modifier is
applied to a service, we seek comment on whether it would be
appropriate to require documentation of the minutes as part of the CQ/
CO modifier explanation as a means to avoid possible additional burden
associated with a contractor's medical review process conducted for
these services. We are also interested in hearing from therapists and
therapy providers about current burden associated with the medical
review process based on our current policy that does not require the
times for individual services to be documented. Based on comments
received, if we were to adopt a policy to include documentation of the
PTA/OTA minutes and total time (TT) minutes, the CQ/CO modifier
explanation could read similar to the following: ``Code 97162 (TT = 30
minutes): CQ/CO modifier not applied--PTA/OTA minutes (3) did not
exceed the 10 percent standard.''
To recap, under our proposed policy, therapists or therapy
assistants would apply the therapy assistant modifiers to the timed
codes by first following the usual process to identify all procedure
codes for the 15-minute timed services furnished to a beneficiary on
the date of service, add up all the minutes of the timed codes
furnished to the beneficiary on the date of service, decide how many
total units of timed services are billable for the beneficiary on the
date of service (based on time ranges in the chart in the manual), and
assign billable units to each billable procedure code. The therapist or
therapy assistant would then need to decide for each billed procedure
code whether or not the therapy assistant modifiers apply.
As previously explained, the CQ/CO modifier does not apply if all
units of a procedure code were furnished entirely by the therapist;
and, where all units of the procedure code were furnished entirely by
the PTA/OTA, the appropriate CQ/CO modifier would apply. When some
portion of the billed procedure code is furnished by the PTA/OTA, the
therapist or therapy assistant would need to look at the total minutes
for all the billed units of the service, and compare it to the minutes
of the service furnished by the PTA/OTA as described above in order to
decide whether the 10 percent de minimis standard is exceeded. If the
minutes of the service furnished by the PTA/OTA are more than 10
percent of the total minutes of the service, the therapist or therapy
assistant would assign the appropriate CQ or CO modifier. We would make
clarifying technical changes to chapter 5, section 20.2 of the MCPM to
reflect the policies adopted through in this rulemaking related to the
application or non-application of the therapy assistant modifiers. We
anticipate that we will add examples to illustrate when the applicable
therapy assistant modifiers must be applied, similar to the examples
provided below.
We are providing the following examples of clinical scenarios to
illustrate how the 10 percent de minimis standard would be applied
under our proposals when therapists and their assistants work together
concurrently or separately to treat the same patient on the same day.
These examples reflect how the therapist or therapy provider would
decide whether the CQ or CO therapy assistant modifier should be
included when billing for one or more service units of the 15-minute
timed codes. In the following scenarios, ``PT'' is used to represent
physical therapist and ``OT'' is used to refer to an occupational
therapist for ease of reference; and, the services of the PTA/OTA are
assumed to be therapeutic in nature, and not services that a technician
or aide without the education and training of a PTA/OTA could provide.
Scenario One: Where only one service, described by a
single HCPCS code defined in 15-minute increments, is furnished in a
treatment day:
(1) The PT/OT and PTA/OTA each separately, that is individually and
exclusively, furnish minutes of the same therapeutic exercise service
(HCPCS code 97110) in different time frames: The PT/OT furnishes 7
minutes and the PTA furnishes 7 minutes for a total of 14 minutes, one
unit can be billed using the total time minute range of at least 8
minutes and up to 22 minutes.
Billing Example: One 15-minute unit of HCPCS code 97110 is reported
on the claim with the CQ/CO modifier to signal that the time of the
service furnished by the PTA/OTA (7 minutes) exceeded 10 percent of the
14-minute total service time (1.4 minutes rounded to 1 minute, so the
modifier would apply if the PTA/OTA had furnished 2 or more minutes of
the service).
(2) The PT/OT and PTA/OTA each separately, exclusive of the other,
furnish minutes of the same therapeutic exercise service (HCPCS code
97110) in different time frames: The PT/OT furnishes 20 minutes and the
PTA/OTA furnishes 25 minutes for a total of 45 minutes, three units can
be billed using the total time minute range of at least 38 minutes and
up to 52 minutes.
Billing Example: All three units of CPT code 97110 are reported on
the claim with the corresponding CQ/CO modifier because the 25 minutes
[[Page 40563]]
furnished by the PTA/OTA exceeds 10 percent of the 45-minute total
service time (4.5 minutes rounded to 5 minutes, so the modifier would
apply if the PTA/OTA had furnished 6 or more minutes of the service).
(3) The PTA/OTA works concurrently with the respective PT/OT as a
team to furnish the same neuromuscular reeducation service (HCPCS code
97112) for a 30-minute session, resulting in 2 billable units of the
service (at least 23 minutes and up to 37 minutes).
Billing Example: Both units of HCPCS code 97112 are reported with
the appropriate CQ or CO modifier because the service time furnished by
the PTA/OTA (30 minutes) exceeded 10 percent of the 30-minute total
service time (3 minutes, so the modifier would apply if the PTA/OTA had
furnished 4 or more minutes of the service).
Scenario Two: When services that are represented by
different procedure codes are furnished. Follow our current policy to
identify the procedure codes to bill and the units to bill for the
service(s) provided for the most time. We propose that when the PT/OT
and the PTA/OTA each independently furnish a service defined by a
different procedure code for the same number of minutes, for example 10
minutes, for a total time of 20 minutes, qualifying for 1 unit to be
billed (at least 8 minutes up to 23 minutes), the code for the service
furnished by the PT/OT is selected to break the tie--one unit of that
service would be billed without the CQ/CO modifier.
(1) When only one unit of a service can be billed (requires a
minimum of 8 minutes but less than 23 minutes):
(a) The PT/OT independently furnishes 15 minutes of manual therapy
(HCPCS code 97140) and the PTA/OTA independently furnishes 7 minutes of
therapeutic exercise (HCPCS code 97110). One unit of HCPCS code 97140
can be billed (at least 8 minutes and up to 22 minutes).
Billing Example: One unit of HCPCS code 97140 is billed without the
CQ/CO modifier because the PT/OT exclusively (without the PTA/OTA)
furnished a full unit of a service defined by 15-minute time interval
(current instructions require ``1'' unit to be reported). The 7 minutes
of a different service delivered solely by the PTA/OTA do not result in
a billable service. Both services, though, are documented in the
medical record, noting which services were furnished by the PT/OT or
PTA/OTA; and, the 7 minutes of HCPCS code 97110 would be included in
the total minutes of timed codes that are considered when identifying
the procedure codes and units of each that can be billed on the claim.
(b) If instead, the PT/OT independently furnished 7 minutes of CPT
code 97140 and the PTA/OTA independently furnished a full 15-minutes of
CPT code 97110, one unit of CPT code 97110 is billed and the CQ/CO
modifier is applied; the 7 minutes of the PT/OT service (CPT code
97140) do not result in billable service, but all the minutes are
documented and included in the total minutes of the timed codes that
are considered when identifying the procedure codes and units of each
that can be billed on the claim.
(c) If the PT/OT and PTA/OTA each independently furnish an equal
number of minutes of CPT codes 97140 and 97110, respectively, that is
less than the full 15-minute mark, and the total minutes of the timed
codes qualify for billing one unit of a service, the code furnished by
the PT/OT would be selected to break the tie and billed without a CQ/CO
modifier because the PT/OT furnished that service independently of the
PTA/OTA.
If instead the PT/OT furnishes an 8-minute service (CPT code 97140)
and the PTA/OTA delivers a 13-minute service (CPT code 97110), one unit
of the 13-minute PTA/OTA-delivered service (CPT code 97110) would be
billed consistent with our current policy to bill the service with the
greater time; and the service would be billed with a CQ/CO modifier
because the PTA/OTA furnished the service independently.
(2) When two or more units can be billed (requires a minimum of 23
minutes), follow current instructions for billing procedure codes and
units for each timed code.
(a) The PT/OT furnishes 20 minutes of neuromuscular reeducation
(CPT code 97112) and the PTA/OTA furnishes 8 minutes of therapeutic
exercise (CPT code 97110) for a total of 28 minutes, which permits two
units of the timed codes to be billed (at least 23 minutes and up to 37
minutes).
Billing Example: Following our usual process for billing for the
procedure codes and units based on services furnished with the most
minutes, one unit of each procedure code would be billed--one unit of
CPT code 97112 is billed without a CQ/CO modifier and one unit of CPT
code 97110 is billed with a CQ/CO modifier. This is because, under our
current policy, the two billable units of timed codes are allocated
among procedure codes by assigning the first 15 minutes of service to
code 97112 (the code with the highest number of minutes), which leaves
another 13 minutes of timed services: 5 minutes of code 97112 (20 minus
15) and 8 minutes of code 97110. Since the 8 minutes of code 97110 is
greater than the remaining 5 minutes of code 97112, the second billable
unit of service would be assigned to 97110. The CQ/CO modifier would
not apply to CPT code 97112 because the therapist furnished all minutes
of that service independently. The CQ/CO modifier would apply to CPT
code 97110 because the PTA/OTA furnished all minutes of that service
independently.
(b) The PT/OT furnishes 32 minutes of neuromuscular reeducation
(CPT code 97112), the PT/OT and the PTA/OTA each separately furnish 12
minutes and 14 minutes, respectively, of therapeutic exercise (CPT code
97110) for a total of 26 minutes, and the PTA/OTA independently
furnishes 12 minutes of self-care (CPT code 97535) for a total of 70
minutes of timed code services, permitting five units to be billed (68-
82 minutes). Under our current policy, the five billable units would be
assigned as follows: Two units to CPT code 97112, two units to CPT code
97110, and one unit to CPT code 97535.
Billing Example: The two units of CPT code 97112 would be billed
without a CQ/CO modifier because all 32 minutes of that service were
furnished independently by the PT/OT. The two units of CPT code 97110
would be billed with the CQ/CO modifier because the PTA/OTA's 14
minutes of the service are greater than 10 percent of the 26 total
minutes of the service (2.6 minutes which is rounded to 3 minutes, so
the modifiers would apply if the PTA/OTA furnished 4 or more minutes of
the service), and the one unit of CPT code 97535 would be billed with a
CQ/CO modifier because the PTA/OTA independently furnished all minutes
of that service.
(c) The PT/OT independently furnishes 12 minutes of neuromuscular
reeducation activities (CPT code 97112) and the PTA/OTA independently
furnishes 8 minutes of self-care activities (CPT code 97535) and 7
minutes of therapeutic exercise (CPT code 97110)--the total treatment
time of 27 minutes allows for two units of service to be billed (at
least 23 minutes and up to 37 minutes). Under our current policy, the
two billable units would be assigned as follows: One unit of CPT code
97112 and one unit of CPT code 97535.
Billing Example: The one unit of HCPCS code 97112 would be billed
without the CQ/CO modifier because it was furnished independently by
the PT/OT; and, the one unit of CPT code 97535 is billed with the CQ/CO
modifier because it was independently furnished
[[Page 40564]]
by the PTA/OTA. In this example, CPT code 97110 is not billable;
however, the minutes for all three codes are documented and counted
toward the total time of the timed code services furnished to the
patient on the date of service.
(d) The PT/OT furnishes 15 minutes of each of two services
described by CPT codes 97112 and 97535, and is assisted by the PTA/OTA
who furnishes 3 minutes of each service concurrently with the PT/OT.
The total time of 30 minutes allows two 15-minute units to be billed--
one unit each of CPT code 97112 and CPT code 97535.
Billing Example: Both CPT codes 97112 and 97535 are billed with the
applicable CQ/CO modifier because the time the PTA/OTA spent assisting
the PT/OT for each service exceeds 10 percent of the 15-minute total
time for each service (1.5 minutes which is rounded to 2 minutes, so
that the modifiers apply if the PTA/OTA furnishes 3 or more minutes of
the service).
c. Proposed Regulatory Provisions
In accordance with section 1834(v)(2)(B) of the Act, we are
proposing to amend Sec. Sec. 410.59(a)(4) and 410.60(a)(4) for
outpatient physical and occupational therapy services, respectively,
and Sec. 410.105(d) for physical and occupational therapy services
furnished by comprehensive outpatient rehabilitation facilities (CORFs)
as authorized under section 1861(cc) of the Act, to establish as a
condition of payment that claims for services furnished in whole or in
part by an OTA or PTA must include a prescribed modifier; and that
services will not be considered furnished in part by an OTA or PTA
unless they exceed 10 percent of the total minutes for that service,
beginning for services furnished on and after January 1, 2020. To
implement section 1834(v)(1) of the Act, we are proposing to amend
Sec. Sec. 410.59(a)(4) and 410.60(a)(4) for outpatient physical and
occupational therapy services, respectively, and at Sec. 410.105(d)
for physical and occupational therapy services furnished by CORFs to
specify that claims from physical and occupational therapists in
private practice paid under section 1848 of the Act and from providers
paid under section 1834(k) of the Act for physical therapy and
occupational therapy services that contain a therapy assistant
modifier, are paid at 85 percent of the otherwise applicable payment
amount for the service for dates of service on and after January 1,
2022. As specified in the CY 2019 PFS final rule, we also note that the
CQ or CO modifier is to be applied alongside the corresponding GP or GO
therapy modifier that is required on each claim line of service for
physical therapy or occupational therapy services. Beginning for dates
of service and after January 1, 2020, claims missing the corresponding
GP or GO therapy modifier will be rejected/returned to the therapist or
therapy provider so they can be corrected and resubmitted for
processing.
As discussed in the CY 2019 PFS proposed and final rules (see 83 FR
35850 and 83 FR 59654), we established that the reduced payment rate
under section 1834(v)(1) of the Act for the outpatient therapy services
furnished in whole or in part by therapy assistants is not applicable
to outpatient therapy services furnished by CAHs, for which payment is
made under section 1834(g) of the Act. We would like to take this
opportunity to clarify that we do not interpret section 1834(v) of the
Act to apply to outpatient physical therapy or occupational therapy
services furnished by CAHs, or by other providers for which payment for
outpatient therapy services is not made under section 1834(k) of the
Act based on the PFS rates.
N. Valuation of Specific Codes
1. Background: Process for Valuing New, Revised, and Potentially
Misvalued Codes
Establishing valuations for newly created and revised CPT codes is
a routine part of maintaining the PFS. Since the inception of the PFS,
it has also been a priority to revalue services regularly to make sure
that the payment rates reflect the changing trends in the practice of
medicine and current prices for inputs used in the PE calculations.
Initially, this was accomplished primarily through the 5-year review
process, which resulted in revised work RVUs for CY 1997, CY 2002, CY
2007, and CY 2012, and revised PE RVUs in CY 2001, CY 2006, and CY
2011, and revised MP RVUs in CY 2010 and CY 2015. Under the 5-year
review process, revisions in RVUs were proposed and finalized via
rulemaking. In addition to the 5-year reviews, beginning with CY 2009,
CMS and the RUC identified a number of potentially misvalued codes each
year using various identification screens, as discussed in section
II.E. of this proposed rule, Potentially Misvalued Services under the
PFS. Historically, when we received RUC recommendations, our process
had been to establish interim final RVUs for the potentially misvalued
codes, new codes, and any other codes for which there were coding
changes in the final rule with comment period for a year. Then, during
the 60-day period following the publication of the final rule with
comment period, we accepted public comment about those valuations. For
services furnished during the calendar year following the publication
of interim final rates, we paid for services based upon the interim
final values established in the final rule. In the final rule with
comment period for the subsequent year, we considered and responded to
public comments received on the interim final values, and typically
made any appropriate adjustments and finalized those values.
In the CY 2015 PFS final rule with comment period (79 FR 67547), we
finalized a new process for establishing values for new, revised and
potentially misvalued codes. Under the new process, we include proposed
values for these services in the proposed rule, rather than
establishing them as interim final in the final rule with comment
period. Beginning with the CY 2017 PFS proposed rule (81 FR 46162), the
new process was applicable to all codes, except for new codes that
describe truly new services. For CY 2017, we proposed new values in the
CY 2017 PFS proposed rule for the vast majority of new, revised, and
potentially misvalued codes for which we received complete RUC
recommendations by February 10, 2016. To complete the transition to
this new process, for codes for which we established interim final
values in the CY 2016 PFS final rule with comment period (81 FR 80170),
we reviewed the comments received during the 60-day public comment
period following release of the CY 2016 PFS final rule with comment
period (80 FR 70886), and reproposed values for those codes in the CY
2017 PFS proposed rule.
We considered public comments received during the 60-day public
comment period for the proposed rule before establishing final values
in the CY 2017 PFS final rule. As part of our established process, we
will adopt interim final values only in the case of wholly new services
for which there are no predecessor codes or values and for which we do
not receive recommendations in time to propose values.
As part of our obligation to establish RVUs for the PFS, we
thoroughly review and consider available information including
recommendations and supporting information from the RUC, the Health
Care Professionals Advisory Committee (HCPAC), public commenters,
medical literature, Medicare claims data, comparative databases,
comparison with other codes
[[Page 40565]]
within the PFS, as well as consultation with other physicians and
healthcare professionals within CMS and the federal government as part
of our process for establishing valuations. Where we concur that the
RUC's recommendations, or recommendations from other commenters, are
reasonable and appropriate and are consistent with the time and
intensity paradigm of physician work, we propose those values as
recommended. Additionally, we continually engage with stakeholders,
including the RUC, with regard to our approach for accurately valuing
codes, and as we prioritize our obligation to value new, revised, and
potentially misvalued codes. We continue to welcome feedback from all
interested parties regarding valuation of services for consideration
through our rulemaking process.
2. Methodology for Establishing Work RVUs
For each code identified in this section, we conduct a review that
included the current work RVU (if any), RUC-recommended work RVU,
intensity, time to furnish the preservice, intraservice, and
postservice activities, as well as other components of the service that
contribute to the value. Our reviews of recommended work RVUs and time
inputs generally include, but have not been limited to, a review of
information provided by the RUC, the HCPAC, and other public
commenters, medical literature, and comparative databases, as well as a
comparison with other codes within the PFS, consultation with other
physicians and health care professionals within CMS and the federal
government, as well as Medicare claims data. We also assess the
methodology and data used to develop the recommendations submitted to
us by the RUC and other public commenters and the rationale for the
recommendations. In the CY 2011 PFS final rule with comment period (75
FR 73328 through 73329), we discussed a variety of methodologies and
approaches used to develop work RVUs, including survey data, building
blocks, crosswalks to key reference or similar codes, and magnitude
estimation (see the CY 2011 PFS final rule with comment period (75 FR
73328 through 73329) for more information). When referring to a survey,
unless otherwise noted, we mean the surveys conducted by specialty
societies as part of the formal RUC process.
Components that we use in the building block approach may include
preservice, intraservice, or postservice time and post-procedure
visits. When referring to a bundled CPT code, the building block
components could include the CPT codes that make up the bundled code
and the inputs associated with those codes. We use the building block
methodology to construct, or deconstruct, the work RVU for a CPT code
based on component pieces of the code. Magnitude estimation refers to a
methodology for valuing work that determines the appropriate work RVU
for a service by gauging the total amount of work for that service
relative to the work for a similar service across the PFS without
explicitly valuing the components of that work. In addition to these
methodologies, we frequently utilize an incremental methodology in
which we value a code based upon its incremental difference between
another code and another family of codes. The statute specifically
defines the work component as the resources in time and intensity
required in furnishing the service. Also, the published literature on
valuing work has recognized the key role of time in overall work. For
particular codes, we refine the work RVUs in direct proportion to the
changes in the best information regarding the time resources involved
in furnishing particular services, either considering the total time or
the intraservice time.
Several years ago, to aid in the development of preservice time
recommendations for new and revised CPT codes, the RUC created
standardized preservice time packages. The packages include preservice
evaluation time, preservice positioning time, and preservice scrub,
dress and wait time. Currently, there are preservice time packages for
services typically furnished in the facility setting (for example,
preservice time packages reflecting the different combinations of
straightforward or difficult procedure, and straightforward or
difficult patient). Currently, there are three preservice time packages
for services typically furnished in the nonfacility setting.
We developed several standard building block methodologies to value
services appropriately when they have common billing patterns. In cases
where a service is typically furnished to a beneficiary on the same day
as an evaluation and management (E/M) service, we believe that there is
overlap between the two services in some of the activities furnished
during the preservice evaluation and postservice time. Our longstanding
adjustments have reflected a broad assumption that at least one-third
of the work time in both the preservice evaluation and postservice
period is duplicative of work furnished during the E/M visit.
Accordingly, in cases where we believe that the RUC has not
adequately accounted for the overlapping activities in the recommended
work RVU and/or times, we adjust the work RVU and/or times to account
for the overlap. The work RVU for a service is the product of the time
involved in furnishing the service multiplied by the intensity of the
work. Preservice evaluation time and postservice time both have a long-
established intensity of work per unit of time (IWPUT) of 0.0224, which
means that 1 minute of preservice evaluation or postservice time
equates to 0.0224 of a work RVU.
Therefore, in many cases when we remove 2 minutes of preservice
time and 2 minutes of postservice time from a procedure to account for
the overlap with the same day E/M service, we also remove a work RVU of
0.09 (4 minutes x 0.0224 IWPUT) if we do not believe the overlap in
time had already been accounted for in the work RVU. The RUC has
recognized this valuation policy and, in many cases, now addresses the
overlap in time and work when a service is typically furnished on the
same day as an E/M service.
The following paragraphs contain a general discussion of our
approach to reviewing RUC recommendations and developing proposed
values for specific codes. When they exist we also include a summary of
stakeholder reactions to our approach. We note that many commenters and
stakeholders have expressed concerns over the years with our ongoing
adjustment of work RVUs based on changes in the best information we had
regarding the time resources involved in furnishing individual
services. We have been particularly concerned with the RUC's and
various specialty societies' objections to our approach given the
significance of their recommendations to our process for valuing
services and since much of the information we used to make the
adjustments is derived from their survey process. We are obligated
under the statute to consider both time and intensity in establishing
work RVUs for PFS services. As explained in the CY 2016 PFS final rule
with comment period (80 FR 70933), we recognize that adjusting work
RVUs for changes in time is not always a straightforward process, so we
have applied various methodologies to identify several potential work
values for individual codes.
We have observed that for many codes reviewed by the RUC,
recommended work RVUs have appeared to be incongruous with recommended
assumptions regarding the resource costs in time. This has been the
case for
[[Page 40566]]
a significant portion of codes for which we recently established or
proposed work RVUs that are based on refinements to the RUC-recommended
values. When we have adjusted work RVUs to account for significant
changes in time, we have started by looking at the change in the time
in the context of the RUC-recommended work RVU. When the recommended
work RVUs do not appear to account for significant changes in time, we
have employed the different approaches to identify potential values
that reconcile the recommended work RVUs with the recommended time
values. Many of these methodologies, such as survey data, building
block, crosswalks to key reference or similar codes, and magnitude
estimation have long been used in developing work RVUs under the PFS.
In addition to these, we sometimes use the relationship between the old
time values and the new time values for particular services to identify
alternative work RVUs based on changes in time components.
In so doing, rather than ignoring the RUC-recommended value, we
have used the recommended values as a starting reference and then
applied one of these several methodologies to account for the
reductions in time that we believe were not otherwise reflected in the
RUC-recommended value. If we believe that such changes in time are
already accounted for in the RUC's recommendation, then we do not make
such adjustments. Likewise, we do not arbitrarily apply time ratios to
current work RVUs to calculate proposed work RVUs. We use the ratios to
identify potential work RVUs and consider these work RVUs as potential
options relative to the values developed through other options.
We do not imply that the decrease in time as reflected in survey
values should always equate to a one-to-one or linear decrease in newly
valued work RVUs. Instead, we believe that, since the two components of
work are time and intensity, absent an obvious or explicitly stated
rationale for why the relative intensity of a given procedure has
increased, significant decreases in time should be reflected in
decreases to work RVUs. If the RUC's recommendation has appeared to
disregard or dismiss the changes in time, without a persuasive
explanation of why such a change should not be accounted for in the
overall work of the service, then we have generally used one of the
aforementioned methodologies to identify potential work RVUs, including
the methodologies intended to account for the changes in the resources
involved in furnishing the procedure.
Several stakeholders, including the RUC, have expressed general
objections to our use of these methodologies and deemed our actions in
adjusting the recommended work RVUs as inappropriate; other
stakeholders have also expressed general concerns with CMS refinements
to RUC-recommended values in general. In the CY 2017 PFS final rule (81
FR 80272 through 80277), we responded in detail to several comments
that we received regarding this issue. In the CY 2017 PFS proposed rule
(81 FR 46162), we requested comments regarding potential alternatives
to making adjustments that would recognize overall estimates of work in
the context of changes in the resource of time for particular services;
however, we did not receive any specific potential alternatives. As
described earlier in this section, crosswalks to key reference or
similar codes are one of the many methodological approaches we have
employed to identify potential values that reconcile the RUC-recommend
work RVUs with the recommended time values when the RUC-recommended
work RVUs did not appear to account for significant changes in time. In
response to comments in the CY 2019 PFS final rule (83 FR 59515), we
clarify that terms ``reference services'', ``key reference services'',
and ``crosswalks'' as described by the commenters are part of the RUC's
process for code valuation. These are not terms that we created, and we
do not agree that we necessarily must employ them in the identical
fashion for the purposes of discussing our valuation of individual
services that come up for review. However, in the interest of
minimizing confusion and providing clear language to facilitate
stakeholder feedback, we will seek to limit the use of the term,
``crosswalk,'' to those cases where we are making a comparison to a CPT
code with the identical work RVU.
We look forward to continuing to engage with stakeholders and
commenters, including the RUC, as we prioritize our obligation to value
new, revised, and potentially misvalued codes; and will continue to
welcome feedback from all interested parties regarding valuation of
services for consideration through our rulemaking process. We refer
readers to the detailed discussion in this section of the proposed
valuation considered for specific codes. Table 20 contains a list of
codes and descriptors for which we are proposing work RVUs; this
includes all codes for which we received RUC recommendations by
February 10, 2019. The proposed work RVUs, work time and other payment
information for all CY 2020 payable codes are available on the CMS
website under downloads for the CY 2020 PFS proposed rule at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/PhysicianFeeSched/).
3. Methodology for the Direct PE Inputs To Develop PE RVUs
a. Background
On an annual basis, the RUC provides us with recommendations
regarding PE inputs for new, revised, and potentially misvalued codes.
We review the RUC-recommended direct PE inputs on a code by code basis.
Like our review of recommended work RVUs, our review of recommended
direct PE inputs generally includes, but is not limited to, a review of
information provided by the RUC, HCPAC, and other public commenters,
medical literature, and comparative databases, as well as a comparison
with other codes within the PFS, and consultation with physicians and
health care professionals within CMS and the federal government, as
well as Medicare claims data. We also assess the methodology and data
used to develop the recommendations submitted to us by the RUC and
other public commenters and the rationale for the recommendations. When
we determine that the RUC's recommendations appropriately estimate the
direct PE inputs (clinical labor, disposable supplies, and medical
equipment) required for the typical service, are consistent with the
principles of relativity, and reflect our payment policies, we use
those direct PE inputs to value a service. If not, we refine the
recommended PE inputs to better reflect our estimate of the PE
resources required for the service. We also confirm whether CPT codes
should have facility and/or nonfacility direct PE inputs and refine the
inputs accordingly.
Our review and refinement of the RUC-recommended direct PE inputs
includes many refinements that are common across codes, as well as
refinements that are specific to particular services. Table 21 details
our proposed refinements of the RUC's direct PE recommendations at the
code-specific level. In section II.B. of this proposed rule,
Determination of Practice Expense Relative Value Units (PE RVUs), we
address certain proposed refinements that would be common across codes.
Proposed refinements to particular codes are addressed in the portions
of this section that are dedicated to particular codes. We note
[[Page 40567]]
that for each refinement, we indicate the impact on direct costs for
that service. We note that, on average, in any case where the impact on
the direct cost for a particular refinement is $0.35 or less, the
refinement has no impact on the PE RVUs. This calculation considers
both the impact on the direct portion of the PE RVU, as well as the
impact on the indirect allocator for the average service. We also note
that approximately half of the refinements listed in Table 21 result in
changes under the $0.35 threshold and are unlikely to result in a
change to the RVUs.
We also note that the proposed direct PE inputs for CY 2020 are
displayed in the CY 2020 direct PE input files, available on the CMS
website under the downloads for the CY 2020 PFS proposed rule at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/PhysicianFeeSched/PFS-Federal-Regulation-Notices.html. The inputs
displayed there have been used in developing the proposed CY 2020 PE
RVUs as displayed in Addendum B.
b. Common Refinements
(1) Changes in Work Time
Some direct PE inputs are directly affected by revisions in work
time. Specifically, changes in the intraservice portions of the work
time and changes in the number or level of postoperative visits
associated with the global periods result in corresponding changes to
direct PE inputs. The direct PE input recommendations generally
correspond to the work time values associated with services. We believe
that inadvertent discrepancies between work time values and direct PE
inputs should be refined or adjusted in the establishment of proposed
direct PE inputs to resolve the discrepancies.
(2) Equipment Time
Prior to CY 2010, the RUC did not generally provide CMS with
recommendations regarding equipment time inputs. In CY 2010, in the
interest of ensuring the greatest possible degree of accuracy in
allocating equipment minutes, we requested that the RUC provide
equipment times along with the other direct PE recommendations, and we
provided the RUC with general guidelines regarding appropriate
equipment time inputs. We appreciate the RUC's willingness to provide
us with these additional inputs as part of its PE recommendations.
In general, the equipment time inputs correspond to the service
period portion of the clinical labor times. We clarified this principle
over several years of rulemaking, indicating that we consider equipment
time as the time within the intraservice period when a clinician is
using the piece of equipment plus any additional time that the piece of
equipment is not available for use for another patient due to its use
during the designated procedure. For those services for which we
allocate cleaning time to portable equipment items, because the
portable equipment does not need to be cleaned in the room where the
service is furnished, we do not include that cleaning time for the
remaining equipment items, as those items and the room are both
available for use for other patients during that time. In addition,
when a piece of equipment is typically used during follow-up
postoperative visits included in the global period for a service, the
equipment time would also reflect that use.
We believe that certain highly technical pieces of equipment and
equipment rooms are less likely to be used during all of the preservice
or postservice tasks performed by clinical labor staff on the day of
the procedure (the clinical labor service period) and are typically
available for other patients even when one member of the clinical staff
may be occupied with a preservice or postservice task related to the
procedure. We also note that we believe these same assumptions would
apply to inexpensive equipment items that are used in conjunction with
and located in a room with non-portable highly technical equipment
items since any items in the room in question would be available if the
room is not being occupied by a particular patient. For additional
information, we refer readers to our discussion of these issues in the
CY 2012 PFS final rule with comment period (76 FR 73182) and the CY
2015 PFS final rule with comment period (79 FR 67639).
(3) Standard Tasks and Minutes for Clinical Labor Tasks
In general, the preservice, intraservice, and postservice clinical
labor minutes associated with clinical labor inputs in the direct PE
input database reflect the sum of particular tasks described in the
information that accompanies the RUC-recommended direct PE inputs,
commonly called the ``PE worksheets.'' For most of these described
tasks, there is a standardized number of minutes, depending on the type
of procedure, its typical setting, its global period, and the other
procedures with which it is typically reported. The RUC sometimes
recommends a number of minutes either greater than or less than the
time typically allotted for certain tasks. In those cases, we review
the deviations from the standards and any rationale provided for the
deviations. When we do not accept the RUC-recommended exceptions, we
refine the proposed direct PE inputs to conform to the standard times
for those tasks. In addition, in cases when a service is typically
billed with an E/M service, we remove the preservice clinical labor
tasks to avoid duplicative inputs and to reflect the resource costs of
furnishing the typical service.
We refer readers to section II.B. of this proposed rule,
Determination of Practice Expense Relative Value Units (PE RVUs), for
more information regarding the collaborative work of CMS and the RUC in
improvements in standardizing clinical labor tasks.
(4) Recommended Items That Are Not Direct PE Inputs
In some cases, the PE worksheets included with the RUC's
recommendations include items that are not clinical labor, disposable
supplies, or medical equipment or that cannot be allocated to
individual services or patients. We addressed these kinds of
recommendations in previous rulemaking (78 FR 74242), and we do not use
items included in these recommendations as direct PE inputs in the
calculation of PE RVUs.
(5) New Supply and Equipment Items
The RUC generally recommends the use of supply and equipment items
that already exist in the direct PE input database for new, revised,
and potentially misvalued codes. However, some recommendations include
supply or equipment items that are not currently in the direct PE input
database. In these cases, the RUC has historically recommended that a
new item be created and has facilitated our pricing of that item by
working with the specialty societies to provide us copies of sales
invoices. For CY 2020, we received invoices for several new supply and
equipment items. Tables 22 and 23 detail the invoices received for new
and existing items in the direct PE database. As discussed in section
II.B. of this proposed rule, Determination of Practice Expense Relative
Value Units, we encouraged stakeholders to review the prices associated
with these new and existing items to determine whether these prices
appear to be accurate. Where prices appear inaccurate, we encouraged
stakeholders to submit invoices or other information to improve the
accuracy of pricing for these items in the direct PE database by
February 10th of the following year for consideration in future
rulemaking, similar to our process for consideration of RUC
recommendations.
[[Page 40568]]
We remind stakeholders that due to the relativity inherent in the
development of RVUs, reductions in existing prices for any items in the
direct PE database increase the pool of direct PE RVUs available to all
other PFS services. Tables 22 and 23 also include the number of
invoices received and the number of nonfacility allowed services for
procedures that use these equipment items. We provide the nonfacility
allowed services so that stakeholders will note the impact the
particular price might have on PE relativity, as well as to identify
items that are used frequently, since we believe that stakeholders are
more likely to have better pricing information for items used more
frequently. A single invoice may not be reflective of typical costs and
we encourage stakeholders to provide additional invoices so that we
might identify and use accurate prices in the development of PE RVUs.
In some cases, we do not use the price listed on the invoice that
accompanies the recommendation because we identify publicly available
alternative prices or information that suggests a different price is
more accurate. In these cases, we include this in the discussion of
these codes. In other cases, we cannot adequately price a newly
recommended item due to inadequate information. Sometimes, no
supporting information regarding the price of the item has been
included in the recommendation. In other cases, the supporting
information does not demonstrate that the item has been purchased at
the listed price (for example, vendor price quotes instead of paid
invoices). In cases where the information provided on the item allows
us to identify clinically appropriate proxy items, we might use
existing items as proxies for the newly recommended items. In other
cases, we included the item in the direct PE input database without any
associated price. Although including the item without an associated
price means that the item does not contribute to the calculation of the
final PE RVU for particular services, it facilitates our ability to
incorporate a price once we obtain information and are able to do so.
(6) Service Period Clinical Labor Time in the Facility Setting
Generally speaking, our direct PE inputs do not include clinical
labor minutes assigned to the service period because the cost of
clinical labor during the service period for a procedure in the
facility setting is not considered a resource cost to the practitioner
since Medicare makes separate payment to the facility for these costs.
We address proposed code-specific refinements to clinical labor in the
individual code sections.
(7) Procedures Subject to the Multiple Procedure Payment Reduction
(MPPR) and the OPPS Cap
We note that the public use files for the PFS proposed and final
rules for each year display the services subject to the MPPR for
diagnostic cardiovascular services, diagnostic imaging services,
diagnostic ophthalmology services, and therapy services. We also
include a list of procedures that meet the definition of imaging under
section 1848(b)(4)(B) of the Act, and therefore, are subject to the
OPPS cap for the upcoming calendar year. The public use files for CY
2020 are available on the CMS website under downloads for the CY 2020
PFS proposed rule at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/PhysicianFeeSched/PFS-Federal-Regulation-Notices.html.
For more information regarding the history of the MPPR policy, we refer
readers to the CY 2014 PFS final rule with comment period (78 FR 74261
through 74263). For more information regarding the history of the OPPS
cap, we refer readers to the CY 2007 PFS final rule with comment period
(71 FR 69659 through 69662).
4. Proposed Valuation of Specific Codes for CY 2020
(1) Tissue Grafting Procedures (CPT Codes 15X00, 15X01, 15X02, 15X03,
and 15X04)
CPT code 20926 (Tissue grafts, other (e.g., paratenon, fat,
dermis)), was identified through a review of services with anomalous
sites of service when compared to Medicare utilization data. The CPT
Editorial Panel subsequently replaced CPT code 20926 with five codes in
the Integumentary section to better describe tissue grafting
procedures.
We are proposing the RUC-recommended work RVUs of 6.68 for CPT code
15X00 (Grafting of autologous soft tissue, other, harvested by direct
excision (e.g., fat, dermis, fascia)), 6.73 for CPT code 15X01
(grafting of autologous fat harvested by liposuction technique to
trunk, breasts, scalp, arms, and/or legs; 50cc or less injectate), 2.50
for CPT code 15X02 (grafting of autologous fat harvested by liposuction
technique to trunk, breasts, scalp, arms, and/or legs; each additional
50cc injectate, or part thereof (list separately in addition to code
for primary procedure)), 6.83 for CPT code 15X03 (grafting of
autologous fat harvested by liposuction technique to face, eyelids,
mouth, neck, ears, orbits, genitalia, hands, and/or feet; 25cc or less
injectate), and 2.41 for CPT code 15X04 (grafting of autologous fat
harvested by liposuction technique to face, eyelids, mouth, neck, ears,
orbits, genitalia, hands, and/or feet; each additional 25cc injectate,
or part thereof (list separately in addition to code for primary
procedure)).
We are proposing the RUC-recommended direct PE inputs for this code
family without refinement.
(2) Drug Delivery Implant Procedures (CPT Codes 11981, 11982, 11983,
206X0, 206X1, 206X2, 206X3, 206X4, and 206X5)
CPT codes 11980-11983 were identified as potentially misvalued
since the majority specialty found in recent claims data differs from
the two specialties that originally surveyed the codes. The current
valuation of CPT code 11980 (Subcutaneous hormone pellet implantation
(implantation of estradiol and/or testosterone pellets beneath the
skin)) was reaffirmed by the RUC as the physician work had not changed
since the last review. The CPT Editorial Panel revised the other three
existing codes in the family and created six additional add-on codes to
describe orthopaedic drug delivery. These codes were surveyed and
reviewed for the October 2018 RUC meeting.
CPT code 11980 (Subcutaneous hormone pellet implantation
(implantation of estradiol and/or testosterone pellets beneath the
skin)) with the current work value of 1.10 RVUs and 12 minutes of
intraservice time, and 27 minutes of total time, was determined to be
unchanged since last reviewed and was recommended by the RUC to be
maintained. We concur. We also are not proposing any direct PE
refinements to CPT code 11980. CPT code 11981 (Insertion, non-
biodegradable drug delivery implant) has a current work RVU of 1.48,
with 39 minutes of total physician time. The specialty society survey
recommended a work RVU of 1.30, with 31 minutes of total physician time
and 5 minutes of intraservice time. The RUC recommended a work RVU of
1.30 (25th percentile), with 30 minutes of total physician time and 5
minutes of intraservice time. For comparable reference CPT codes to CPT
code 11981, the RUC and the survey respondents had selected CPT code
55876 (Placement of interstitial device(s) for radiation therapy
guidance (e.g., fiducial markers, dosimeter), prostate (via needle, any
approach), single or multiple (work RVU = 1.73, 20 minutes intraservice
time and 59 total minutes)) and CPT code 57500 (Biopsy of cervix,
[[Page 40569]]
single or multiple, or local excision of lesion, with or without
fulguration (separate procedure) (work RVU = 1.20, 15 minutes
intraservice time and 29 total minutes)). The RUC further offers for
comparison, CPT code 67515 (Injection of medication or other substance
into Tenon's capsule (work RVU = 1.40 (from CY 2018), 5 minutes
intraservice time and 21 minutes total time)), CPT code 12013 (Simple
repair of superficial wounds of face, ears, eyelids, nose, lips and/or
mucous membranes; 2.6 cm to 5.0 cm (work RVU = 1.22 and 27 total
minutes)) and CPT code 12004 (Simple repair of superficial wounds of
scalp, neck, axillae, external genitalia, trunk and/or extremities
(including hands and feet); 7.6 cm to 12.5 cm) (work RVU = 1.44 and 29
total minutes)). In addition, we offer CPT code 67500 (Injection of
medication into cavity behind eye) (work RVU = 1.18 and 5 minutes
intraservice time and 33 total minutes) for reference. Given that the
CPT code 11981 incurs a 23 percent reduction in the new total physician
time and with reference to CPT code 67500, we are proposing a work RVU
of 1.14, and accept the survey recommended 5 minutes for intraservice
time and 30 minutes of total time. We are not proposing any direct PE
refinements to CPT code 11981.
CPT code 11982 (Removal, non-biodegradable drug delivery implant)
has a current work RVU of 1.78, with 44 minutes of total physician
time. The specialty society survey recommended a work RVU of 1.70 RVU,
with 10 minutes of intraservice time and 34 minutes of total physician
time. The RUC also recommended a work RVU of 1.70, with 10 minutes of
intraservice time and 33 minutes of total physician time. The RUC
confirmed that removal (CPT code 11982), requires more intraservice
time to perform than the insertion (CPT code 11981). For comparable
reference codes to CPT code 11982, the RUC and the survey respondents
had selected CPT code 54150 (Circumcision, using clamp or other device
with regional dorsal penile or ring block) (work RVU = 1.90, 15 minutes
intraservice time and 45 total minutes)) and CPT code 12004 (Simple
repair of superficial wounds of scalp, neck, axillae, external
genitalia, trunk and/or extremities (including hands and feet); 7.6 cm
to 12.5 cm) (work RVU = 1.44, with 17 minutes intraservice time and 29
minutes total time)). We offer CPT code 64486 (Injections of local
anesthetic for pain control and abdominal wall analgesia on one side)
(work RVU = 1.27, 10 minutes intraservice time and 35 total minutes))
for reference. Given that the CPT code 11982 incurs a 25 percent
reduction in the new total physician time and with reference to CPT
code 64486, we are proposing a work RVU of 1.34, and accept the RUC-
recommended 10 minutes for intraservice time and 33 minutes of total
time. We are not proposing any direct PE refinements to CPT code 11982.
CPT code 11983 (Removal with reinsertion, non-biodegradable drug
delivery implant) has a current work RVU of 3.30, with 69 minutes of
total physician time. The specialty society survey recommended a work
RVU of 2.50 RVU, with 15 minutes of intraservice time and 41 minutes of
total physician time. The RUC also recommended a work RVU of 2.10, with
15 minutes of intraservice time and 40 minutes of total physician time.
The RUC confirmed that CPT code 11983 requires more intraservice time
to perform than the insertion CPT code 11981. For comparable reference
codes to CPT code 11983, the RUC and the survey respondents had
selected CPT code 55700 (Biopsy, prostate; needle or punch, single or
multiple, any approach) (work RVU = 2.50, 15 minutes intraservice time
and 35 total minutes)), CPT code 54150 (Circumcision, using clamp or
other device with regional dorsal penile or ring block) (work RVU =
1.90, 15 minutes intraservice time and 45 total minutes)) and CPT code
52281 (Cystourethroscopy, with calibration and/or dilation of urethral
stricture or stenosis, with or without meatotomy, with or without
injection procedure for cystography, male or female) (work RVU = 2.75
and 20 minutes intraservice time and 46 minutes total time)). We offer
CPT code 62324 (Insertion of indwelling catheter and administration of
substance into spinal canal of upper or middle back) (work RVU = 1.89,
15 minutes intraservice time and 43 total minutes)) for reference.
Given that the CPT code 11983 incurs a 42 percent reduction in new
total physician time and with reference to CPT code 62324, we are
proposing a work RVU of 1.91, and accept the RUC-recommended 15 minutes
for intraservice time and 40 minutes of total time. We are not
proposing any direct PE refinements to CPT code 11983.
The new proposed add-on CPT codes 206X0-206X5 are intended to be
typically reported with CPT codes 11981-11983, with debridement or
arthrotomy procedures done primarily by orthopedic surgeons. The
specialty society's survey for CPT code 206X0 (Manual preparation and
insertion of drug delivery device(s), deep (e.g., subfascial)) found a
2.00 work RVU value at the median and a 1.50 work RVU value at the 25th
percentile, with 20 minutes of intraservice time and 30 minutes of
total physician time, for the preparation of the antibiotic powder and
cement, rolled into beads and threaded onto suture for insertion into
the infected bone. The RUC recommended a work RVU of 1.50, with 20
minutes of intraservice time and 27 minutes of total physician time.
The RUC's reference CPT codes included CPT code 11047 (Debridement,
bone (includes epidermis, dermis, subcutaneous tissue, muscle and/or
fascia, if performed); each additional 20 sq cm, or part thereof) (work
RVU = 1.80, and 30 minutes intraservice time)), CPT codes 64484
(Injection(s), anesthetic agent and/or steroid, transforaminal
epidural, with imaging guidance (fluoroscopy or CT); lumbar or sacral,
each additional level) (work RVU = 1.00 and 10 minutes intraservice
time)), and CPT code 36227 (Selective catheter placement, external
carotid artery, unilateral, with angiography of the ipsilateral
external carotid circulation and all associated radiological
supervision and interpretation) (work RVU = 2.09 and 20 minutes
intraservice time)). Our review of similar add-on CPT codes yielded CPT
code 64634 (Destruction of upper or middle spinal facet joint nerves
with imaging guidance) (work RVU = 1.32 and 20 minutes intraservice
time)). We are proposing for CPT code 206X0, a work RVU of 1.32, and
accept the RUC-recommended 20 minutes of intraservice time and 20
minutes of total time.
The specialty society's survey for CPT code 206X1 (Manual
preparation and insertion of drug delivery device(s), intramedullary)
found a 3.25 work RVU value at the median and a 2.50 work RVU value at
the 25th percentile, with 25 minutes of intraservice time and 38
minutes of total physician time, for the preparation of the
``antibiotic nail'' ready for insertion into the intramedullary canal
with fluoroscopic guidance. The RUC recommended a work RVU of 2.50,
with 25 minutes of intraservice time and 32 minutes of total physician
time. The RUC's reference CPT codes included CPT code 11047
(Debridement, bone (includes epidermis, dermis, subcutaneous tissue,
muscle and/or fascia, if performed); each additional 20 sq cm, or part
thereof) (work RVU = 1.80, and 30 minutes intraservice time)), CPT code
57267 (Insertion of mesh or other prosthesis for repair of pelvic floor
defect, each site (anterior, posterior compartment), vaginal approach
(work
[[Page 40570]]
RVU = 4.88 and 45 minutes intraservice time)), and CPT code 36227
(Selective catheter placement, external carotid artery, unilateral,
with angiography of the ipsilateral external carotid circulation and
all associated radiological supervision and interpretation (work RVU =
2.09 and 15 minutes intraservice time)). We find that the reference CPT
code 11047, with 30 minutes of intraservice time, is suitable, but we
adjust our proposed work RVU of 1.70 to account for the 25 minutes,
instead of our reference code's 30 minutes of intraservice time (and
the 32 minutes of total time), for CPT code 206X1.
The specialty society's survey for CPT code 206X2 (Manual
preparation and insertion of drug delivery device(s), intra-articular)
found a 4.00 work RVU value at the median and a 2.60 work RVU value at
the 25th percentile, with 30 minutes of intraservice time and 45
minutes of total physician time, for the preparation of the antibiotic
cement inserted into a pre-fabricated silicone mold, when after setting
up, will be cemented to the end of the bone (with the joint). The RUC
recommended a work RVU of 2.60, with 30 minutes of intraservice time
and 37 minutes of total physician time. The RUC's reference CPT codes
included CPT code 11047 (Debridement, bone (includes epidermis, dermis,
subcutaneous tissue, muscle and/or fascia, if performed); each
additional 20 sq cm, or part thereof (work RVU = 1.80, and 30 minutes
intraservice time)), CPT code 57267 (Insertion of mesh or other
prosthesis for repair of pelvic floor defect, each site (anterior,
posterior compartment), vaginal approach (work RVU = 4.88 and 45
minutes intraservice time)), and CPT code 36227 (Selective catheter
placement, external carotid artery, unilateral, with angiography of the
ipsilateral external carotid circulation and all associated
radiological supervision and interpretation (work RVU = 2.09 and 20
minutes intraservice time)). We find that the reference CPT code 11047,
with 30 minutes of intraservice time, is a suitable guide and we are
proposing the work RVU of 1.80 with the RUC-recommended 30 minutes of
intraservice time and 37 minutes of total time, for CPT code 206X2.
The specialty society's survey for CPT code 206X3 (Removal of drug
delivery device(s), deep (e.g., subfascial)) found a 1.75 work RVU
value at the median and a 1.13 work RVU value at the 25th percentile,
with 15 minutes of intraservice time and 18 minutes of total physician
time. The work includes a marginal dissection to expose the drug
delivery device and to remove it. The RUC recommended a work RVU of
1.13, with 18 minutes of total physician time and 15 minutes of
intraservice time. The RUC's reference CPT codes included CPT code
11047 (Debridement, bone (includes epidermis, dermis, subcutaneous
tissue, muscle and/or fascia, if performed); each additional 20 sq cm,
or part thereof (work RVU = 1.80, and 30 minutes intraservice time)),
CPT code 64484 (Injection(s), anesthetic agent and/or steroid,
transforaminal epidural, with imaging guidance (fluoroscopy or CT);
lumbar or sacral, each additional level (work RVU = 1.00 and 10 minutes
intraservice time)), and CPT code 64480 (Injection(s), anesthetic agent
and/or steroid, transforaminal epidural, with imaging guidance
(fluoroscopy or CT); cervical or thoracic, each additional level (work
RVU = 1.20 and 15 minutes intraservice time)). We are proposing the
RUC-recommended work RVU of 1.13 with 15 minutes of intraservice time
and 18 minutes of total time for 206X3.
The specialty society's survey for CPT code 206X4 (Removal of drug
delivery device(s), intramedullary) found a 2.50 work RVU value at the
median and a 1.80 work RVU value at the 25th percentile, with 20
minutes of intraservice time and 28 minutes of total physician time.
The work includes a marginal dissection, in addition to what was in the
base procedure, to loosen and expose the drug delivery device and to
remove it, any remaining drug delivery device shards that may have
broken off. The RUC recommended a work RVU of 1.80, with 20 minutes of
intraservice time and 23 minutes of total physician time. The RUC's
reference CPT codes included CPT code 11047 (Debridement, bone
(includes epidermis, dermis, subcutaneous tissue, muscle and/or fascia,
if performed); each additional 20 sq cm, or part thereof (work RVU =
1.80, and 30 minutes intraservice time)), CPT codes 37253
(Intravascular ultrasound (noncoronary vessel) during diagnostic
evaluation and/or therapeutic intervention, including radiological
supervision and interpretation; each additional noncoronary vessel
(work RVU = 1.44 and 20 minutes intraservice time)), and CPT code 36227
(Selective catheter placement, external carotid artery, unilateral,
with angiography of the ipsilateral external carotid circulation and
all associated radiological supervision and interpretation (work RVU =
2.09 and 15 minutes intraservice time)). We are proposing the RUC-
recommended work RVU of 1.80 with 20 minutes of intraservice time and
23 minutes of total time for 206X4.
The specialty society's survey for CPT code 206X5 (Removal of drug
delivery device(s), intra-articular) found a 3.30 work RVU value at the
median and a 2.15 work RVU value at the 25th percentile, with 25
minutes of intraservice time and 28 minutes of total physician time.
The work includes the removal of the intra-articular drug delivery
device that is cemented to both sides of the joint without removing too
much bone in the process. The RUC recommended a work RVU of 2.15, with
25 minutes of intraservice time and 28 minutes of total physician time.
The RUC's reference CPT codes included CPT code 11047 (Debridement,
bone (includes epidermis, dermis, subcutaneous tissue, muscle and/or
fascia, if performed); each additional 20 sq cm, or part thereof (work
RVU = 1.80, and 30 minutes intraservice time)), CPT code 36476
(Endovenous ablation therapy of incompetent vein, extremity, inclusive
of all imaging guidance and monitoring, percutaneous, radiofrequency;
subsequent vein(s) treated in a single extremity, each through separate
access sites (work RVU = 2.65 and 30 minutes intraservice time)), and
CPT code 36227 (Selective catheter placement, external carotid artery,
unilateral, with angiography of the ipsilateral external carotid
circulation and all associated radiological supervision and
interpretation (work RVU = 2.09 and 15 minutes intraservice time)). We
are proposing the RUC-recommended work RVU of 2.15 with 25 minutes of
intraservice time and 28 minutes of total time for 206X5.
(3) Bone Biopsy Trocar-Needle (CPT Codes 20220 and 20225)
In October 2017, CPT code 20225 (Biopsy, bone, trocar, or needle;
deep (e.g., vertebral body, femur)) was identified as being performed
by a different specialty than the one that originally surveyed this
service. CPT code 20220 (Biopsy, bone, trocar, or needle; superficial
(e.g., ilium, sternum, spinous process, ribs)) was added as part of the
family, and both codes were surveyed and reviewed for the January 2019
RUC meeting.
We disagree with the RUC-recommended work RVU of 1.93 for CPT code
20220 and we are proposing a work RVU of 1.65 based on a crosswalk to
CPT code 47000 (Biopsy of liver, needle; percutaneous). CPT code 47000
shares the same intraservice time of 20 minutes with CPT code 20220 and
has slightly higher total time at 55 minutes as compared to 50 minutes.
It
[[Page 40571]]
is also one of the top reference codes selected by the survey
respondents. In our review of CPT code 20220, we noted that the
recommended intraservice time is decreasing from 22 minutes to 20
minutes (9 percent reduction), and that the recommended total time is
increasing from 49 minutes to 50 minutes (2 percent increase). However,
the RUC-recommended work RVU is increasing from 1.27 to 1.93, which is
an increase of 52 percent. Although we do not imply that the decrease
in time as reflected in survey values must equate to a one-to-one or
linear decrease in the valuation of work RVUs, we believe that since
the two components of work are time and intensity, changes in surveyed
work time should be appropriately reflected in the proposed work RVUs.
In the case of CPT code 20220, we believe that it would be more
accurate to propose a work RVU of 1.65, based on a crosswalk to CPT
code 47000, to account for the decrease in the surveyed intraservice
work time. We believe that the work carried out by the practitioner in
CPT code 47000 is potentially more intense than the work performed in
CPT code 20220, as the reviewed code is a superficial bone biopsy as
opposed to the non-superficial biopsy taking place on an internal organ
(the liver) described by CPT code 47000. We also note that the survey
respondents considered CPT code 47000 to have similar intensity to CPT
code 20220: 50 percent or more of the survey respondents rated the two
codes as ``identical'' under the categories of Mental Effort and
Judgment, Physical Effort Required, and Psychological Stress, along
with a plurality of survey respondents rating the two codes as
identical in the category of Technical Skill Required. We believe that
this provides further support for our belief that CPT code 20220 should
be crosswalked to CPT code 47000 at the same work RVU of 1.65.
We disagree with the RUC-recommended work RVU of 3.00 for CPT code
20225 and we are proposing a work RVU of 2.45 based on a crosswalk to
CPT code 30906 (Control nasal hemorrhage, posterior, with posterior
nasal packs and/or cautery, any method; subsequent). CPT code 30906
shares the same intraservice time of 30 minutes and has 1 fewer minute
of total time as compared to CPT code 20225. When reviewing this code,
we observed a pattern similar to what we had seen with CPT code 20220.
We note that the recommended intraservice time for CPT code 20225 is
decreasing from 60 minutes to 30 minutes (50 percent reduction), and
the recommended total time is decreasing from 135 minutes to 64 minutes
(53 percent reduction); however, the RUC-recommended work RVU is
increasing from 1.87 to 3.00, which is an increase of about 60 percent.
As we noted earlier, we do not believe that the decrease in time as
reflected in survey values must equate to a one-to-one or linear
decrease in the valuation of work RVUs, and we are not proposing a
linear decrease in the work valuation based on these time ratios.
Indeed, we agree with the RUC recommendation that the work RVU of CPT
code 20225 should increase over the current valuation. However, we
believe that since the two components of work are time and intensity,
significant decreases in time should be appropriately reflected in
changes to the work RVUs, and we do not believe that it would be
accurate to propose the recommended work RVU of 3.00 given the
significant decreases in surveyed work time.
Instead, we believe that it would be more accurate to propose a
work RVU of 2.45 for CPT code 20225 based on a crosswalk to CPT code
30906. We note that this proposed work RVU is a very close match to the
intraservice time ratio between the two codes in the family; we are
proposing a work RVU of 1.65 for CPT code 20220 with 20 minutes of
intraservice work time, and a work RVU of 2.45 for CPT code 20225 with
30 minutes of intraservice work time. (The exact intraservice time
ratio calculates to a work RVU of 2.47.) We believe that the proposed
work RVUs maintain the relative intensity of the two codes in the
family, and better preserve relativity with the rest of the codes on
the PFS.
For the direct PE inputs, we are proposing to replace the bone
biopsy device (SF055) supply with the bone biopsy needle (SC077) in CPT
code 20225. We note that this code currently makes use of the bone
biopsy needle, and there was no rationale provided in the recommended
materials to explain why it would now be typical for the bone biopsy
needle to be replaced by the bone biopsy device. We are proposing to
maintain the use of the current supply item. We are also proposing to
adopt a 90 percent utilization rate for the use of the CT room (EL007)
equipment in CPT code 20225. We previously finalized a policy in the CY
2010 PFS final rule (74 FR 61754 through 61755) to increase the
equipment utilization rate to 90 percent for expensive diagnostic
equipment priced at more than $1 million, and specifically cited the
use of CT and MRI equipment which would be subject to this utilization
rate.
(4) Trigger Point Dry Needling (CPT Codes 205X1 and 205X2)
For CY 2020, the CPT Editorial Panel approved two new codes to
report dry needling of musculature trigger points. These codes were
surveyed and reviewed by the HCPAC for the January 2019 RUC meeting.
We disagree with the HCPAC-recommended work RVU of 0.45 for CPT
code 205X1 (Needle insertion(s) without injection(s), 1 or 2 muscle(s))
and we are proposing a work RVU of 0.32 based on a crosswalk to CPT
code 36600 (Arterial puncture, withdrawal of blood for diagnosis). CPT
code 36600 shares the identical intraservice time, total time, and
intensity with CPT code 205X1, which makes it an appropriate choice for
a crosswalk. In our review of CPT code 205X1, we compared the procedure
to the top reference code chosen by the survey participants, CPT code
97140 (Manual therapy techniques (e.g., mobilization/manipulation,
manual lymphatic drainage, manual traction), 1 or more regions, each 15
minutes). This therapy procedure has 50 percent more intraservice time
than CPT code 205X1, as well as higher total time; however, the
recommended work RVU of 0.45 was higher than the work RVU of 0.43 for
the top reference code from the survey. We did not agree that CPT code
205X1 should be valued at a higher rate, and therefore, we are
proposing a work RVU of 0.32 based on the aforementioned crosswalk to
CPT code 36600.
We disagree with the HCPAC-recommended work RVU of 0.60 for CPT
code 205X2 (Needle insertion(s) without injection(s), 3 or more
muscle(s)) and we are proposing a work RVU of 0.48 based on a crosswalk
to CPT codes 97113 (Therapeutic procedure, 1 or more areas, each 15
minutes; aquatic therapy with therapeutic exercises) and 97542
(Wheelchair management (e.g., assessment, fitting, training), each 15
minutes). Both of these codes share the same work RVU of 0.48 and the
same intraservice time of 15 minutes as CPT code 205X2, with CPT code
97113 having two fewer minutes of total time and CPT code 97542 having
two additional minutes of total time. We note that this proposed work
RVU is an exact match of the intraservice time ratio between the two
codes in the family; we are proposing a work RVU of 0.32 for CPT code
205X1 with 10 minutes of intraservice work time, and a work RVU of 0.48
for CPT code 205X2 with 15 minutes of intraservice work time. We also
considered crosswalking the work RVU of CPT code 205X2 to the
[[Page 40572]]
top reference code from the survey, CPT code 97140, at a work RVU of
0.43. However, we chose to employ the crosswalk to CPT codes 97113 and
97542 at a work RVU of 0.48 instead, due to the fact that the survey
respondents indicated that CPT code 205X2 was more intense than CPT
code 97140.
We are also proposing to designate CPT codes 205X1 and 205X2 as
``always therapy'' procedures, and we are soliciting comments on this
designation. We are proposing the RUC-recommended direct PE inputs for
all codes in the family.
(5) Closed Treatment Vertebral Fracture (CPT Code 22310)
This service was identified through a screen of services with a
negative IWPUT and Medicare utilization over 10,000 for all services or
over 1,000 for Harvard valued and CMS/Other source codes.
For CPT code 22310 (Closed treatment of vertebral body fracture(s),
without manipulation, requiring and including casting or bracing), we
disagree with the recommended work RVU of 3.75 because we do not
believe that this reduction in work RVU from the current value of 3.89
is commensurate with the RUC-recommended a 33-minute reduction in
intraservice time and a 105-minute reduction in total time. While we
understand that the RUC considers the current Harvard study time values
for this service to be invalid estimations, we believe that a further
reduction in work RVUs is warranted given the significance of the RUC-
recommended reduction in physician time. We believe that it would be
more accurate to propose a work RVU of 3.45 with a crosswalk to CPT
code 21073 (Manipulation of temporomandibular joint(s) (TMJ),
therapeutic, requiring an anesthesia service (i.e., general or
monitored anesthesia care)), which has an identical intraservice time
and similar total time as those proposed by the RUC for CPT code 22310,
as we believe that this better accounts for the decrease in the
surveyed work time.
For the direct PE inputs, we are proposing to refine the equipment
time for the power table (EF031) to conform to our established standard
for non-highly technical equipment.
(6) Tendon Sheath Procedures (CPT Codes 26020, 26055, and 26160)
The RUC identified these services through a screen of services with
a negative IWPUT and Medicare utilization over 10,000 for all services
or over 1,000 for Harvard valued and CMS/Other source codes. For CPT
code 26020 (Drainage of tendon sheath, digit and/or palm, each), we do
not agree with the RUC-recommended work RVU of 7.79 based on the survey
median. While we agree that the survey data validate an increase in
work RVU, we see no compelling reason that this service would be
significantly more intense to furnish than services of similar time
values. Therefore, we are proposing a work RVU of 6.84 which is the
survey 25th percentile. As further support for this value, we note that
it falls between the work RVUs of CPT code 28122 (Partial excision
(craterization, saucerization, sequestrectomy, or diaphysectomy) bone
(e.g., osteomyelitis or bossing); tarsal or metatarsal bone, except
talus or calcaneus), with a work RVU of 6.76, and CPT code 28289
(Hallux rigidus correction with cheilectomy, debridement and capsular
release of the first metatarsophalangeal joint; without implant), with
a work RVU of 6.90; both codes have intraservice time values that are
identical to, and total time values that are similar to, the RUC-
recommended time values for CPT code 26020.
For CPT code 26055 (Tendon sheath incision (e.g., for trigger
finger)), we do not agree with the RUC recommendation to increase the
work RVU to 3.75 despite a reduction in physician time. Instead, we are
proposing to maintain the current work RVU of 3.11; we are supporting
this based on a total time increment methodology between the CPT code
26020 and CPT code 26055. The total time ratio between the recommended
time of 119 minutes and the recommended 262 minutes for code 26020
equals 45 percent, and 45 percent of our proposed RVU of 6.84 for CPT
code 26020 equals a work RVU of 3.10, which we believe validates the
current work RVU of 3.11. We are proposing the RUC-recommended work RVU
of 3.57 for CPT code 26160 (Excision of lesion of tendon sheath or
joint capsule (e.g., cyst, mucous cyst, or ganglion), hand or finger).
We note that our proposed work RVUs validate the RUC's contention that
CPT code 26160 is slightly more intense to perform than CPT code 26055.
For the direct PE inputs, we are proposing to refine the quantity
of the impervious staff gown (SB027) supply from 2 to 1 for CPT codes
26055 and 26160. We believe that the second impervious staff gown
supply is duplicative due to the inclusion of this same supply in the
surgical cleaning pack (SA043). The recommended materials state that a
gown is worn by the practitioner and one assistant, which are provided
by one standalone gown and a second gown in the surgical cleaning pack.
(7) Closed Treatment Fracture--Hip (CPT Code 27220)
This service was identified through a screen of services with a
negative IWPUT and Medicare utilization over 10,000 for all services or
over 1,000 for Harvard valued and CMS/Other source codes. For CPT code
27220 (Closed treatment of acetabulum (hip socket) fracture(s); without
manipulation), we disagree with the RUC-recommended work RVU of 6.00
based on the survey median value, because we do not believe that this
reduction in work RVU from the current value of 6.83 is commensurate
with the RUC-recommended a 19-minute reduction in intraservice time and
an 80-minute reduction in total time. While we understand that the RUC
considers the current Harvard study time values for this service to be
invalid estimations, we believe that a further reduction in work RVUs
is warranted given the significance of the RUC-recommended reduction in
physician time. We believe that it would be more accurate to propose
the survey 25th percentile work RVU of 5.50, and we are supporting this
value with a crosswalk to CPT code 27267 (Closed treatment of femoral
fracture, proximal end, head; without manipulation) to account for the
decrease in the surveyed work time.
For the direct PE inputs, we are proposing to refine the equipment
time for the power table (EF031) to conform to our established standard
for non-highly technical equipment.
(8) Arthrodesis--Sacroliliac Joint (CPT Code 27279)
In the CY 2018 PFS final rule (82 FR 53017), CPT code 27279
(Arthrodesis, sacroiliac joint, percutaneous or minimally invasive
(indirect visualization), with image guidance, includes obtaining bone
graft when performed, and placement of transfixing device) was
nominated for review by stakeholders as a potentially misvalued
service. We stated that CPT code 27279 is potentially misvalued, and
that a comprehensive review of the code values was warranted. This code
was subsequently reviewed by the RUC. According to the specialty
societies, the previous 2014 survey of CPT code 27279, was based on
flawed methodology that resulted in an underestimation of
intraoperative intensity. When CPT code 27279 was surveyed in 2014,
there was a low rate of response. Due to the dearth of survey data and
the RUC's agreement with the specialty society at the time that the
[[Page 40573]]
survey respondents had somewhat overvalued the work involved in
performing this service, the RUC used a crosswalk to CPT code 62287
(Decompression procedure, percutaneous, of nucleus pulposus of
intervertebral disc, any method utilizing needle based technique to
remove disc material under fluoroscopic imaging or other form of
indirect visualization, with discography and/or epidural injection(s)
at the treated level(s), when performed, single or multiple levels,
lumbar) to recommend a work RVU of 9.03. The specialty societies
indicated that with increased and broader utilization of this
technique, the 2018 survey is a more robust assessment of physician
work and intensity and provides more data with which to make a
crosswalk recommendation. According to the RUC, there is no compelling
evidence that the physician work, intensity or complexity has changed
for this service.
We are proposing to maintain the current work RVU of 9.03 as
recommended by the RUC. A stakeholder stated that maintaining this RVU
would constitute the continued undervaluation of this service, and that
this would incentivize use of a more intensive and invasive procedure,
CPT code 27280 (Arthrodesis, open, sacroiliac joint, including
obtaining bone graft, including instrumentation, when performed), as
well as incentivize this service to be inappropriately furnished on an
inpatient basis. This stakeholder has requested that, in the interest
of protecting patient access, we implement payment parity between the
two services by proposing to crosswalk the work RVU of CPT code 27279
to that of CPT code 27280, which has a work RVU of 20.00. While we are
proposing the RUC-recommended work RVU, we are soliciting public
comment on whether an alternative valuation of 20.00 would be more
appropriate. This alternative valuation would recognize relative parity
between these two services in terms of the work inherent in furnishing
them.
We are proposing the RUC-recommended direct PE inputs for CPT code
27279.
(9) Pericardiocentesis and Pericardial Drainage (CPT Code 3X000, 3X001,
3X002, and 3X003)
CPT code 33015 (Tube pericardiostomy) was identified as potentially
misvalued on a Relativity Assessment Workgroup (RAW) screen of codes
with a negative IWPUT and Medicare utilization over 10,000 for all
services or over 1,000 for Harvard valued and CMS or other source
codes. In September 2018, the CPT Editorial Panel deleted four existing
codes and created four new codes to describe periodcardiocentesis
drainage procedures to differentiate by age and to include imaging
guidance.
We are proposing to refine the work RVU for all four codes in the
family. We disagree with the RUC-recommended work RVU of 5.00 for CPT
code 3X000 (Pericardiocentesis, including imaging guidance, when
performed) and are proposing a work RVU of 4.40 based on a crosswalk to
CPT code 43244 (Esophagogastroduodenoscopy, flexible, transoral; with
band ligation of esophageal/gastric varices). CPT code 43244 shares the
same intraservice time of 30 minutes with CPT code 3X000 and has a
slightly longer total time of 81 minutes as compared to 75 minutes for
the reviewed code. In our review of CPT code 3X000, we noted that the
recommended intraservice time as compared to the current initial
pericardiocentesis procedure (CPT code 33010) is increasing from 24
minutes to 30 minutes (25 percent), and the recommended total time is
remaining the same at 75 minutes; however, the RUC-recommended work RVU
is increasing from 1.99 to 5.00, which is an increase of 151 percent.
Although we did not imply that the decrease in time as reflected in
survey values must equate to a one-to-one or linear increase in the
valuation of work RVUs, we believe that since the two components of
work are time and intensity, modest increases in time should be
appropriately reflected with a commensurate increase the work RVUs. We
also conducted a search in the RUC database among 0-day global codes
with 30 minutes of intraservice time and comparable total time of 65-85
minutes. Our search identified 49 codes and all 49 of these codes had a
work RVU lower than 5.00. We do not believe that it would serve the
interests of relativity to establish a new maximum work RVU for this
range of time values.
As a result, we believe that it is more accurate to propose a work
RVU of 4.40 for CPT code 3X000 based on a crosswalk to CPT code 43244
to account for these modest increases in the surveyed work time as
compared to the predecessor pericardiocentesis codes. We are aware that
CPT code 3X000 is bundling imaging guidance into the new procedure,
which was not included in the previous pericardiocentesis codes.
However, we do not believe that the recoding of the services in this
family has resulted in an increase in their intensity, only a change in
the way in which they will be reported, and therefore, we do not
believe that it would serve the interests of relativity to propose the
RUC-recommended work values for all of the codes in this family. We
also note that, through the bundling of some of these frequently
reported services, it is reasonable to expect that the new coding
system will achieve savings via elimination of duplicative assumptions
of the resources involved in furnishing particular servicers. For
example, a practitioner would not be carrying out the full preservice
work twice for CPT codes 33010 and 76930, but preservice times were
assigned to both codes under the old coding. We believe the new coding
assigns more accurate work times, and thus, reflects efficiencies in
resource costs that existed but were not reflected in the services as
they were previously reported. If the addition of imaging guidance had
made the new CPT codes significantly more intense to perform, we
believe that this would have been reflected in the surveyed work times,
which were largely unchanged from the predecessor codes.
We disagree with the RUC-recommended work RVU of 5.50 for CPT code
3X001 (Pericardial drainage with insertion of indwelling catheter,
percutaneous, including fluoroscopy and/or ultrasound guidance, when
performed; 6 years and older without congenital cardiac anomaly) and
are proposing a work RVU of 4.62 based on a crosswalk to CPT code 52234
(Cystourethroscopy, with fulguration (including cryosurgery or laser
surgery) and/or resection of; SMALL bladder tumor(s) (0.5 up to 2.0
cm)). CPT code 52234 shares the same intraservice time of 30 minutes
with CPT code 3X001 and has 2 additional minutes of total time at 79
minutes as compared to 77 minutes for the reviewed code. In our review
of CPT code 3X001, we noted many of the same issues that we had raised
with CPT code 3X000, in particular with the increase in the work RVU
greatly exceeding the increase in the surveyed work times as compared
to the predecessor pericardiocentesis codes. We searched the RUC
database again for 0-day global codes with 30 minutes of intraservice
time and comparable total time of 67-87 minutes. Our search identified
43 codes and again all 43 of these codes had a work RVU lower than
5.50. As we stated with regard to CPT code 3X000, we do not believe
that it would serve the interests of relativity to establish a new
maximum work RVU for this range of time values. We believe that it is
more accurate to propose a work RVU of 4.62 for CPT code 3X001 based on
a crosswalk to CPT code 52234 based on the same rationale that we
[[Page 40574]]
detailed with regards to CPT code 3X000.
We disagree with the RUC-recommended work RVU of 6.00 for CPT code
3X002 (Pericardial drainage with insertion of indwelling catheter,
percutaneous, including fluoroscopy and/or ultrasound guidance, when
performed; birth through 5 years of age, or any age with congenital
cardiac anomaly) and are proposing a work RVU of 5.00 based on the
survey 25th percentile value. In our review of CPT code 3X002, we noted
many of the same issues that we had raised with CPT codes 3X000 and
3X001, in particular with the increase in the work RVU greatly
exceeding the increase in the surveyed work times as compared to the
predecessor pericardiocentesis codes. The recommended work RVU of 6.00
was based on a crosswalk to CPT code 31603 (Tracheostomy, emergency
procedure; transtracheal), which shares the same intraservice time of
30 minutes with CPT code 3X002 and very similar total time. While we
agree that CPT code 31603 is a close match to the surveyed work times
for CPT code 3X002, we do not believe that it is the most accurate
choice for a crosswalk due to the fact that CPT code 31603 is a clear
outlier in work valuation. We searched for 0-day global codes in the
RUC database with 30 minutes of intraservice time and a comparable 90-
120 minutes of total time. There were 21 codes that met this criteria,
and the recommended crosswalk to CPT code 31603 had the highest work
RVU of any of these codes at the recommended 6.00. Furthermore, there
was only one other code with a work RVU above 5.00, another
tracheostomy procedure described by CPT code 31600 (Tracheostomy,
planned (separate procedure)) at a work RVU of 5.56. None of the other
codes had a work RVU higher than 4.69, and the median work RVU of the
group comes out to only 4.00. The two tracheostomy procedures have work
RVUs more than a full standard deviation above any of the other codes
in this group of 0-day global procedures.
We do not mean to suggest that the work RVU for a given service
must always fall in the middle of a range of codes with similar time
values. We recognize that it would not be appropriate to develop work
RVUs solely based on time given that intensity is also an element of
work. Were we to disregard intensity altogether, the work RVUs for all
services would be developed based solely on time values and that is
definitively not the case, as indicated by the many services that share
the same time values but have different work RVUs. However, we also do
not believe that it would serve the interests of relativity by
crosswalking the work RVU of CPT code 3X002 to tracheostomy procedures
that are higher than anything else in this group of codes, procedures
that we believe to be outliers due to the serious risk of patient
mortality associated with their performance. We believe that it is this
patient risk which is responsible for the otherwise anomalously high
intensity in CPT codes 31600 and 31603. Therefore, we are proposing a
work RVU of 5.00 for CPT code 3X002 based on the survey 25th
percentile, which we believe more accurately captures both the time and
intensity associated with the procedure.
We disagree with the RUC-recommended work RVU of 5.00 for CPT code
3X003 (Pericardial drainage with insertion of indwelling catheter,
percutaneous, including CT guidance) and are proposing a work RVU of
4.29 based on the survey 25th percentile value. In our review of CPT
code 3X003, we noted many of the same issues that we had raised with
CPT codes 3X000-3X002, in particular with the increase in the work RVU
greatly exceeding the increase in the surveyed work times as compared
to the predecessor pericardiocentesis codes. We searched for 0-day
global codes in the RUC database with 30 minutes of intraservice time
(slightly higher than the 28 minutes of intraservice time in CPT code
3X003) and a comparable 70-100 minutes of total time. Our search
identified 45 codes and again all 45 of these codes had a work RVU
lower than 5.00, which led us to believe that the recommended work RVU
for CPT code 3X003 was overvalued. We also compared CPT code 3X003 to
the most similar code in the family, CPT code 3X001, and noted that the
survey respondents indicated that CPT code 3X003 should have a lower
work RVU at both the survey 25th percentile and survey median values.
Therefore, we are proposing a work RVU of 4.29 for CPT code 3X003 based
on the survey 25th percentile value. We are supporting this proposal
with a reference to CPT code 31254 (Nasal/sinus endoscopy, surgical
with ethmoidectomy; partial (anterior)), a recently-reviewed code with
an intraservice work time of 30 minutes, a total time of 84 minutes,
and a work RVU of 4.27.
The RUC did not recommend and we are not proposing any direct PE
inputs for the codes in this family.
(10) Pericardiotomy (CPT Codes 33020 and 33025)
CPT code 33020 (Pericardiotomy for removal of clot or foreign body
(primary procedure)) was identified as potentially misvalued on a
Relativity Assessment Workgroup (RAW) screen of codes with a negative
IWPUT and Medicare utilization over 10,000 for all services or over
1,000 for Harvard valued and CMS or other source codes. The RAW
determined that CPT code 33020 should be surveyed for April 2018; CPT
code 33025 (Creation of pericardial window or partial resection for
drainage) was included for review as part of this code family.
We disagree with the RUC-recommended work RVU of 14.31 (25th
percentile survey value) for CPT code 33020 and are proposing a work
RVU of 12.95. Our proposed work RVU is based on a crosswalk to CPT code
58700 (Salpingectomy, complete or partial, unilateral or bilateral
(separate procedure)), which has an identical work RVU of 12.95,
identical 60 minutes intraservice time, and near identical total time
values as CPT code 33020.
In our review of CPT code 33020, we note that the RUC-recommended
intraservice time is decreasing from 85 minutes to 60 minutes (29
percent reduction), and that the RUC- recommended total time is
decreasing from 565 minutes to 321 minutes (43 percent reduction).
However, the RUC-recommended work RVU is only decreasing from 14.95 to
14.31, which is a reduction of less than 5 percent. Although we do not
imply that the decrease in time as reflected in survey values must
equate to a one-to-one or linear decrease in the valuation of work
RVUs, we believe that since the two components of work are time and
intensity, significant decreases in time should be appropriately
reflected in decreases to work RVUs. In the case of CPT code 33020, we
believe that it would be more accurate to propose a work RVU of 12.95,
based on a crosswalk to CPT code 58700 to account for these decreases
in surveyed work times.
For CPT code 33025, the RUC recommended a work RVU of 13.20 (survey
25th percentile value). Although we disagree with the RUC-recommended
work RVU of 13.20, based on RUC survey results and the time resources
involved in furnishing these two procedures we agree that the relative
difference in work RVUs between CPT codes 33020 and 33025 is equivalent
to the RUC-recommended incremental difference of 1.11 less work RVUs.
Therefore, we are proposing a work RVU of 11.84 based on a reference to
CPT code 34712 (Transcatheter delivery of enhanced fixation devices(s)
to the endograft (e.g., anchor, screw,
[[Page 40575]]
tack) and all associated radiological supervision and interpretation),
which has a work RVU of 12.00, identical intraservice time of 60
minutes, and similar total time as CPT code 33025.
In reviewing CPT code 33025, we note that the RUC-recommended
intraservice time is decreasing from 66 minutes to 60 minutes (9
percent reduction), and that the RUC-recommended total time is
decreasing from 410 minutes to 301 minutes (27 percent reduction).
However, the RUC-recommended work RVU is only decreasing from 13.70 to
13.20, which is a reduction of less than 5 percent. Although we do not
imply that the decrease in time as reflected in survey values must
equate to a one-to-one or linear decrease in the valuation of work
RVUs, we believe that since the two components of work are time and
intensity, significant decreases in time should be appropriately
reflected in decreases to work RVUs. In the case of CPT code 33025, we
believe that it would be more accurate to propose a work RVU of 11.84,
based on less the incremental difference of 1.11 work RVUs between CPT
codes 33020 and 33025 and a crosswalk to CPT code 34712 to account for
these decreases in surveyed work times.
We are proposing the RUC-recommended direct PE inputs for all the
codes in this family.
(11) Transcatheter Aortic Valve Replacement (TAVR) (CPT Codes 33361,
33362, 33363, 33364, 33365, and 33366)
In October 2016, the RUC's RAW reviewed codes that had been flagged
in the period from October 2011 to April 2012, using 3 years of
available Medicare claims data (2013, 2014 and preliminary 2015 data).
The RUC workgroup determined that the technology for these
transcatheter aortic valve replacement (TAVR) services was evolving, as
the typical site of service had shifted from being provided in academic
centers to private centers, and the RUC recommended that CPT codes
33361-33366 be resurveyed for physician work and practice expense.
These six codes were surveyed and reviewed at the April 2018 RUC
meeting using a survey methodology that reflected the unique nature of
these codes. CPT codes 33361-33366 are currently the only codes on the
PFS where the -62 co-surgeon modifier is required 100 percent of the
time.
We are proposing the RUC-recommended work RVU for all six of the
codes in this family. We are proposing a work RVU of 22.47 for CPT code
33361 (Transcatheter aortic valve replacement (TAVR/TAVI) with
prosthetic valve; percutaneous femoral artery approach), a work RVU of
24.54 for CPT code 33362 (Transcatheter aortic valve replacement (TAVR/
TAVI) with prosthetic valve; open femoral artery approach), a work RVU
of 25.47 for CPT code 33363 (Transcatheter aortic valve replacement
(TAVR/TAVI) with prosthetic valve; open axillary artery approach), a
work RVU of 25.97 for CPT code 33364 (Transcatheter aortic valve
replacement (TAVR/TAVI) with prosthetic valve; open iliac artery
approach), a work RVU of 26.59 for CPT code 33365 (Transcatheter aortic
valve replacement (TAVR/TAVI) with prosthetic valve; transaortic
approach (e.g., median sternotomy, mediastinotomy)), and a work RVU of
29.35 for CPT code 33366 (Transcatheter aortic valve replacement (TAVR/
TAVI) with prosthetic valve; transapical exposure (e.g., left
thoracotomy)).
Although we have some concerns that the RUC-recommended work RVUs
for these six codes do not match the decreases in surveyed work time,
we recognize that the technology described by the TAVR procedures is in
the process of being adopted by a much wider audience, and that there
will be greater intensity on the part of the practitioner when this
particular new technology is first being adopted. However, we intend to
continue examining whether these services are appropriately valued, in
light of the proposed national coverage determination proposing to use
TAVR for the treatment of symptomatic aortic valve stenosis that we
posted on March 26, 2019. We will also consider any further
improvements to the valuation of these services, as their use becomes
more commonplace, through future notice and comment rulemaking. The
text of the proposed national coverage determination is available on
the CMS website at https://www.cms.gov/medicare-coverage-database/details/nca-proposed-decision-memo.aspx?NCAId=293.
We are proposing the RUC-recommended direct PE inputs for all codes
in the family.
(12) Aortic Graft Procedures (CPT Codes 338XX, 338X1, 33863, 33864,
338X2, and 33866)
In 2017, CPT created a new add-on code, CPT code 33866 (Aortic
hemiarch graft including isolation and control of the arch vessels,
beveled open distal aortic anastomosis extending under one or more of
the arch vessels, and total circulatory arrest or isolated cerebral
perfusion (List separately in addition to code for primary procedure)).
For CY 2019, we finalized the RUC's recommended work RVU for this code
on an interim basis (83 FR 59528). CPT revised the code set to develop
distinct codes for ascending aortic repair for dissection and ascending
aortic repair for other ascending aortic disease such as aneurysms and
congenital anomalies, creating two new codes, as well as revaluating
the two other codes in the family.
For CPT code 338XX (Ascending aorta graft, with cardiopulmonary
bypass, includes valve suspension, when performed; for aortic
dissection), we disagree with the RUC-recommended work RVU of 65.00,
because the RUC is recommending an increase in work RVU that is not
commensurate with a reduction in physician time, and because we do not
believe that the RUC's recommendation that this service be increased to
a value that would place it among the highest valued of all services of
similar physician time is appropriate; we think a comparison to other
services of similar time indicates that the RUC's recommended increase
overstates the work. Instead, we are proposing to increase the work RVU
to 63.40 based on a crosswalk to CPT code 61697 (Surgery of complex
intracranial aneurysm, intracranial approach; carotid circulation). For
CPT code 338X1 (Ascending aorta graft, with cardiopulmonary bypass,
includes valve suspension, when performed; for aortic disease other
than dissection (e.g., aneurysm)), we disagree with the RUC-recommended
work RVU of 50.00, because we do not believe it adequately reflects the
recommended decrease in physician time, and because we do not believe
this service should be assigned a value that is among the highest of
all 90-day global services with similar physician time values. Instead,
we are proposing a work RVU of 45.13 based on a crosswalk to CPT code
33468 (Tricuspid valve repositioning and plication for Ebstein
anomaly), which is a code with an identical intraservice time and
similar total time value.
For CPT code 33863 (Ascending aorta graft, with cardiopulmonary
bypass, with aortic root replacement using valved conduit and coronary
reconstruction (e.g., Bentall)), according to the RUC, the survey
respondents underestimated the intraservice time of the procedure and
the RUC recommended a work RVU of 59.00 based on the 75th percentile of
survey responses for intraservice time. We believe the use of the
survey 75th percentile value to be problematic, as the intraservice
time values should generally reflect the survey median. We are
requesting that this code be
[[Page 40576]]
resurveyed to determine more accurate physician time values, and we are
proposing to maintain the current RVU of 58.79 for CY 2020. For CPT
code 33864 (Ascending aorta graft, with cardiopulmonary bypass with
valve suspension, with coronary reconstruction and valve-sparing aortic
root remodeling (e.g., David Procedure, Yacoub procedure)), we do not
agree with the RUC-recommended work RVU of 63.00, because we believe
this increase is not justified given that the intraservice time is not
changing from its current value, and the physician total time value is
decreasing. Therefore, we are proposing to maintain the current work
RVU of 60.08 for this service.
For CPT code 338X2 (Transverse aortic arch graft, with
cardiopulmonary bypass, with profound hypothermia, total circulatory
arrest and isolated cerebral perfusion with reimplantation of arch
vessel(s) (e.g., island pedicle or individual arch vessel
reimplantation)), we disagree with the RUC's recommended work RVU of
65.75. While we agree that an increase in work RVU is justified, as
discussed above, we believe that the use of the 75th percentile of
physician intraservice work time is problematic, and believe such a
significant increase in work RVU is not validated. Therefore, we are
proposing a less significant increase to 60.88 using the RUC-
recommended difference in work value between CPT code 338X1 and the
code in question, CPT code 338X2 (a difference of 15.75). As further
support for this value, we note that it falls between CPT codes 33782
(Aortic root translocation with ventricular septal defect and pulmonary
stenosis repair (i.e., Nikaidoh procedure); without coronary ostium
reimplantation), which has a work RVU of 60.08, and CPT code 43112
(Total or near total esophagectomy, with thoracotomy; with
pharyngogastrostomy or cervical esophagogastrostomy, with or without
pyloroplasty (i.e., McKeown esophagectomy or tri-incisional
esophagectomy)), which has a work RVU of 62.00. Both of these
bracketing reference codes have similar intraservice and total time
values. For CPT code 33X01 (Aortic hemiarch graft including isolation
and control of the arch vessels, beveled open distal aortic anastomosis
extending under one or more of the arch vessels, and total circulatory
arrest or isolated cerebral perfusion (List separately in addition to
code for primary procedure)), we are proposing the RUC-recommended work
RVU of 17.75.
For the direct PE inputs, we are proposing to refine the clinical
labor to align with the number of post-operative visits. Thus, we are
proposing to add 12 minutes of clinical labor time for ``Discharge day
management'' for CPT codes 338X1, 33863, 33864, and 338X2, as each of
these codes include a 99238 discharge visit within their global periods
that should be reflected in the clinical labor inputs.
(13) Iliac Branched Endograft Placement (CPT Codes 34X00 and 34X01)
For CY 2018, the CPT Editorial Panel created a family of 20 new and
revised codes that redefined coding for endovascular repair of the
aorta and iliac arteries. The iliac branched endograft technology has
become more mainstream over time, and two new CPT codes were created to
capture the work of iliac artery endovascular repair with an iliac
branched endograft. These two new codes were surveyed and reviewed for
the January 2019 RUC meeting.
We are proposing the RUC-recommended work RVU of 9.00 for CPT code
34X00 (Endovascular repair of iliac artery at the time of aorto-iliac
artery endograft placement by deployment of an iliac branched endograft
including pre-procedure sizing and device selection, all ipsilateral
selective iliac artery catheterization(s), all associated radiological
supervision and interpretation, and all endograft extension(s)
proximally to the aortic bifurcation and distally in the internal
iliac, external iliac, and common femoral artery(ies), and treatment
zone angioplasty/stenting, when performed, for rupture or other than
rupture (e.g., for aneurysm, pseudoaneurysm, dissection, arteriovenous
malformation, penetrating ulcer, traumatic disruption), unilateral) and
the RUC-recommended work RVU of 24.00 for CPT code 34X01 (Endovascular
repair of iliac artery, not associated with placement of an aorto-iliac
artery endograft at the same session, by deployment of an iliac
branched endograft, including pre-procedure sizing and device
selection, all ipsilateral selective iliac artery catheterization(s),
all associated radiological supervision and interpretation, and all
endograft extension(s) proximally to the aortic bifurcation and
distally in the internal iliac, external iliac, and common femoral
artery(ies), and treatment zone angioplasty/stenting, when performed,
for other than rupture (e.g., for aneurysm, pseudoaneurysm, dissection,
arteriovenous malformation, penetrating ulcer), unilateral).
We are proposing the RUC-recommended direct PE inputs for all codes
in the family.
(14) Exploration of Artery (CPT Codes 35701, 35X01, and 35X01)
CPT code 35701 (Exploration not followed by surgical repair,
artery; neck (e.g., carotid, subclavian)) was identified via a screen
for services with a ne.g.ative IWPUT and Medicare utilization over
10,000 for all services or over 1,000 for Harvard valued and CMS/Other
source codes. In September 2018, the CPT Editorial Panel revised one
code, added two new codes, and deleted three existing codes in the
family to report major artery exploration procedures and to condense
the code set due to low frequency.
We are proposing the RUC-recommended work RVU for all three codes
in the family. We are proposing a work RVU of 7.50 for CPT code 35701,
a work RVU of 7.12 for CPT code 35X00 (Exploration not followed by
surgical repair, artery; upper extremity (e.g., axillary, brachial,
radial, ulnar)), and a work RVU of 7.50 for CPT code 35X01 (Exploration
not followed by surgical repair, artery; lower extremity (e.g., common
femoral, deep femoral, superficial femoral, popliteal, tibial,
peroneal)).
For the direct PE inputs, we are proposing to refine the clinical
labor, supplies, and equipment to match the number of office visits
contained in the global periods of the codes under review. We are
proposing to refine the clinical labor time for the ``Post-operative
visits (total time)'' (CA039) activity from 36 minutes to 27 minutes
for CPT codes 35701 and 35X00, and from 63 minutes to 27 minutes for
CPT code 35X01. Each of these CPT codes contains a single postoperative
level 2 office visit (CPT code 99212) in its global period, and 27
minutes of clinical labor is the time associated with this office
visit. We are proposing to refine the equipment time for the exam table
(EF023) to the same time of 27 minutes for each code to match the
clinical labor time. Finally, we are also proposing to refine the
quantity of the minimum multi-specialty visit pack (SA048) from 2 to 1
for CPT code 35X01 to match the single postoperative visit in the
code's global period. We believe that the additional direct PE inputs
in the recommended materials were an accidental oversight due to
revisions that took place at the RUC meeting following the approval of
the PE inputs for these codes.
(15) Intravascular Ultrasound (CPT Codes 37252 and 37253)
In CY 2014, the CPT Editorial Panel deleted CPT codes 37250
(Ultrasound evaluation of blood vessel during
[[Page 40577]]
diagnosis or treatment )and 37251 (Ultrasound evaluation of blood
vessel during diagnosis or treatment) and created new bundled codes
37252 (Intravascular ultrasound (noncoronary vessel) during diagnostic
evaluation and/or therapeutic intervention, including radiological
supervision and interpretation; initial noncoronary vessel) and 37253
(Intravascular ultrasound (noncoronary vessel) during diagnostic
evaluation and/or therapeutic intervention, including radiological
supervision and interpretation; each additional noncoronary vessel) to
describe intravascular ultrasound (IVUS). CPT codes 37252 and 37253
were reviewed at the January 2015 RUC meeting. The RUC's recommendation
for these codes were to result in an overall work savings that should
have been redistributed back to the Medicare conversion factor. The
codes have had a 44 percent increase in work RVUs over the old codes,
CPT codes 37250 and 37251, from 2015 to 2016 and the utilization has
doubled from that of the previous coding structure, not considering the
radiological activities. In April 2018, the RUC reviewed this code
family and determined the utilization of the bundling of these services
was underestimated. Consequently, the RUC recommended that these
services be surveyed for October 2018. The RUC indicated that the
specialty societies should research why there was such an increase in
the utilization. Accordingly, the specialty society surveyed these ZZZ-
day global codes, and the survey results indicated the intraservice and
total work times, along with the work RVU should remain the same
despite the underestimation in utilization.
We disagreed with the RUC-recommended work RVU of 1.80 for CPT code
37252 and are proposing a work RVU of 1.55 based on a crosswalk to CPT
code 19084. CPT code 19084 is a recently reviewed code with 20 minutes
of intraservice time and 25 minutes of total time. In reviewing CPT
code 37252, we note, as mentioned above, that in CY 2015 the specialty
society stated that bundling this service would achieve savings.
However, since 2015 observed utilization for CPT code 37252 has greatly
exceeded proposed estimates, thus we are proposing to restore work
neutrality to the intravascular ultrasound code family to achieve the
initial estimated savings.
For CPT code 37253, we disagreed with the RUC-recommended work RVU
of 1.44 and we are proposing a work RVU of 1.19. Although we disagreed
with the RUC-recommended work RVU, we note the relative difference in
work between CPT codes 37252 and 37253 is an interval of 0.36 RVUs.
Therefore, we are proposing a work RVU of 1.19 for CPT code 37253,
based on the recommended interval of 0.36 fewer RVUs than our proposed
work RVU of 1.55 for CPT code 37252.
We are proposing the RUC-recommended direct PE inputs for all codes
in the family.
(16) Stab Phlebectomy of Varicose Veins (CPT Codes 37765 and 37766)
These services were identified in February 2008 via the High Volume
Growth screen, for services with a total Medicare utilization of 1,000
or more that have increased by at least 100 percent from 2004 through
2006. The RUC subsequently recommended monitoring and reviewing changes
in utilization over multiple years. In October 2017, the RUC
recommended that this service be surveyed for April 2018. We are
proposing the RUC-recommended work RVUs of 4.80 for CPT code 37765
(Stab phlebectomy of varicose veins, 1 extremity; 10-20 stab incisions)
and 6.00 for CPT code 37766 (Stab phlebectomy of varicose veins, 1
extremity; more than 20 incisions). We are proposing the RUC-
recommended direct PE inputs for all codes in the family.
(17) Biopsy of Mouth Lesion (CPT Code 40808)
CPT code 40808 (Biopsy, vestibule of mouth) was identified via a
screen for services with a negative IWPUT and Medicare utilization over
10,000 for all services or over 1,000 for Harvard valued and CMS/Other
source codes.
We disagree with the RUC's recommended work RVU of 1.05 with a
crosswalk to CPT code 11440 (Excision, other benign lesion including
margins, except skin tag (unless listed elsewhere), face, ears,
eyelids, nose, lips, mucous membrane; excised diameter 0.5 cm or less),
as we believe this increase in work RVU is not commensurate with the
RUC-recommended 5-minute reduction in intraservice time and a 10-minute
reduction in total time. While we understand that the RUC considers the
current time values for this service to be invalid estimations, we do
not see compelling evidence that would indicate that an increase in
work RVU that would be concurrent with a reduction in physician time is
appropriate. Therefore, we are proposing to maintain the current work
RVU of 1.01, and note that implementing the current work RVU with the
RUC-recommended revised physician time values would correct the
negative IWPUT anomaly.
For the direct PE inputs, we are proposing to refine the clinical
labor time for the ``Prepare room, equipment and supplies'' (CA013)
activity to 3 minutes and to refine the clinical labor time for the
``Confirm order, protocol exam'' (CA014) activity to 0 minutes. As we
detailed when discussing this issue in the CY 2019 PFS final rule (83
FR 59463 through 59464), CPT code 40808 does not include the old
clinical labor task ``Patient clinical information and questionnaire
reviewed by technologist, order from physician confirmed and exam
protocoled by radiologist'' on a prior version of the PE worksheet, nor
does the code contain any clinical labor for the CA007 activity
(``Review patient clinical extant information and questionnaire''). CPT
code 40808 does not appear to be an instance where an old clinical
labor task was split into two new clinical labor activities, and we
continue to believe that in these cases the 3 total minutes of clinical
staff time would be more accurately described by the CA013 ``Prepare
room, equipment and supplies'' activity code. We also note that there
is no effect on the total clinical labor direct costs in these
situations, since the same 3 minutes of clinical labor time is still
being furnished.
We are also proposing to refine the equipment time for the
electrocautery-hyfrecator (EQ110) to conform to our established
standard for non-highly technical equipment.
(18) Transanal Hemorrhoidal Dearterialization (CPT Codes 46945, 46946,
and 46X48)
We are proposing the RUC-recommended work RVU for all three codes
in the family. We are proposing a work RVU of 3.69 for CPT code 46945
(Hemorrhoidectomy, internal, by ligation other than rubber band; single
hemorrhoid column/group, without imaging guidance), a work RVU of 4.50
for CPT code 46946 (2 or more hemorrhoid columns/groups, without
imaging guidance), and a work RVU of 5.57 for CPT code 46X48
(Hemorrhoidectomy, internal, by transanal hemorrhoidal
dearterialization, 2 or more hemorrhoid columns/groups, including
ultrasound guidance, with mucopexy when performed).
We are proposing the RUC-recommended direct PE inputs for all codes
in the family.
(19) Preperitoneal Pelvic Packing (CPT Codes 490X1 and 490X2)
In May 2018, the CPT Editorial Panel approved the addition of two
codes for preperitoneal pelvic packing, removal
[[Page 40578]]
and/or repacking for hemorrhage associated with pelvic trauma. These
new codes were surveyed and reviewed for the October 2018 RUC meeting.
We disagree with the RUC-recommended work RVU of 8.35 for CPT code
490X1 (Preperitoneal pelvic packing for hemorrhage associated with
pelvic trauma, including local exploration) and are proposing a work
RVU of 7.55 based on a crosswalk to CPT code 52345 (Cystourethroscopy
with ureteroscopy; with treatment of ureteropelvic junction stricture
(e.g., balloon dilation, laser, electrocautery, and incision)). We are
also proposing to reduce the immediate postservice work time from 60
minutes to 45 minutes, which results in a total work time of 140
minutes for this procedure. We believe that the survey respondents
overstated the immediate postservice work time that would typically be
required to perform CPT code 490X1, which we investigated by comparing
this new service against the existing 0-day global codes on the PFS. We
found that among the roughly 1,100 codes with 0-day global periods,
only 21 codes had an immediate postservice work time of 60 minutes or
longer. The 21 codes that fell into this category had significantly
higher intraservice work times than CPT code 490X1, with an average
intraservice work time of 111 minutes as compared to the 45 minutes of
intraservice work time in CPT code 490X1. Generally speaking, it is
extremely rare for a service to have more immediate postservice work
time than intraservice work time, and in fact only 28 out of the
roughly 1,100 codes with 0-day global periods had more immediate
postservice work time than intraservice work time. While we agree that
each service on the PFS is its own unique entity, these comparisons to
other 0-day global codes suggest that the survey respondents
overestimated the amount of immediate postservice work time that would
typically be associated with CPT code 490X1.
As a result, we believe that it would be more accurate to reduce
the immediate postservice work time to 45 minutes and to propose a work
RVU of 7.55 based on a crosswalk to CPT code 52345. This crosswalk code
shares an intraservice work time of 45 minutes and a similar total time
of 135 minutes after taking into account the reduced immediate
postservice work time that we are proposing for CPT code 490X1. We
searched the RUC database for 0-day global procedures with 45 minutes
of intraservice work time, and at the recommended work RVU of 8.35, CPT
code 490X1 would establish a new maximum value, higher than all of the
79 other codes that fall into this category. We recognize that CPT code
490X1 describes a preperitoneal pelvic packing service associated with
pelvic trauma, and that this is a difficult and intensive procedure
that rightly has a higher work RVU than many of these other 0-day
global codes. However, we believe that it better maintains relativity
to propose a crosswalk to CPT code 52345 at a work RVU of 7.55, which
would still assign this code the second-highest work RVU among all 0
day global codes with 45 minutes of intraservice work time, as opposed
to proposing the survey median work RVU of 8.35 at a rate higher than
anything in the current RUC database.
We disagree with the RUC-recommended work RVU of 6.73 for CPT code
490X2 (Re-exploration of pelvic wound with removal of preperitoneal
pelvic packing including repacking, when performed) and are proposing a
work RVU of 5.70 based on the 25th percentile survey value. We believe
that the survey 25th percentile work RVU more accurately describes the
work of re-exploring this type of pelvic wound, and by proposing the
survey 25th percentile we are maintaining the general increment in RVUs
between the two codes in the family (a difference of 1.62 RVUs as
recommended by the RUC as compared to 1.85 RVUs as proposed here). We
are supporting this valuation with a reference to CPT code 39401
(Mediastinoscopy; includes biopsy(ies) of mediastinal mass (e.g.,
lymphoma), when performed), a recently reviewed code from CY 2015 which
shares the same intraservice time of 45 minutes, a slightly higher
total time of 142 minutes and a lower work RVU of 5.44.
We are proposing the RUC-recommended direct PE inputs for all codes
in the family.
(20) Cystourethroscopy Insertion Transprostatic Implant (CPT Codes
52441 and 52442)
In 2005, the AMA RUC began the process of flagging services that
represent new technology or new services as they were presented to the
AMA/Specialty Society RVS Update Committee. This service was reviewed
at the October 2018 RAW meeting, and the RAW indicated that the
utilization is increasing and questioned the time required to perform
these services. These two codes were surveyed and reviewed for the
January 2019 RUC meeting.
We disagree with the RUC-recommended work RVU of 4.50 (current
value) for CPT code 52441 (Cystourethroscopy, with insertion of
permanent adjustable transprostatic implant; single implant) and are
proposing a work RVU of 4.00. This proposed work RVU is based on a
crosswalk from recently reviewed CPT code 58562 (Hysterscopy, surgical;
with removal of impacted foreign body), which has a work RVU of 4.00,
and an identical 25 minutes of intraservice time as CPT code 52441.
We disagree with the RUC-recommended work RVU of 1.20 (current
value) for CPT code 52442 (Cystourethroscopy, with insertion of
permanent adjustable transprostatic implant; each additional permanent
adjustable transprostatic implant (List separately in addition to code
for primary procedure)) and are proposing a work RVU of 1.01. This
proposed work RVU is based on a crosswalk from CPT code 36218
(Selective catheter placement, arterial system; additional second
order, third order, and beyond, thoracic or brachiocephalic branch,
within a vascular family (List in addition to code for initial second
or third order vessel as appropriate)), which has a work RVU of 1.01,
and an identical 15 minutes of intraservice time as CPT code 52442. The
RUC survey showed a reduction in time, and the work should reflect
these changes.
We are proposing the RUC-recommended direct PE inputs for all codes
in the family without refinement.
(21) Orchiopexy (CPT Code 54640)
The CPT Editorial Panel revised existing CPT code 54640 to describe
an additional approach for orchiopexy (scrotal) and to clearly indicate
that hernia repair is separately reportable. This code was surveyed and
reviewed for the January 2019 RUC meeting.
We are proposing to maintain the current work RVU of 7.73 as
recommended by the RUC. We are proposing the RUC-recommended direct PE
inputs for CPT code 54640 without refinement.
(22) Radiofrequency Neurootomy Sacroiliac Joint (CPT Codes 6XX00,
6XX01)
In September 2018, the CPT Editorial Panel created two new codes to
describe injection and radiofrequency ablation of the sacroiliac joint
with image guidance for somatic nerve procedures. We are proposing the
RUC-recommended work RVU of 1.52 for CPT code 6XX00 (Injection(s),
anesthetic agent(s) and/or steroid; nerves innervating the sacroiliac
joint, with image guidance (i.e., fluoroscopy or computed tomography))
and the RUC-recommended work RVU of 3.39 for CPT code 6XX01
(Radiofrequency ablation, nerves innervating the sacroiliac joint, with
[[Page 40579]]
image guidance (i.e., fluoroscopy or computed tomography)).
For the direct PE inputs, we are proposing to refine the quantity
of the ``needle, 18-26g 1.5-3.5in, spinal'' (SC028) supply from 3 to 1
for CPT code 6XX00. There are no spinal needles in use in the reference
code associated with CPT code 6XX00, and there was no explanation in
the recommended materials explaining why three such needles would be
typical for this procedure. We agree that the service being performed
in CPT code 6XX00 would require a spinal needle, but we do not believe
that the use of three such needles would be typical.
We are proposing to refine the quantity of the ``cannula
(radiofrequency denervation) (SMK-C10)'' (SD011) supply from 4 to 2 for
CPT code 6XX01. We do not believe that the use of 4 of these cannula
would be typical for the procedure, as the reference code currently
used for destruction by neurolytic agent contains only a single
cannula. We believe that the nerves would typically be ablated one at a
time using this cannula, as opposed to ablating four of them
simultaneously as suggested in the recommended direct PE inputs. We
also searched in the RUC database for other CPT codes that made use of
the SD011 supply, and out of the seven codes that currently use this
item, none of them include more than 2 cannula. As a result, we are
proposing to refine the supply quantity to 2 cannula to match the
highest amount contained in an existing code on the PFS. We are also
refining the equipment time for the ``radiofrequency kit for
destruction by neurolytic agent'' (EQ354) equipment from 164 minutes to
82 minutes. The RUC's equipment time recommendation was predicated on
the use of 4 of the SD011 supplies for 41 minutes apiece, and we are
refining the equipment time to reflect our supply refinement to 2
cannula. It was unclear in the recommended materials as to whether the
radiofrequency kit equipment was in use simultaneously or sequentially
along with the cannula supplies, and therefore, we are soliciting
comments on the typical use of this equipment.
Finally, we are proposing to refine the equipment time for the
technologist PACS workstation (ED050) equipment to match our standard
equipment time formulas, which results in an increase of 5 minutes of
equipment time for both codes.
(23) Lumbar Puncture (CPT Codes 62270, 622X0, 62272, and 622X1)
In October 2017, these services were identified as being performed
by a different specialty than the specialty that originally surveyed
this service. In January 2018, the RUC recommended that these services
be referred to CPT to bundle image guidance. At the September 2018 CPT
Editorial Panel meeting, the Panel created two new codes to bundle
diagnostic and therapeutic lumbar puncture with fluoroscopic or CT
image guidance and revised the existing diagnostic and therapeutic
lumbar puncture codes so they would only be reported without
fluoroscopic or CT guidance.
For CPT code 62270 (Spinal puncture, lumbar, diagnostic), we
disagree with the RUC-recommended work RVU of 1.44 and we are proposing
a work RVU of 1.22 based on a crosswalk to CPT code 40490 (Biopsy of
lip). CPT code 40490 has the same intraservice time of 15 minutes and 2
additional minutes of total time. In reviewing CPT code 62270, we noted
that the recommended intraservice time is decreasing from 20 minutes to
15 minutes (25 percent reduction), and the recommended total time is
decreasing from 40 minutes to 32 minutes (20 percent reduction);
however, the RUC-recommended work RVU is increasing from 1.37 to 1.44,
which is an increase of just over 5 percent. Although we do not imply
that the decrease in time as reflected in survey values must equate to
a one-to-one or linear decrease in the valuation of work RVUs, we
believe that since the two components of work are time and intensity,
significant decreases in time should be appropriately reflected in
decreases to work RVUs. In the case of CPT code 62270, we believed that
it was more accurate to propose a work RVU of 1.22 based on a crosswalk
to CPT code 40490 to account for these decreases in the surveyed work
time.
For CPT code 622X0 (Spinal puncture, lumbar, diagnostic; with
fluoroscopic or CT guidance), we disagree with the RUC-recommended work
RVU of 1.95 and we are proposing a work RVU of 1.73. Although we
disagree with the RUC-recommended work RVU, we note that the relative
difference in work between CPT codes 62270 and 622X0 is equivalent to
an interval of 0.51 RVUs. Therefore, we are proposing a work RVU of
1.73 for CPT code 622X0, based on the recommended interval of 0.51
additional RVUs above our proposed work RVU of 1.22 for CPT code 62270.
For CPT code 62272 (Spinal puncture, therapeutic, for drainage of
cerebrospinal fluid (by needle or catheter), we disagree with the RUC-
recommended work RVU of 1.80 and we are proposing a work RVU of 1.58.
Although we disagree with the RUC-recommended work RVU, we note that
the relative difference in work between CPT codes 62270 and 622X0 is
equivalent to the RUC-recommended interval of 0.36 RVUs. Therefore, we
are proposing a work RVU of 1.58 for CPT code 62272, based on the
recommended interval of 0.36 additional RVUs above our proposed work
RVU of 1.22 for CPT code 62270.
For CPT code 622X1 (Spinal puncture, therapeutic, for drainage of
cerebrospinal fluid (by needle or catheter); with fluoroscopic or CT
guidance), we disagree with the RUC-recommended work RVU of 2.25 and we
are proposing a work RVU of 2.03. Although we disagree with the RUC-
recommended work RVU, we note that the relative difference in work
between CPT codes 62270 and 622X1 is equivalent to the recommended
interval of 0.81 RVUs. Therefore, we are proposing a work RVU of 2.03
for CPT code 622X1, based on the recommended interval of 0.81
additional RVUs above our proposed work RVU of 1.22 for CPT code 62270.
(24) Electronic Analysis of Implanted Pump (CPT Codes 62367, 62368,
62369, and 62370)
CPT code 62368 (Electronic analysis of programmable, implanted pump
for intrathecal or epidural drug infusion (includes evaluation of
reservoir status, alarm status, drug prescription status); with
reprogramming) was identified by the RUC on a list of services which
were originally surveyed by one specialty but are now typically
performed by a different specialty. It was reviewed along with three
other codes in the family for PE only at the April 2018 RUC meeting.
The RUC did not recommend work RVUs for these codes and we are not
proposing to change the current work RVUs.
For the direct PE inputs, we are proposing to remove the minimum
multi-specialty visit pack (SA048) from CPT code 62370 as a duplicative
supply due to the fact that this code is typically billed with an E/M
or other evaluation service.
(25) Somatic Nerve Injection (CPT Codes 64400, 64408, 64415, 64416,
64417, 64420, 64421, 64425, 64430, 64435, 64445, 64446, 64447, 64448,
64449, and 64450)
In May 2018, the CPT Editorial Panel approved the revision of
descriptors and guidelines for the codes in this family and the
deletion of three CPT codes to clarify reporting (i.e., separate
reporting of imaging guidance, number of units and a change from a 0-
day global to ZZZ for one of the CPT codes in this
[[Page 40580]]
family). This family of services describe the injection of an
anesthetic agent(s) and/or steroid into a nerve plexus, nerve, or
branch; reported once per nerve plexus, nerve, or branch as described
in the descriptor regardless of the number of injections performed
along the nerve plexus, nerve, or branch described by the code.
CPT codes 64400 (Injection(s), anesthetic agent(s); trigeminal
nerve, each branch (ie ophthalmic, maxillary, mandibular)), 64408
(Injection(s), anesthetic agent(s), and/or steroid; vagus nerve), 64415
(Injection(s), anesthetic agent(s) and/or steroid; brachial plexus),
64416 (Injection(s), anesthetic agent(s) and/or steroid; brachial
plexus, continuous infusion by catheter (including catheter
placement)), 64417 (Injection(s), anesthetic agent(s) and/or steroid;
axillary nerve), 64420 (Injection(s), anesthetic agent(s) and/or
steroid; intercostal nerve, single level), 64421 (Injection(s),
anesthetic agent(s) and/or steroid; intercostal nerves, each additional
level (List separately in addition to code for primary procedure)),
64425 (Injection(s), anesthetic agent(s) and/or steroid; ilioinguinal,
iliohypogastric nerves), 64430 (Injection(s), anesthetic agent(s) and/
or steroid; pudendal nerve), 64435 (Injection(s), anesthetic agent(s)
and/or steroid; paracervical (uterine) nerve), 64445 (Injection(s),
anesthetic agent(s) and/or steroid; sciatic nerve), 64446
(Injection(s), anesthetic agent(s) and/or steroid; sciatic nerve,
continuous infusion by catheter (including catheter placement)), 64447
(Injection(s), anesthetic agent(s); femoral nerve), 64448
(Injection(s), anesthetic agent(s) and/or steroid; femoral nerve,
continuous infusion by catheter (including catheter placement)), 64449
(Injection(s), anesthetic agent(s) and/or steroid; lumbar plexus,
posterior approach, continuous infusion by catheter (including catheter
placement)), and 64450 (Injection(s), anesthetic agent(s); other
peripheral nerve or branch) were reviewed for work and PE at the
October 2018 RUC meeting. The PE for CPT code 64450 was re-reviewed
during the RUC January 2019 meeting.
During the October 2018 RUC presentation for this family of
services, the specialty societies stated that CPT codes 64415, 64416,
64417, 64446, 66447, and 64448 were reported with CPT code 76942
(Ultrasonic guidance for needle placement (e.g., biopsy, aspiration,
injection, localization device), imaging supervision and
interpretation) more than 50 percent of the time. Specifically, 76
percent with CPT code 64415, 85 percent with CPT code 64416, 68 percent
with CPT code 64417, 77 percent with CPT code 64446, 77 percent with
CPT code 66447, and 79 percent with CPT code 64448. It was also noted
in the RUC recommendations that this overlap was accounted for in the
RUC recommendations submitted for these services. Furthermore, the RUC
recommendations sated that the RUC referred CPT codes 64415, 64416,
64417, 64446, 64447 and 64448 to be bundled with ultrasound guidance,
CPT code 76942 to the CPT Editorial Panel for CPT 2021.
In reviewing this family of services, our proposed work and PE
values for CPT codes 64415, 64416, 64417, 64446, 64447 and 64448 do not
consider the overlap of imaging as noted in the RUC recommendations. We
note that the RUC recommendations did not include values to support the
valuation for the bundling of imaging in their work or PE
recommendations and that the CPT code descriptors do not state that
imaging is included.
For CY 2020, we are proposing the RUC-recommended work RVUs for CPT
codes 64417 (work RVU of 1.27), 64435 (work RVU of 0.75), 64447 (work
RVU of 1.10), and 64450 (work RVU of 0.75), the RUC reaffirmed work RVU
of 0.94 for CPT code 64405 (Injection, anesthetic agent; greater
occipital nerve), which is the current work RVU finalized in the CY
2019 final rule (83 FR 59542), and the RUC reaffirmed work RVU of 1.10
for CPT code 64418 (Injection, anesthetic agent; suprascapular nerve),
which is the current work RVU value finalized in the CY 2018 final rule
(82 FR 53054). Although we are proposing the RUC reaffirmed work RVUs
for these two codes, as submitted in the RUC recommendations, we note
that comparable codes in this family of services have lower work RVUs.
Thus, these two codes may have become misvalued since their last
valuation, as they were not resurveyed under this code family during
the October 2018 RUC meeting.
In continuing our review of this code family, we disagree with the
RUC-recommended work RVU of 1.00 for CPT code 64400 and are proposing a
work RVU of 0.75, to maintain rank order in this code family. Our
proposed work RVU is based on a crosswalk to another code in this
family, CPT code 64450, which has an identical work RVU of 0.75 and
near identical intraservice and total time values to CPT code 64400.
We note that the RUC-recommended intraservice time decreased from
37 to 6 minutes (84 percent reduction) and the RUC-recommended total
time decreased from 69 to 20 minutes (71 percent reduction) for CPT
code 64400. However, the RUC-recommended work RVU only decreased by
0.11, a 10 percent reduction. We do not believe the RUC-recommended
work RVU appropriately accounts for the substantial reductions in the
surveyed work times for the procedure. Although we do not imply that
the decrease in time as reflected in survey values must always equate
to a one-to-one or linear decrease in the valuation of work RVUs, we
believe that since the two components of work and time are intensity,
absent an obvious or explicitly stated rationale for why the relative
intensity of a given procedure has increased, significant decreases in
time should be reflected in decreases to work RVUs. In the case of CPT
code 64400, we believe that it would be more accurate to propose a work
RVU of .075 based on a crosswalk to CPT code 64450, which has an
identical work RVU of 0.75 and near identical intraservice and total
times to CPT code 64400. We further note that our proposed work RVU
maintains rank order in this code family among comparable codes.
For CPT code 64408, we disagree with the RUC-recommended work RVU
of 0.90 and are proposing a work RVU of 0.75, to maintain rank order in
this code family. Our proposed work RVU is based on a crosswalk to
another code in this family, CPT code 64450, which has an identical
work RVU of 0.75, and near identical intraservice and total time values
to CPT code 64408.
We note that the RUC-recommended intraservice time decreased from
16 to 5 minutes (69 percent reduction) and RUC-recommended total time
decreased from 36 to 20 minutes (44 percent reduction) for CPT code
64408. Although the RUC-recommended work RVU decreased by 0.51, a 36
percent reduction, we do not believe the RUC-recommended work RVU
appropriately accounts for the substantial reductions in the surveyed
work times for the procedure. Although we do not imply that the
decrease in time as reflected in survey values must always equate to a
one-to-one or linear decrease in the valuation of work RVUs, we believe
that since the two components of work and time are intensity, absent an
obvious or explicitly stated rationale for why the relative intensity
of a given procedure has increased, significant decreases in time
should be reflected in decreases to work RVUs. In the case of CPT code
64408, we believe that it would be more accurate to propose a work RVU
of .075, based on a crosswalk CPT code 64450,
[[Page 40581]]
to account for these decrease in the surveyed work times. We further
note that our proposed work RVU maintains rank order in this code
family among comparable codes.
For CPT code 64415, we disagree with the RUC-recommended work RVU
of 1.42 and are proposing a work RVU of 1.35, based on our time ratio
methodology and further supported by a reference to CPT code 49450
(Replacement of gastrostomy or cecostomy (or other colonic) tube,
percutaneous, under fluoroscopic guidance including contrast
injections(s), image documentation and report), which has a work RVU of
1.36 and similar intraservice and total time values to CPT code 64415.
We note that the RUC-recommended intraservice time decreased from
15 to 12 minutes (20 percent reduction) and RUC-recommended total time
decreased from 44 to 40 minutes (9 percent reduction). However, the
RUC-recommended work RVU only decreased by 0.06, which is a 4 percent
reduction. We do not believe the RUC-recommended work RVU appropriately
accounts for the substantial reductions in the surveyed work times for
the procedure. Although we do not imply that the decrease in time as
reflected in survey values must always equate to a one-to-one or linear
decrease in the valuation of work RVUs, we believe that since the two
components of work and time are intensity, absent an obvious or
explicitly stated rationale for why the relative intensity of a given
procedure has increased, significant decreases in time should be
reflected in decreases to work RVUs. In the case of CPT code 64415, we
believe that it would be more accurate to propose a work RVU of 1.35,
based on our time ratio methodology and a reference to CPT code 49450,
to account for these decrease in the surveyed work times.
For CPT code 64416, we disagree with the RUC-recommended work RVU
of 1.81 and are proposing a work RVU of 1.48, based on our time ratio
methodology and further supported by a bracket of CPT code 62270
(Spinal puncture, lumbar, diagnostic), which has a work RVU of 1.37,
identical intraservice, and similar total time to CPT code 64416 and
CPT code 91035 (Esophagus, gastroesophageal reflux test; with mucosal
attached telemetry pH electrode placement, recording, analysis and
interpretation), which has a work RVU of 1.59, identical intraservice,
and near identical total time values to CPT code 64416.
We note that while the RUC-recommended intraservice time remained
unchanged, the RUC-recommended total time decreased from 60 to 49
minutes (18 percent reduction). However, the RUC recommended
maintaining the current work RVU of 1.81. We do not believe the RUC-
recommended work RVU appropriately accounts for the substantial
reductions in the surveyed total time for the procedure. Although we do
not imply that the decrease in time as reflected in survey values must
always equate to a one-to-one or linear decrease in the valuation of
work RVUs, we believe that since the two components of work and time
are intensity, absent an obvious or explicitly stated rationale for why
the relative intensity of a given procedure has increased, significant
decreases in time should be reflected in decreases to work RVUs. In the
case of CPT code 64416, we believe that it would be more accurate to
propose a work RVU of 1.48, based on our time ratios methodology and a
bracket of CPT code 62270 and CPT code 91035, to account for these
decreases in the surveyed work times.
For CPT code 64420, we disagree with the RUC-recommended work RVU
of 1.18 and are proposing a work RVU of 1.08, based on our time ratio
methodology and further supported by a reference to CPT code 12011
(Simple repair of superficial wounds of face, ears, eyelids, nose, lips
and/or mucous membranes; 2.5 cm or less), which has a work RVU of 1.07
and similar intraservice and total time values to CPT code 64420.
We note that the RUC-recommended intraservice time decreased from
17 to 10 minutes (41 percent reduction) and the RUC-recommended total
time decreased from 37 to 34 minutes (8 percent reduction). However,
the RUC recommended to maintaining the current work RVU of 1.18. We do
not believe the RUC-recommended work RVU appropriately accounts for the
substantial reductions in the surveyed work times for the procedure.
Although we do not imply that the decrease in time as reflected in
survey values must always equate to a one-to-one or linear decrease in
the valuation of work RVUs, we believe that since the two components of
work and time are intensity, absent an obvious or explicitly stated
rationale for why the relative intensity of a given procedure has
increased, significant decreases in time should be reflected in
decreases to work RVUs. In the case of CPT code 64420, we believe that
it would be more accurate to propose a work RVU of 1.08 based on our
times ratio methodology and a crosswalk to CPT code 12011, to account
for these decreases in the surveyed work times.
For CPT code 64421, we disagree with the RUC-recommended work RVU
of 0.60 and are proposing a work RVU of 0.50, based on our time ratio
methodology and to maintain rank order among comparable codes in the
family. Our proposed work RVU is further supported by a crosswalk to
CPT code 15276 (Application of skin substitute graft to face, scalp,
eyelids, mouth, neck, ears, orbits, genitalia, hands, feet, and/or
multiple digits, total wound surface area up to 100 sq cm; each
additional 25 sq cm wound surface area, or part thereof (List
separately in addition to code for primary procedure)), which has a
work RVU of 0.50 and identical intraservice and total times to CPT code
64421.
We note that our time ratio methodology suggests the code is better
valued at 0.50. Furthermore, the RUC-recommended work RVU of 0.60
creates a rank order anomaly in the code family. In the case of CPT
code 64421, we believe that it would be more accurate to propose a work
RVU of 0.50, based on our time ratio methodology and a crosswalk to CPT
code 15276, to maintain rank order among comparable codes in the
family.
For CPT code 64425, we disagree with the RUC-recommended work RVU
of 1.19 and are proposing a work RVU of 1.00, to maintain rank order
among comparable codes in the family, based on a bracket of CPT code
12001 (Simple repair of superficial wounds of scalp, neck, axillae,
external genitalia, trunk and/or extremities (including hands and
feet); 2.5 cm or less) which has a work RVU of 0.84 and near identical
intraservice and total time values to CPT code 64425 and CPT code 30901
(Control nasal hemorrhage, anterior, simple (limited cautery and/or
packing) any method), which has a work RVU of 1.10 and near identical
intraservice and total times to CPT code 64425.
We note that the RUC-recommended work RVU of 1.19 creates a rank
order anomaly in the code family. In the case of CPT code 64425, we
believe that it would be more accurate to propose a work RVU of 1.00,
based on a bracket of CPT codes 12001 and 30901 to maintain rank order
among comparable codes in the family.
For CPT code 64430, we disagree with the RUC-recommended work RVU
of 1.15 and are proposing a work RVU of 1.00, to maintain rank order
among comparable codes in the family, based on a bracket of CPT code
45330 (Sigmoidoscopy, flexible; diagnostic, including collection of
specimen(s) by brushing or washing, when performed (separate
procedure)), which has a work RVU of 0.84 and near identical
[[Page 40582]]
intraservice and total time values to CPT code 64430 and CPT code 31576
(Laryngoscopy, flexible; with biopsy(ies)), which has a work RVU of
1.89 and near identical intraservice and total time values to CPT code
64430.
We note that the RUC-recommended intraservice time decreased from
17 to 10 minutes (41 percent reduction) and the RUC-recommended total
time increased from 39 to 43 minutes (10 percent increase). While the
RUC-recommended work RVU is decreasing by 0.31, a 21 percent reduction,
we do not believe the RUC-recommended work RVU appropriately accounts
for the substantial reductions in the surveyed intraservice work time
for the procedure. Although we do not imply that the decrease in time
as reflected in survey values must always equate to a one-to-one or
linear decrease in the valuation of work RVUs, we believe that since
the two components of work and time are intensity, absent an obvious or
explicitly stated rationale for why the relative intensity of a given
procedure has increased, significant decreases in time should be
reflected in decreases to work RVUs. In the case of CPT code 64430, we
believe that it would be more accurate to propose a work RVU of 1.00,
based on a bracket of CPT codes 45300 and 31576 to account for these
decreases in surveyed work times and to maintain rank order among
comparable codes in this family.
For CPT code 64445, we disagree with the RUC-recommended work RVU
of 1.18 and are proposing a work RVU of 1.00, based on our time ratio
methodology and to maintain rank order among comparable codes in the
family. Our proposed work RVU is based on a bracket of CPT code 12001
(Simple repair of superficial wounds of scalp, neck, axillae, external
genitalia, trunk and/or extremities (including hands and feet); 2.5 cm
or less), which has a work RVU of 0.84 and near identical intraservice
and total times to CPT code 64445 and CPT code 30901 (Control nasal
hemorrhage, anterior, simple (limited cautery and/or packing) any
method), which has a work RVU of 1.10 and near identical intraservice
and total time values to CPT code 64445.
We note that the RUC-recommended intraservice time decreased from
15 to 10 minutes (33 percent reduction) and the RUC-recommended total
time decreased from 48 to 24 minutes (50 percent reduction). While the
RUC-recommended work RVU is decreasing by 0.30, a 21 percent reduction,
we do not believe the RUC-recommended work RVU appropriately accounts
for the substantial reductions in the surveyed intraservice work time
for the procedure. Although we do not imply that the decrease in time
as reflected in survey values must always equate to a one-to-one or
linear decrease in the valuation of work RVUs, we believe that since
the two components of work and time are intensity, absent an obvious or
explicitly stated rationale for why the relative intensity of a given
procedure has increased, significant decreases in time should be
reflected in decreases to work RVUs. In the case of CPT code 64445, we
believe that it would be more accurate to propose a work RVU of 1.00,
based on a bracket of CPT codes 12001 and 30901 to account for these
decreases in surveyed work times and to maintain rank order among
comparable codes in the family.
For CPT code 64446, we disagree with the RUC-recommended work RVU
of 1.54 and are proposing a work RVU of 1.36 based on our time ratios
methodology and further supported by a reference to CPT code 51710
(Change of cystostomy tube; complicated), which has a near identical
work RVU of 1.35 and near identical intraservice and total time values
to CPT code 64446.
We note that RUC-recommended intraservice time decreased from 20 to
15 minutes (25 percent reduction) and the RUC-recommended total time
decreased from 64 to 40 minutes (38 percent reduction). While the RUC-
recommended work RVU is decreasing by 0.27, a 15 percent reduction, we
do not believe the RUC-recommended work RVU appropriately accounts for
the substantial reductions in the surveyed intraservice work time for
the procedure. Although we do not imply that the decrease in time as
reflected in survey values must always equate to a one-to-one or linear
decrease in the valuation of work RVUs, we believe that since the two
components of work and time are intensity, absent an obvious or
explicitly stated rationale for why the relative intensity of a given
procedure has increased, significant decreases in time should be
reflected in decreases to work RVUs. In the case of CPT code 64446, we
believe that it would be more accurate to propose a work RVU of 1.36,
based on our time ratios methodology and a reference to CPT code 51710
to account for these decreases in surveyed times and to maintain rank
order among comparable codes in the family.
For CPT code 64448, we disagree with the RUC-recommended work RVU
of 1.55 and are proposing a work RVU of 1.41, based our time ratio
methodology and a reference to CPT code 27096 (Injection procedure for
sacroiliac joint, anesthetic/steroid, with image guidance (fluoroscopy
or CT) including arthrography when performed), which has a work RVU of
1.48 and near identical intraservice time and identical total time
values to CPT code 64448.
We note that RUC-recommended intraservice time decreased from 15 to
13 minutes (13 percent reduction) and the RUC-recommended total time
decreased from 55 to 38 minutes (62 percent reduction). While the RUC-
recommended work RVU is only decreasing by 0.08, which is only a 5
percent reduction. We do not believe the RUC-recommended work RVU
appropriately accounts for the substantial reductions in the surveyed
intraservice work time for the procedure. Although we do not imply that
the decrease in time as reflected in survey values must always equate
to a one-to-one or linear decrease in the valuation of work RVUs, we
believe that since the two components of work and time are intensity,
absent an obvious or explicitly stated rationale for why the relative
intensity of a given procedure has increased, significant decreases in
time should be reflected in decreases to work RVUs. In the case of CPT
code 64448, we believe that it would be more accurate to propose a work
RVU of 1.41, based on our time ratios methodology and a crosswalk to
CPT code 27096 to account for these decreases in surveyed times and to
maintain rank order among comparable codes in the family.
For CPT code 64449, we disagree with the RUC-recommended work RVU
of 1.55 and are proposing a work RVU of 1.27, based our time ratio
methodology and a reference to CPT code 11755 (Biopsy of nail unit (eg,
plate, bed, matrix, hyponychium, proximal and lateral nail folds)
(separate procedure)), which has a work RVU of 1.25 and near identical
intraservice and total times to CPT code 64449.
We note that RUC-recommended intraservice time decreased from 20 to
14 minutes (30 percent reduction) and the RUC-recommended total time
decreased from 60 to 38 minutes (37 percent reduction). While the RUC-
recommended work RVU is decreasing by 0.26, a 14 percent reduction, we
do not believe the RUC-recommended work RVU appropriately accounts for
the substantial reductions in the surveyed intraservice work time for
the procedure. Although we do not imply that the decrease in time as
reflected in survey values must always equate to a one-to-one or linear
decrease in the valuation of work RVUs, we believe that since the two
components of work and time are intensity, absent an obvious or
explicitly stated rationale for why the relative intensity of a given
procedure has increased, significant decreases in time should be
reflected in decreases to
[[Page 40583]]
work RVUs. In the case of CPT code 64449, we believe that it would be
more accurate to propose a work RVU of 1.27, based on our time ratios
methodology and a reference to CPT code 11755 to account for these
decreases in surveyed times and to maintain rank order among comparable
codes in the family.
For the direct PE inputs, we are proposing to remove the clinical
labor time for the ``Confirm availability of prior images/studies''
(CA006) activity for CPT code 64450. This code does not currently
include this clinical labor time, and unlike the new code, CPT code
64XX1, in the Genicular Injection and RFA code family, in which the PE
for CPT code 64450 was resurveyed at the January 2019 RUC for PE, CPT
code 64450 does not include imaging guidance in its code descriptor.
When CPT code 64450 is performed with imaging guidance, it would be
billed together with a separate imaging code that already includes
clinical labor time for confirming the availability of prior images. As
a result, it would be duplicative to include this clinical labor time
in CPT code 64450. We are also proposing to refine the clinical labor
time for the ``Assist physician or other qualified healthcare
professional--directly related to physician work time (100 percent)''
(CA018) activity from 10 to 5 minutes for CPT code 64450, to match the
intraservice work time and proposing to refine the equipment times in
accordance with our standard equipment time formulas for CPT code
64450.
Additionally, we are proposing to refine the clinical labor time
for the ``provide education/obtain consent'' (CA011) from 3 minutes to
2 minutes, for CPT codes 64400, 64408, 64415, 64417, 64420, 64425,
64430, 64435, 64445, 64447 and 64450, to conform to the standard for
this clinical labor task. We are also proposing to refine the equipment
time in accordance with our standard equipment time formula for these
codes. We note that there were no RUC-recommended direct PE inputs
provided for CPT codes 64416, 64446, and 64448.
(26) Genicular Injection and RFA (CPT Codes 64640, 64XX0, and 64XX1)
In May 2018, the CPT Editorial Panel approved the addition of two
codes to report injection of anesthetic and destruction of genicular
nerves by neurolytic agent. In October 2018, the RUC discussed the
issues surrounding the survey of this family of services and supported
the specialty societies' request for CPT codes 64640 (Destruction by
neurolytic agent; other peripheral nerve or branch), 64XX0
(Injection(s), anesthetic agent(s) and/or steroid; genicular nerve
branches including imaging guidance, when performed), and 64XX1
(Destruction by neurolytic agent genicular nerve branches including
imaging guidance, when performed) to be resurveyed and presented at the
January 2019 RUC meeting, based on their concern that many survey
respondents appeared to be confused about the number of nerve branch
injections involved with these three codes. The RUC resurveyed these
services at the January 2019 RUC meeting.
For CY 2020, we are proposing the RUC-recommended work RVUs for two
of the three codes in this family. We are proposing the RUC-recommended
work RVU of 1.98 (25th percentile survey value) for CPT code 64640 and
the RUC-recommended work RVU of 1.52 (25th percentile survey value) for
CPT code of 64XX0.
For CPT code 64XX1, we disagree with the RUC-recommended work RVU
of 2.62, which is higher than the 25th percentile survey value, a work
RVU 2.50, and are proposing a work RVU of 2.50 (25th percentile survey
value) based on a reference to CPT code 11622 (Excision, malignant
lesion including margins, trunk, arms, or legs; excised diameter 1.1 to
2.0 cm), which has a work RVU of 2.41 and near identical intraservice
and total times to CPT code 64XX1.
In our review of CPT code 64XX1, we examined the intraservice time
ratio for the new code, CPT code 64XX1, in relation to an existing code
in this family of services, CPT code 64640. CPT code 64XX1 has a RUC-
recommended work RVU of 2.62, 25 minutes of intraservice time, and 74
minutes of total time. CPT code 64640 has a RUC-recommended work RVU of
1.98, 20 minutes of intraservice time, and 64 minutes of total time. To
derive our proposed work RVU of 2.50, we calculated the intraservice
time ratio between these two codes, which is a calculated value of
1.25, and applied this ratio times the RUC-recommended work RVU of 1.98
for CPT code 64650, which resulted in a calculated value of 2.48. This
value is nearly identical to the January 2018 RUC 25th percentile
survey value for CPT code 64XX1, a work RVU of 2.50. Our proposed work
RVU of 2.50 is further supported by a reference to CPT code 11622.
For the direct PE inputs, we are proposing to remove the clinical
labor time for the ``Confirm availability of prior images/studies''
(CA006) activity for CPT code 64640. This code does not currently
include this clinical labor time, and unlike the new code in the family
(CPT code 64XX1), CPT code 64640 does not include imaging guidance in
its code descriptor. When CPT code 64640 is performed with imaging
guidance, it would be billed together with a separate imaging code that
already includes clinical labor time for confirming the availability of
prior images. As a result, it would be duplicative to include this
clinical labor time in CPT code 64640. We are proposing to refine the
clinical labor time for the ``Assist physician or other qualified
healthcare professional--directly related to physician work time (100
percent)'' (CA018) activity from 25 to 20 minutes for CPT code 64640,
to match the intraservice work time. We are also proposing to refine
the equipment times in accordance with our standard equipment time
formulas for CPT code 64640.
We are proposing the RUC-recommended direct PE inputs for CPT code
64XX0 without refinement.
For CPT code 64XX1, we are proposing to refine the quantity of the
``cannula (radiofrequency denervation) (SMK-C10)'' (SD011) supply from
3 to 1. We do not believe that the use of 3 of this supply item would
be typical for the procedure. We note that the RUC recommendations for
another code in this family, CPT code 64640 only contains 1 of this
supply item. We believe that the nerves would typically be ablated one
at a time using this cannula, as opposed to ablating three of them
simultaneously as suggested in the recommended direct PE inputs. We
also searched in the RUC database for other CPT codes that made use of
the SD011 supply, and out of the seven codes that currently use this
item, none of them include more than 2 cannula. As a result, we are
proposing to refine the supply quantity to 2 cannula to match the
highest amount contained in an existing code on the PFS. We are also
refining the equipment time for the ``radiofrequency kit for
destruction by neurolytic agent'' (EQ354) equipment from 141 minutes to
47 minutes. The equipment time recommendation was predicated on the use
of 3 of the SD011 supplies for 47 minutes apiece, and we are refining
the equipment time to reflect our supply refinement to 1 cannula. It
was unclear in the RUC recommendation materials as to whether the
radiofrequency kit equipment was in use simultaneously or sequentially
along with the cannula supplies, and therefore, we are soliciting
comments on the typical use of this equipment.
[[Page 40584]]
(27) Cyclophotocoagulation (CPT Codes 66711, 66982, 66983, 66984,
66X01, and 66X02)
In October 2017, CPT codes 66711 (Ciliary body destruction;
cyclophotocoagulation, endoscopic) and 66984 (Extracapsular cataract
removal with insertion of intraocular lens prosthesis (1 stage
procedure), manual or mechanical technique (e.g., irrigation and
aspiration or phacoemulsification) were identified as codes reported
together 75 percent of the time or more. The RUC reviewed action plans
to determine whether a code bundle solution should be developed for
these services. In January 2018, the RUC recommended to refer to CPT to
bundle 66711 with 66984 for CPT 2020. In May 2018, the CPT Editorial
Panel revised three codes and created two new codes, CPT codes 66X01
(Extracapsular cataract removal with insertion of intraocular lens
prosthesis (1-stage procedure), manual or mechanical technique (e.g.,
irrigation and aspiration or phacoemulsification), complex, requiring
devices or techniques not generally used in routine cataract surgery
(e.g., iris expansion device, suture support for intraocular lens, or
primary posterior capsulorrhexis) or performed on patients in the
amblyogenic developmental stage; with endoscopic cyclophotocoagulation)
and 66X02 (Extracapsular cataract removal with insertion of intraocular
lens prosthesis (1 stage procedure), manual or mechanical technique
(e.g., irrigation and aspiration or phacoemulsification); with
endoscopic cyclophotocoagulation) to differentiate cataract procedures
performed with and without endoscopic cyclophotocoagulation.
The codes discussed above and CPT codes 66982 (Extracapsular
cataract removal with insertion of intraocular lens prosthesis (1-stage
procedure), manual or mechanical technique (e.g., irrigation and
aspiration or phacoemulsification), complex, requiring devices or
techniques not generally used in routine cataract surgery (e.g., iris
expansion device, suture support for intraocular lens, or primary
posterior capsulorrhexis) or performed on patients in the amblyogenic
developmental stage) and 66983 (Intracapsular cataract extraction with
insertion of intraocular lens prosthesis (1 stage procedure)) were
reviewed at the January 2019 RUC meeting.
For CY 2020, we are proposing the RUC-recommended work RVU of 10.25
for CPT code 66982, the RUC recommendation to contractor-price CPT code
66983, and the RUC-recommended work RVU of 7.35 for CPT code 66984. We
disagree with the RUC recommendations for CPT codes 66711, 66X01, and
66X02.
For CPT code 66711, we disagree with the RUC-recommended work RVU
of 6.36 and are proposing a work RVU of 5.62, based on crosswalk to CPT
code 28285 (Correction, hammertoe (e.g., interphalangeal fusion,
partial or total phalangectomy), which has an identical work RVU of
5.62, and similar intraservice and total times.
In our review of CPT code 66711, we note that the recommended
intraservice time is decreasing from 20 minutes to 10 minutes (33
percent reduction), and that the recommended total time is decreasing
from 192 minutes to 191 minutes (0.5 percent reduction). While the RUC-
recommended work RVU is decreasing from 7.93 to 6.36, which is a 20
percent reduction, we do not believe it appropriately accounts for the
decreases in survey time. Time ratio methodology suggest that CPT code
66711 is better valued at a work RVU of 5.29, thus it is overvalued
with consideration to the decreases in survey times. Although we do not
imply that the decrease in time as reflected in survey values must
equate to a one-to-one or linear decrease in the valuation of work
RVUs, we believe that since the two components of work are time and
intensity, significant decreases in time should be appropriately
reflected in decreases to work RVUs. In the case of CPT code 66711, we
believe that it would be more accurate to propose a work RVU of 5.62,
based on our time ratio methodology and a crosswalk to CPT code 28285
to account for these decreases in surveyed work times.
For CPT code 66X01, the RUC recommended a work RVU of 13.15, we
disagree with the RUC-recommended work RVU and are proposing
contractor-pricing for this code. In reviewing this code, we note that
the RUC recommendation survey values do not support the RUC-recommended
work RVU of 13.15 and furthermore, the RUC recommendations do not
include a crosswalk to support the RUC-recommended work RVU. The RUC
recommendations noted a lack of potential crosswalk codes due to the
complete lack of similarly intense major surgical procedures comparable
in the amount of skin-to-skin time, operating room time and amount of
post-operative care. We note that the RUC-recommended work RVU of 13.15
is higher than similarly timed codes on the PFS. Given that lack of
both survey data and a crosswalk to support the RUC-recommended work
RVU for this new code, and that the RUC-recommended work RVU of 13.15
is higher than similarly timed codes on the PFS, we believe it is more
appropriate to propose contractor-pricing for CPT code 66X01. We also
note that the RUC recommended contractor-pricing for another code in
this family, CPT code 66983, which we are proposing for CY 2020.
For CPT code 66X02, the RUC recommended a work RVU of 10.25, we
disagree with the RUC-recommended work RVU and are proposing
contractor-pricing for this code. In reviewing this code, we note that
the RUC recommendation survey values do not support the RUC-recommended
work RVU of 10.25. Furthermore, we are concerned with the RUC
recommended crosswalk, CPT code 67110 (Repair of retinal detachment; by
injection of air or other gas (e.g., pneumatic retinopexy), which is
the same crosswalk used to support the RUC-recommended work RVU of
10.25 for another code in this family, CPT code 66982. CPT code 67110
has 30 minutes of intraservice time and 196 minutes of total time.
Although CPT code 67110 has the identical intraservice time to CPT
codes 66982 and 66X02, we note that CPT code 67110 has 196 minutes of
total time, which is 21 minutes less than the 175 minutes of total time
of CPT code 66982, and 6 minutes less than the 202 minutes of total
time of CPT Code 66X02. However, the RUC is recommending the same work
RVU of 10.25 for CPT codes 66982 and 66X02, supported by the same
crosswalk to CPT code 67110.
Given that lack of survey data and our concern for the RUC-
recommended crosswalk to support the RUC-recommended work RVU of 10.25
for CPT code 66X02, we believe it is appropriate to propose contractor-
pricing for CPT code 66X02. We also note that the RUC recommended
contractor-pricing for another code in this family, CPT code 66983,
which we are prosing for CY 2020.
We are proposing to remove all the direct PE inputs for CPT codes
66X01 and 66X02, given our proposal for contractor-pricing for these
codes. We are proposing the RUC-recommended direct PE inputs for the
other codes in this family.
(28) X-Ray Exam--Sinuses (CPT Codes 70210 and 70220)
CPT code 70210 (Radiologic examination, sinuses, paranasal, less
than 3 views) and CPT code 70220 (Radiologic examination, sinuses,
paranasal, complete, minimum of 3 views) were identified as potentially
misvalued through a screen for
[[Page 40585]]
Medicare services with utilization of 30,000 or more annually. These
two codes were first reviewed by the RUC in April 2018, but were
subsequently surveyed by the specialty societies and reviewed again by
the RUC in January 2019.
The RUC recommended a work RVU for CPT code 70210 of 0.20, which is
a slight increase over the current work RVU for this code (0.17). The
RUC's recommendation is consistent with 25th percentile of survey
results and is based on a comparison of the survey code with the two
key reference services. The first key reference service, CPT code 71046
(Radiologic examination, chest; 2 views), has a work RVU of 0.22, 4
minutes of intraservice time, and 6 minutes of total time. The RUC
noted that the survey code has one minute less intraservice and total
time compared with the first key reference service (CPT code 71046),
which accounts for the slightly lower work RVU for the survey code. The
RUC also compared CPT code 70210 to CPT code 70355 (Orthopantogram
(e.g., panoramic X-ray)), with a work RVU of 0.20, 5 minutes of
intraservice time, and 6 minutes of total time. Although the
intraservice and total times are lower for CPT code 70210 than for CPT
code 70355, the work is slightly more intense for the survey code,
according to the RUC, justifying an identical work RVU of 0.20 for CPT
code 70210. We disagree with the RUC's recommendation to increase the
work RVU for CPT code 70210 from the current value (0.17) to 0.20 for
two main reasons. First, the total time (5 minutes) for this code has
not changed from the current total time and without a corresponding
explanation for an increase in valuation despite maintaining the same
total time, we do are not convinced that the work RVU for this code
should increase. In addition, we note that based on a general
comparison of CPT codes with identical intraservice time and total time
(approximately 23 comparison codes, excluding those currently under
review), a work RVU of 0.20 would establish a new upper threshold among
this cohort. We are proposing to maintain the work RVU for CPT code
70210 of 0.17 work RVUs, bracketed by two services. On the upper side,
we identified CPT code 73501 (Radiologic examination, hip, unilateral,
with pelvis when performed; 1 view) with a work RVU of 0.18, and on the
lower side, we identified CPT code 73560 (Radiologic examination, knee;
1 or 2 views) with a work RVU of 0.16. For CPT code 70220, we are
proposing the RUC-recommended work RVU of 0.22.
We are proposing the RUC-recommended direct PE inputs for all codes
in the family.
(29) X-Ray Exam--Skull (CPT Codes 70250 and 70260)
CPT code 70250 (Radiologic examination, skull, less than 4 views)
was identified as potentially misvalued through a screen of Medicare
services with utilization of 30,000 or more annually. CPT code 70260
(Radiologic examination, skull; complete, minimum of 4 views) was
included as part of the same family. These two codes were first
reviewed by the RUC in April 2018, but were subsequently surveyed by
the specialty societies and reviewed by the RUC again in January 2019.
The RUC-recommended work RVU for CPT code 70250 is 0.20, which is a
slight decrease from the current work RVU for this code (0.24). The
decrease, according to the RUC, reflects a slightly lower total time
required to furnish the service (from 7 minutes to 5 minutes) and is
consistent with the 25th percentile work RVU from the survey results.
The RUC-recommended work RVU is bracketed by two CPT codes: Top key
reference service, CPT code 71046 (Radiologic examination, chest; 2
views) with 4 minutes of intraservice time, 6 minutes total time, and a
work RVU of 0.22; and key reference service, CPT code 73562 (Radiologic
examination, knee; 3 views), with intraservice time of 4 minutes, total
time of 6 minutes, and a work RVU of 0.18. The RUC noted that while the
survey code has less time than CPT code 71046, the work is slightly
more intense due to anatomical and contextual complexity. The survey
code is also more intense compared with the second key reference
service, CPT code 73562, according to the RUC, because of the higher
level of technical skill involved in an X-ray of the skull (axial
skeleton) compared with an X-ray of the knee (appendicular skeleton).
The RUC further indicated that a comparison between the survey code and
CPT codes with a work RVU of 0.18 would not be appropriate given the
higher level of complexity associated with an X-ray of the skull than
with other CPT codes that have similar times. We disagree with the
recommended work RVU of 0.20 for CPT code 70250. The total time for
furnishing the service has decreased by 2 minutes while the description
of the work involved in furnishing the service has not changed. This
suggests that a value closer to the total time ratio (TTR) calculation
(0.17 work RVU) might be more appropriate. In addition, a search of CPT
codes with 3 minutes of intraservice time and 5 minutes of total time
indicates that the maximum work RVU for codes with these times is 0.18,
meaning that a work RVU of 0.20 would establish a new relative high
work RVU for codes with these times. We believe that a crosswalk to CPT
code 73501 (Radiologic examination, hip, unilateral, with pelvis when
performed; 1 view) with a work RVU of 0.18, 3 minutes of intraservice
time, and 5 minutes of total time, accurately reflects both the time
and intensity of furnishing the service described by CPT code 70250.
Therefore, we are proposing a work RVU of 0.18 for CPT code 70250.
The RUC recommended a work RVU of 0.29 for CPT code 70260, which is
lower than the current work RVU of 0.34. The survey times for
furnishing the service are 4 minutes of intraservice time and 7 minutes
total time, compared with the current intraservice time and total time
of 7 minutes. However, in developing their recommendation, the RUC
reduced the total time for this code from 7 minutes to 6 minutes.
Although the RUC's recommended work RVU reflects the 25th percentile of
survey results, the survey 25th percentile is based on an additional
minute of total time compared with the RUC's total time for this CPT
code. Moreover, since we are proposing a lower work RVU for the base
code for this family (work RVU of 0.18 for CPT code 70250), we believe
a lower work RVU for CPT code 70260 is warranted. To identify an
alternative value, we calculated the increment between the current work
RVU for CPT code 72050 (work RVU of 0.24) and the current work RVU for
CPT code 72060 (work RVU of 0.34) and applied it to the CMS proposed
work RVU for CPT code 70250 (0.18 + 0.10) to calculate a work RVU of
0.28. We believe that applying this increment is a better reflection of
the work time and intensity involved in furnishing CPT code 70260. We
are proposing a work RVU for CPT code 70260 of 0.28.
We are proposing the RUC-recommended direct PE inputs for all codes
in the family.
(30) X-Ray Exam--Neck (CPT Code 70360)
CPT code 70360 (Radiologic examination; neck, soft tissue) was
identified as potentially misvalued through a screen of CPT codes with
annual Medicare utilization of 30,000 or more. CPT code 70360 was first
reviewed by the RUC in April 2018 but was subsequently surveyed by the
specialty societies and reviewed by the RUC again in January 2019.
The RUC recommended a work RVU of 0.20 for CPT code 70360, which is
an increase over the current work RVU
[[Page 40586]]
(0.17). To support their recommendation, the RUC cited the survey key
reference service, CPT code 71046 (Radiologic examination, chest; 2
views), with a work RVU of 0.22, 4 minutes of intraservice time, and 6
minutes of total time. They noted that the key reference code has one
minute higher intraservice and total time, accounting for the slightly
higher work RVU compared with the survey code, CPT code 70360. The RUC
also cited the second highest key reference service, CPT code 73562
(Radiologic examination, knee; 3 views) with a work RVU of 0.18,
intraservice time of 4 minutes, and total time of 6 minutes. They noted
that, while the survey code has lower intraservice time (3 minutes) and
total time (5 minutes) compared with CPT code 73562, the survey code is
more complex than the key reference service, thereby supporting a
higher work RVU for the survey code (CPT code 70360) of 0.20. We do not
agree with the RUC that the work RVU for CPT code 70360 should increase
from 0.17 to 0.20. The total time for the CPT code, as recommended by
the RUC (5 minutes), is unchanged from the existing total time. Without
a corresponding discussion of why the current work RVU is insufficient,
we do not agree that there should be an increase in the work RVU.
Furthermore, although the RUC's recommendation is consistent with the
25th percentile of survey results for the work RVU, the total time from
the survey results was 6 minutes, not the RUC-recommended time of 5
minutes. When we looked at CPT codes with identical times to the survey
code for a crosswalk, we identified CPT code 73552 (Radiologic
examination, femur; minimum 2 views), with a work RVU of 0.18. We
believe this is a more appropriate valuation for CPT code 70360 and we
are proposing a work RVU for this CPT code of 0.18.
We are proposing the RUC-recommended direct PE inputs for CPT code
70360.
(31) X-Ray Exam--Spine (CPT Codes 72020, 72040, 72050, 72052, 72070,
72072, 72074, 72080, 72100, 72110, 72114, and 72120)
CPT codes 72020 (Radiologic examination spine, single view, specify
level) and 72072 (Radiologic examination, spine; thoracic, 3 views)
were identified through a screen of CMS/Other Source codes with
Medicare utilization greater than 100,000 services annually. The code
family was expanded to include 10 additional CPT codes to be reviewed
together as a group: CPT code 72040 (Radiologic examination, spine,
cervical; 2 or 3 views), CPT code 72050 (Radiologic examination, spine,
cervical; 4 or 5 views), CPT code 72052 (Radiologic examination, spine
cervical; 6 or more views), CPT code 72070 (Radiologic examination
spine; thoracic, 2 views), CPT code 72074 (Radiologic examination,
spine; thoracic, minimum of 4 views), CPT code 72080 (Radiologic
examination, spine; thoracolumbar junction, minimum of 2 views), CPT
code 72100 (Radiologic examination, spine, lumbosacral; 2 or 3 views),
CPT code 72110 (Radiologic examination, spine, lumbosacral; minimum of
4 views), CPT code 72114 (Radiologic examination, spine, lumbosacral;
complete, including bending views, minimum of 6 views), and CPT code
72120 (Radiologic examination, spine, lumbosacral; bending views only,
2 or 3 views). This family of CPT codes was originally valued by the
specialty societies using a crosswalk methodology approved by the RUC
Research Subcommittee. However, after we expressed concern about the
use of this approach for valuing work and PE, the specialty society
agreed to survey these codes and the RUC reviewed them again in January
2019.
For the majority of CPT codes in this family, the RUC recommended a
work RVU that is slightly different (higher or lower) than the current
work RVU. Three CPT codes in this family are maintaining the current
work RVU. We are proposing the RUC-recommended work RVU for all 12 CPT
codes in this family as follows: CPT code 72020 (work RVU = 0.16); CPT
code 72040 (work RVU = 0.22); CPT code 72050 (work RVU = 0.27); CPT
code 72052 (work RVU = 0.30); CPT code 72070 (work RVU = 0.20); CPT
code 72072 (work RVU = 0.23); CPT code 72074 (work RVU = 0.25); 72080
(work RVU = 0.21); CPT code 72100 (work RVU = 0.22); CPT code 72110
(work RVU =0.26); CPT code 72114 (work RVU = 0.30); and CPT code 72120
(work RVU = 0.22).
We are proposing the RUC-recommended direct PE inputs for all codes
in the family.
(32) CT-Orbit-Ear-Fossa (CPT Codes 70480, 70481, and 70482)
In October 2017, the RAW requested that AMA staff develop a list of
CMS/Other codes with Medicare utilization of 30,000 or more. CPT code
70480 (Computed tomography (CT), orbit, sella, or posterior fossa or
outer, middle, or inner ear; without contrast material) was identified.
In addition, the code family was expanded to include two related CT
codes, CPT code 70481 (Computed tomography, orbit, sella, or posterior
fossa or outer, middle, or inner ear; with contrast material) and CPT
code 70482 (Computed tomography, orbit, sella, or posterior fossa or
outer, middle, or inner ear; without contrast material followed by
contrast material(s) and further sections). In 2018, the RUC
recommended this code family be surveyed.
For CPT code 70840, we disagree with the RUC-recommended work RVU
of 1.28 and propose instead a work RVU of 1.13. We are proposing a
lower work RVU because 1.13 represents the commensurate 12 percent
decrease in work time reflected in survey values. We reference the work
RVUs of CPT codes 72128 (Computed tomography, chest, spine; without
dye) and 71250 (Computed tomography, thorax without dye) both of which
have the same intraservice time (that is, 15 minutes) as CPT code 70840
but longer total times (that is, 25 minutes versus 22 minutes). We
believe that CPT code 72128 with a work RVU of 1.0 and CPT code 71250
with a work RVU of 1.16 more accurately reflect the relative work
values of CPT code 70840.
We also disagree with the RUC-recommended work RVU of 1.13 for CPT
code 70481. Instead, we are proposing a work RVU of 1.06 for CPT code
70481. As with CPT code 70840, we are proposing a lower work RVU for
CPT code 70481 because a work RVU of 1.06 is commensurate with the 23
percent decrease in surveyed total time from 26 to 20 minutes. We
believe CPT code 76641 (Ultrasound, breast, unilateral) with a work RVU
of 0.73 and CPT code 70460 (Computed Tomography, head or brain, without
contrast) with a work RVU of 1.13 serve as appropriate references for
our proposed work RVU for CPT code 70841. Although CPT codes 76641 and
70460 have longer total times at 22 minutes and lower intraservice
times at 12 minutes, we believe they better reflect the relative work
value of CPT code 70481 with a proposed work RVU of 1.06, total time of
20 minutes, and intraservice time of 13 minutes.
For the third code in the family, CPT code 70482, we are proposing
the RUC-recommended work RVU of 1.27.
We are proposing the RUC-recommended direct PE inputs for all codes
in the family.
(33) CT Spine (CPT Codes 72125, 72126, 72127, 72128, 72129, 72130,
72131, 72132, and 72133)
CPT code 72132 (Computed tomography, lumbar spine; with contrast
material) was identified as potentially misvalued on a screen of CMS/
Other codes with Medicare
[[Page 40587]]
utilization of 30,000 or more. Eight other spine CT codes were
identified as part of the family, and they were surveyed and reviewed
together at the April 2018 RUC meeting.
We are proposing the RUC-recommended work RVU for eight of the nine
codes in the family. We are proposing a work RVU of 1.22 for CPT code
72126 (Computed tomography, cervical spine; with contrast material), a
work RVU of 1.27 for CPT code 72127 (Computed tomography, cervical
spine; without contrast material, followed by contrast material(s) and
further sections), a work RVU of 1.00 for CPT code 72128 (Computed
tomography, thoracic spine; without contrast material), a work RVU of
1.22 for CPT code 72129 (Computed tomography, thoracic spine; with
contrast material), a work RVU of 1.27 for CPT code 72130 (Computed
tomography, thoracic spine; without contrast material, followed by
contrast material(s) and further sections), a work RVU of 1.00 for CPT
code 72131 (Computed tomography, lumbar spine; without contrast
material), a work RVU of 1.22 for CPT code 72132 (Computed tomography,
lumbar spine; with contrast material), and a work RVU of 1.27 for CPT
code 72133 (Computed tomography, lumbar spine; without contrast
material, followed by contrast material(s) and further sections).
We disagree with the RUC-recommended work RVU of 1.07 for CPT code
72125 (Computed tomography, cervical spine; without contrast material)
and we are proposing a work RVU of 1.00 to match the other without
contrast codes in the family. The cervical spine CT procedure described
by CPT code 72125 shares the identical surveyed work time as the
thoracic spine CT procedure described by CPT code 72128 and the lumbar
spine CT procedure described by CPT code 72131, and we believe that
this indicates that these three CPT codes should share the same work
RVU of 1.00. Our proposed work RVU would also match the pattern
established by the rest of the codes in this family, in which the
contrast procedures (CPT codes 72126, 72129, and 72132) share a
proposed work RVU of 1.22 and the without/with contrast procedures (CPT
codes 72127, 72130, and 72133) share a proposed work RVU of 1.27.
We recognize that the RUC has stated that they believe CPT code
72125 to be a more complex study than CPT codes 72128 and 72131 because
the cervical spine is subject to an increased number of injuries and
there are a larger number of articulations to evaluate. This was the
basis for their recommendation that this code should be valued slightly
higher than the other without contrast codes. However, if CPT code
72125 has a more difficult patient population and requires a larger
number of articulations to evaluate as compared to CPT codes 72128 and
72131, we do not understand why this was not reflected in the surveyed
work times, which were identical for the three procedures. We believe
that if the intensity of the procedure were higher due to these
additional difficulties, it would be reflected in a longer surveyed
work time. In addition, the survey respondents selected a higher work
RVU for CPT code 72131 than CPT code 72125 at both the survey 25th
percentile (1.20 to 1.18) and survey median values (1.39 to 1.28),
which does not suggest that CPT code 72125 should be valued at a higher
rate.
We also note that the surveyed intraservice work time for CPT code
72125 is decreasing from 15 minutes to 12 minutes, and we believe that
this provides additional support for a slight reduction in the work RVU
to match the other without contrast codes in the family. We recognize
that adjusting work RVUs for changes in time is not always a
straightforward process and that the intensity associated with changes
in time is not necessarily always linear, which is why we apply various
methodologies to identify several potential work values for individual
codes. However, we want to reiterate that we believe it would be
irresponsible to ignore changes in time based on the best data
available and that we are statutorily obligated to consider both time
and intensity in establishing work RVUs for PFS services. For
additional information regarding the use of prior work time values in
our methodology, we refer readers to our discussion of the subject in
the CY 2017 PFS final rule (81 FR 80273 through 80274).
We are proposing the RUC-recommended direct PE inputs for all codes
in the family.
(34) X-Ray Exam--Pelvis (CPT Codes 72170 and 72190)
CPT code 72190 (Radiologic examination, pelvis; complete, minimum
of 3 views) was identified as potentially misvalued through a screen of
CMS/Other codes with Medicare utilization of 30,000 or more annually.
CPT code 72170 (Radiologic examination, pelvis; 1 or 2 views) was added
as part of the family. The RUC originally reviewed these two codes
after specialty societies employed a crosswalk methodology to value
work and PE. However, after we expressed concern about the use of this
approach, the specialty society agreed to survey the codes and the RUC
reviewed them again at the meeting in January 2019.
The RUC recommended a work RVU of 0.17 for CPT code 72170, which
maintains the current value. For CPT code 72190, the RUC recommended a
work RVU of 0.25, which is slightly higher than the current value
(0.21). We are proposing the RUC-recommended values for these two CPT
codes.
We are proposing the RUC-recommended direct PE inputs for all codes
in the family.
(35) X-Ray Exam--Sacrum (CPT Codes 72200, 72202, and 72220)
CPT code 72220 (Radiologic examination, sacrum and coccyx, minimum
of 2 views) was identified on a screen of CMS/Other source codes with
Medicare utilization greater than 100,000 annually. CPT codes 72200
(Radiologic examination, sacroiliac joints; less than 3 views) and
72202 (Radiologic examination, sacroiliac joints; 3 or more views) were
also included for review as part of the same family of codes. These
three codes were originally valued by the specialty societies using a
crosswalk methodology approved by the RUC Research Subcommittee.
However, after we expressed concern about the use of this approach for
valuing work and PE, the specialty society agreed to survey these codes
and the RUC reviewed them again in January 2019.
For CPT code 72200, the RUC is recommending a work RVU of 0.20,
which is higher than the current work RVU (0.17). To support their
recommendation, the RUC compared the survey code to the key reference
service, CPT code 73522 (Radiologic examination, hips, bilateral, with
pelvis when performed; 3-4 views), with a work RVU of 0.29, 5 minutes
of intraservice time and 7 minutes of total time. The intraservice and
total times for the key reference service are one minute higher than
the survey code (4 minutes intraservice time, 6 minutes total time for
CPT code 72200) and the survey code is less intense, according to the
RUC, thereby supporting a slightly lower work RVU of 0.20 for CPT code
72200. The second key reference service is CPT code 73562 (Radiologic
examination, knee; 3 views), with 4 minutes of intraservice time, 6
minutes of total time, and a work RVU of 0.18. The RUC noted that this
second key reference service is less intense to furnish than the survey
code, which justifies a slightly lower work RVU despite identical
intraservice time (4 minutes) and total time (6 minutes). The
[[Page 40588]]
RUC supported their recommendation of a work RVU for CPT code 72200 of
0.20 with two bracketing codes: CPT code 93042 (Rhythm ECG, 1-3 leads;
interpretation and report only) with work RVU of 0.15, and CPT code
70355 (Orthopantogram (e.g. panoramic x-ray)) with a work RVU of 0.20
(which is identical to the RUC-recommended work RVU for CPT code 72200
but has one additional minute of intraservice time). A work RVU of 0.20
is consistent with the work RVU estimated by the TTR and reflects the
25th percentile of survey results. Nevertheless, we do not agree that
there is sufficient justification for an increase in work RVU for CPT
code 72200. We are concerned that the large variation in specialty
societies' survey times is indicative of differences in patient
population, practice workflow, or even possibly some ambiguity
associated with the survey vignette. We also note that the 25th
percentile of survey results are based on the overall survey total
time, which is 8 minutes, rather than the RUC's recommended 6 minutes.
The time parameters for furnishing the service affect all other points
of comparison for purpose of valuing the code, including TTR,
identification of potential crosswalks, and increment calculations. We
found no corresponding explanation for the variability in survey times,
leading us to question why there should be an increase in work RVU from
the current value. Therefore, we are proposing to maintain the current
work RVU for CPT code 72200 at 0.17.
For CPT code 72202, the RUC recommended a work RVU of 0.26, which
is considerably higher than the current work RUV for this code of 0.19.
The RUC supported their recommendation with two key reference services.
The first is CPT code 73522 (Radiologic examination, hips, bilateral,
with pelvis when performed; 3-4 views) with 5 minutes intraservice
time, 7 minutes total time, and a work RVU of 0.29. They note that this
code has an additional minute for intraservice and total time compared
with the survey code, reflecting the additional views associated with
evaluating bilateral hip joints. The second key reference service is
CPT code 73562 (Radiologic examination, knee; 3 views) with 4 minutes
intraservice time, 6 minutes total time, and a work RVU of 0.18. The
RUC notes that the survey code has the same times but requires more
intensity and includes an additional view compared with the reference
service, which justifies a higher work RVU for the survey code. We
disagree with the RUC's recommended work RVU for CPT code 72202. Given
that there is no change in the total time required to furnish the
service and there is no corresponding description of an increase in the
intensity of the work relative to the existing value, we do not believe
an increase of 0.07 work RVUs is warranted. The TTR calculation yields
a work RVU of .019, suggesting that a value closer to the current work
RVU would be more appropriate. In addition, since we consider the RUC-
recommended work RVU for this code as an incremental change from the
prior code in this family, we believe that an increase of 0.06 over the
proposed work RVU of 0.18 for CPT code 72200, which yields a work RVU
of 0.23, is a better reflection of the time and intensity required to
furnish CPT code 72202. Our proposed value work RVU of 0.23 is
bracketed by CPT code 73521 (Radiologic examination, hips, bilateral,
with pelvis when performed; 2 views) on the lower end (work RVU = .22),
and CPT code 74021 (Radiologic examination, abdomen; 3 or more views),
on the higher end (work RVU = 0.27). CPT code 73521 has the same times
as the survey code but describes a bilateral service with 2 views,
which is slightly less intense. CPT code 74021 also has identical times
but involves X-ray of the abdomen with 3 views, a slightly higher
intensity than the survey code.
The RUC-recommended work RVU for CPT code 72220 is 0.20, which
reflects an increase over the current work RVU for this code (0.17).
The key reference service from the survey results is CPT code 73522
(Radiologic examination, hips, bilateral, with pelvis when performed,
2-4 views), with a work RVU of 0.29, 5 minutes intraservice time, and 7
minutes total time. The RUC noted that the recommended work RVU for CPT
code 72220 has a lower value than the top key reference code (CPT code
73522) because of the shorter time and lower intensity involved in
furnishing the survey code. The second highest key reference service,
CPT code 73562 (Radiologic examination, knee; 3 views) has a work RVU
of 0.18 with 4 minutes of intraservice time and 6 minutes of total
time. The RUC notes that this second key reference service has a lower
work RVU than the survey code despite having a slightly higher
intraservice time and total time because it involves an X-ray of just
one knee. We disagree with the RUC's recommended increase in the work
RVU for CPT code 72220 from 0.17 to 0.20. We note that there is no
change in the total time required to furnish the service. We also note
that a work RVU of 0.20 for CPT code 72220 would place it near the
maximum work RVU for CPT codes with identical intraservice time (3
minutes) and total time (5 minutes). Instead, we are proposing to
maintain the work RVU for this service at 0.17, which is consistent
with our proposal to maintain the current work RVU for CPT code 72200
at 0.17 as well.
We are proposing the RUC-recommended direct PE inputs for all codes
in the family.
(36) X-Ray Exam--Clavicle-Shoulder (CPT Codes 73000, 73010, 73020,
73030, and 73050)
CPT code 73030 (Radiologic examination, shoulder; complete, minimum
of 2 views) was identified as potentially misvalued through a screen of
services with more than 100,000 utilization annually. CPT codes 73000
(Radiologic examination; clavicle, complete), 73010 (Radiologic
examination; scapula, complete), 73020 (Radiologic examination,
shoulder; 1 view), and 73050 (Radiologic examination, acromioclavicular
joints, bilateral, with or without weighted distraction) were included
for review as part of the same family. We are proposing the RUC-
recommended work RVUs for all five codes in this family as follows: CPT
code 73000 (work RVU = 0.16); CPT code 73010 (work RVU = 0.17); CPT
code 73020 (work RVU = 0.15); CPT code 73030 (work RVU = 0.18); and CPT
code 73050 (work RVU = 0.18).
We are proposing the RUC-recommended direct PE inputs for all codes
in the family.
(37) CT Lower Extremity (CPT Codes 73700, 73701, and 73702)
CPT code 73701 (Computed tomography, lower extremity; with contrast
material(s)) was identified as potentially misvalued on a screen of
CMS/Other codes with Medicare utilization of 30,000 or more. Two other
lower extremity CT codes were identified as part of the family, and
they were surveyed and reviewed together at the April 2018 RUC meeting.
We are proposing the RUC-recommended work RVU for all three codes
in this family. We are proposing a work RVU of 1.00 for CPT code 73700
(Computed tomography, lower extremity; without contrast material), a
work RVU of 1.16 for CPT code 73701 (Computed tomography, lower
extremity; with contrast material(s)), and a work RVU of 1.22 for CPT
code 73702 (Computed tomography, lower extremity; without contrast
material, followed by contrast material(s) and further sections).
[[Page 40589]]
We are proposing the RUC-recommended direct PE inputs for all codes
in the family.
(38) X-Ray Elbow-Forearm (CPT Codes 73070, 73080, and 73090)
CPT codes 73070 (Radiologic examination, elbow; 2 views) and 73090
(Radiologic examination; forearm, 2 views) were identified on a screen
of CMS/Other source codes with Medicare utilization greater than
100,000 services annually. CPT code 73080 (Radiologic examination,
elbow; complete, minimum of 3 views) was included for review as part of
the same code family. All three CPT codes in this family were
originally valued by the specialty societies using a crosswalk
methodology approved by the RUC research committee. However, after we
expressed concern about the use of this approach for valuing work and
PE, the specialty society agreed to survey the codes and the RUC
reviewed them again at the meeting in January 2019. We are proposing
the RUC-recommended work RVU for all three codes in this family as
follows: CPT code 73070 (work RVU = 0. 16); CPT code 73080 (work RVU =
0.17); and CPT code 73090 (work RVU = 0.16).
We are proposing the RUC-recommended direct PE inputs for all codes
in the family.
(39) X-Ray Heel (CPT Code 73650)
CPT code 73650 (Radiologic examination; calcaneous, minimum of 2
views) was identified on a screen of CMS/Other source codes with
Medicare utilization greater than 100,000 services annually. CPT code
73650 was originally valued by the specialty societies using a
crosswalk methodology approved by the RUC Research Subcommittee.
However, after we expressed concern about the use of this approach for
valuing work and PE, the specialty society agreed to survey the code
and the RUC reviewed it again in January 2019. For CPT code 73650, we
are proposing the RUC-recommended work RVU of 0.16. We are also
proposing the RUC-recommended direct PE inputs for CPT code 73650.
(40) X-Ray Toe (CPT Code 73660)
CPT code 73660 (Radiologic examination; toe(s), minimum of 2 views)
was identified on a screen of CMS/Other source codes with Medicare
utilization greater than 100,000 services annually. CPT code 73660 was
originally valued by the specialty societies using a crosswalk
methodology approved by the RUC Research Subcommittee. However, after
we expressed concern about the use of this approach for valuing work
and PE, the specialty society agreed to survey the code and the RUC
reviewed it again in January 2019. We are proposing the RUC-recommended
work RVU for this code of 0.13 for CPT code 73660. We are also
proposing the RUC-recommended direct PE inputs for CPT code 73660.
(41) Upper Gastrointestinal Tract Imaging (CPT Codes 74210, 74220,
74230, 74X00, 74240, 74246, and 74X01)
These services were identified through a list of list of CMS/Other
codes with Medicare utilization of 30,000 or more. The CPT Editorial
Panel subsequently revised this code set in order to conform to other
families of radiologic examinations.
We are proposing the RUC-recommended work RVUs of 0.59 for CPT code
74210 (Radiologic examination, pharynx and/or cervical esophagus,
including scout neck radiograph(s) and delayed image(s), when
performed, contrast (e.g., barium) study), 0.60 for CPT code 74220
(Radiologic examination, esophagus, including scout chest radiograph(s)
and delayed image(s), when performed; single-contrast (e.g., barium)
study), 0.70 for CPT code 74X00 (Radiologic examination, esophagus,
including scout chest radiograph(s) and delayed image(s), when
performed; double-contrast (e.g., high-density barium and effervescent
agent) study), 0.53 for CPT code 74230 (Radiologic examination,
swallowing function, with cineradiography/videoradiography, including
scout neck radiograph(s) and delayed image(s), when performed, contrast
(e.g., barium) study), 0.80 for CPT code 74240 (Radiologic examination,
upper gastrointestinal tract, including scout abdominal radiograph(s)
and delayed image(s), when performed; single-contrast (e.g., barium)
study) 0.90 for CPT code 74246 (Radiologic examination, upper
gastrointestinal tract, including scout abdominal radiograph(s) and
delayed image(s), when performed; double-contrast (e.g., high-density
barium and effervescent agent) study, including glucagon, when
administered), and 0.70 for CPT code 74X01 (Radiologic examination,
upper gastrointestinal tract, including scout abdominal radiograph(s)
and delayed image(s), when performed; with small intestine follow-
through study, including multiple serial images (List separately in
addition to code for primary procedure)). We are also proposing the
reaffirmed work RVU of 0.59 for CPT code 74210 (Radiologic examination,
pharynx and/or cervical esophagus, including scout neck radiograph(s)
and delayed image(s), when performed, contrast (e.g., barium) study)
and the reaffirmed work RVU of 0.53 for CPT code 74230 (Radiologic
examination, swallowing function, with cineradiography/
videoradiography, including scout neck radiograph(s) and delayed
image(s), when performed, contrast (e.g., barium) study).
For the direct PE clinical labor input CA021 ``Perform procedure/
service--NOT directly related to physician work time,'' we note that no
rationale was given for the RUC-recommended times for these codes, and
we are requesting comment on the appropriateness of the RUC-recommended
clinical labor times for this activity of 13 minutes, 13 minutes, 15
minutes, 15 minutes, 19 minutes, 22 minutes, and 15 minutes for CPT
codes 74210, 74220, 74X00, 74230, 74240, and 74246, respectively. In
addition, for CPT code 74230, we are proposing to refine the clinical
labor times for the ``Prepare room, equipment and supplies'' (CA013)
and ``Prepare, set-up and start IV, initial positioning and monitoring
of patient'' (CA016) activity codes to the standard values of 2 minutes
each, as well as to refine the equipment times to reflect these changes
in clinical labor.
(42) Lower Gastrointestinal Tract Imaging (CPT Codes 74250, 74251,
74270, and 74280)
These services were identified through a list CMS/Other codes with
Medicare utilization of 30,000 or more. We are proposing the RUC-
recommended work RVUs of 0.81 for CPT code 74250 (Radiologic
examination, small intestine, including multiple serial images and
scout abdominal radiograph(s), when performed; single-contrast (e.g.,
barium) study), 1.17 for CPT code 74251 (Radiologic examination, small
intestine, including multiple serial images and scout abdominal
radiograph(s), when performed; double-contrast (e.g., high-density
barium and air via enteroclysis tube) study, including glucagon, when
administered), 1.04 for 74270 (Radiologic examination, colon, including
scout abdominal radiograph(s) and delayed image(s), when performed;
single-contrast (e.g., barium) study), and 1.26 for CPT code 74280
(Radiologic examination, colon, including scout abdominal radiograph(s)
and delayed image(s), when performed; double-contrast (e.g., high
density barium and air) study, including glucagon, when administered).
[[Page 40590]]
For the direct PE clinical labor input CA021 ``Perform procedure/
service--NOT directly related to physician work time,'' we note that no
rationale was given for the recommended times for these codes, and we
are requesting comment on the appropriateness of the RUC-recommended
clinical labor times for this activity of 19 minutes, 30 minutes, 25
minutes, and 36 minutes for CPT codes 74250, 74251, 74270, and 74280,
respectively. In addition, we are proposing to refine the equipment
time for the room, radiographic-fluoroscopic (EL014) for CPT code 74250
to conform to our established standard for highly technical equipment
and to match the rest of the codes in the family.
(43) Urography (CPT Code 74425)
The physician time and work described by CPT code 74425 (Urography,
antegrade (pyelostogram, nephrostogram, loopogram), radiological
supervision and interpretation) was combined with services describing
genitourinary catheter procedures in CY 2016, resulting in CPT codes
50431 (Injection procedure for antegrade nephrostogram and/or
ureterogram, complete diagnostic procedure including imaging guidance
(e.g., ultrasound and fluoroscopy) and all associated radiological
supervision and interpretation; existing access) and 50432 (Placement
of nephrostomy catheter, percutaneous, including diagnostic
nephrostogram and/or ureterogram when performed, imaging guidance
(e.g., ultrasound and/or fluoroscopy) and all associated radiological
supervision and interpretation). CPT code 74425 was not deleted at the
time, but the RUC agreed with the specialty societies that 2 years of
Medicare claims data should be available for analysis before the code
was resurveyed for valuation to allow for any changes in the
characteristics and process involved in furnishing the service
separately from the genitourinary catheter procedures. The specialty
society surveyed CPT code 74425 and reviewed the results with the RUC
in October 2018.
The results of the specialty society surveys indicated a large
increase in the amount of time required to furnish the service and,
correspondingly, to the work RVU. The total time for CPT code 74425
based on the survey results was 34 minutes, an increase of 25 minutes
over the current total time of 9 minutes. In reviewing the survey
results, the RUC revised the total time for this CPT code to 24
minutes, with a recommended work RVU of 0.51. The reason for the large
increase in time according to the RUC, is a change in the typical
patient profile in which the typical patient is one with an ileal
conduit through which nephrostomy tubes have been placed for post-
operative obstruction. Based on the described change in patient
population and increased time required to furnish the service, we are
proposing the RUC-recommended work RVU of 0.51 for CPT code 74425.
We are proposing the RUC-recommended direct PE inputs for CPT code
74425.
(44) Abdominal Aortography (CPT Codes 75625 and 75630)
In October 2017, the RAW requested that AMA staff compile a list of
CMS/Other codes with Medicare utilization of 30,000 or more. In January
2018, the RUC recommended to survey these services for the October 2018
RUC meeting. Subsequently, the specialty society surveyed these codes.
We disagree with the RUC-recommended work RVU of 1.75 for CPT code
75625 (Aortography, abdominal, by serialography, radiological
supervision and interpretation). In reviewing CPT code 75625, we note
that the key reference service, CPT Code 75710 (Angiography, extremity,
unilateral, radiological supervision and interpretation), has 10
additional minutes of intraservice time, 10 additional minutes of total
time and the same work RVU, which would indicate the RUC-recommended
work RVU of 1.75 appears to be overvalued. When we compared the
intraservice time ratio between the RUC-recommended time of 30 minutes
and the reference code intraservice time of 40 minutes we found a ratio
of 25 percent. 25 percent of the reference code work RVU of 1.75 equals
a work RVU of 1.31. When we compared the total service time ratio
between the RUC-recommended time of 60 minutes and the reference code
total service time of 70 minutes we found a ratio of 14 percent. 14
percent of the reference code work RVU of 1.75 equals a work RVU of
1.51. Therefore, we believe an accurate value would lie between 1.31
and 1.52 RVUs. In looking for a comparative code, we have identified
CPT code 38222. CPT Code 38222 is a recently reviewed CPT code with the
identical intraservice and total times. As a result, we believe that it
is more accurate to propose a work RVU of 1.44 based on a crosswalk to
CPT code 38222.
In case of CPT code 75630 (Aortography, abdominal plus bilateral
iliofemoral lower extremity, catheter, by serialography, radiological
supervision and interpretation), we are proposing the RUC-recommended
value of 2.00 RVUs.
We are proposing the RUC-recommended direct PE inputs for all codes
in the family.
(45) Angiography (CPT Codes 75726 and 75774)
We are proposing the RUC-recommend work RVU for both codes in this
family. We are proposing a work RVU of 2.05 for CPT code 75726
(Angiography, visceral, selective or supraselective (with or without
flush aortogram), radiological supervision and interpretation), a work
RVU of 1.01 for CPT code 75774 (Angiography, selective, each additional
vessel studied after basic examination, radiological supervision and
interpretation (List separately in addition to code for primary
procedure).
We are proposing the RUC-recommended direct PE inputs for all codes
in the family.
(46) X-Ray Exam Specimen (CPT Code 76098)
CPT code 70098 was reviewed by the RUC based on a request from the
American College of Radiology (ACR) to determine whether CPT code 76098
was undervalued because of the assumption that the service is typically
furnished concurrently with a placement of localization device service
(CPT codes 19281 through 19288 each representing a different imaging
modality). In a letter to the RUC, ACR expressed concern about the
appropriateness of a codes valuation process in which physician time
and intensity for a code are reduced to account for overlap with codes
that are furnished to a patient on the same day. During the April 2018
RUC meeting, the specialty societies requested a work RVU of 0.40 for
CPT code 76098, with intraservice time of 5 minutes and total time of
15 minutes. Currently, this service has a work RVU of 0.16, with 5
minutes of total time and no available intraservice time. In April
2018, the RUC and the specialty society agreed that additional analysis
of the data was warranted in consideration of the relatively large
change in survey time and work RVU for this service. The RUC agreed to
review the CPT code (CPT code 76098) again in October 2018.
The RUC recommended a work RVU, based on the October 2018 meeting,
of 0.31 for CPT code 76098, which represents an increase over the
current value (0.16) but a decrease relative to the specialty society's
original request of 0.40. The intraservice time for this CPT code is 5
minutes, and the total time is 11 minutes. Based on the parameters we
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typically use to review and evaluate RUC recommendations, which rely
heavily on survey data, we agree that a work RVU of 0.31 for a CPT code
with 5 minutes intraservice and 11 minutes total time is consistent
with other CPT codes with similar times and levels of intensity. We are
proposing the RUC-recommended work RVU for CPT code 76098 of 0.31.
We share the ACR's interest in establishing or clarifying
parameters that indicate when CPT codes that are furnished concurrently
by the same provider should be valued to account for the overlap in
physician work time and intensity, and even PE. We are broadly
interested in stakeholder feedback and suggestions about what those
parameters might be and whether or how they should affect code
valuation.
We are proposing the RUC-recommended direct PE inputs for CPT code
76098.
(47) 3D Rendering (CPT Code 76376)
CPT code 76376 (3D rendering with interpretation and reporting of
computed tomography, magnetic resonance imaging, ultrasound, or other
tomographic modality with image postprocessing under concurrent
supervision; not requiring image postprocessing on an independent
workstation) was identified as potentially misvalued on a screen of
codes with a negative intraservice work per unit of time (IWPUT), with
2016 estimated Medicare utilization over 10,000 for RUC reviewed codes
and over 1,000 for Harvard valued and CMS/Other source codes. It was
surveyed and reviewed at the April 2018 RUC meeting.
We are proposing the RUC-recommended work RVU of 0.20 for CPT code
76376. We are also proposing the RUC-recommended direct PE inputs for
CPT code 76376.
(48) Ultrasound Exam--Chest (CPT Code 76604)
CPT code 76604 (Ultrasound, chest (includes mediastinum), real time
with image documentation) was identified as potentially misvalued on a
screen of CMS/Other codes with Medicare utilization of 30,000 or more.
It was surveyed and reviewed for the April 2018 RUC meeting.
We are proposing the RUC-recommended work RVU of 0.59 for CPT code
76604. We are also proposing the RUC-recommended direct PE inputs for
CPT code 76604.
(49) X-Ray Exam--Bone (CPT Codes 77073, 77074, 77075, 77076, and 77077)
CPT codes 77073 (Bone length studies (orthoroentgenogram,
scanogram)), 77075 (Radiologic examination, osseous survey; complete
(axial and appendicular skeleton)), and 77077 (Joint survey, single
view, 2 or more joints) were identified as potentially misvalued on a
screen of CMS/Other codes with Medicare utilization of 30,000 or more.
CPT codes 77074 (Radiologic examination, osseous survey; limited (e.g.,
for metastases)) and 77076 (Radiologic examination, osseous survey,
infant) were reviewed as part of the same family.
We are proposing the RUC-recommended work RVUs for all five CPT
codes in this family as follows: CPT code 77073 (work RVU = 0.26); CPT
code 77074 (work RVU = 0.44); CPT code 77075 (work RVU = 0.55); CPT
code 77076 (work RVU = 0.70); and CPT code 77077 (work RVU = 0.33).
We are proposing the RUC-recommended direct PE inputs for all codes
in the family.
(50) SPECT-CT Procedures (CPT Codes 78800, 78801, 78802, 78803, 78804,
788X0, 788X1, 788X2, and 788X3)
The CPT Editorial Panel revised five codes, created four new codes
and deleted nine codes to better differentiate between planar
radiopharmaceutical localization procedures and SPECT, SPECT-CT and
multiple area or multiple day radiopharmaceutical localization/
distribution procedures.
For CPT code 78800 (Radiopharmaceutical localization of tumor,
inflammatory process or distribution of radiopharmaceutical agent(s),
(includes vascular flow and blood pool imaging when performed); planar
limited single area (e.g., head, neck, chest pelvis), single day of
imaging), we disagree with the RUC recommendation to assign a work RVU
of 0.70 based on the survey 25th percentile to this code, because we
believe that it is inconsistent with the RUC-recommended reduction in
physician time. We are proposing a work RVU of 0.64 based on the
following total time ratio: The RUC-recommended 27 minutes divided by
the current 28 minutes multiplied by the current work RVU of 0.66,
which results in a work RVU of 0.64. We note that this value is
bracketed by the work RVUs of CPT code 93287 (Peri-procedural device
evaluation (in person) and programming of device system parameters
before or after a surgery, procedure, or test with analysis, review and
report by a physician or other qualified health care professional;
single, dual, or multiple lead implantable defibrillator system), with
a work RVU of 0.45, and CPT code 94617 (Exercise test for bronchospasm,
including pre- and post-spirometry, electrocardiographic recording(s),
and pulse oximetry), with a work RVU of 0.70. Both of these supporting
crosswalks have intraservice time values of 10 minutes, and they have
similar total time values.
For CPT code 78801 (Radiopharmaceutical localization of tumor,
inflammatory process or distribution of radiopharmaceutical agent(s),
(includes vascular flow and blood pool imaging when performed); planar,
2 or more areas (e.g., abdomen and pelvis, head and chest), 1 or more
days of imaging or single area imaging over 2 or more days), we
disagree with the RUC recommendation to maintain the current work RVU
of 0.79 despite a 22-minute reduction in intraservice time. We believe
a reduction from the current value is warranted given the recommended
reduction in physician time, and also to be consistent with other
services of similar time values. We are proposing a work RVU of 0.73
based on the RUC-recommended incremental relationship between this code
and CPT code 78800 (a difference of 0.09 RVU), which we apply to our
proposed value for the latter code. As support for our proposed work
RVU of 0.73, we note that it falls between the work RVUs of CPT code
94617 (Exercise test for bronchospasm, including pre- and post-
spirometry, electrocardiographic recording(s), and pulse oximetry) with
a work RVU of 0.70, and CPT code 93280 (Programming device evaluation
(in person) with iterative adjustment of the implantable device to test
the function of the device and select optimal permanent programmed
values with analysis, review and report by a physician or other
qualified health care professional; dual lead pacemaker system) with a
work RVU of 0.77.
For CPT code 78802 (Radiopharmaceutical localization of tumor,
inflammatory process or distribution of radiopharmaceutical agent(s),
(includes vascular flow and blood pool imaging when performed); planar,
whole body, single day of imaging), we disagree with the RUC
recommendation to maintain the current work RVU of 0.86, as we believe
that it is inconsistent with a reduction in time values, and because we
do not agree that a work RVU that is among the highest of other
services of similar intraservice time values is appropriate. We are
proposing a work RVU of 0.80 based on the RUC-recommended incremental
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relationship between this code and CPT code 78800 (a difference of 0.16
RVU), which we apply to our proposed value for the latter code. As
support for our proposed work RVU of 0.80, we note that it falls
between the work RVUs of CPT code 92520 (Laryngeal function studies
(i.e., aerodynamic testing and acoustic testing)) with a work RVU of
0.75, and CPT code 93282 (Programming device evaluation (in person)
with iterative adjustment of the implantable device to test the
function of the device and select optimal permanent programmed values
with analysis, review and report by a physician or other qualified
health care professional; single lead transvenous implantable
defibrillator system) with a work RVU of 0.85.
For CPT code 78804 (Radiopharmaceutical localization of tumor,
inflammatory process or distribution of radiopharmaceutical agent(s),
(includes vascular flow and blood pool imaging when performed); planar,
whole body, requiring 2 or more days of imaging), we disagree with the
RUC recommendation to maintain the current work RVU of 1.07, as we
believe that it is inconsistent with a reduction in time values, and
because this work RVU appears to be valued highly relative to other
services of similar time values. We are proposing a work RVU of 1.01
based on the RUC-recommended incremental relationship between this code
and CPT code 78800 (a difference of 0.37 RVU), which we apply to our
proposed value for the latter code. As support for our proposed work
RVU of 1.01, we reference CPT code 91111 (Gastrointestinal tract
imaging, intraluminal (e.g., capsule endoscopy), esophagus with
interpretation and report), which has a work RVU of 1.00 and similar
physician time values.
For CPT code 78803 (Radiopharmaceutical localization of tumor,
inflammatory process or distribution of radiopharmaceutical agent(s),
(includes vascular flow and blood pool imaging when performed);
tomographic (SPECT), single area (e.g., head, neck, chest pelvis),
single day of imaging), we disagree with the RUC recommendation to
increase the work RVU to 1.20 based on the survey 25th percentile to
this code, because we believe that it is inconsistent with the RUC-
recommended reduction in physician time. We are proposing to maintain
the current work RVU of 1.09. We support this value with a reference to
CPT code 78266 (Gastric emptying imaging study (e.g., solid, liquid, or
both); with small bowel and colon transit, multiple days), which has a
work RVU of 1.08, and similar time values.
For CPT code 788X0 (Radiopharmaceutical localization of tumor,
inflammatory process or distribution of radiopharmaceutical agent(s),
(includes vascular flow and blood pool imaging when performed);
tomographic (SPECT) with concurrently acquired computed tomography (CT)
transmission scan for anatomical review, localization and
determination/detection of pathology, single area (e.g., head, neck,
chest or pelvis), single day of imaging), we disagree with the RUC
recommendation to assign a work RVU of 1.60 based on the survey 25th
percentile to this code, as this would value this code more highly than
services of similar time values. To maintain relativity among services
in this family, we are proposing a work RVU of 1.49 for CPT code 788X0
based on the RUC-recommended incremental relationship between CPT code
788X0 and CPT code 78803 (a difference of 1.09 RVU), which we apply to
our proposed value for the latter code. As support for our proposed
work RVU of 1.49, we note that it is bracketed by the work RVUs of CPT
codes 72195 (Magnetic resonance (e.g., proton) imaging, pelvis; without
contrast material(s)) with a work RVU of 1.46, and 95861 (Needle
electromyography; 2 extremities with or without related paraspinal
areas) with a work RVU of 1.54. The physician time values of these
services bracket those recommended for CPT code 778X0.
For CPT code 788X1 (Radiopharmaceutical localization of tumor,
inflammatory process or distribution of radiopharmaceutical agent(s),
(includes vascular flow and blood pool imaging when performed);
tomographic (SPECT), minimum 2 areas (e.g., pelvis and knees, abdomen
and pelvis), single day of imaging, or single area of imaging over 2 or
more days), we disagree with the RUC recommendation to assign a work
RVU of 1.93 based on the survey 50th percentile to this code, as this
would value this code more highly than services of similar time values.
To maintain relativity among services in this family, we are proposing
a work RVU of 1.82 based on the RUC-recommended incremental
relationship between this code and CPT code 78803 (a difference of 0.73
RVU), which we apply to our proposed value for the latter code. As
support for our proposed work RVU of 1.82, we note that it is bracketed
by the work RVUs of the CPT codes which are members of the same code
families referenced for the previous CPT code, 788X0: CPT codes 72191
(Computed tomographic angiography, pelvis, with contrast material(s),
including noncontrast images, if performed, and image postprocessing)
with a work RVU of 1.81, and 95863 (Needle electromyography; 3
extremities with or without related paraspinal areas) with a work RVU
of 1.87. The physician time values of these services bracket those
recommended for CPT code 778X1.
For CPT code 788X2 (Radiopharmaceutical localization of tumor,
inflammatory process or distribution of radiopharmaceutical agent(s),
(includes vascular flow and blood pool imaging when performed);
tomographic (SPECT) with concurrently acquired computed tomography (CT)
transmission scan for anatomical review, localization and
determination/detection of pathology, minimum 2 areas (e.g., pelvis and
knees, abdomen and pelvis), single day of imaging, or single area of
imaging over 2 or more days imaging), we disagree with the RUC
recommendation to assign a work RVU of 2.23 based on the survey 50th
percentile to this code, as this would value this code more highly than
services of similar time values. To maintain relativity among services
in this family, we are proposing a work RVU of 2.12 based on the RUC-
recommended incremental relationship between this code and CPT code
78803 (a difference of 1.03 RVU), which we apply to our proposed value
for the latter code. As support for our proposed work RVU of 2.12, we
reference CPT code 70554 (Magnetic resonance imaging, brain, functional
MRI; including test selection and administration of repetitive body
part movement and/or visual stimulation, not requiring physician or
psychologist administration), which has a work RVU of 2.11 and
physician intraservice and total time values that are identical to
those recommended for this service.
For CPT code 788X3 (Radiopharmaceutical quantification
measurement(s) single area), we disagree with the RUC recommendation to
assign a work RVU of 0.51 based on the survey 25th percentile to this
code, because we wish to maintain relativity and proportionality among
codes of this family. We based our values for the other codes in this
family on their relative relationship to either CPT code 78800 or
788X2, depending on the type of service described by the code. For CPT
code 788X0, which describes a single day of imaging and is thus
analagous to CPT code 788X3 in terms of units of service, our analysis
indicates a reduction from the RUC value of approximately 7 percent is
appropriate. Therefore, we apply a
[[Page 40593]]
similar reduction of 7 percent to the RUC-recommended work RVU of 0.51
to arrive at an RVU of 0.47. We support this value by noting that it is
bracketed by add-on CPT codes 77001 (Fluoroscopic guidance for central
venous access device placement, replacement (catheter only or
complete), or removal (includes fluoroscopic guidance for vascular
access and catheter manipulation, any necessary contrast injections
through access site or catheter with related venography radiologic
supervision and interpretation, and radiographic documentation of final
catheter position) (List separately in addition to code for primary
procedure)) with a work RVU of 0.38, and 77002 (Fluoroscopic guidance
for needle placement (e.g., biopsy, aspiration, injection, localization
device) (List separately in addition to code for primary procedure)),
with a work RVU of 0.54. Both of these reference CPT codes have
intraservice time values that are similar to, and total time values
that are identical to, those recommended for CPT code 788X3.
For the direct PE inputs, we are refining the number of minutes of
clinical labor allocated to the activity ``Prepare, set-up and start
IV, initial positioning and monitoring of patient'' to the 2-minute
standard for CPT codes 78800, 78801, 78802, 78804, 78803, 788X0, 788X1,
and 788X2, as no rationale was provided for these codes to have times
above the standard for this activity. We are also refining the
equipment time formulas to reflect this clinical labor refinement for
these codes. For CPT codes 78800, 78801, 78802, 78804, 78803, 788X0,
788X1, and 788X2, we are proposing to refine the equipment times to
match our standard equipment time formula for the professional PACS
workstation. For the supply item SM022 ``sanitizing cloth-wipe
(surface, instruments, equipment),'' we are refining these supplies to
quantities of 5 each for CPT codes 78801, 78804, and 788X2 to conform
with other codes in the family.
(51) Myocardial PET (CPT Codes 78459, 78X29, 78491, 78X31, 78492,
78X32, 78X33, 78X34, and 78X35)
CPT code 78492 was identified via the High Volume Growth screen
with total Medicare utilization over 10,000 that increased by at least
100 percent from 2009 through 2014. The CPT Editorial Panel revised
this code set to reflect newer technology aspects such as wall motion,
ejection fraction, flow reserve, and technology updates for hardware
and software. The CPT Editorial Panel deleted a Category III code,
added six Category I codes, and revised the three existing codes to
separately identify component services included for myocardial imaging
using positron emission tomography.
For CPT code 78491 (Myocardial imaging, positron emission
tomography, perfusion study (including ventricular wall motion(s), and/
or ejection fractions(s), when performed); single study, at rest or
stress (exercise or pharmacologic)), we disagree with the RUC-
recommended work RVU of 1.56, which is the survey 25th percentile
value, as we believe that the 30-minute reduction in intraservice time
and 15-minute reduction in physician total time does not validate an
increase in work RVU, and we believe that the significance of the
reductions in recommended physician time values warrants a reduction in
work RVU. We are proposing a work RVU of 1.00 based on the following
total time ratio: The recommended 30 minutes divided by the current 45
minutes multiplied by the current work RVU of 1.50, which results in a
work RVU of 1.00. As further support for this value, we note that it
falls between CPT code 78278 (Acute gastrointestinal blood loss
imaging), with a work RVU of 0.99, and CPT code 10021 (Fine needle
aspiration biopsy, without imaging guidance; first lesion), with a work
RVU of 1.03.
For CPT code 78X31 (Myocardial imaging, positron emission
tomography, perfusion study (including ventricular wall motion(s), and/
or ejection fractions(s), when performed); single study, at rest or
stress (exercise or pharmacologic), with concurrently acquired computed
tomography transmission scan), we disagree with the RUC recommendation
of 1.67 based on the survey 25th percentile, as we do not agree this
service would be appropriately valued with an RVU that is among the
highest of all services of similar times with this global period. We
are proposing a work RVU of 1.11 by applying the RUC-recommended
increment between CPT code 78491 and this code, an increment of 0.11,
to our proposed value of 1.00 for CPT code 78491, thus maintaining the
RUC's recommended incremental relationship between these codes. As
further support for this value, we note that it falls between CPT codes
95977 (Electronic analysis of implanted neurostimulator pulse
generator/transmitter (e.g., contact group[s], interleaving, amplitude,
pulse width, frequency [Hz], on/off cycling, burst, magnet mode, dose
lockout, patient selectable parameters, responsive neurostimulation,
detection algorithms, closed loop parameters, and passive parameters)
by physician or other qualified health care professional; with complex
cranial nerve neurostimulator pulse generator/transmitter programming
by physician or other qualified health care professional)), with a work
RVU of 0.97, and CPT code 93284 (Programming device evaluation (in
person) with iterative adjustment of the implantable device to test the
function of the device and select optimal permanent programmed values
with analysis, review and report by a physician or other qualified
health care professional; multiple lead transvenous implantable
defibrillator system), with a work RVU of 1.25; both of these codes
have similar physician time values.
For CPT code 78459 (Myocardial imaging, positron emission
tomography (PET), metabolic evaluation study (including ventricular
wall motion(s), and/or ejection fraction(s), when performed) single
study), we disagree with the RUC recommendation to increase the work
RVU to 1.61 based on the survey 25th percentile. We believe that the
magnitude of the recommended reductions in physician time (a 50-minute
reduction in intraservice time and a 32-minute reduction in total time)
suggests that this value is overestimated; furthermore, we note that
the RUC's recommendation is among the highest for all XXX-global period
codes with similar time values. We are proposing a work RVU of 1.05 by
applying the RUC-recommended increment between this code and CPT code
78491, a difference of 0.05, which we apply to our proposed value for
the latter code. We support our RVU of 1.05 by referencing two CPT
codes: 10021 (Fine needle aspiration biopsy, without imaging guidance;
first lesion), and 36440 (Push transfusion, blood, 2 years or younger),
both of which have work RVUs of 1.03, as well as identical intraservice
and similar total time values.
We disagree with the RUC's recommended valuation of 1.76 for CPT
code 78X29 (Myocardial imaging, positron emission tomography (PET),
metabolic evaluation study (including ventricular wall motion(s), and/
or ejection fraction(s), when performed) single study; with
concurrently acquired computed tomography transmission scan), which is
based on the survey 25th percentile, because we believe a work RVU that
is greater than those of all other services of similar intraservice
time values is not appropriate. We are proposing a work RVU of 1.20 for
CPT code 78X29. We are proposing to value CPT code 78X29 with an
incremental methodology, which preserves the RUC-recommended
relationship among the codes in this family; the RUC
[[Page 40594]]
recommends an increment of 0.20 between CPT code 78X29 and CPT code
78491. We are proposing to apply this increment to our proposed value
of 1.00 for CPT code 78491 to arrive at our value of 1.20.
We disagree with the RUC's recommendation of 1.80 for CPT code
78492 (Myocardial imaging, positron emission tomography, perfusion
study (including ventricular wall motion(s), and/or ejection
fractions(s), when performed); multiple studies at rest and stress
(exercise or pharmacologic)) given the magnitude of the recommended
reduction in physician time values (a 35-minute reduction in
intraservice time and a 17-minute reduction in total time), and also
given the fact that the RUC's recommended value would be the highest of
all codes of this intraservice time and global period. We are proposing
a work RVU of 1.24 based on the RUC-recommended incremental difference
between 78491 and 78492 of 0.24, which we add to our proposed value for
78491 for a work RVU of 1.24. As further support for this value, we
reference CPT code 95908 (Nerve conduction studies; 3-4 studies), with
a work RVU of 1.25, similar physician time values.
We disagree with the RUC's recommendation of 1.90 for CPT code
78X32 (Myocardial imaging, positron emission tomography, perfusion
study (including ventricular wall motion(s), and/or ejection
fractions(s), when performed); multiple studies at rest and stress
(exercise or pharmacologic), with concurrently acquired computed
tomography transmission scan) which is based on a crosswalk to CPT code
64617 (Chemodenervation of muscle(s); larynx, unilateral, percutaneous
(e.g., for spasmodic dysphonia), includes guidance by needle
electromyography, when performed), because the fact that this work RVU
that is greater than those of all other services of similar
intraservice time values suggests that it is an overestimate. Instead
we are proposing a work RVU of 1.34 for CPT code 78X32, based on an
incremental methodology. We apply the RUC-recommended increment between
78491 and CPT code 78X32, a difference of 0.34, to our proposed value
of 1.00 for CPT code 78491, for a value of 1.34. We support this value
by referencing CPT code 77261 (Therapeutic radiology treatment
planning; simple), with a work RVU of 1.30, and CPT code 94003
(Ventilation assist and management, initiation of pressure or volume
preset ventilators for assisted or controlled breathing; hospital
inpatient/observation, each subsequent day), with a work RVU of 1.37.
These codes have similar physician time values.
We disagree with the RUC's recommendation of 2.07 for CPT code
78X33 (Myocardial imaging, positron emission tomography, combined
perfusion with metabolic evaluation study (including ventricular wall
motion(s), and/or ejection fraction(s), when performed), dual
radiotracer (e.g., myocardial viability)), because we believe the fact
that this work RVU is greater than those of all other services of
similar intraservice time values suggests that it is an overestimate.
We are proposing a work RVU of 1.51 for CPT code 78X33, based on an
incremental methodology. We apply the RUC-recommended increment between
78491 and CPT code 78X33, a difference of 0.51, to our proposed value
of 1.00 for CPT code 78491, for a value of 1.51. We support this value
by referencing CPT code 10005 (Fine needle aspiration biopsy, including
ultrasound guidance; first lesion), with a work RVU of 1.46, and
similar physician time values.
Similarly for CPT code 78X34 (Myocardial imaging, positron emission
tomography, combined perfusion with metabolic evaluation study
(including ventricular wall motion(s), and/or ejection fraction(s),
when performed), dual radiotracer (e.g., myocardial viability); with
concurrently acquired computed tomography transmission scan), we
disagree with the RUC's recommendation of 2.26 based on a crosswalk to
CPT code 71552 (Magnetic resonance (e.g., proton) imaging, chest (e.g.,
for evaluation of hilar and mediastinal lymphadenopathy); without
contrast material(s), followed by contrast material(s) and further
sequences), because we believe the fact that this work RVU is among the
highest among services of similar intraservice time values suggests
that it is an overestimate. We are proposing a work RVU of 1.70 by
applying the RUC-recommended increment between CPT code 78X34 and CPT
code 78491, which is a difference of 0.70, to our proposed value for
CPT code 78491 for a value of 1.70. We support this value by
referencing CPT codes 95924 (Testing of autonomic nervous system
function; combined parasympathetic and sympathetic adrenergic function
testing with at least 5 minutes of passive tilt) and 74182 (Magnetic
resonance (e.g., proton) imaging, abdomen; with contrast material(s)),
both of which have work RVUs of 1.73.
For CPT code 78X35 (Absolute quantitation of myocardial blood flow
(AQMBF), positron emission tomography, rest and pharmacologic stress
(List separately in addition to code for primary procedure)), we
disagree with the RUC recommendation to assign a work RVU of 0.63 to
this code based on the survey 25th percentile, because we believe a
comparison to other codes with a global period of ZZZ suggests that
this is somewhat overvalued, and because we wish to maintain relativity
and proportionality to other codes in this series. We based our values
for the other codes in this family on their relative relationships to
CPT code 78491; for that code our analysis indicates that a reduction
from the RUC value of roughly \1/3\ is appropriate, based on a ratio of
the decrease in total time to the current work RVU. Therefore, we apply
a similar reduction of \1/3\ to the RUC-recommended work RVU of 0.63 to
arrive at an RVU of approximately 0.42. Applying a reduction that is
similar to the reduction we think is warranted from the RUC value for
CPT code 78491 to CPT code 78X35 will maintain consistency in value
among these services. We believe this work RVU is validated by noting
that it is bracketed by CPT codes 15272 (Application of skin substitute
graft to trunk, arms, legs, total wound surface area up to 100 sq cm;
each additional 25 sq cm wound surface area, or part thereof (List
separately in addition to code for primary procedure)), with a work RVU
of 0.33, and 11105 (Punch biopsy of skin (including simple closure,
when performed); each separate/additional lesion (List separately in
addition to code for primary procedure)), with a work RVU of 0.45. A
work RVU of 0.42 is thus consistent with ZZZ global period codes of
similar physician times.
For the direct PE inputs, for several of the equipment items, we
are proposing to refine the equipment times to conform to our
established policies for non-highly, as well as for highly technical
equipment. In addition, we are proposing to refine the equipment times
to conform to our established policies for PACS Workstation. For the
new equipment items ER110: ``PET Refurbished Imaging Cardiac
Configuration'' and ER111: ``PET/CT Imaging Camera Cardiac
Configuration,'' we are proposing to assume that a 90 percent equipment
utilization rate is typical, as this would be consistent with our
equipment utilization assumptions for expensive diagnostic imaging
equipment. For the supply item SM022 ``sanitizing cloth-wipe (surface,
instruments, equipment),'' we are refining these supplies to quantities
of 5 each for CPT codes 78X33 and 78X34 to conform with other codes in
the family. We are proposing that we will
[[Page 40595]]
not price the ``Software and hardware package for Absolute
Quantitation'' as a new equipment item, due to the fact that the
submitted invoices included a service contract and a combined software/
hardware bundle with no breakdown on individual pricing. Based on our
lack of specific pricing data, we believe that this software is more
accurately characterized as an indirect PE input that is not
individually allocable to a particular patient for a particular
service.
(52) Cytopathology, Cervical-Vaginal (CPT Code 88141, HCPCS Codes
G0124, G0141, and P3001)
CPT code 88141 (Cytopathology, cervical or vaginal (any reporting
system), requiring interpretation by physician), HCPCS code G0124
(Screening cytopathology, cervical or vaginal (any reporting system),
collected in preservative fluid, automated thin layer preparation,
requiring interpretation by physician), HCPCS code G0141 (Screening
cytopathology smears, cervical or vaginal, performed by automated
system, with manual rescreening, requiring interpretation by
physician), and HCPCS code P3001 (Screening Papanicolaou smear,
cervical or vaginal, up to three smears, requiring interpretation by
physician) were identified as potentially misvalued on a list of CMS or
other source codes with Medicare utilization of 30,000 or more.
In the CY 2000 PFS final rule (64 FR 59408), we finalized a policy
that it was more appropriate to evaluate the work, PE, and MP RVUs for
HCPCS codes P3001, G0124, and G0141 identical or comparable to the
values of CPT code 88141.
For CY 2020, the RUC recommended a work RVU of 0.42 for CPT code
88141 and HCPCS codes G0124, G0141, and P3001, based on the current
value. We disagree with the RUC-recommended work RVU and are proposing
a work RVU of 0.26 for all four codes in this family, based on our time
ratio methodology and a crosswalk to CPT code 93313 (Echocardiography,
transesophageal, real-time with image documentation (2D) (with or
without M-mode recording); placement of transesophageal probe only),
which has an identical work RVU of 0.26, identical intraservice and
total work times values to CPT code 88141 and HCPCS codes G0124, and
G0141, and similar intraservice and total time values to HCPCS code
P3001.
In reviewing this family of codes, we note that the intraservice
and total work times for CPT code 88141 and HCPCS codes G0124, and
G0141 are decreasing from 16 minutes to 10 minutes (38 percent
reduction) and the intraservice and total work times for HCPCS code
P3001 are decreasing from 16 minutes to 12 minutes (25 percent
reduction). However, the RUC recommended a work RVU of 0.42 for all
four codes in this family, based on the maintaining the current work
RVU. Although we do not imply that the decrease in time as reflected in
survey values must equate to a one-to-one or linear decrease in the
valuation of work RVUs, we believe that since the two components of
work are time and intensity, significant decreases in time should be
appropriately reflected in decreases to work RVUs. In the case of CPT
code 88141 and HCPCS codes G0124, G0141, and P3001, we believe that it
would be more accurate to propose a work RVU of 0.26, based on our time
ratio methodology and a crosswalk to CPT code 93313 to account for
these decreases in the surveyed work times.
For the direct PE inputs, we are proposing to refine the clinical
labor time for the ``Perform regulatory mandated quality assurance
activity'' (CA033) activity from 7 minutes to 5 minutes for all four
codes in the family. We believe that these quality assurance activities
would not typically take 7 minutes to perform, given that similar
federally mandated MQSA activities were recommended and finalized at a
time of 4 minutes for CPT codes 77065-77067 in CY 2017 (81 FR 80314-
80316), and other related regulatory compliance activities were
recommended and finalized at a time of 5 minutes for CPT codes 78012-
78014 in CY 2013 (77 FR 69037). To preserve relativity between
services, we are proposing a clinical labor time of 5 minutes for the
codes in this family based on this prior allocation of clinical labor
time.
We are also proposing to remove the 1-minute of clinical labor time
for the ``File specimen, supplies, and other materials'' (PA008)
activity from all four codes under the rationale that this task is a
form of indirect PE. As we stated in the CY 2017 PFS final rule (81 FR
80324), we agree that filing specimens is an important task, and we
agree that these would take more than zero minutes to perform. However,
we continue to believe that these activities are correctly categorized
under indirect PE as administrative functions, and therefore, we do not
recognize the filing of specimens as a direct PE input, and we do not
consider this task as typically performed by clinical labor on a per-
service basis.
We are proposing to refine the equipment time for the compound
microscope (EP024) equipment to 10 minutes for all four codes in the
family to match the work time of the procedures. The recommended
materials for this code family state that the compound microscope is
utilized by the pathologist, and therefore, we believe that the 10-
minute work time of the procedures would be the most accurate equipment
time to propose.
(53) Biofeedback Training (CPT Codes 908XX and 909XX)
CPT code 90911 (Biofeedback training, perineal muscles, anorectal
or urethral sphincter, including EMG and/or manometry) was identified
as potentially misvalued on a RAW screen of codes with a negative IWPUT
and Medicare utilization over 10,000 for all services or over 1,000 for
Harvard valued and CMS or other source codes. In September 2018, the
CPT Editorial Panel replaced this code with two new codes to describe
biofeedback training initial 15 minutes of one-on-one patient contact
and each additional 15 minutes of biofeedback training.
We are proposing the RUC-recommended work RVU of 0.90 for CPT code
908XX (Biofeedback training, perineal muscles, anorectal or urethral
sphincter, including EMG and/or manometry when performed; initial 15
minutes of one-on-one patient contact), as well as the RUC-recommended
work RVU of 0.50 for CPT code 909XX (Biofeedback training, perineal
muscles, anorectal or urethral sphincter, including EMG and/or
manometry when performed; each additional 15 minutes of one-on-one
patient contact). For the direct PE inputs, we are proposing to refine
the equipment time for the power table (EF031) equipment in CPT code
908XX to conform to our established standard for non-highly technical
equipment.
We are also proposing to designate CPT codes 908XX and 909XX as
``sometimes therapy'' procedures which means that an appropriate
therapy modifier is always required when this service is furnished by
therapists. For more information we direct readers to the Therapy Code
List section of the CMS website at https://www.cms.gov/Medicare/Billing/TherapyServices/AnnualTherapyUpdate.html.
(54) Corneal Hysteresis Determination (CPT Code 92145)
In 2005, the AMA RUC began the process of flagging services that
represent new technology or new services as they were presented to the
AMA/Specialty Society RVS Update Committee. The AMA RUC reviewed this
service at the October 2018 RAW meeting, and indicated that the
[[Page 40596]]
utilization is continuing to increase for this service. This code was
surveyed and reviewed for the January 2019 RUC meeting.
We are proposing the work RVU of 0.10 as recommended by the RUC. We
are also proposing the RUC-recommended direct PE inputs for CPT code
92145 without refinement.
(55) Computerized Dynamic Posturography (CPT Codes 92548 and 92XX0)
CPT code 92548 (Computerized dynamic posturography) was identified
via the negative IWPUT screen. CPT revised one code and added another
code to more accurately describe the current clinical work and
equipment necessary to provide this service.
We do not agree with the RUC's recommended work RVUs of 0.76 for
CPT code 92548 (Computerized dynamic posturography sensory organization
test (CDP-SOT), 6 conditions (i.e., eyes open, eyes closed, visual
sway, platform sway, eyes closed platform sway, platform and visual
sway), including interpretation and report), or 0.96 for CPT code 92XX0
(Computerized dynamic posturography sensory organization test (CDP-
SOT), 6 conditions (i.e., eyes open, eyes closed, visual sway, platform
sway, eyes closed platform sway, platform and visual sway), including
interpretation and report; with motor control test (MCT) and adaptation
test (ADT)). For CPT code 92548, we agree that an increase in work RVU
is warranted; however, we believe the surveyed time values suggest an
increase of a less significant magnitude than that recommended. We are
proposing a work RVU of 0.67 based on the intraservice time ratio: we
divide the RUC-recommended intraservice time value of 20 by the current
value of 15 and multiply the product by the current work RVU of 0.50
for a ratio of 0.67. As a supporting crosswalk, we note that our value
is greater than the work RVU of 0.60 for CPT code 93316
(Transesophageal echocardiography for congenital cardiac anomalies;
placement of transesophageal probe only), which has identical
intraservice and total times.
We are proposing to maintain relativity between these two codes by
valuing CPT code 92XX0 by applying the RUC-recommended incremental
difference between the two codes, a difference of 0.20, to our proposed
value of 0.66 for CPT code 93316; therefore, we are proposing a work
RVU of 0.87 for CPT code 92XX0. As further support for this value, we
note that it falls between the work RVUs of CPT codes 95972 (Electronic
analysis of implanted neurostimulator pulse generator/transmitter
(e.g., contact group[s], interleaving, amplitude, pulse width,
frequency [Hz], on/off cycling, burst, magnet mode, dose lockout,
patient selectable parameters, responsive neurostimulation, detection
algorithms, closed loop parameters, and passive parameters) by
physician or other qualified health care professional; with complex
spinal cord or peripheral nerve (e.g., sacral nerve) neurostimulator
pulse generator/transmitter programming by physician or other qualified
health care professional), with a work RVU of 0.80, and CPT code 38207
(Transplant preparation of hematopoietic progenitor cells;
cryopreservation and storage), with a work RVU of 0.89.
We are proposing the RUC-recommended direct PE inputs for these
codes without refinement.
(56) Auditory Function Evaluation (CPT Codes 92626 and 92627)
CPT code 92626 (Evaluation of auditory function for surgically
implanted device(s), candidacy or post-operative status of a surgically
implanted device(s); first hour) appeared on the RAW 2016 high volume
growth screen. In 2017, it was identified through a CMS request. CPT
code 92627 (Evaluation of auditory function for surgically implanted
device(s), candidacy or post-operative status of a surgically implanted
device(s); each additional 15 minutes) the add-on code for CPT code for
92626, also was included in the CMS request to review audiology
services.
For CY 2020, we are proposing the HCPAC-recommended work RVU of
1.40 for CPT code 92626, which is identical to its current RVU. We are
also proposing the HCPAC-recommended work RVU of 0.33 for the add-on
code, CPT code 92627. We are proposing the RUC-recommended direct PE
inputs for all codes in the family.
(57) Septostomy (CPT Codes 92992 and 92993)
CPT codes 92992 (Atrial septectomy or septostomy; transvenous
method, balloon (e.g., Rashkind type) (includes cardiac
catheterization)) and 92993 (Atrial septectomy or septostomy; blade
method (Park septostomy) (includes cardiac catheterization)) were
nominated as potentially misvalued services. These services are
typically performed on children, a non-Medicare population, and are
currently contractor-priced. These codes were surveyed and reviewed for
the January 2019 RUC meeting.
We are proposing to maintain contractor pricing for CPT codes 92992
and 92993, as recommended by the RUC. These codes will be referred to
the CPT Editorial Panel for revision and potential deletion. We are
also proposing a change from 90-day to 0-day global period status for
these two procedures, also as recommended by the RUC.
(58) Opthalmoscopy (CPT Codes 92X18 and 92X19)
CPT code 92225 was identified as potentially misvalued on a screen
of codes with a negative IWPUT, with 2016 estimated Medicare
utilization over 10,000 for RUC reviewed codes and over 1,000 for
Harvard valued and CMS/Other source codes. In February 2018, the CPT
Editorial Panel deleted CPT codes 92225 and 92226 and created two new
codes to specify what portion of the eye is examined for a service
beyond the normal comprehensive eye exam.
We are proposing the RUC-recommended work RVUs of 0.40 for CPT code
92X18 (Ophthalmoscopy, extended, with retinal drawing and scleral
depression of peripheral retinal disease (e.g., for retinal tear,
retinal detachment, retinal tumor) with interpretation and report,
unilateral or bilateral) and 0.26 for CPT code 92X19 (Ophthalmoscopy,
extended, with drawing of optic nerve or macula (e.g., for glaucoma,
macular pathology, tumor) with interpretation and report, unilateral or
bilateral).
We are proposing the RUC-recommended direct PE inputs for this code
family without refinement.
(59) Remote Interrogation Device Evaluation (CPT Codes 93297, 93298,
93299, and HCPCS Code GTTT1)
When the RUC previously reviewed the CPT code 93299 at the January
2017 RUC meeting, the specialty society submitted PE inputs for CPT
code 93299 (Interrogation device evaluation(s), (remote) up to 30 days;
implantable cardiovascular physiologic monitor system or subcutaneous
cardiac rhythm monitor system, remote data acquisitions(s), receipt of
transmissions and technician review, technical support and distribution
of results); the PE Subcommittee and RUC accepted the society
recommendations. In the CY 2018 PFS final rule (82 FR 53064), we did
not finalize our proposal to establish national pricing for CPT code
93299 and the code remained contractor-priced.
At the October 2018 RUC meeting, the RUC re-examined CPT code
93299. CPT codes 93297 (Interrogation device evaluation(s), (remote) up
to 30 days; implantable cardiovascular physiologic
[[Page 40597]]
monitor system, including analysis of 1 or more recorded physiologic
cardiovascular data elements from all internal and external sensors,
analysis, review(s) and report(s) by a physician or other qualified
health care professional) and 93298 (Interrogation device
evaluation(s), remote up to 30 days; subcutaneous cardiac rhythm
monitor system, including analysis or recorded heart rhythm data,
analysis, review(s) and report(s) by a physician or other qualified
health care professional) were added to this family of services. These
three codes were reviewed for practice expense only.
CPT codes 93297 and 93298 are work-only codes and CPT code 93299 is
meant to serve as the catch-all for both 30-day remote monitoring
services. The RUC is unclear why the code family was designed this way,
noting it may have been a way to allow for the possibility that the
technical work would be provided by vendors, but they noted that this
is not how the service is currently provided. Stating that in the
decade since these codes were created, it has become clear that
implantable cardiovascular monitor (ICM) and implantable loop recorder
(ILR) services are very different and the PE cannot be appropriately
captured for both services in a single technical code. They noted that
CPT codes 93297-93299 will be placed on the new technology/new services
list and be re-reviewed by the RUC in 3 years to ensure correct
calculation and utilization assumptions. It was noted in the RUC
recommendations that the specialty society intended to submit a coding
proposal to the CPT Editorial Panel to delete CPT code 93299, as it
will no longer be necessary to have a separate code for PE if CPT codes
93297 and 93298 are allocated direct PE in CY 2020.
In our review of these services, we note that the RUC
recommendations did not provide a detailed description of the clinical
labor tasks being performed or detailed information on the typical use
of the supply and equipment used when furnishing these services. These
details are important in order for us to review if the RUC-recommended
PE inputs are appropriate to furnish these services. The RUC submitted
PE inputs (which were not previously included) for the work-only CPT
codes 93297 and 93298, but did not include details to substantiate
these recommended PE inputs for any of the three codes in this family.
Additionally, we are concerned with the appropriateness of the
RUC's reference code, CPT code 93296 (Interrogation device
evaluation(s) (remote), up to 90 days; single, dual, or multiple lead
pacemaker system, leadless pacemaker system, or implantable
defibrillator system, remote data acquisition(s), receipt of
transmissions and technician review, technical support and distribution
of results). CPT code 93296 is for remote monitoring over a 90-day
period, but was used as a reference to derive the RUC-recommended
direct PE inputs for CPT codes 93297-93299, which are for remote
monitoring over a 30-day period.
For the CY 2020 direct PE inputs, we are proposing to remove the
clinical labor time for ``Perform procedure/service--not directly
related to physician work time'' (CA021); to remove the requested
quantity for the supply ``Paper, laser printing (each sheet)'' (SK057);
and to refine the equipment times in accordance with our standard
equipment time formulas for CPT codes 93297 and 93298.
Although we are not proposing to allocate direct PE inputs for CPT
codes 93297 and 93298, we are seeking additional comment on the
appropriateness of CPT code 93296 as the reference code, details on the
clinical labor tasks, and more information on the typical use of the
supply and equipment used to furnish these services. For example, it
was unclear in the RUC recommendations how many patients are monitored
concurrently. As an additional example, it was unclear in the RUC
recommendations as to what tasks are involved when clinical staff
engage with the patient throughout the month to perform education about
the device and re-education protocols after the initial enrollment.
The CPT Editorial Panel is deleting CPT code 93299 for CY 2020. We
note this differs from the RUC recommendations for this code from the
October 2018 meeting, which stated that the specialty society intended
to submit a coding proposal to the CPT Editorial Panel to delete CPT
code 93299, as it would no longer be necessary to have a separate code
for PE, if CPT codes 93297 and 93298 are allocated direct PE for CY
2020. Given that we are proposing to not allocate direct PE inputs for
CPT code 93297 and 93298 for CY 2020 and CPT code 93299 is being
deleted for CY 2020, we are proposing to create a G-code to describe
the services previously furnished under CPT code 93299. We are
proposing to create HCPCS code GTTT1 (Interrogation device
evaluation(s), (remote) up to 30 days; implantable cardiovascular
physiologic monitor system, implantable loop recorder system, or
subcutaneous cardiac rhythm monitor system, remote data acquisition(s),
receipt of transmissions and technician review, technical support and
distribution of results), to describe the services previously furnished
under CPT code 93299, effective for CY 2020.
(60) Duplex Scan Arterial Inflow-Venous Outflow (CPT Codes 93X00 and
93X01)
In September 2018, the CPT Editorial Panel recommended replacing
one HCPCS code (G0365) with two new codes to describe the duplex scan
of arterial inflow and venous outflow for preoperative vessel
assessment prior to creation of hemodialysis access for complete
bilateral and unilateral study. We are proposing the RUC-recommended
work RVU of 0.80 for CPT code 93X00 (Duplex scan of arterial inflow and
venous outflow for preoperative vessel assessment prior to creation of
hemodialysis access; complete bilateral study), as well as the RUC-
recommended work RVU of 0.50 for CPT code 93X01 (Duplex scan of
arterial inflow and venous outflow for preoperative vessel assessment
prior to creation of hemodialysis access; complete unilateral study).
For the direct PE inputs, we are proposing to refine the clinical
labor time for the ``Prepare room, equipment and supplies'' (CA013)
activity from 4 minutes to 2 minutes for both codes in the family. Two
minutes is the standard time for this clinical labor activity, and 2
minutes is also the time assigned for this activity in the reference
code, CPT code 93990 (Duplex scan of hemodialysis access (including
arterial inflow, body of access and venous outflow)). There was no
rationale provided in the recommended materials indicating why this
additional clinical labor time would be typical for the procedures, and
therefore, we are proposing to refine to the standard time of 2
minutes. We are also proposing to adjust the equipment times to conform
to this change in the clinical labor time.
(61) Myocardial Strain Imaging (CPT Code 933X0)
The CPT Editorial Panel deleted one Category III code and created
one new Category I add-on code CPT code 933X0 to describe the work of
myocardial strain imaging performed in supplement to transthoracic
echocardiography services. We are proposing the RUC-recommended work
RVU of 0.24.
We are proposing the RUC-recommended direct PE inputs for CPT code
933X0. However, we note that no rationale was given for the RUC-
recommended 12 minutes of clinical labor time for the activity CA021
[[Page 40598]]
``Perform procedure/service,'' and we are requesting comment on the
appropriateness of this allocated time value.
(62) Lung Function Test (CPT Code 94200)
The RUC recommended this service for survey because it appeared on
a list of CMS/Other codes with Medicare utilization of 30,000 or more.
According to the RUC, this service is typically reported with an E/M
service and another pulmonary function test, and the RUC-recommended
times would appropriately account for any overlap with other services.
The RUC stated that the intraservice time involves reading and
interpreting the test to determine if a significant interval change has
occurred and then generating a report, which supports the 5 minutes of
physician work indicated in the survey. The RUC did not agree with the
specialty society that communication of the report required an
additional 2 minutes of physician time over the postservice time
included in the other services reported on the same day. The RUC
reduced the postservice time from 2 minutes to 1 minute because the
service requires minimal time to enter the results into the medical
record and communicate the results to the patient and the referring
physician. Based in part on these reductions in physician time, the RUC
recommended a reduction in work RVU from the current value with a
crosswalk to CPT code 95905 (Motor and/or sensory nerve conduction,
using preconfigured electrode array(s), amplitude and latency/velocity
study, each limb, includes F-wave study when performed, with
interpretation and report).
For CPT code 94200 (Maximum breathing capacity, maximal voluntary
ventilation), we are proposing the RUC-recommended work RVU of 0.05. A
stakeholder stated that the RUC's recommended work RVU understates the
costs inherent in performing this service, and that the survey 25th
percentile value of 0.10 is more accurate for this service. While we
are proposing the RUC-recommended 0.05, we are soliciting public
comment on this stakeholder-recommended potential alternative value.
We are proposing the RUC-recommended direct PE inputs for CPT code
94200 without refinement.
(63) Long-Term EEG Monitoring (CPT Codes 95X01, 95X02, 95X03, 95X04,
95X05, 95X06, 95X07, 95X08, 95X09, 95X10, 95X11, 95X12, 95X13, 95X14,
95X15, 95X16, 95X17, 95X18, 95X19, 95X20, 95X21, 95X22, and 95X23)
In January 2017, the RUC identified CPT code 95951 via the high
volume growth screen, which considers if the service has total Medicare
utilization of 10,000 or more and if utilization has increased by at
least 100 percent from 2009 through 2014. The RUC recommended that this
service be referred to the CPT Editorial Panel for needed changes,
including code deletions, revision of code descriptors, and the
addition of new codes to this family. In May 2018, the CPT Editorial
Panel approved the revision of one code, deletion of five codes, and
addition of 23 new codes for reporting long-term EEG professional and
technical services.
We are proposing the RUC-recommended work RVU for six of the
professional component codes in this family. We are proposing a work
RVU of 3.86 for CPT code 95X18 (Electroencephalogram, continuous
recording, physician or other qualified health care professional review
of recorded events, complete study; greater than 36 hours, up to 60
hours of EEG recording, without video), a work RVU of 4.70 for CPT code
95X19 (Electroencephalogram, continuous recording, physician or other
qualified health care professional review of recorded events, complete
study; greater than 36 hours, up to 60 hours of EEG recording, with
video), a work RVU of 4.75 for CPT code 95X20 (Electroencephalogram,
continuous recording, physician or other qualified health care
professional review of recorded events, complete study; greater than 60
hours, up to 84 hours of EEG recording, without video), a work RVU of
6.00 for CPT code 95X21 (Electroencephalogram, continuous recording,
physician or other qualified health care professional review of
recorded events, complete study; greater than 60 hours, up to 84 hours
of EEG recording, with video), a work RVU of 5.40 for CPT code 95X22
(Electroencephalogram, continuous recording, physician or other
qualified health care professional review of recorded events, complete
study; greater than 84 hours of EEG recording, without video) and a
work RVU of 7.58 for CPT code 95X23 (Electroencephalogram, continuous
recording, physician or other qualified health care professional review
of recorded events, complete study; greater than 84 hours of EEG
recording, with video).
We are also proposing the RUC-recommended work RVU of 0.00 for the
13 technical component codes in the family: CPT code 95X01
(Electroencephalogram (EEG) continuous recording, with video when
performed, set-up, patient education, and take down when performed,
administered in-person by EEG technologist, minimum of 8 channels), CPT
code 95X02 (Electroencephalogram (EEG) without video, review of data,
technical description by EEG technologist, 2-12 hours; unmonitored),
CPT code 95X03 (Electroencephalogram (EEG) without video, review of
data, technical description by EEG technologist, 2-12 hours; with
intermittent monitoring and maintenance), CPT code 95X04
(Electroencephalogram (EEG) without video, review of data, technical
description by EEG technologist, 2-12 hours; with continuous, real-time
monitoring and maintenance), CPT code 95X05 (Electroencephalogram (EEG)
without video, review of data, technical description by EEG
technologist, each increment of 12-26 hours; unmonitored), CPT code
95X06 (Electroencephalogram (EEG) without video, review of data,
technical description by EEG technologist, each increment of 12-26
hours; with intermittent monitoring and maintenance), CPT code 95X07
(Electroencephalogram (EEG) without video, review of data, technical
description by EEG technologist, each increment of 12-26 hours; with
continuous, real-time monitoring and maintenance), CPT code 95X08
(Electroencephalogram with video (VEEG), review of data, technical
description by EEG technologist, 2-12 hours; unmonitored), CPT code
95X09 (Electroencephalogram with video (VEEG), review of data,
technical description by EEG technologist, 2-12 hours; with
intermittent monitoring and maintenance), CPT code 95X10
(Electroencephalogram with video (VEEG), review of data, technical
description by EEG technologist, 2-12 hours; with continuous, real-time
monitoring and maintenance), CPT code 95X11 (Electroencephalogram with
video (VEEG), review of data, technical description by EEG
technologist, each increment of 12-26 hours; unmonitored), CPT code
95X12 (Electroencephalogram with video (VEEG), review of data,
technical description by EEG technologist, each increment of 12-26
hours; with intermittent monitoring and
[[Page 40599]]
maintenance), and CPT code 95X13 (Electroencephalogram with video
(VEEG), review of data, technical description by EEG technologist, each
increment of 12-26 hours; with continuous, real-time monitoring and
maintenance).
We disagree with the RUC-recommended work RVU of 2.00 for CPT code
95X14 (Electroencephalogram, continuous recording, physician or other
qualified health care professional review of recorded events, 2-12
hours of EEG recording; without video) and we are proposing a work RVU
of 1.85 based on a crosswalk to CPT code 93314 (Echocardiography,
transesophageal, real-time with image documentation (2D) (with or
without M-mode recording); image acquisition, interpretation and report
only). CPT code 93314 is a recently-reviewed code with 2 additional
minutes of intraservice time and 4 additional minutes of total time as
compared to CPT code 95X14. When considering the work RVU for CPT code
95X14, we looked to the second reference code chosen by the survey
participants, CPT code 95957 (Digital analysis of electroencephalogram
(EEG) (e.g., for epileptic spike analysis)). This code has 2 additional
minutes of intraservice time and 9 additional minutes of total time as
compared to CPT code 95X14, yet has a work RVU of 1.98, lower than the
recommended work RVU of 2.00. These time values suggested that CPT code
95X14 would be more accurately valued at a work RVU slightly below the
1.98 of CPT code 95957. We also looked at the intraservice time ratio
between CPT code 95X14 and some of its predecessor codes. The
intraservice time ratio with CPT code 95953 (Monitoring for
localization of cerebral seizure focus by computerized portable 16 or
more channel EEG, electroencephalographic (EEG) recording and
interpretation, each 24 hours, unattended) suggests a similar potential
work RVU of 1.91 (28 minutes divided by 45 minutes times a work RVU of
3.08). Based on this information, we are proposing a work RVU of 1.85
for CPT code 95X14 based on the aforementioned crosswalk to CPT code
93314.
We disagree with the RUC-recommended work RVU of 2.50 for CPT code
95X15 (Electroencephalogram, continuous recording, physician or other
qualified health care professional review of recorded events, analysis
of spike and seizure detection, interpretation, and report, 2-12 hours
of EEG recording; with video (VEEG)) and we are proposing a work RVU of
2.35. Although we disagree with the RUC-recommended work RVU, we concur
that the relative difference in work between CPT codes 95X14 and 95X15
is equivalent to the recommended interval of 0.50 RVUs. Therefore, we
are proposing a work RVU of 2.35 for CPT code 95X15, based on the
recommended interval of 0.50 additional RVUs above our proposed work
RVU of 1.85 for CPT code 95X14. We are supporting this work RVU with a
reference to CPT code 99310 (Subsequent nursing facility care, per day,
for the evaluation and management of a patient, which requires at least
2 of the 3 key components), which shares the same intraservice time of
35 minutes and the identical work RVU of 2.35. CPT code 99310 is a
lower intensity procedure but has increased total work time as compared
to CPT code 95X15.
We disagree with the RUC-recommended work RVU of 3.00 for CPT code
95X16 (Electroencephalogram, continuous recording, physician or other
qualified health care professional review of recorded events, analysis
of spike and seizure detection, each increment of greater than 12
hours, up to 26 hours of EEG recording, interpretation and report after
each 24-hour period; without video) and we are proposing a work RVU of
2.60 based on a crosswalk to CPT code 99219 (Initial observation care,
per day, for the evaluation and management of a patient, which requires
3 key components). CPT code 99219 shares the same intraservice time of
40 minutes and has a slightly higher total time as compared to CPT code
95X16. We also note that the observation care described by CPT code
99219 shares some clinical similarities to the long term EEG monitoring
described by CPT code 95X16, although we note as always that the nature
of the PFS relative value system is such that all services are
appropriately subject to comparisons to one another, and that codes do
not need to share the same site of service, patient population, or
utilization level to serve as an appropriate crosswalk.
In addition, we believe that the proposed crosswalk to CPT code
99219 at a work RVU of 2.60 more accurately captures the intensity of
CPT code 95X16. At the recommended work RVU of 3.00, the intensity of
CPT code 95X16 is anomalously high in comparison to the rest of the
family, higher than any of the other professional component codes. We
have no reason to believe that the 24-hour EEG monitoring done without
video as described in CPT code 95X16 would be notably more intense than
the other codes in the same family. Furthermore, the recommendations
for this code family specifically state that the codes that describe
video EEG monitoring are more intense than the codes that describe non-
video EEG monitoring. However, at the recommended work RVU for CPT code
95X16, this non-video form of EEG monitoring had the highest intensity
in the family. At our proposed work RVU of 2.60, the intensity of CPT
code 95X16 is no longer anomalously high in comparison to the rest of
the family, and also remains lower than the intensity of the 24 hour
EEG monitoring with video procedure described by CPT code 95X17.
We disagree with the RUC-recommended work RVU of 3.86 for CPT code
95X17 (Electroencephalogram, continuous recording, physician or other
qualified health care professional review of recorded events, analysis
of spike and seizure detection, each increment of greater than 12
hours, up to 26 hours of EEG recording, interpretation and report after
each 24-hour period; with video (VEEG)) and we are proposing a work RVU
of 3.50 based on the survey 25th percentile value. The RUC-recommended
work RVU of 3.86 was based on a crosswalk to CPT code 99223 (Initial
hospital care, per day, for the evaluation and management of a patient,
which requires 3 key components), a code that shares the same
intraservice time of 55 minutes but has 15 additional minutes of total
time as compared to CPT code 95X17, at 90 minutes as compared to 75
minutes. We disagree with the use of this crosswalk, as the 15 minutes
of additional total time in CPT code 99223 result in a higher work
valuation that overstates the work RVU of CPT code 95X17. These 15
additional minutes of preservice and postservice work time in the
recommended crosswalk code have a calculated work RVU of 0.34 under the
building block methodology; subtracting out this work RVU of 0.34 from
the crosswalk code's work RVU of 3.86 results in an estimated work RVU
of 3.52, which is nearly identical to the survey 25th percentile work
RVU of 3.50. Similarly, if we were to calculate a total time ratio
between CPT code 95X17 and the recommended crosswalk code 99223, it
would produce a noticeably lower work RVU of 3.22 (75 minutes divided
by 90 minutes times a work RVU of 3.86). Based on this rationale, we do
not believe that it would serve the interests of relativity to propose
a work RVU of 3.86 based on the recommended crosswalk.
Instead, we are proposing a work RVU of 3.50 for CPT code 95X17
based on the
[[Page 40600]]
survey 25th percentile value. We note that among the predecessor codes
for this family, CPT code 95956 (Monitoring for localization of
cerebral seizure focus by cable or radio, 16 or more channel telemetry,
electroencephalographic (EEG) recording and interpretation, each 24
hours, attended by a technologist or nurse) has a higher intraservice
time of 60 minutes and a higher total time of 105 minutes at a work RVU
of 3.61. This prior valuation of CPT code 95956 does not support the
RUC-recommended work RVU of 3.86 for CPT code 95X17, but does support
the proposed work RVU of 3.50 at the slightly lower newly surveyed work
times. We also note that at the recommended work RVU of 3.86, the
intensity of CPT code 95X17 was anomalously high in comparison to the
rest of the family, the second-highest intensity as compared to the
other professional component codes. We have no reason to believe that
the 24 hour EEG monitoring done with video as described in CPT code
95X17 would be notably more intense than the other codes in the same
family. At our proposed work RVU of 3.50, the intensity of CPT code
95X17 is no longer anomalously high in comparison to the rest of the
family, while still remaining slightly higher than the intensity of the
24 hour EEG monitoring performed without video procedure described by
CPT code 95X16.
For the direct PE inputs, we are proposing to make a series of
refinements to the clinical labor times of CPT code 95X01. Many of the
clinical labor times for this CPT code were derived using a survey
process and were recommended to CMS at the survey median values. This
was in contrast to the typical process for recommended direct PE
inputs, where the inputs are usually based on either standard times or
carried over from reference codes. We believe that when surveys are
used to recommended direct PE inputs, we must apply a similar process
of scrutiny to that used in assessing the work RVUs that are
recommended based on a survey methodology. We have long expressed our
concerns over the validity of the survey results used to produce work
RVU recommendations, such as in the CY 2011 PFS final rule (75 FR
73328), and we have noted that over the past decade the AMA RUC has
increasingly chosen to recommend the survey 25th percentile work RVU
over the survey median value, potentially responding to the same
concerns that we have identified.
As a result, we believe that when assessing the survey of direct PE
inputs used to produce many of the recommendations for CPT code 95X01,
it would be more accurate to propose the survey 25th percentile direct
PE inputs as opposed to the recommended survey median direct PE inputs.
Therefore, we are proposing to refine the clinical labor time for the
``Provide education/obtain consent'' (CA011) activity from 13 minutes
to 7 minutes and to refine the clinical labor time for the ``Review
home care instructions, coordinate visits/prescriptions'' (CA035)
activity from 10 minutes to 7 minutes. In both of these cases, the
recommended clinical labor times based on the survey median values are
more than double the standard time for these activities. Although we
agree that additional clinical labor time would be required to carry
out these activities for CPT code 95X01, we do not believe that the
survey median times would be typical. We are proposing the survey 25th
percentile times of 7 minutes for each activity as we believe that this
time would be more typical for obtaining consent and reviewing home
care instructions.
We are also proposing to refine the clinical labor time for the
``Complete pre-procedure phone calls and prescription'' (CA005)
activity from 10 minutes to 3 minutes for CPT code 95X01. This is
another situation where we are proposing the survey 25th percentile
clinical labor time of 3 minutes instead of the survey median clinical
labor time of 10 minutes. However, we also note that many of the tasks
that fell under the CA005 activity code as described in the PE
recommendations appear to constitute forms of indirect PE, such as
collecting supplies for setup and loading equipment and supplies into
vehicles. Collecting supplies and loading equipment are administrative
tasks that are not individually allocable to a particular patient for a
particular service, and therefore, constitute indirect PE under our
methodology. Due to the fact that many of the tasks described under the
CA005 activity code are forms of indirect PE, we believe that the RUC-
recommended survey median clinical labor time of 10 minutes overstates
the amount of direct clinical labor taking place. We believe that it is
more accurate to propose the survey 25th percentile clinical labor time
of 3 minutes for this activity code to reflect the non-administrative
tasks performed by the clinical staff.
We are also proposing to refine the quantity of the non-sterile
gloves (SB022) supply from 3 to 2 for CPT code 95X01. We note that the
current reference code, CPT code 95953, uses 2 of these pairs of gloves
and the survey also stated that 2 pairs of gloves were typical for the
procedure. Although the recommended materials state that a pair of
gloves is needed to set up the equipment, to take down the equipment,
and a third is required for electrode changes, we do not agree that the
use of a third pair of gloves would be typical given their usage in the
reference code and in the responses from the survey.
We note that we are not proposing to refine many of the other
clinical labor times for CPT code 95X01, which remain at the survey
median clinical labor times. Due to the nature of the continuous
recording EEG service taking place, we agree that the survey median
clinical labor times of 12 minutes for the ``Prepare room, equipment
and supplies'' (CA013) activity, 45 minutes for the ``Prepare, set-up
and start IV, initial positioning and monitoring of patient'' (CA016)
activity, and 22 minutes for the ``Clean room/equipment by clinical
staff'' (CA024) activity would be typical for this procedure. We
reiterate that we assess the direct PE inputs for each procedure
individually based on our methodology of what would be reasonable and
medically necessary for the typical patient.
For CPT codes 95X02-95X13, we are proposing to refine the clinical
labor time for the ``Coordinate post-procedure services'' (CA038)
activity from either 11 minutes to 5 minutes or from 22 minutes to 10
minutes as appropriate for the CPT code in question. The recommended
materials for these procedures state that the tasks taking place
constitute ``Merge EEG and Video files (partially automated program),
confirm transfer of data, delete from laptop/computer if necessary''.
We believe that many of the tasks detailed here are administrative in
nature, consisting of forms of data entry, and therefore, would be
considered types of indirect PE. We note that when CPT code 95812
(Electroencephalogram (EEG) extended monitoring; 41-60 minutes) was
recently reviewed for CY 2017, we finalized the recommended clinical
labor time of 2 minutes for ``Transfer data to reading station &
archive data'', a task which we believe to be highly similar. Due to
the longer duration of the procedures in CPT codes 95X02-95X13, we are
proposing clinical labor times of 5 minutes and 10 minutes for the
CA038 activity for these CPT codes. We are also refining the equipment
time for the Technologist PACS workstation (ED050) to match the
clinical labor time proposed for the CA038 activity.
For the four continuous monitoring procedures, CPT codes 95X04,
95X07, 95X10, and 95X13, we are proposing to refine the equipment time
for the
[[Page 40601]]
ambulatory EEG review station (EQ016) equipment. The recommended
equipment time for the ambulatory EEG review station was equal to four
times the ``Perform procedure/service'' (CA021) clinical labor time
plus a small amount of extra prep time. We do not agree that it would
be typical to assign this much equipment time, as it is our
understanding that one ambulatory EEG review station can be hooked up
to as many as four monitors at a time for continuous monitoring.
Therefore, we do not believe that each monitor would require its own
review station, and that the equipment time should not be equal to four
times the clinical labor of the ``Perform procedure/service'' (CA021)
activity. As a result, we are proposing to refine the ambulatory EEG
review station equipment time from 510 minutes to 150 minutes for CPT
code 95X04, from 1,480 minutes to 400 minutes for CPT code 95X07, from
514 minutes to 154 minutes for CPT code 95X10, and from 1,495 minutes
to 415 minutes for CPT code 95X13.
For the 10 professional component procedures, CPT codes 95X14-
95X23, we are again proposing to refine the equipment time for the
ambulatory EEG review station (EQ016) equipment. We believe that the
use of the ambulatory EEG review station is analogous in these
procedures to the use of the professional PACS workstation (ED053) in
other procedures, and we are proposing to refine the equipment times
for these 10 procedures to match our standard equipment time formula
for the professional PACS workstation. Therefore, we are proposing an
equipment time for the ambulatory EEG review station equal to half the
preservice work time (rounded up) plus the intraservice work time for
CPT codes 95X14 through 95X23. We believe that this equipment time is
more accurate than the recommended equipment time, which was equal to
the total work time of the procedures, as the work descriptors for CPT
codes 95X14-95X23 make no mention of the ambulatory EEG review station
in the postservice work period.
Finally, we are proposing to price the new ``EEG, digital,
prolonged testing system with remote video, for patient home use''
(EQ394) equipment at $26,410.95 based on an invoice submission. We did
not use a second invoice submitted for the new equipment for pricing,
as it contained a disaggregated list of equipment components and it was
not clear if they represented the same equipment item as the first
invoice.
(64) Health and Behavioral Assessment and Intervention (CPT Codes
961X0, 961X1, 961X2, 961X3, 961X4, 961X5, 961X6, 961X7, and 961X8)
The 2001 Health and Behavior Assessment and Intervention (HBAI) RUC
valuations were based on the old CPT code 90801 (Psychiatric diagnostic
interview evaluation), a 60-minute service. The RUC originally
recommended the Health and Behavior Assessment and Intervention
procedures to be 15-minute services, approximately equal to one-quarter
of the value of CPT code 90801, which we finalized without refinements.
While the RUC may have assumed that these services would typically be
reported in four, 15-minute services per single patient encounter, in
actual claims data, there is wide variation in the number of services
provided and submitted. The RUC reconsidered their rationale for the
original RUC-recommended valuation of this family of codes in September
2018. The CPT Editorial Panel deleted the six existing Health and
Behavior Assessment and Intervention procedure CPT codes and replaced
them with nine new CPT codes.
The six deleted CPT codes include CPT code 96150 (Health and
behavior assessment (e.g., health-focused clinical interview,
behavioral observations, psychophysiological monitoring, health-
oriented questionnaires), each 15 minutes face-to-face with the
patient; initial assessment), CPT code 96151 (Health and behavior
assessment (e.g., health-focused clinical interview, behavioral
observations, psychophysiological monitoring, health-oriented
questionnaires), each 15 minutes face-to-face with the patient; re-
assessment), CPT code 96152 (Health and behavior intervention, each 15
minutes, face-to-face; individual), CPT code 96153 (Health and behavior
intervention, each 15 minutes, face-to-face; group (2 or more
patients)), CPT code 96154 (Health and behavior intervention, each 15
minutes, face-to-face; family (with the patient present)), and CPT code
96155 (Health and behavior intervention, each 15 minutes, face-to-face;
family (without the patient present)).
The nine replacement HBAI CPT codes include CPT code 961X0 (Health
behavior assessment, including re-assessment (i.e., health-focused
clinical interview, behavioral observations, clinical decision
making)), CPT code 961X1 (Health behavior intervention, individual,
face-to-face; initial 30 minutes), CPT code 961X2 (Health behavior
intervention, individual, face-to-face; each additional 15 minutes
(list separately in addition to code for primary service)), CPT code
961X3 (Health behavior intervention, group (2 or more patients), face-
to-face; initial 30 minutes), CPT code 961X4 (Health behavior
intervention, group (2 or more patients), face-to-face; each additional
15 minutes (list separately in addition to code for primary service)),
CPT code 961X5 (Health behavior intervention, family (with the patient
present), face-to-face; initial 30 minutes), CPT code 961X6 (Health
behavior intervention, family (with the patient present), face-to-face
each additional 15 minutes (list separately in addition to code for
primary service)), CPT code 961X7 (Health behavior intervention, family
(without the patient present), face-to-face; initial 30 minutes), CPT
code 961X8 (Health behavior intervention, family (without the patient
present), face-to-face; each additional 15 minutes (list separately in
addition to code for primary service)).
We are proposing the RUC-recommended work RVUs for each of the
codes in this family as follows.
For CPT code 961X0, we are proposing a work RVU of 2.10.
For CPT code 961X1, we are proposing a work RVU of 1.45.
For CPT code 961X2, we are proposing a work RVU of 0.50.
For CPT code 961X3, we are proposing a work RVU of 0.21.
For CPT code 961X4, we are proposing a work RVU of 0.10.
For CPT code 961X5, we are proposing a work RVU of 1.55.
For CPT code 961X6, we are proposing a work RVU of 0.55.
For CPT code 961X7, we are proposing a work RVU of 1.50
(but this code will be non-covered by Medicare).
For CPT code 961X8, we are proposing a work RVU of 0.54
(but this code will be non-covered by Medicare).
We are proposing the RUC-recommended direct PE inputs for all of
the CPT codes in this family without refinement.
(66) Cognitive Function Intervention (CPT Codes 971XX and 9XXX0)
In 2017, we received HCPAC recommendations for new CPT code 97127
(Development of cognitive skills to improve attention, memory, problem
solving, direct patient contact, 1) that described the services under
CPT code 97532 (Development of cognitive skills to improve attention,
memory, problem solving, direct patient contact, each 15 minutes). CPT
code 97532 was scheduled to be deleted and replaced by the new untimed
code CPT code 97127. In the CY 2018 PFS final rule (82 FR 53074 through
53076); however, we
[[Page 40602]]
suggested that CPT code 97127 as an untimed/per day code did not
appropriately account for the variable amounts of time spent with a
patient depending upon the discipline and/or setting and assigned the
code a procedure status of ``I'' (Invalid). In place of CPT code 97127,
we established a new HCPCS G-code, G0515 (Development of cognitive
skills to improve attention, memory, problem solving, direct patient
contact, each 15 minutes), with a work RVU of 0.44. HCPCS code G0515
maintained the descriptor and values from the former CPT code 97532.
In September 2018, the CPT Editorial Panel revised CPT code 971XX
(Therapeutic interventions that focus on cognitive function (e.g.,
attention, memory, reasoning, executive function, problem solving and/
or pragmatic functioning) and compensatory strategies to manage the
performance of an activity (e.g., managing time or schedules,
initiating, organizing and sequencing tasks), direct (one-to-one)
patient contact; initial 15 minutes) and created an add-on code, CPT
code 9XXX0 (Therapeutic interventions that focus on cognitive function
(e.g., attention, memory, reasoning, executive function, problem
solving and/or pragmatic functioning) and compensatory strategies to
manage the performance of an activity (e.g., managing time or
schedules, initiating, organizing and sequencing tasks), direct (one-
to-one) patient contact; each additional 15 minutes (list separately in
addition to code for primary procedure)).
We are proposing the RUC-recommended work RVUs of 0.50 for CPT code
971XX and 0.48 for CPT code 9XXX0. We are proposing the RUC-recommended
direct PE inputs for all codes in the family. We are also proposing to
designate CPT codes 971XX and 9XXX0 as sometime therapy codes because
the services might be appropriately furnished by therapists under the
outpatient therapy services benefit (includes physical therapy,
occupational therapy, or speech-language pathology) or outside the
therapy benefit by physicians, NPPs, and psychologists.
(67) Open Wound Debridement (CPT Codes 97597 and 97598)
CPT code 97598 (Debridement (e.g., high pressure waterjet with/
without suction, sharp selective debridement with scissors, scalpel and
forceps), open wound, (e.g., fibrin, devitalized epidermis and/or
dermis, exudate, debris, biofilm), including topical application(s),
wound assessment, use of a whirlpool, when performed and instruction(s)
for ongoing care, per session, total wound(s) surface area; each
additional 20 sq cm, or part thereof) was identified by the RUC on a
list of services that were originally surveyed by one specialty but are
now typically performed by a different specialty. It was reviewed along
CPT code 97597 (Debridement (e.g., high pressure waterjet with/without
suction, sharp selective debridement with scissors, scalpel and
forceps), open wound, (e.g., fibrin, devitalized epidermis and/or
dermis, exudate, debris, biofilm), including topical application(s),
wound assessment, use of a whirlpool, when performed and instruction(s)
for ongoing care, per session, total wound(s) surface area; first 20 sq
cm or less) at the October 2018 RUC meeting.
We disagree with the RUC-recommended work RVU of 0.88 for CPT code
97597 and we are proposing a work RVU of 0.77 based on a crosswalk to
CPT code 27369 (Injection procedure for contrast knee arthrography or
contrast enhanced CT/MRI knee arthrography). CPT code 27369 is a
recently-reviewed code with the same intraservice time of 15 minutes
and a total time of 28 minutes, one minute fewer than CPT code 97597.
In reviewing this code, we noted that the recommended intraservice time
is increasing from 14 minutes to 15 minutes (7 percent), and the
recommended total time is increasing from 24 minutes to 29 minutes (21
percent); however, the RUC-recommended work RVU is increasing from 0.51
to 0.88, which is an increase of 73 percent. Although we did not imply
that the decrease in time as reflected in survey values must equate to
a one-to-one or linear increase in the valuation of work RVUs, we
believe that since the two components of work are time and intensity,
modest increases in time should be appropriately reflected with a
commensurate increase the work RVUs. In the case of CPT code 97597, we
believed that it is more accurate to propose a work RVU of 0.77 based
on a crosswalk to CPT code 27369 to account for these modest increases
in the surveyed work time. We also note that even at the proposed work
RVU of 0.77 the intensity of this procedure as measured by IWPUT is
increasing by more than 50 percent over the current value.
We are proposing the RUC-recommended work RVU of 0.50 for CPT code
97598. We are also proposing the RUC-recommended direct PE inputs for
all codes in the family.
(68) Negative Pressure Wound Therapy (CPT Codes 97607 and 97608)
In the CY 2013 final rule with comment period, we created two HCPCS
codes to provide a payment mechanism for negative pressure wound
therapy services furnished to beneficiaries using equipment that is not
paid for as durable medical equipment: G0456 (Negative pressure wound
therapy, (for example, vacuum assisted drainage collection) using a
mechanically powered device, not durable medical equipment, including
provision of cartridge and dressing(s), topical application(s), wound
assessment, and instructions for ongoing care, per session; total
wound(s) surface area less than or equal to 50 square centimeters) and
G0457 (Negative pressure wound therapy, (for example, vacuum assisted
drainage collection) using a mechanically-powered device, not durable
medical equipment, including provision of cartridge and dressing(s),
topical application(s), wound assessment, and instructions for ongoing
care, per session; total wound(s) surface area greater than 50 sq. cm).
For CY 2015, the CPT Editorial Panel created CPT codes 97607 (Negative
pressure wound therapy, (e.g., vacuum assisted drainage collection),
utilizing disposable, non-durable medical equipment including provision
of exudate) and 97608 (Negative pressure wound therapy, (e.g., vacuum
assisted drainage collection), utilizing disposable, non-durable
medical equipment including provision of exudate) to describe negative
pressure wound therapy with the use of a disposable system. In
addition, CPT codes 97605 (Negative pressure wound therapy (e.g.,
vacuum assisted drainage collection), utilizing durable medical
equipment (DME), including topical application(s), wound assessment,
and instruction(s) for ongoing care, per session; total wound(s)
surface area less than or equal to 50 square centimeters) and 97606
(Negative pressure wound therapy (e.g., vacuum assisted drainage
collection), utilizing durable medical equipment (DME), including
topical application(s), wound assessment, and instruction(s) for
ongoing care, per session; total wound(s) surface area greater than 50
square centimeters) were revised to specify the use of durable medical
equipment. Based upon the revised coding scheme for negative pressure
wound therapy, we deleted the G-codes. Due to concerns that we had with
these services, we contractor priced CPT codes 97607 and 97608
beginning in CY 2015 (79 FR 67670). In the CY 2016 Final Rule (80 FR
71005),
[[Page 40603]]
in response to comment expressing disappointment with CMS' decision to
contractor price these codes, we noted that there were obstacles to
developing accurate payment rates for these services within the PE RVU
methodology, including the indirect PE allocation for the typical
practitioners who furnish these services and the diversity of the
products used in furnishing these services.
We have received repeated requests from stakeholders, including in
comment received in response to the CY 2019 PFS final rule, to assign
an active status to these codes, meaning we would assign rates to the
codes rather than allowing them to be contractor priced. In that rule,
(83 FR 59473), we noted that we received a request that CMS should
assign direct cost inputs and PE RVUs to CPT codes 97607 and 97608, and
we indicated that we would take this feedback from commenters under
consideration for future rulemaking.
In response to stakeholder feedback, we evaluated the codes and
determined there was adequate volume to assign an active status. We are
proposing to assign an active status to CPT codes 97607 and 97608 and
we are proposing the work RVUs as recommended by the RUC that we
received for CY 2015 when the CPT Editorial Panel created these codes.
Thus, we are proposing a work RVU of 0.41 for CPT code 97607 and a work
RVU of 0.46 for CPT code 97608. Similarly, we are proposing the RUC-
recommended direct PE inputs originally for CY 2015 with the following
refinement: For the clinical labor activity ``check dressings & wound/
home care instructions/coordinate office visits/prescriptions,'' we are
refining the clinical labor time to the standard 2 minutes for this
task. In addition, the direct inputs for these codes include the new
supply item, ``kit, negative pressure wound therapy, disposable.'' A
search of publicly available commercial pricing data indicates that a
unit price of approximately $100 is appropriate, and therefore, we are
proposing this price for this supply item. If more accurate invoices
are available, we are soliciting such invoices to more accurately price
it.
(69) Ultrasonic Wound Assessment (CPT Code 97610)
In 2005, the AMA RUC began the process of flagging services that
represent new technology or new services as they were presented to the
Committee. CPT code 97610 (Low frequency, non-contact, non-thermal
ultrasound, including topical application(s), when performed, wound
assessment, and instruction(s) for ongoing care, per day) was flagged
for CPT 2015 and reviewed at the October 2018 RAW meeting. The
Workgroup indicated that the utilization is continuing to increase for
this service, and recommended that it be resurveyed for physician work
and practice expense for the January 2019 RUC meeting.
We are proposing the RUC-recommend work 0.40 for CPT code 97610. We
are also proposing the RUC-recommended direct PE inputs for CPT code
97610.
(70) Online Digital Evaluation Service (e-Visit) (CPT Codes 98X00,
98X01, and 98X02)
In September 2018, the CPT Editorial Panel deleted two codes and
replaced them with six new non-face-to-face codes to describe patient-
initiated digital communications that require a clinical decision that
otherwise typically would have been provided in the office. The HCPAC
reviewed and made recommendations for CPT code 98X00 (Qualified
nonphysician healthcare professional online digital evaluation and
management service, for an established patient, for up to seven days,
cumulative time during the 7 days; 5-10 minutes), CPT code 98X01
(Qualified nonphysician healthcare professional online digital
evaluation and management service, for an established patient, for up
to seven days, cumulative time during the 7 days; 11-20 minutes), and
CPT code 98X02 (Qualified nonphysician qualified healthcare
professional online digital evaluation and management service, for an
established patient, for up to seven days, cumulative time during the 7
days; 21 or more minutes). CPT codes 9X0X1-9X0X3 are for practitioners
who can independently bill E/M services while CPT codes 98X00-98X02 are
for practitioners who cannot independently bill E/M services.
The statutory requirements that govern the Medicare benefit are
specific regarding which practitioners may bill for E/M services. As
such, when codes are established that describe E/M services that fall
outside the Medicare benefit category of the practitioners who may bill
for that service, we have typically created parallel HCPCS G-codes with
descriptors that refer to the performance of an ``assessment'' rather
than an ``evaluation''. We acknowledge that there are qualified non-
physician health care professionals who will likely perform these
services. Therefore, for CY 2020, we are proposing separate payment for
online digital assessments via three HCPCS G-codes that mirror the RUC
recommendations for CPT codes 98X00-98X02. The proposed HCPCS G codes
and descriptors are as follows:
HCPCS code GNPP1 (Qualified nonphysician healthcare
professional online assessment, for an established patient, for up to
seven days, cumulative time during the 7 days; 5-10 minutes);
HCPCS code GNPP2 (Qualified nonphysician healthcare
professional online assessment service, for an established patient, for
up to seven days, cumulative time during the 7 days; 11-20 minutes);
and
HCPCS code GNPP3 (Qualified nonphysician qualified
healthcare professional assessment service, for an established patient,
for up to seven days, cumulative time during the 7 days; 21 or more
minutes).
For CY 2020, we are proposing a work RVU of 0.25 for CPT code
GNPP1, which reflects the RUC-recommended work RVU for CPT code 98X00.
For HCPCS codes GNPP2 and GNPP3, we believe that the 25th percentile
work RVU associated with CPT codes 98X01 and 98X02 respectively, better
reflects the intensity of performing these services, as well as the
methodology used to value the other codes in the family, all of which
use the 25th percentile work RVU. Therefore, we are proposing a work
RVU of 0.44 for HCPCS code GNPP1 and a work RVU of 0.69 for HCPCS code
GNPP2.
We are proposing the direct PE inputs associated with CPT codes
98X00, 98X01, and 98X02 for GNPP1, GNPP2, and GNPP3 respectively.
(71) Emergency Department Visits (CPT Codes 99281, 99282, 99283, 99284,
and 99285)
In the CY 2018 PFS final rule, we finalized a proposal to nominate
CPT codes 99281-99285 as potentially misvalued based on information
suggesting that the work RVUs for emergency department visits may not
appropriately reflect the full resources involved in furnishing these
services (FR 82 53018.) These five codes were surveyed and reviewed for
the April 2018 RUC meeting. For CY 2020 we are proposing the RUC-
recommended work RVUs of 0.48 for CPT code 99281, a work RVU of 0.93
for CPT code 99282, a work RVU of 1.42 for 99283, a work RVU of 2.60
for 99284, and a work RVU of 3.80 for CPT code 99285.
The RUC did not recommend and we are not proposing any direct PE
inputs for the codes in this family.
[[Page 40604]]
(72) Self-Measured Blood Pressure Monitoring (CPT Codes 99X01, 99X02,
93784, 93786, 93788, and 93790)
In September 2018, the CPT Editorial Panel created two new codes
and revised four other codes to describe self-measured blood pressure
monitoring services and to differentiate self-measured blood pressuring
monitoring services from ambulatory blood pressure monitoring services.
The first of the two new codes that describe self-measured blood
pressure monitoring is CPT code 99X01 (Self-measured blood pressure
using a device validated for clinical accuracy; patient education/
training and device calibration) and is a PE only code. The second code
is 99X02 (Self-measured blood pressure using a device validated for
clinical accuracy; separate self-measurements of two readings, one
minute apart, twice daily over a 30-day period (minimum of 12
readings), collection of data reported by the patient and/or caregiver
to the physician or other qualified health care professional, with
report of average systolic and diastolic pressures and subsequent
communication of a treatment plan to the patient).
The remaining four codes, which monitor ambulatory blood pressure,
include CPT code 93784 (Ambulatory blood pressure monitoring, utilizing
report-generating software, automated, worn continuously for 24 hours
or longer; including recording, scanning analysis, interpretation and
report), CPT code 93786 (Ambulatory blood pressure monitoring,
recording only), CPT code 93788 (Ambulatory blood pressure monitoring,
scanning analysis with report), and CPT code 93790 (Ambulatory blood
pressure monitoring, review with interpretation and report). CPT code
93784 is a composite code that is the sum of CPT codes 93786, 93788,
and 93790. CPT codes 93786 and 93788 are PE only codes.
We are proposing the RUC-recommended work RVU of 0.18 for CPT code
99X02, the RUC-recommended work RVU of 0.38 for CPT code 93784, and the
RUC-recommended work RVU of 0.38 for CPT code 93790. We are proposing
the RUC-recommended work RVU of 0.00 for CPT codes 93786, 93788, and
99X01. We are also proposing the RUC-recommended direct PE inputs for
all codes in the family.
(73) Online Digital Evaluation Service (e-Visit) (CPT Codes 9X0X1,
9X0X2, and 9X0X3)
In September 2018, the CPT Editorial Panel deleted two codes and
replaced them with six new non-face-to face codes to describe patient-
initiated digital communications that require a clinical decision that
otherwise typically would have been provided in the office. The RUC
reviewed and made recommendations for CPT code 9X0X1 (Online digital
evaluation and management service, for an established patient, for up
to 7 days, cumulative time during the 7 days; 5-10 minutes), CPT code
9X0X2 (Online digital evaluation and management service, for an
established patient, for up to 7 days, cumulative time during the 7
days; 11-20 minutes), and CPT code 9X0X3 (Online digital evaluation and
management service, for an established patient, for up to 7 days,
cumulative time during the 7 days; 21 or more minutes).
For CY 2020, we are proposing the RUC-recommended work RVUs of 0.25
for CPT code 9X0X1, 0.50 for CPT code 9X0X2, and 0.80 for CPT code
9X0X3. We are proposing the RUC-recommended direct PE inputs for all
codes in the family.
(74) Radiation Therapy Codes (HCPCS Codes G6001, G6002, G6003, G6004,
G6005, G6006, G6007, G6008, G6009, G6010, G6011, G6012, G6013, G6014,
G6015, G6016 and G6017)
For CY 2015, CPT revised the radiation therapy code set for
following identification of some of the codes as potentially misvalued
and the affected specialty society's contention that the provision of
radiation therapy could not be accurately reported under the existing
code set. In the CY 2015 PFS final rule, we finalized that we were
delaying implementation of this revised code set, citing concerns with
our potentially having finalized a substantial coding revision on an
interim final basis. In addition, we stated that substantial work
needed to be done to assure the new valuations for these codes
accurately reflect the coding changes. We finalized that we would
maintain inputs at CY 2014 levels by creating G-codes as necessary to
allow practitioners to continue to report services to CMS in CY 2015 as
they did in CY 2014 and for payments to be made in the same way.
Following the publication of the CY 2015 PFS final rule, the Patient
Access and Medicare Protection Act (Pub. L. 114-115, December 28, 2015)
was enacted, which included the provision that the code definitions,
the work relative value units and the direct inputs for the PE RVUs for
radiation treatment delivery and related imaging services (identified
in 2016 by HCPCS G-codes G6001 through G6015) for the fee schedule
established under this subsection for services furnished in 2017 and
2018 shall be the same as such definitions, units, and inputs for such
services for the fee schedule established for services furnished in
2016. In CY 2018, Congress extended this ``freeze'' in coding
descriptions and inputs through CY 2019 as a provision of the
Bipartisan Budget Act of 2018. For CY 2020, in the interest of payment
stability, we are proposing to continue using these G-codes, as well as
their current work RVUs and direct PE inputs. We are also proposing
that, for CY 2020, our PE methodology will continue to include a
utilization rate assumption of 60 percent for the equipment item:
ER089, ``IMRT Accelerator.''
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BILLING CODE 4120-01-C
O. Comment Solicitation on Opportunities for Bundled Payments Under the
PFS
Under the PFS, Medicare typically makes a separate payment for each
individual service furnished to a beneficiary consistent with section
1848 of the Act, which requires CMS to establish payment for
physicians' services based on the relative resources involved in
furnishing the service. The statute defines ``services'' broadly, with
reference to the uniform procedure coding system established by CMS for
the purpose of Medicare FFS payments, called the Healthcare Common
Procedure Coding System (HCPCS). There are sets of HCPCS codes that
represent health care procedures, supplies, medical equipment,
products, and services. The majority of physicians' services for which
payment is made under the PFS are described using HCPCS Level I codes
and descriptors that are the AMA's Current Procedural Terminology (CPT)
code set. CPT codes generally describe an individual item or service,
while some codes describe a combination of services (a procedure and
imaging guidance, for example) bundled together. Some HCPCS codes
explicitly encompass multiple services (global surgery codes, for
example), and the PFS payment for some services is reduced when a
combination of services is furnished to the same patient on the same
day (through multiple procedure payment reduction policies). However,
payment for most services under the PFS is made based on rates
established for individual services, each described by a CPT code.
Identifying and developing appropriate payment policies that aim to
achieve better care and improved health for Medicare beneficiaries is a
priority for CMS. Consistent with that goal, we are interested in
exploring new options for establishing PFS payment rates or adjustments
for services that are furnished together. For purposes of this
discussion, we will refer to the circumstances where a set of services
is grouped together for purposes of ratesetting and payment as
``bundled payment.''
One of the mechanisms through which we support innovative payment
and service delivery models, for Medicare and other beneficiaries, is
through CMS' Center for Medicare and Medicaid Innovation (the
Innovation Center). The Innovation Center is currently testing models
in which payment for physicians' services is bundled on a per-
beneficiary population basis, or is based on episodes of care that
usually begin with a triggering event and extend for a specified period
of time thereafter. An example of a model in which payment is made on a
per-beneficiary population basis is Comprehensive Primary Care Plus
(CPC+), in which participating practices receive prospective per-
beneficiary care management fees and Comprehensive Primary Care
Payments for certain primary care services such as chronic care
management and evaluation and management services. An example of an
episode payment model is the Oncology Care Model (OCM), in which
participating physician practices receive a per-beneficiary Monthly
Enhanced Oncology Services payment for care management and care
coordination surrounding chemotherapy administration to cancer
patients. We are actively exploring the extent to which these basic
principles of bundled payment, such as establishing per-beneficiary
payments for multiple services or condition-specific episodes of care,
can be applied within the statutory framework of the PFS.
We are seeking public comments on opportunities to expand the
concept of bundling to recognize efficiencies among physicians'
services paid under the PFS and better align Medicare payment policies
with CMS's broader goal of achieving better care for patients, better
health for our communities, and lower costs through improvement in our
health care system. We believe that the statute, while requiring CMS to
pay for physicians' services based on the relative resources involved
in furnishing the service, allows considerable flexibility for
developing payments under the PFS.
P. Payment for Evaluation and Management (E/M) Visits
1. Background
a. E/M Visits Coding Structure
Physicians and other practitioners who are paid under the PFS bill
for common office visits for evaluation and management (E/M) services
under a relatively generic set of CPT codes (Level I HCPCS codes) that
distinguish visits based on the level of complexity, site of service,
and whether the patient is new or established. These CPT codes are
broadly referred to as E/M visit codes and have three key components
within their code descriptors: History of present illness (History),
physical examination (Exam), and medical decision-making (MDM).\80\
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\80\ 2019 CPT Codebook, Evaluation and Management, pp. 6-13.
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The CPT code descriptors recognize counseling, care coordination,
and the nature of the presenting problem as additional service
components, but these are contributory factors in determining which
code to report.\81\ Per the CPT code descriptors, counseling and/or
care coordination are provided consistent with the nature of the
problem and the patient's and/or family's needs. Counseling and care
coordination are not required at every patient encounter and can be
accounted for in separate coding.\82\
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\81\ 2019 CPT Codebook, Evaluation and Management, pp. 6-13.
\82\ 2019 CPT Codebook, Evaluation and Management, pp. 4-56.
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As finalized in the CY 2019 PFS final rule, the amount of time
spent by the billing practitioner is not a determining factor in code
level selection unless (1) counseling and care coordination dominate
the visit, in which case time becomes the key factor in determining
visit level; and/or (2) the service is a prolonged (or beginning in
2021, ``extended'') (83 FR 59630) E/M visit. Typical times for each
level of E/M visit are included in each of the CPT code descriptors,
are used for PFS rate setting purposes, and provide a reference point
for the reporting of prolonged visits. Separate add-on codes describe,
and can be reported for, visits that take prolonged (or beginning in
2021, ``extended'') (83 FR 59630) amounts of time.
There are 3 to 5 E/M visit code levels, depending upon site of
service and the extent of the three components of history, exam, and
MDM. For example, there are 3 to 4 levels of E/M visit codes in the
inpatient hospital and nursing facility settings based on a relatively
narrow range of complexity in those settings. In contrast, there are 5
levels of E/M visit codes in the office or other outpatient setting
based on a broader range of complexity in those settings.
PFS payment rates for E/M visit codes generally increase with the
level of visit billed, although in the CY 2019 PFS final rule (83 FR
59638), for reasons discussed below, we finalized the assignment of a
single payment rate for levels 2 through 4 office/outpatient E/M visits
beginning in CY 2021. As for all services under the PFS, the payment
rates for E/M visits are based on the work (time and intensity),
practice expense, and malpractice expense resources required to furnish
the typical case of the service.
In total, E/M visits comprise approximately 40 percent of allowed
charges for PFS services, and office/outpatient E/M visits comprise
[[Page 40671]]
approximately 20 percent of allowed charges for PFS services. Within
the E/M services represented in these percentages, there is wide
variation in the volume and level of E/M visits billed by different
specialties. According to Medicare claims data, E/M visits are
furnished by nearly all specialties, but represent a greater share of
total allowed services for physicians and other practitioners who do
not routinely furnish procedural interventions or diagnostic tests.
Generally, these practitioners include both primary care practitioners
and certain specialists such as neurologists, endocrinologists and
rheumatologists. Certain specialties, such as podiatry, tend to furnish
lower level E/M visits more often than higher level E/M visits. Some
specialties, such as dermatology and otolaryngology, tend to bill more
E/M visits on the same day as they bill minor procedures.
b. E/M Documentation Guidelines
For CY 2019 and 2020, when coding and billing E/M visits to
Medicare, practitioners may use one of two versions of the E/M
Documentation Guidelines for a patient encounter, commonly referenced
based on the year of their release: the ``1995'' or ``1997'' E/M
Documentation Guidelines (hereafter, the 1995 and 1997 Guidelines).\83\
These Guidelines specify the medical record information within each of
the three key components (such as number of body systems reviewed) that
serves as support for billing a given level of E/M visit. The 1995 and
1997 Guidelines are very similar to the guidelines for E/M visits that
currently reside within the AMA's CPT codebook for E/M visits. For
example, the core structure of what comprises or defines the different
levels of history, exam, and medical decision-making in the 1995 and
1997 Guidelines are the same as those in the CPT codebook. However, the
1995 and 1997 Guidelines include extensive examples of clinical work
that comprise different levels of medical decision-making that do not
appear in the AMA's CPT codebook. Also, the 1995 and 1997 Guidelines do
not contain references to preventive care that appear in the AMA's CPT
codebook. We provide an example of how the 1995 and 1997 Guidelines
distinguish between level 2 and level 3 E/M visits in Table 25.
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\83\ See https://www.cms.gov/Outreach-and-Education/Medicare-Learning-Network-MLN/MLNEdWebGuide/Downloads/95Docguidelines.pdf;
https://www.cms.gov/Outreach-and-Education/Medicare-Learning-Network-MLN/MLNEdWebGuide/Downloads/97Docguidelines.pdf; and the
Evaluation and Management Services guide at https://www.cms.gov/Outreach-and-Education/Medicare-Learning-Network-MLN/MLNProducts/Downloads/eval-mgmt-serv-guide-ICN006764.pdf.
Table 25--Key Component Documentation Requirements for Level 2 vs. 3 E/M Visit
----------------------------------------------------------------------------------------------------------------
Key component * Level 2 (1995) Level 3 (1995) Level 2 (1997) Level 3 (1997)
----------------------------------------------------------------------------------------------------------------
History (History of Present Review of Systems Problem Pertinent No change from No change from
Illness or HPI). (ROS) n/a. ROS: Inquires 1995. 1995.
about the system
directly related
to the problem(s)
identified in the
HPI.
Physical Examination (Exam)..... A limited A limited General multi- General multi-
examination of examination of system exam: system exam:
the affected body the affected body Performance and Performance and
area or organ area or organ documentation of documentation of
system. system and other one to five at least six
symptomatic or elements in one elements in one
related organ or more organ or more organ
system(s). system(s) or body system(s) or body
area(s). area(s).
Single organ Single organ
system exam: system exam:
Performance and Performance and
documentation of documentation of
one to five at least six
elements. elements.
Medical Decision Making (MDM). Straightforward: Low complexity: No change from 1995.
Measured by: **
1. Problem--Number of 1. Minimal..... 1. Limited.
diagnoses/treatment options.
2. Data--Amount and/or 2. Minimal or 2. Limited data
complexity of data to be no data review. review.
reviewed.
3. Risk--Risk of 3. Minimal risk 3. Low risk.
complications and/or
morbidity or mortality.
----------------------------------------------------------------------------------------------------------------
* For certain settings and patient types, each of these three key components must be met or exceeded (for
example, new patients; initial hospital visits). For others, only two of the three key components must be met
or exceeded (for example, established patients, subsequent hospital or other visits).
** Two of three met or exceeded.
According to both Medicare claims processing manual instructions
and CPT coding rules, when counseling and/or coordination of care
accounts for more than 50 percent of the face-to-face physician/patient
encounter (or, in the case of inpatient E/M services, the floor time)
the duration of the visit can be used as an alternative basis to select
the appropriate E/M visit level (Pub. 100-04, Medicare Claims
Processing Manual, Chapter 12, Section 30.6.1.C available at https://www.cms.gov/Regulations-and-Guidance/Guidance/Manuals/Downloads/clm104c12.pdf; see also 2019 CPT Codebook Evaluation and Management
Services Guidelines, page 10). Pub. 100-04, Medicare Claims Processing
Manual, Chapter 12, Section 30.6.1.B states, ``Instruct physicians to
select the code for the service based
[[Page 40672]]
upon the content of the service. The duration of the visit is an
ancillary factor and does not control the level of the service to be
billed unless more than 50 percent of the face-to-face time (for non-
inpatient services) or more than 50 percent of the floor time (for
inpatient services) is spent providing counseling or coordination of
care as described in subsection C.'' Subsection C states that ``the
physician may document time spent with the patient in conjunction with
the medical decision-making involved and a description of the
coordination of care or counseling provided. Documentation must be in
sufficient detail to support the claim.'' The example included in
subsection C further states, ``The code selection is based on the total
time of the face-to-face encounter or floor time, not just the
counseling time. The medical record must be documented in sufficient
detail to justify the selection of the specific code if time is the
basis for selection of the code.''
Both the 1995 and 1997 Guidelines address time, stating that, ``In
the case where counseling and/or coordination of care dominates (more
than 50 percent of) the physician/patient and/or family encounter
(face-to-face time in the office or other outpatient setting or floor/
unit time in the hospital or nursing facility), time is considered the
key or controlling factor to qualify for a particular level of E/M
services.'' The Guidelines go on to state that, ``If the physician
elects to report the level of service based on counseling and/or
coordination of care, the total length of time of the encounter (face-
to-face or floor time, as appropriate) should be documented and the
record should describe the counseling and/or activities to coordinate
care.'' \84\ Additional manual provisions regarding E/M visits are
housed separately within Medicare's internet-Only Manuals, and are not
contained within the 1995 or 1997 Guidelines.
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\84\ Page 16 of the 1995 E/M guidelines and page 48 of the 1997
guidelines.
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In accordance with section 1862(a)(1)(A) of the Act, which requires
services paid under Medicare Part B to be reasonable and necessary for
the diagnosis or treatment of illness or injury or to improve the
functioning of a malformed body member, medical necessity is a
prerequisite to Medicare payment for E/M visits. Pub. 100-04, Medicare
Claims Processing Manual, Chapter 12, Section 30.6.1.B states,
``Medical necessity of a service is the overarching criterion for
payment in addition to the individual requirements of a CPT code. It
would not be medically necessary or appropriate to bill a higher level
of evaluation and management service when a lower level of service is
warranted. The volume of documentation should not be the primary
influence upon which a specific level of service is billed.
Documentation should support the level of service reported.''
c. Summary of Changes to Coding, Payment and Documentation of Office/
Outpatient E/M Visits Finalized for CY 2021 in the CY 2019 PFS Final
Rule
In the CY 2019 PFS final rule (83 FR 59452 through 60303), we
finalized a number of coding, payment, and documentation changes under
the PFS for office/outpatient E/M visits (CPT codes 99201-99215) to
reduce administrative burden, improve payment accuracy, and update this
code set to better reflect the current practice of medicine. In
summary, we finalized the following policy changes for office/
outpatient E/M visits under the PFS effective January 1, 2021:
Reduction in the payment variation for office/outpatient
E/M visit levels by paying a single rate (also referred to as a blended
rate) for office/outpatient E/M visit levels 2 through 4 (one rate for
established patients and another rate for new patients), while
maintaining the payment rate for office/outpatient E/M visit level 5 in
order to better account for the care and needs of complex patients.
Practitioners will still report the appropriate code for the level of
service they furnished, since we did not replace these CPT codes with
HCPCS G codes and will continue to use typical times associated with
each individual CPT code when time is used to document the office/
outpatient E/M visit.
Permitting practitioners to choose to document office/
outpatient E/M level 2 through 5 visits using MDM or time, or the
current framework based on the 1995 or 1997 Guidelines.
As a corollary to the uniform payment rate for level 2-4
E/M visits, when using MDM or the current framework to document the
office/outpatient E/M visit, a minimum supporting documentation
standard associated with level 2 office/outpatient E/M visits will
apply. For these cases, Medicare will require information to support a
level 2 office/outpatient E/M visit code for history, exam, and/or MDM.
When time is used to document, practitioners will document
the medical necessity of the office/outpatient E/M visit and that the
billing practitioner personally spent the required amount of time face-
to-face with the beneficiary. The required face-to-face time will be
the typical time for the reported code, except for extended or
prolonged visits where extended or prolonged times will apply.
Implementation of HCPCS add-on G codes that describe the
additional resources inherent in visits for primary care and particular
kinds of non-procedural specialized medical care (HCPCS codes GPC1X and
GCG0X, respectively). These codes were finalized in order to reflect
the differential resource costs associated with performing certain
types of office/outpatient E/M visits. These codes will only be
reportable with office/outpatient E/M level 2 through 4 visits.
Adoption of a new ``extended visit'' add-on G code (HCPCS
code GPRO1) for use only with office/outpatient E/M level 2 through 4
visits, to account for the additional resources required when
practitioners need to spend extended time with the patient for these
visits. The existing prolonged E/M codes can continue to be used with
levels 1 and 5 office/outpatient E/M visits.
We stated that we believed these policies would allow practitioners
greater flexibility to exercise clinical judgment in documentation so
they can focus on what is clinically relevant and medically necessary
for the beneficiary. We believed these policies will reduce a
substantial amount of administrative burden (83 FR 60068 through 60070)
and result in limited specialty-level redistributive impacts (83 FR
60060). We stated our intent to continue engaging in further
discussions with the public over the next several years to potentially
further refine our policies for 2021. We finalized the coding, payment,
and documentation changes to reduce administrative burden, improve
payment accuracy, and update the code set to better reflect the current
practice of medicine.
2. Continued Stakeholder Feedback
In January and February 2019, we hosted a series of structured
listening sessions on the forthcoming changes that CMS finalized for
office/outpatient E/M visit coding, documentation and payment for CY
2021. These sessions provided an opportunity for CMS to gain further
input and information from the wide range of affected stakeholders on
these important policy changes. Our goal was to continue to listen and
consider perspectives from individual practicing clinicians, specialty
associations, beneficiaries and their advocates, and other interested
stakeholders to prepare for implementation of the office/outpatient
[[Page 40673]]
E/M visit policies that we finalized for CY 2021.
In these listening sessions, although stakeholders supported our
intention to reduce burdensome, clinically outdated documentation
requirements, they noted that in response to the office/outpatient E/M
visit policies CMS finalized for CY 2021, the AMA/CPT established the
Joint AMA CPT Workgroup on E/M to develop an alternative solution. This
workgroup developed an alternative approach, similar to the one we
finalized, for office/outpatient E/M coding and documentation. That
approach was approved by the CPT Editorial Panel in February 2019, with
an effective date of January 1, 2021 and is available on the AMA's
website at https://www.ama-assn.org/cpt-evaluation-and-management.
Effective January 1, 2021, the CPT Editorial Panel adopted
revisions to the office/outpatient E/M code descriptors, and
substantially revised both the CPT prefatory language and the CPT
interpretive guidelines that instruct practitioners on how to bill
these codes. The AMA has approved an accompanying set of interpretive
guidelines governing and updating what determines different levels of
MDM for office/outpatient E/M visits. Some of the changes made by the
CPT Editorial Panel parallel our finalized policies for CY 2021, such
as the choice of time or MDM in determination of code level. Other
aspects differ, such as the number of code levels retained, presumably
for purposes of differential payment; the times, and inclusion of all
time spent on the day of the visit; and elimination of options such as
the use of history and exam or time in combination with MDM, to select
code level.
Many stakeholders have continued to express objections to our
assignment of a single payment rate to level 2-4 office/outpatient E/M
visits stating that this inappropriately incentivizes multiple, shorter
visits and seeing less complex patients. Many stakeholders also stated
that the purpose and use of the HCPCS add-on G codes that we
established for primary care and non-procedural specialized medical
care remain ambiguous, expressed concern that the codes are potentially
contrary to current law prohibiting specialty-specific payment, and
asserted that Medicare's coding approach is unlikely to be adopted by
other payers.
In meetings with stakeholders since we issued the CY 2019 PFS final
rule, some stakeholders suggested that only time should be used to
select the service level because time is easy to audit, simple to
document, and better accounts for patient complexity, in comparison to
the CPT Editorial Panel revised MDM interpretive guidance. These
stakeholders stated that the implementation of the CPT Editorial Panel
revised MDM interpretive guidance will result in the likely increase in
the selection of levels 4 and 5, relative to current typical coding
patterns. They suggested that to more accurately distinguish varying
levels of patient complexity, either the visit levels should be
recalibrated so that levels 4 and 5 no longer represent the most often
billed visit, or a sixth level should be added. In these meetings, some
stakeholders also stated that the office/outpatient E/M codes fail to
capture the full range of services provided by certain specialties,
particularly primary care and other specialties that rely heavily on
office/outpatient E/M services rather than procedures, systematically
undervaluing primary care visits and visits furnished in the context of
non-procedural specialty care, thereby creating payment disparities
that have contributed to workforce shortages and beneficiary access
challenges across a range of specialties. They reiterated that office/
outpatient E/M visit codes have not been extensively examined since the
creation of the PFS and recommended that CMS conduct an extensive
research effort to revise and revalue office/outpatient E/M services
through a major research initiative akin to that undertaken when the
PFS was first established.
The AMA believes its approach will accomplish greater burden
reduction, is more clinically intuitive and reflects the current
practice of medicine, and is more likely to be adopted by all payers
than the policies CMS finalized for CY 2021. The AMA has posted an
estimate of the burden reduction associated with the policies approved
at CPT on the AMA's website, available at https://www.ama-assn.org/cpt-evaluation-and-management.
Given the CPT coding changes that will take effect in 2021, the AMA
RUC has conducted a resurvey and revaluation of the office/outpatient
E/M visit codes, and provided us with its recommendations. We discuss
our proposal to adopt the CPT coding for office/outpatient E/M visits
below, noting that the CPT coding changes will also necessitate some
changes to CMS' policies for CY 2021, due to forthcoming changes in
code descriptors. In addition, we address revaluation of the codes,
proposing new values for the codes as revised by CPT. We propose to
assign separate payment rather than a blended rate, to each of the
office/outpatient E/M visit codes (except CPT code 99201, which CPT is
deleting) and the new prolonged visit add-on CPT code (CPT code 99XXX).
We propose to delete the HCPCS add-on code we finalized last year for
CY 2021 for extended visits (GPRO1). We propose to simplify,
consolidate and revalue the HCPCS add-on codes we finalized last year
for CY 2021 for primary care (GPC1X) and non-procedural specialized
medical care (GCG0X), and to allow the new code to be reported with all
office/outpatient E/M visit levels (not just levels 2 through 4). All
of these changes would be effective January 1, 2021. We believe our
proposed policies will further our ongoing effort to reduce
administrative burden, improve payment accuracy, and update the office/
outpatient EM visit code set to better reflect the current practice of
medicine.
3. Proposed Policies for CY 2021 for Office/Outpatient E/M Visits
a. Office/Outpatient E/M Visit Coding and Documentation
For CY 2021, for office/outpatient E/M visits (CPT codes 99201-
99215) we are proposing to adopt the new coding, prefatory language,
and interpretive guidance framework that has been issued by the AMA/CPT
(see https://www.ama-assn.org/cpt-evaluation-and-management) because we
believe it would accomplish greater burden reduction than the policies
we finalized for CY 2021 and would be more intuitive and consistent
with the current practice of medicine. We note that this includes
deletion of CPT code 99201 (Level 1 office/outpatient visit, new
patient), which the CPT Editorial Panel decided to eliminate as CPT
codes 99201 and 99202 are both straightforward MDM and only
differentiated by history and exam elements.
Under this new framework, history and exam would no longer select
the level of code selection for office/outpatient E/M visits. Instead,
an office/outpatient E/M visit would include a medically appropriate
history and exam, when performed. The clinically outdated system for
number of body systems/areas reviewed and examined under history and
exam would no longer apply, and these components would only be
performed when, and to the extent medically necessary and clinically
appropriate. Level 1 visits would only describe or include visits
performed by clinical staff for established patients.
For levels 2 through 5 office/outpatient E/M visits, the code level
reported would be decided based on
[[Page 40674]]
either the level of MDM (as redefined in the new AMA/CPT guidance
framework) or the total time personally spent by the reporting
practitioner on the day of the visit (including face-to-face and non-
face-to-face time). Because we would no longer assign a blended payment
rate (discussed below), we would no longer adopt the minimum supporting
documentation associated with level 2 office/outpatient E/M visits,
which we finalized as a corollary to the uniform payment rate for level
2-4 office/outpatient E/M visits when using MDM or the current
framework to document the office/outpatient E/M visit.
We would adopt the new time ranges within the CPT codes as revised
by the CPT Editorial Panel. We interpret the revised CPT prefatory
language and reporting instructions to mean that there would be a
single add-on CPT code for prolonged office/outpatient E/M visits (CPT
code 99XXX) that would only be reported when time is used for code
level selection and the time for a level 5 office/outpatient visit (the
floor of the level 5 time range) is exceeded by 15 minutes or more on
the date of service. The long descriptor for CPT code 99XXX is
Prolonged office or other outpatient evaluation and management
service(s) (beyond the total time of the primary procedure which has
been selected using total time), requiring total time with or without
direct patient contact beyond the usual service, on the date of the
primary service; each 15 minutes (List separately in addition to codes
99205, 99215 for office or other outpatient Evaluation and Management
services). We demonstrate below how prolonged office/outpatient E/M
visit time would be reported:
Table 26--Total Proposed Practitioner Times for Office/Outpatient E/M
Visits When Time Is Used To Select Visit Level
------------------------------------------------------------------------
Established patient office/outpatient E/
M visit (total practitioner time, when
time is used to select code level) CPT code
(minutes)
------------------------------------------------------------------------
40-54.................................. 99215.
55-69.................................. 99215x1 and 99XXXx1.
70-84.................................. 99215x1 and 99XXXx2.
85 or more............................. 99215x1 and 99XXXx3 or more for
each additional 15 mintues.
------------------------------------------------------------------------
New patient office/outpatient E/M visit
(total practitioner time, when time is CPT code
used to select code level) (minutes)
------------------------------------------------------------------------
60-74.................................. 99205.
75-89.................................. 99205x1 and 99XXXx1.
90-104................................. 99205x1 and 99XXXx2.
105 or more............................ 99205x1 and 99XXXx3 or more for
each additional 15 minutes.
------------------------------------------------------------------------
We are proposing to adopt our interpretation of the revised CPT
prefatory language and reporting instructions, that CPT codes 99358-9
(Prolonged E/M without Direct Patient Contact) would no longer be
reportable in association or ``conjunction'' with office/outpatient E/M
visits. In other words, when using time to select office/outpatient E/M
visit level, any additional time spent by the reporting practitioner on
a prior or subsequent date of service (such as reviewing medical
records or test results) could not count towards the required times for
reporting CPT codes 99202-99215 or 99XXX, or be reportable using CPT
codes 99358-9. This interpretation would be consistent with the way the
office/outpatient E/M visit codes were resurveyed, where the AMA/RUC
instructed practitioners to consider all time spent 3 days prior to, or
7 days after, the office/outpatient E/M visit (see below for a
discussion of revaluation proposals). Moreover we note that CPT codes
99358-9 describe time spent beyond the ``usual'' time (CPT prefatory
language), and it is not clear what would comprise ``usual'' time given
the new time ranges for the office/outpatient E/M visit codes and new
CPT code 99XXX (prolonged office/outpatient E/M visit). New CPT
prefatory language specifies, ``For prolonged services on a date other
than the date of a face-to-face encounter, including office or other
outpatient services (99202, 99203, 99204, 99205, 99211, 99212, 99213,
99214, 99215), see 99358, 99359 . . . Do not report 99XXX in
conjunction with . . . 99358, 99359''. We do not believe CPT code 99211
should be included in this list of base codes since it will only
include clinical staff time. Also given that CPT codes 99358, 99359 can
be used to report practitioner time spent on any date (the date of the
visit or any other day), the CPT reporting instruction ``see 99358,
99359'' seems circular. The new prefatory language seems unclear
regarding whether CPT codes 99358, 99359 could be reported instead of,
or in addition to, CPT code 99XXX, and whether the prolonged time would
have to be spent on the visit date, within 3 days prior or 7 days after
the visit date, or outside of this new 10-day window relevant for the
base code. We are seeking public input on this proposal and whether it
would be appropriate to interpret the CPT reporting instructions for
CPT codes 99358-9 as proposed, as well as how this interpretation may
impact valuation. We believe CPT codes 99358 and 99359 may need to be
redefined, resurveyed and revalued. After internal review, we believe
that when time is used to select visit level, having one add-on code
(CPT code 99XXX) instead of multiple add-on codes for additional time
may be administratively simpler and most consistent with our goal of
documentation burden reduction.
HCPCS code GPRO1 (extended office/outpatient E/M time) would no
longer be needed because the time described by this code would instead
be described by a level 3, 4 or 5 office/outpatient E/M visit base code
and, if applicable, the single new add-on CPT code for prolonged
office/outpatient E/M visits (CPT code 99XXX). Therefore, we propose to
delete HCPCS code GPRO1 for CY 2021. We propose to adopt the AMA/CPT
prefatory language that lists qualifying activities that could be
included when time is used to select the visit level. Alternatively, if
MDM is used to choose the visit level, time would not be relevant to
code selection.
[[Page 40675]]
b. Office/Outpatient E/M Visit Revaluation (CPT Codes 99201 Through
99215)
We have received valuation recommendations from the AMA RUC for the
revised office/outpatient E/M codes (CPT codes 99201 through 99215)
following completion of its survey and revaluation process for these
codes. Although these codes do not take effect until CY 2021, we
believe that it is appropriate to follow our usual process of
addressing the valuation of the revised office/outpatient E/M codes
through rulemaking after we receive the RUC recommendations.
Additionally, establishing values for the new codes through rulemaking
this year will allow more time for clinicians to make any necessary
process and systems adjustments before they begin using the codes. In
recent years, we have considered how best to update and revalue the
office/outpatient E/M codes as they represent a significant proportion
of PFS expenditures.
MedPAC has had longstanding concerns that office/outpatient E/M
services are undervalued in the PFS, and in its March 2019 Report to
Congress, further asserted that the office/outpatient E/M code set has
become passively devalued as values of these codes have remained
unchanged, while the coding and valuation for other types of services
under the fee schedule have been updated to reflect changes in medical
practice (see pages 120 through 121 at https://www.medpac.gov/docs/default-source/reports/mar19_medpac_ch4_sec.pdf?sfvrsn=0).
In April 2019, the RUC provided us the results of its review, and
recommendations for work RVUs, practice expense inputs and physician
time (number of minutes) for the revised office/outpatient E/M code
set. Please note that these proposed changes in coding and values are
for the revised office/outpatient E/M code set and a new 15-minute
prolonged services code. That code set is effective beginning in CY
2021, and the proposed values would go into effect with those codes as
of January 1, 2021.
We are proposing to adopt the RUC-recommended work RVUs for all of
the office/outpatient E/M codes and the new prolonged services add-on
code. Specifically, we are proposing a work RVU of 0.93 for CPT code
99202 (Office or other outpatient visit for the evaluation and
management of a new patient, which requires a medically appropriate
history and/or examination and straightforward medical decision making.
When using time for code selection, 15-29 minutes of total time is
spent on the date of the encounter), a work RVU of 1.6 for CPT code
99203 (Office or other outpatient visit for the evaluation and
management of a new patient, which requires a medically appropriate
history and/or examination and low level of medical decision making.
When using time for code selection, 30-44 minutes of total time is
spent on the date of the encounter), a work RVU of 2.6 for CPT code
99204 (Office or other outpatient visit for the evaluation and
management of a new patient, which requires a medically appropriate
history and/or examination and moderate level of medical decision
making. When using time for code selection, 45-59 minutes of total time
is spent on the date of the encounter), a work RVU of 3.5 for CPT code
99205 (Office or other outpatient visit for the evaluation and
management of a new patient, which requires a medically appropriate
history and/or examination and high level of medical decision making.
When using time for code selection, 60-74 minutes of total time is
spent on the date of the encounter. (For services 75 minutes or longer,
see Prolonged Services 99XXX)), a work RVU of 0.18 for CPT code 99211
(Office or other outpatient visit for the evaluation and management of
an established patient, that may not require the presence of a
physician or other qualified health care professional. Usually, the
presenting problem(s) are minimal)), a work RVU of 0.7 for CPT code
99212 (Office or other outpatient visit for the evaluation and
management of an established patient, which requires a medically
appropriate history and/or examination and straightforward medical
decision making. When using time for code selection, 10-19 minutes of
total time is spent on the date of the encounter), a work RVU of 1.3
for CPT code 99213 (Office or other outpatient visit for the evaluation
and management of an established patient, which requires a medically
appropriate history and/or examination and low level of medical
decision making. When using time for code selection, 20-29 minutes of
total time is spent on the date of the encounter), a work RVU of 1.92
for CPT code 99214 (Office or other outpatient visit for the evaluation
and management of an established patient, which requires a medically
appropriate history and/or examination and moderate level of medical
decision making. When using time for code selection, 30-39 minutes of
total time is spent on the date of the encounter), a work RVU of 2.8
for CPT code 99215 (Office or other outpatient visit for the evaluation
and management of an established patient, which requires a medically
appropriate history and/or examination and high level of medical
decision making. When using time for code selection, 40-54 minutes of
total time is spent on the date of the encounter. (For services 55
minutes or longer, see Prolonged Services 99XXX)) and a work RVU of
0.61 for CPT code 99XXX (Prolonged office or other outpatient
evaluation and management service(s) (beyond the total time of the
primary procedure which has been selected using total time), requiring
total time with or without direct patient contact beyond the usual
service, on the date of the primary service; each 15 minutes (List
separately in addition to codes 99205, 99215 for office or other
outpatient Evaluation and Management services)).
Regarding the RUC recommendations for practice expense inputs for
these codes, we are proposing to remove equipment item ED021 (computer,
desktop, with monitor), as we do not believe that this item would be
allocated to the use of an individual patient for an individual
service; rather, we believe this item is better characterized as part
of indirect costs similar to office rent or administrative expenses.
The information we reviewed on the RUC valuation exercise was based
on an extensive survey the RUC conducted of over 50 specialty
societies. For purposes of valuation, survey respondents were asked to
consider the total time spent on the day of the visit, as well as any
pre- and post-service time occurring within a time frame of 3 days
prior to the visit and 7 days after, respectively. This is different
from the way codes are usually surveyed by the RUC for purposes of
valuation, where pre-, intra-, and post-service time were surveyed, but
not within a specific time frame. The RUC then separately averaged the
survey results for pre-service, day of service, and post-service times,
and the survey results for total time, with the result that, for some
of the codes, the sum of the times associated with the three service
periods does not match the RUC-recommended total time. The RUC's
approach sometimes results in two conflicting sets of times: The
component times as surveyed and the total time as surveyed. Although we
are proposing to adopt the RUC-recommended times as explained below, we
are seeking comment on how CMS should address the discrepancies in
times, which have implications both for for valuation of individual
codes and for PFS ratesetting in general, as the intra-service times
and total times are used as references for valuing many other services
under the PFS and that the programming used for PFS ratesetting
requires that the
[[Page 40676]]
component times sum to the total time. Specifically, we request comment
on which times should CMS use, and how we should resolve differences
between the component and total times when they conflict. Table 27A
illustrates the surveyed times for each service period and the surveyed
total time. It also shows the actual total time if summed from the
component times.
Table 27A--RUC-Recommended Pre-, Intra-, Post-Service Times, RUC-Recommended Total Times for CPT Codes 99202-
99215 and Actual Total Time
----------------------------------------------------------------------------------------------------------------
RUC-
HCPCS Pre-service Intra-service Immediate post- Actual total recommended
time time service time time total time
----------------------------------------------------------------------------------------------------------------
99202........................... 2 15 3 20 22
99203........................... 5 25 5 35 40
99204........................... 10 40 10 60 60
99205........................... 14 59 15 88 85
99211........................... .............. 5 2 7 7
99212........................... 2 11 3 16 18
99213........................... 5 20 5 30 30
99214........................... 7 30 10 47 49
99215........................... 10 45 15 70 70
----------------------------------------------------------------------------------------------------------------
Table 27B summarizes the current office/outpatient E/M services
code set, and the new prolonged services code physician work RVUs and
total time compared to what CMS finalized in CY 2019 for CY 2021, and
the RUC-recommended work RVU and total time.
Table 27B--Side by Side Comparison of Work RVUs and Physician Time for the Office/Outpatient E/M Services Code Set, and the New Prolonged Services Code
[Current versus revised]
--------------------------------------------------------------------------------------------------------------------------------------------------------
Current total Current work CY 2021 total CY 2021 work RUC rec total RUC rec work
HCPCS code time (mins) RVU time (mins) RVU time (mins) RVU
--------------------------------------------------------------------------------------------------------------------------------------------------------
99201................................................... 17 0.48 17 0.48 N/A N/A
99202................................................... 22 0.93 22 1.76 22 0.93
99203................................................... 29 1.42 29 1.76 40 1.6
99204................................................... 45 2.43 45 1.76 60 2.6
99205................................................... 67 3.17 67 3.17 85 3.5
99211................................................... 7 0.18 7 0.18 7 0.18
99212................................................... 16 0.48 16 1.18 18 0.7
99213................................................... 23 0.97 23 1.18 30 1.3
99214................................................... 40 1.5 40 1.18 49 1.92
99215................................................... 55 2.11 55 2.11 70 2.8
99XXX................................................... N/A N/A N/A N/A 15 0.61
--------------------------------------------------------------------------------------------------------------------------------------------------------
The RUC recommendations reflect a rigorous robust survey approach,
including surveying over 50 specialty societies, demonstrate that
office/outpatient E/M visits are generally more complex, for most
clinicians. In the CY 2019 PFS final rule, we finalized for CY 2021 a
significant reduction in the payment variation in office/outpatient E/M
visit levels by paying a single blended rate for E/M office/outpatient
visit levels 2 through 4 (one for established and another for new
patients). We also maintained the separate payment rates for E/M
office/outpatient level 5 visits in order to better account for the
care and needs of particularly complex patients. We believed that the
single blended payment rate for E/M office/outpatient visit levels 2-4
better accounted for the resources associated with the typical visit.
After reviewing the RUC recommendations, in conjunction with the
revised code descriptors and documentation guidelines for CPT codes
99202 through 99215, we believe codes and recommended values would more
accurately account for the time and intensity of office/outpatient E/M
visits than either the current codes and values or the values we
finalized in the CY 2019 PFS final rule for CY 2021. Therefore, we are
proposing to establish separate values for Levels 2-4 office/outpatient
E/M visits for both new and established patients rather than continue
with the blended rate. We are proposing to accept the RUC-recommended
work and time values for the revised office/outpatient E/M codes
without refinement for CY 2021. With regard to the RUC's
recommendations for practice expense inputs, we are proposing to remove
equipment item ED021 (computer, desktop, with monitor), as this item is
included in the overhead costs. Note that these changes to codes and
values would go into effect January 1, 2021.
c. Simplification, Consolidation and Revaluation of HCPCS Codes GCG0X
and GPC1X
Although we believe that the RUC-recommended values for the revised
office/outpatient E/M visit codes would more accurately reflect the
resources involved in furnishing a typical office/outpatient E/M visit,
we believe that the revalued office/outpatient E/M code set itself
still does not appropriately reflect differences in resource costs
between certain types of office/outpatient E/M visits. In the CY 2019
PFS proposed rule we articulated that, based on stakeholder comments,
clinical examples, and our review of the literature on office/
outpatient E/M
[[Page 40677]]
services, there are three types of office/outpatient E/M visits that
differ from the typical office/outpatient E/M visit and are not
appropriately reflected in the current office/outpatient E/M code set
and valuation. These three types of office/outpatient E/M visits can be
distinguished by the mode of care provided and, as a result, have
different resource costs. The three types of office/outpatient E/M
visits that differ from the typical office/outpatient E/M service are
(1) separately identifiable office/outpatient E/M visits furnished in
conjunction with a global procedure, (2) primary care office/outpatient
E/M visits for continuous patient care, and (3) certain types of
specialist office/outpatient E/M visits. We proposed, but did not
finalize, the application of an MPPR to the first category of visits,
to account for overlapping resource costs when office/outpatient E/M
visits were furnished on the same day as a 0-day global procedure. To
address the shortcomings in the E/M code set in appropriately
describing and reflecting resource costs for the other two types of
office/outpatient E/M visits, we proposed and finalized the two HCPCS G
codes: HCPCS code GCG0X (Visit complexity inherent to evaluation and
management associated with non-procedural specialty care including
endocrinology, rheumatology, hematology/oncology, urology, neurology,
obstetrics/gynecology, allergy/immunology, otolaryngology,
interventional pain management, cardiology, nephrology, infectious
disease, psychiatry, and pulmonology (Add-on code, list separately in
addition to level 2 through 4 office/outpatient evaluation and
management visit, new or established) which describes the inherent
complexity associated with certain types of specialist visits and GPC1X
(Visit complexity inherent to evaluation and management associated with
primary medical care services that serve as the continuing focal point
for all needed health care services (Add-on code, list separately in
addition to level 2 through 4 office/outpatient evaluation and
management visit, new or established), which describes additional
resources associated with primary care visits.
Although we finalized two separate codes, we valued both HCPCS
codes GCG0X and GPC1X via a crosswalk to 75 percent of the work and
time value of CPT code 90785 (Interactive complexity (List separately
in addition to the code for primary procedure)). Interactive complexity
is an add-on code that may be billed when a psychotherapy or
psychiatric service requires more work due to the complexity of the
patient, and we believed that 75 percent of its work and time values
accurately captured the additional resource costs of primary care
office/outpatient visits and certain types of specialty office/
outpatient visits when billed with the single, blended payment rate for
office/outpatient E/M visit levels 2-4.
In the CY 2019 PFS final rule, we stated that, due to the variation
among the types of visits performed by certain specialties, we did not
believe that the broad office/outpatient E/M code set captured the
resource costs associated with furnishing primary care and certain
types of specialist visits (FR 83 59638). As we stated above, we
believe that the revised office/outpatient E/M code set and RUC-
recommended values more accurately reflect the resources associated
with a typical visit. However, we believe the typical visit described
by the revised code set still does not adequately describe or reflect
the resources associated with primary care and certain types of
specialty visits.
As such, we believe that there is still a need for add-on coding
because the revised office/outpatient E/M code set does not recognize
that there are additional resource costs inherent in furnishing some
kinds of office/outpatient E/M visits. However, based on previous
public comments and ongoing engagement with stakeholders, we understand
the need for the add-on code(s) and descriptor(s) to be easy to
understand and report when appropriate, including in terms of medical
record documentation and billing. We also want to make it clear that
the add-on coding is not intended to reflect any difference in payment
based on the billing practitioner's specialty, but rather the
recognition of different per-visit resource costs based on the kinds of
care the practitioner provides, regardless of their specialty.
Therefore, we are proposing to simplify the coding by consolidating the
two add-on codes into a single add-on code and revising the single code
descriptor to better describe the work associated with visits that are
part of ongoing, comprehensive primary care and/or visits that are part
of ongoing care related to a patient's single, serious, or complex
chronic condition.
We are proposing to revise the descriptor for HCPCS code GPC1X and
delete HCPCS code GCG0X. The proposed descriptor for GPC1X appears in
Table 28. We are seeking comment from the public and stakeholders
regarding these proposed changes, particularly the proposed new code
descriptor for GPC1X and whether or not more than one code, similar to
the policy finalized last year, would be necessary or beneficial.
We have also reconsidered the appropriate valuation for this HCPCS
add-on G-code in the context of the revised office/outpatient E/M
service code set and proposed values. Upon further review and in light
of the other proposed changes to the office/outpatient E/M service code
set, we believe that valuing the add-on code at 75 percent of CPT code
90785 would understate the additional inherent intensity associated
with furnishing primary care and certain types of specialty visits. As
CPT code 90785 also describes additional work associated with certain
psychotherapy or psychiatric services, we believe its work and time
values are the most appropriate crosswalk for the revised HCPCS code
GPC1X. Therefore, we are proposing to value HCPCS code GPC1X at 100
percent of the work and time values for CPT code 90785, and proposing a
work RVU of 0.33 and a physician time of 11 minutes. We are also
proposing that this HCPCS add-on G code could be billed as applicable
with every level of office and outpatient E/M visit, and that we would
revise the code descriptor to reflect that change. See Table 28 for the
proposed changes to the code descriptor. We note that if the CPT
Editorial Panel makes any further changes to the office and outpatient
E/M codes and descriptors, or creates one or more CPT codes that
duplicate this add-on code, or if the RUC and/or stakeholders or other
public commenters recommend values for these or other related codes, we
would consider them through subsequent rulemaking.
[[Page 40678]]
Table 28--Proposed Revaluation of HCPCS Add-On G Code Finalized for CY 2021
----------------------------------------------------------------------------------------------------------------
Proposed code FR 2019 total FR 2019 work Proposed total Proposed work
HCPCS code descriptor revisions time (mins) RVU time (mins) RVU
----------------------------------------------------------------------------------------------------------------
GPC1X.............. Visit complexity 8.25 0.25 11 0.33
inherent to evaluation
and management
associated with
medical care services
that serve as the
continuing focal point
for all needed health
care services and/or
with medical care
services that are part
of ongoing care
related to a patient's
single, serious, or
complex chronic
condition. (Add-on
code, list separately
in addition to office/
outpatient evaluation
and management visit,
new or established).
----------------------------------------------------------------------------------------------------------------
d. Valuation of CPT Code 99xxx (Prolonged Office/Outpatient E/M)
The RUC also provided a recommendation for new CPT code 99XXX
(Prolonged office or other outpatient evaluation and management
service(s) (beyond the total time of the primary procedure which has
been selected using total time), requiring total time with or without
direct patient contact beyond the usual service, on the date of the
primary service; each 15 minutes (List separately in addition to codes
99205, 99215 for office or other outpatient Evaluation and Management
services). The RUC recommended 15 minutes of physician time and a work
RVU of 0.61. We are proposing to delete to the HCPCS add-on code we
finalized last year for CY 2021 for extended visits (GPRO1) and adopt
the new CPT code 99XXX. Further, as discussed above we are proposing to
accept the RUC recommended values for CPT code 99XXX without
refinement.
We are seeking comment on these proposals, as well as any
additional information stakeholders can provide on the appropriate
valuation for these services.
e. Implementation Timeframe
We propose that these policy changes for office/outpatient E/M
visits would be effective for services furnished starting January 1,
2021. We believe this would allow sufficient time for practitioner and
provider education and further feedback; changes in clinical workflows,
EHRs and any other impacted systems; and corresponding changes that may
be made by other payers. In summary, we propose to adopt the following
policies for office/outpatient E/M visits effective January 1, 2021:
Separate payment for the five levels of office/outpatient
E/M visit CPT codes, as revised by the CPT Editorial Panel effective
January 1, 2021 and resurveyed by the AMA RUC, with minor refinement.
This would include deletion of CPT code 99201 (Level 1 new patient
office/outpatient E/M visit) and adoption of the revised CPT code
descriptors for CPT codes 99202-99215;
Elimination of the use of history and/or physical exam to
select among code levels;
Choice of time or medical decision making to decide the
level of office/outpatient E/M visit (using the revised CPT
interpretive guidelines for medical decision making);
Payment for prolonged office/outpatient E/M visits using
the revised CPT code for such services, including separate payment for
new CPT code 99xxx and deletion of HCPCS code GPRO1 (extended office/
outpatient E/M visit) that we previously finalized for 2021;
Revise the descriptor for HCPCS code GPC1X and delete
HCPCS code GCG0X; and
Increase in value for HCPCS code GCG1X and allowing it to
be reported with all office/outpatient E/M visit levels.
f. Global Surgical Packages
In addition to their recommendations regarding physician work,
time, and practice expense for office/outpatient E/M visits, the AMA
RUC also recommended adjusting the office/outpatient E/M visits for
codes with a global period to reflect the changes made to the values
for office/outpatient E/M visits. Procedures with a 10- and 90-day
global period have post-operative visits included in their valuation.
These post-operative visits are valued with reference to values for the
E/M visits and each procedure has at least a half of an E/M visit
included the global period. However, these visits are not directly
included in the valuation. Rather, work RVUs for procedures with a
global period are generally valued using magnitude estimation.
In the CY 2015 PFS final rule, we discussed the challenges of
accurately accounting for the number of visits included in the
valuation of 10- and 90-day global packages. (79 FR 67548, 67582.) We
finalized a policy to change all global periods to 0-day global
periods, and to allow separate payment for post-operative follow-up E/M
visits. Our concerns were based on a number of key points including:
The lack of sufficient data on the number of visits typically furnished
during the global periods, questions about whether we will be able to
adjust values on a regular basis to reflect changes in the practice of
medicine and health care delivery, and concerns about how our global
payment policies could affect the services that are actually furnished.
In finalizing a policy to transform all 10- and 90-day global codes to
0-day global codes in CY 2017 and CY 2018, respectively, to improve the
accuracy of valuation and payment for the various components of global
packages, including pre- and post-operative visits and the procedure
itself, we stated that we were adopting this policy because it is
critical that PFS payment rates be based upon RVUs that reflect the
relative resources involved in furnishing the services. We also stated
our belief that transforming all 10- and 90-day global codes to 0-day
global packages would:
Increase the accuracy of PFS payment by setting payment
rates for individual services that more closely reflect the typical
resources used in furnishing the procedures;
Avoid potentially duplicative or unwarranted payments when
a beneficiary receives post-operative care from a different
practitioner during the global period;
Eliminate disparities between the payment for E/M services
in global periods and those furnished individually;
Maintain the same-day packaging of pre- and post-operative
physicians' services in the 0-day global packages; and
Facilitate the availability of more accurate data for new
payment models and quality research.
Section 523(a) of MACRA added section 1848(c)(8)(A) of the Act,
which
[[Page 40679]]
prohibited the Secretary from implementing the policy described above,
which would have transformed all 10-day and 90-day global surgery
packages to 0-day global packages. Section 1848(c)(8)(B) of the Act,
which was also added by section 523(a) of the MACRA, required us to
collect data to value surgical services. Section 1848(c)(8)(B)(i) of
the Act requires us to develop a process to gather information needed
to value surgical services from a representative sample of physicians,
and requires that the data collection begin no later than January 1,
2017. The collected information must include the number and level of
medical visits furnished during the global period and other items and
services related to the surgery and furnished during the global period,
as appropriate. Section 1848(c)(8)(B)(iii) of the Act specifies that
the Inspector General shall audit a sample of the collected information
to verify its accuracy. Section 1848(c)(8)(C) of the Act, which was
also added by section 523(a) of the MACRA, requires that, beginning in
CY 2019, we must use the information collected as appropriate, along
with other available data, to improve the accuracy of valuation of
surgical services under the PFS.
Resource-based valuation of individual physicians' services is a
critical foundation for Medicare payment to physicians. It is essential
that the RVUs under the PFS be based as closely and accurately as
possible on the actual resources used in furnishing specific services
to make appropriate payment and preserve relativity among services. For
global surgical packages, this requires using objective data on all of
the resources used to furnish the services that are included in the
package. Not having such data for some components may significantly
skew relativity and create unwarranted payment disparities within the
PFS. The current valuations for many services valued as global packages
are based upon the total package as a unit rather than by determining
the resources used in furnishing the procedure and each additional
service/visit and summing the results. As a result, we do not have the
same level of information about the components of global packages as we
do for other services. To value global packages accurately and relative
to other procedures, we need accurate information about the resources--
work, PEs and malpractice--used in furnishing the procedure, similar to
what is used to determine RVUs for all services. In addition, we need
the same information on the postoperative services furnished in the
global period (and pre-operative services the day before for 90-day
global packages).
In response to the MACRA amendments to section 1848(c)(8 of the
Act), CMS required practitioners who work in practices that include 10
or more practitioners in Florida, Kentucky, Louisiana, Nevada, New
Jersey, North Dakota, Ohio, Oregon, and Rhode Island to report using
CPT 99024 on post-operative visits furnished during the global period
for select procedures furnished on or after July 1, 2017. The specified
procedures are those that are furnished by more than 100 practitioners
and either are nationally furnished more than 10,000 times annually or
have more than $10 million in annual allowed charges.
RAND analyzed the data collected from the post-operative visits
through this claim-based reporting for the first year of reporting,
July 1, 2017-June 30, 2018. They found that only 4 percent of
procedures with 10-day global periods had any post-operative visits
reported. While 71 percent of procedures with 90-day global periods had
at least one associated post-operative visit, only 39 percent of the
total post-operative visits expected for procedures with 90-day global
periods were reported. (A complete report on this is available at
https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/PhysicianFeeSched/Global-Surgery-Data-Collection-.html).
In addition to the claims-based data collection, RAND collected
data on the level of visits. They began with an attempt to collect data
via a survey from all specialties as described in the 2017 final rule.
Given the low rate of response from practitioners, we shifted the study
and focused on three high-volume procedures with global periods that
were common enough to likely result in a robust sample size: (1)
Cataract surgery; (2) hip arthroplasty; and (3) complex wound repair. A
total of 725 physicians billing frequently for cataract surgery, hip
arthroplasty, and complex wound repair reported on the time,
activities, and staff involved in 3,469 visits. Our findings on
physician time and work from the survey were broadly similar to what we
expected based on the Time File for cataract surgery and hip
replacement and somewhat different for complex wound repair. (For the
complete report, see https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/PhysicianFeeSched/Global-Surgery-Data-Collection-.html).
The third report in the series looks at ways we could consider
revaluing procedures using the collected data. To provide us with
estimates to frame a discussion, RAND modeled how valuation for
procedures would change by adjusting work RVUs, physician time, and
direct PE inputs based on the difference between the number of post-
operative visits observed via claims-based reporting and the expected
number of post-operative visits used during valuation. RAND looked at
three types of changes: (1) Updated work RVUs based on the observed
number of post-operative visits measured four ways (median, 75th
percentile, mean, and modal observed visits); (2) Allocated PE RVUs
reflecting direct PE inputs updated to reflect the median number of
reported post-operative visits; and (3) Modeled total RVUs reflecting
(a) updated work RVUs, (b) updated physician time, and (c) updated
direct PE inputs, and including allocated PE and malpractice RVUs. This
report is designed to inform further conversations about how to revalue
global procedures. (For the complete report, see https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/PhysicianFeeSched/Global-Surgery-Data-Collection-.html.) We will give the public and
stakeholders time to study the reports we are making available along
with this rule and consider an appropriate approach to revaluing global
surgical procedures. We also note that the Office of the Inspector
General (OIG) has published a number of reports on this topic. We will
continue to study and consider alternative ways to address the values
for these services.
g. Comment Solicitation on Revaluing the Office/Outpatient E/M Visit
Within TCM, Cognitive Impairment Assessment/Care Planning and Similar
Services
We recognize there are services other than the global surgical
codes for which the values are closely tied to the values of the
office/outpatient E/M visit codes, such as transitional care management
services (CPT codes 99495, 99496); cognitive impairment assessment and
care planning (CPT code 99483); certain ESRD monthly services (CPT
codes 90951 through 90961); the Initial Preventive Physical Exam
(G0438) and the Annual Wellness Visit (G0439). In future rulemaking, we
may consider adjusting the RVUs for these services and are seeking
public input on such a policy. We note that unlike the global surgical
codes, these services always include an office/outpatient E/M visit(s)
furnished by the reporting practitioner as part of the service, and it
may therefore be appropriate to adjust their valuation commensurate
with any
[[Page 40680]]
changes to the values for the revised codes for office/outpatient E/M
visits. While some of these services do not involve an E/M visit, we
valued them using a direct crosswalk to the RVUs assigned to an office/
outpatient E/M visit(s) and for this reason they are closely tied to
values for office/outpatient E/M visits.
We are also seeking comment on whether or not the public believes
it would be necessary or beneficial to make systematic adjustments to
other related PFS services to maintain relativity between these
services and office/outpatient E/M visits. We are particularly
interested in whether it would be beneficial or necessary to make
corresponding adjustments to E/M codes describing visits in other
settings, such as home visits, or to codes describing more specific
kinds of visits, like counseling visits. For example, CPT code 99348
(Home visit for the evaluation and management of an established
patient, which requires at least 2 of these 3 key components: An
expanded problem focused interval history; An expanded problem focused
examination; Medical decision making of low complexity. Counseling and/
or coordination of care with other physicians, other qualified health
care professionals, or agencies are provided consistent with the nature
of the problem(s) and the patient's and/or family's needs. Usually, the
presenting problem(s) are of low to moderate severity. Typically, 25
minutes are spent face-to-face with the patient and/or family) is
commonly used to report home visits, and like CPT code 99214, the code
describes approximately 45 minutes of time with the patient and has a
work RVU of 1.56. Under the proposal to increase the work RVU of CPT
code 99214 from 1.5 to 1.92, the proportional value of CPT code 99348
would decrease relative to the work RVU for CPT code 99214. To maintain
the same proportional value to CPT code 99214, the work RVU for CPT
code 99348 would need to increase from 1.56 to 2.00. We understand that
certain other services, such as those that describe ophthalmological
examination and evaluation, as well as psychotherapy visit codes, are
used either in place of or in association with office/outpatient visit
codes. For example, CPT code 92012 (Ophthalmological services: Medical
examination and evaluation, with initiation or continuation of
diagnostic and treatment program; intermediate, established patient)
currently has a work RVU of 0.92. Under the proposal to increase the
work RVU of CPT code 99213 from 0.97 to 1.30, the proportional value of
CPT code 92012 would decrease relative to the work RVU for CPT code
99213, as both codes describe around 30 minutes of work. To maintain
the same proportional value to CPT code 99213, the work RVU for CPT
code 92012 would need to increase from 0.92 to 1.23. Similarly,
behavioral health professionals report several codes to describe
psychiatric diagnostic evaluations and visits they furnish. When
furnished with an evaluation and management service, practitioners
report psychotherapy add-on codes instead of stand-alone psychotherapy
codes that would otherwise be reported. Because the overall work RVUs
for the combined service, including the value for the office/outpatient
visit code, would increase under the proposal, we are interested in
comments regarding whether or not it would be appropriate to reconsider
the value of the psychotherapy codes, as well as the psychiatric
diagnostic evaluations relative to the proposed values for the office/
outpatient visit codes. Under the proposed revaluation of the office/
outpatient E/M visits, the proportional value of CPT code 90834
(Psychotherapy, 45 minutes with patient) would decrease relative to
work RVUs for CPT code 99214 plus CPT code 90836. The current work RVU
for CPT code 99214 when reported with CPT code 90836 is 3.40 (1.90 +
1.50) and the current work RVU for CPT code 90834 is 2.0. Under the
proposed revaluation of the office/outpatient E/M visits, the combined
work RVU for CPT codes 99214 and 90836 would be 3.82 (1.90 + 1.92). In
order to maintain the proportionate difference between these services,
the work RVU for CPT code 90834 would increase from 2.00 to 2.25. Based
on these three examples, we are seeking public comment on whether we
should make similar adjustments to E/M codes in different settings, and
other types of visits, such as counseling services.
III. Other Provisions of the Proposed Regulations
A. Changes to the Ambulance Physician Certification Statement
Requirement
Under our ongoing initiative to identify Medicare regulations that
are unnecessary, obsolete, or excessively burdensome on health care
providers and suppliers, we are proposing to revise Sec. Sec. 410.40
and 410.41. Importantly, we first clarify that these requirements apply
to ambulance providers, as well as suppliers. The proposed revisions
would give certain clarity to ambulance providers and suppliers
regarding the physician or non-physician certification statement and
add staff who may sign certification statements when the ambulance
provider or supplier is unable to obtain a signed statement from the
attending physician.
1. Exceptions to Certification Statement Requirement
Under section 1861(s)(7) of the Act, ambulance services are covered
where the use of other methods of transportation is contraindicated by
the individual's condition, but only to the extent provided in
regulations. Currently, Sec. 410.40(d) specifies the medical necessity
requirements for both nonemergency, scheduled, repetitive ambulance
services and nonemergency ambulance services that are either
unscheduled or that are scheduled on a nonrepetitive basis. In the
final rule with comment period that appeared in the January 25, 1999
Federal Register (64 FR 3637) (hereinafter referred to as the ``January
25, 1999 final rule with comment period''), we stated that a physician
certification statement (PCS) must be obtained as evidence that the
attending physician has determined that other means of transportation
are contraindicated and that the transport is medically necessary (64
FR 3639). In the final rule with comment period that appeared in the
February 27, 2002 Federal Register (67 FR 9100) (hereinafter referred
to as the ``February 27, 2002 final rule with comment period'') we
added that a certification statement (hereinafter referred to as non-
physician certification statement) could be obtained from other
authorized staff should the attending physician be unavailable. (67 FR
9111)
Currently there are no circumstances, other than those specified at
Sec. 410.40(d)(3)(ii) and (iv), granting exceptions to the need for a
PCS or non-physician certification statement, and we have received
feedback from ambulance providers, suppliers, and their industry
representatives (``stakeholders'') that various situations exist where
the need for a PCS or non-physician certification is excessive, or at
least redundant to similar existing documentation requirements. Two of
the most prominent circumstances identified by the stakeholders include
interfacility transports (IFTs), commonly referred to as hospital to
hospital transports and specialty care transports (SCTs), and it has
been requested that we incorporate additional exceptions into the
regulatory framework.
Upon reviewing the need for a PCS and non-physician certification
[[Page 40681]]
statement, stakeholders' concerns, and our commitment to reducing the
burden placed on providers and suppliers, we have determined that
instead of incorporating additional exceptions, our efforts would be
better served by minorly altering the structure of the existing
regulatory framework. These changes are intended to maximize
flexibility for ambulance providers and suppliers to obtain the
requisite certification statements and maintain the focus on the
determination that other means of transportation are contraindicated
and that the transport is medically necessary.
To accomplish this, we are proposing to add a new paragraph (a) in
Sec. 410.40 in which we would define both PSCs, as well as non-
physician certification statements. Therefore, we are proposing to
redesignate existing paragraph (a) ``Basic rules'' as paragraph (b) and
redesignate the remaining paragraphs, respectively. Most significantly,
paragraph (d) ``Medical necessity requirements'' will be redesignated
as paragraph (e).
For new proposed paragraph (a), the two definitions, PCSs and non-
physician certification statements, would clarify that: (1) The focus
is on the certification of the medical necessity provisions contained
in proposed newly redesignated paragraph (e)(1); and (2) the form of
the certification statement is not prescribed, thus affording maximum
flexibility to ambulance providers and suppliers. Since the two
definitions incorporate the requirement to obtain a certification of
medical necessity, we are proposing a conforming change to newly
redesignated paragraph (e)(2) to remove the language requiring that an
order certifying medical necessity be obtained.
We have repeatedly been told by stakeholders that there are ample
opportunities for ambulance providers and suppliers to convey the
information required in the certification statement. Stakeholders have
mentioned, for example, that for transports such as IFTs and SCTs other
requirements of federal, state, or local law require them to obtain
other documentation, such as Emergency Medical Treatment & Labor Act
(EMTALA) forms and medical transport forms, that can serve the same
purpose as the PCS or non-physician certification statement. There is
every likelihood that other ambulance transports require similarly
styled documentation that likewise could serve the same purpose.
To be clear, our regulations have never prescribed the precise form
or format of this required documentation. To satisfy the requirements
of section 1861(s)(7) of the Act, ambulance providers' and suppliers'
focus should be on clearly documenting the threshold determination that
other means of transportation are contraindicated and that the
transport is medically necessary. The precise form or format by which
that information is conveyed has never been prescribed. We aim here to
ensure that ambulance providers and suppliers understand they have
flexibility in the form by which they convey the requirements of
proposed Sec. 410.40(e), so long as that threshold determination is
clearly expressed.
The definition of non-physician certification statement in proposed
Sec. 410.40(a) would incorporate the existing requirements that apply
when an ambulance provider or supplier is unable to obtain a signed PCS
from the attending physician and, instead, obtains a non-physician
certification statement, including: (1) That the staff have personal
knowledge of the beneficiary's condition at the time the ambulance
transport is ordered or the service is furnished; (2) the employment
requirements; and (3) the specific staff that can sign in lieu of the
attending physician. Included within the proposed definition of non-
physician certification statement, and as further discussed below, is
an expansion of the list of staff who may sign when the attending
physician is unavailable. In light of the staff being listed as part of
the definition of non-physician certification statement proposed at
Sec. 410.40(a), we are proposing a corresponding change to proposed
and newly redesignated paragraph (e)(3)(iii) to remove the reference to
the staff currently listed within the paragraph. Moreover, in
paragraphs (e)(3)(i) and (iv) we have proposed changes to refer to the
newly redesignated paragraph (e) and in paragraph (e)(3)(v) we have
proposed changes to refer to the newly defined terms in paragraph (a),
specifically the physician or non-physician certification statement.
Lastly, we are also proposing a corresponding change to Sec.
410.41(c)(1) to add that ambulance providers or suppliers must indicate
on the claims form that, ``when applicable, a physician certification
statement or non-physician certification statement is on file.''
In the CY 2013 PFS final rule with comment period (77 FR 69161), we
stated that the Secretary is the final arbiter of whether a service is
medically necessary for Medicare coverage. We believe that the proposed
changes would better enable contractors to establish the medical
necessity of these transports by focusing more on the threshold medical
necessity determination as opposed to the form or format of the
documentation used. We do not anticipate that this clarification will
alter the frequency of claim denials.
2. Addition of Staff Authorized To Sign Non-Physician Certification
Statements
In the January 25, 1999 final rule with comment period (64 FR
3637), we finalized language at Sec. 410.40 to require ambulance
providers or suppliers, in the case of nonemergency unscheduled
ambulance services (Sec. 410.40(d)(3)) to obtain a PCS. In that rule,
we explained that: (1) Nonemergency ambulance service is a Medicare
service furnished to a beneficiary for whom a physician is responsible,
therefore, the physician is responsible for the medical necessity
determination; and (2) the PCS will help to ensure that the claims
submitted for ambulance services are reasonable and necessary, because
other methods of transportation are contraindicated (64 FR 3641). We
further stated that we believed the requirement would help to avoid
Medicare payment for unnecessary ambulance services that are not
medically necessary even though they may be desirable to beneficiaries.
In that final rule with comment period, however, we also addressed
the ability of ambulance providers or suppliers to obtain a written
order from the beneficiary's attending physician within 48 hours after
the transport to avoid unnecessary delays. We agreed with stakeholders
that while it is reasonable to expect that an ambulance supplier could
obtain a pretransport PCS for routine, scheduled trips, it is less
reasonable to impose such a requirement on unscheduled transports, and
that it was not necessary that the ambulance suppliers have the PCS in
hand prior to furnishing the service. To avoid unnecessary delays for
unscheduled transports, we therefore finalized the requirement that
required documentation can be obtained within 48 hours after the
ambulance transportation service has been furnished.
In the February 27, 2002 final rule with comment period (67 FR
9111), we noted that we had been made aware of instances in which
ambulance suppliers, despite having provided ambulance transports,
were, through no fault of their own, experiencing difficulty in
obtaining the necessary PCS within the required 48-hour timeframe. We
stated that the 48-hour period remained the appropriate period of time,
but created alternatives for ambulance providers and suppliers unable
to obtain a PCS. We finalized an alternative at Sec. 410.40(d)(3)(iii)
where ambulance providers and suppliers
[[Page 40682]]
unable to obtain a PCS from the attending physician could obtain a
signed certification (not a physician certification statement) from
certain other staff. At that time, we identified several staff members,
including a physician assistant (PA), nurse practitioner (NP), clinical
nurse specialist (CNS), registered nurse (RN), and a discharge planner
as staff members able to sign such a non-physician certification
statement. The only additional constraints are: (1) That the staff be
employed by the beneficiary's attending physician or by the hospital or
facility where the beneficiary is being treated and from which the
beneficiary is transported; and (2) that the staff have personal
knowledge of the beneficiary's condition at the time the ambulance
transport is ordered or the service is furnished.
In the intervening years, we have received feedback from
stakeholders that other staff, such as licensed practical nurses
(LPNs), social workers, and case managers, should be included in the
list of staff that can sign a certification statement. Similar to the
currently designated staff, we now believe that LPNs, social workers,
and case managers who have personal knowledge of a beneficiary's
condition at the time ambulance transport is ordered and the service is
furnished have a skill set largely equal or similar to the other staff
members. Thus, we are proposing as part of the new proposed definition
of non-physician certification statement at Sec. 410.40(a)(2)(iii) to
add LPNs, social workers, and case managers to the list of staff who
may sign a certification statement when the ambulance provider or
supplier is unable to obtain a signed PCS from the attending physician.
As with the staff currently listed in Sec. 410.40(d)(3)(iii), LPNs,
social workers, and case managers would need to be employed by the
beneficiary's attending physician or the hospital or facility where the
beneficiary is being treated and from which the beneficiary is
transported, and have personal knowledge of the beneficiary's condition
at the time the ambulance transport is ordered or the service is
furnished. We also request comments on whether other staff should be
included in this regulation, and request that commenters identify such
staff's licensure and position and the reason it would be appropriate
for such staff to sign a certification statement.
B. Proposal To Establish a Medicare Ground Ambulance Services Data
Collection System
1. Background
Section 1861(s)(7) of the Act establishes an ambulance service as a
Medicare Part B service where the use of other methods of
transportation is contraindicated by the individual's condition, but
only to the extent provided in regulations. Since April 1, 2002,
payment for ambulance services has been made under the ambulance fee
schedule (AFS), which the Secretary established under section 1834(l)
of the Act. Payment for an ambulance service is made at the lesser of
the actual billed amount or the AFS amount, which consists of a base
rate for the level of service, a separate payment for mileage to the
nearest appropriate facility, a geographic adjustment factor, and other
applicable adjustment factors as set forth at section 1834(l) of the
Act and 42 CFR 414.610 of the regulations. In accordance with section
1834(l)(3) of the Act and Sec. 414.610(f), the AFS rates are adjusted
annually based on an inflation factor. The AFS also incorporates two
permanent add-on payments and three temporary add-on payments to the
base rate and/or mileage rate. The two permanent add-on payments are:
(1) A 50 percent increase in the standard mileage rate for ground
ambulance transports that originate in rural areas where the travel
distance is between 1 and 17 miles; and (2) a 50 percent increase to
both the base and mileage rate for rural air ambulance transports. The
three temporary add-on payments are: (1) A 3 percent increase to the
base and mileage rate for ground ambulance transports that originate in
rural areas; (2) a 2 percent increase to the base and mileage rate for
ground ambulance transports that originate in urban areas; and (3) a
22.6 percent increase in the base rate for ground ambulance transports
that originate in ``super rural'' areas. Our regulations relating to
coverage of and payment for ambulance services are set forth at 42 CFR
part 410, subpart B, and 42 CFR part 414, subpart H.
2. Statutory Requirement for Ground Ambulance Providers and Suppliers
To Submit Cost and Other Information
Section 50203(b) of the BBA of 2018 added a new paragraph (17) to
section 1834(l) of the Act, which requires ground ambulance providers
of services and suppliers to submit cost and other information.
Specifically, section 1834(l)(17)(A) of the Act requires the Secretary
to develop a data collection system (which may include use of a cost
survey) to collect cost, revenue, utilization, and other information
determined appropriate by the Secretary for providers and suppliers of
ground ambulance services. Such system must be designed to collect
information: (1) Needed to evaluate the extent to which reported costs
relate to payment rates under the AFS; (2) on the utilization of
capital equipment and ambulance capacity, including information
consistent with the type of information described in section 1121(a) of
the Act; and (3) on different types of ground ambulance services
furnished in different geographic locations, including rural areas and
low population density areas described in section 1834(l)(12) of the
Act (super rural areas).
Section 1834(l)(17)(B)(i) of the Act requires the Secretary to
specify the data collection system by December 31, 2019, and to
identify the ground ambulance providers and suppliers that would be
required to submit information under the data collection system,
including the representative sample defined at clause (ii).
Under section 1834(l)(17)(B)(ii) of the Act, not later than
December 31, 2019, for the data collection for the first year and for
each subsequent year through 2024, the Secretary must determine a
representative sample to submit information under the data collection
system. The sample must be representative of different types of ground
ambulance providers and suppliers (such as those providers and
suppliers that are part of an emergency service or part of a government
organization) and the geographic locations in which ground ambulance
services are furnished (such as urban, rural, and low population
density areas), and not include an individual ground ambulance provider
or supplier in the sample for 2 consecutive years, to the extent
practicable.
Section 1834(l)(17)(C) of the Act requires that for each year, a
ground ambulance provider or supplier identified by the Secretary in
the representative sample as being required to submit information under
the data collection system for a period for the year must submit to the
Secretary the information specified under the system in a form and
manner, and at a time specified by the Secretary.
Section 1834(l)(17)(D) of the Act requires that beginning January
1, 2022, the Secretary apply a 10 percent payment reduction to payments
made under section 1834(l) of the Act for the applicable period to a
ground ambulance provider or supplier that is required to submit
information under the data collection system and does not
[[Page 40683]]
sufficiently submit such information. The term ``applicable period'' is
defined under section 1834(l)(17)(D)(ii) of the Act to mean, for a
ground ambulance provider or supplier, a year specified by the
Secretary not more than 2 years after the end of the period for which
the Secretary has made a determination that the ground ambulance
provider or supplier has failed to sufficiently submit information
under the data collection system. A hardship exemption to the payment
reduction is authorized under section 1834(l)(17)(D)(iii) of the Act,
which provides that the Secretary may exempt a ground ambulance
provider or supplier from the payment reduction for an applicable
period in the event of significant hardship, such as a natural
disaster, bankruptcy, or other similar situation that the Secretary
determines interfered with the ability of the ground ambulance provider
or supplier to submit such information in a timely manner for the
specified period. Lastly, section 1834(l)(17)(D)(iv) of the Act
requires the Secretary to establish an informal review process under
which a ground ambulance provider or supplier may seek an informal
review of a determination that the provider or supplier is subject to
the payment reduction.
Section 1834(l)(17)(E)(i) allows the Secretary to revise the data
collection system as appropriate and, if available, taking into
consideration the report (or reports) that the Medicare Payment
Advisory Commission (MedPAC) will submit to Congress. Section
1834(l)(17)(E)(ii) of the Act specifies that, to continue to evaluate
the extent to which reported costs relate to payment rates under
section 1834(l) of the Act and other purposes as the Secretary deems
appropriate, the Secretary shall require ground ambulance providers and
suppliers to submit information for years after 2024, but in no case
less often than once every 3 years, as determined appropriate by the
Secretary.
As required by section 1834(l)(17)(F) of the Act, not later than
March 15, 2023, and as determined necessary by MedPAC, MedPAC must
assess, and submit to Congress a report on, information submitted by
providers and suppliers of ground ambulance services through the data
collection system, the adequacy of payments for ground ambulance
services and geographic variations in the cost of furnishing such
services. The report must contain the following:
An analysis of information submitted through the data
collection system;
An analysis of any burden on ground ambulance providers
and suppliers associated with the data collection system;
A recommendation as to whether information should continue
to be submitted through such data collection system or if such system
should be revised by the Secretary, as provided under section
1834(l)(17)(E)(i) of the Act; and
Other information determined appropriate by MedPAC.
Section 1834(l)(17)(G) of the Act requires the Secretary to post
information on the results of the data collection on the CMS website,
as determined appropriate by the Secretary.
Section 1834(l)(17)(H) of the Act requires the Secretary to
implement the provisions of section 1834(l)(17) of the Act through
notice and comment rulemaking.
Section 1834(l)(17)(I) of the Act provides that the Paperwork
Reduction Act (Title 44, Chapter 35 of the U.S. Code) does not apply to
collection of information required under section 1834(l)(17) of the
Act.
Section 1834(l)(17)(J) of the Act provides that there shall be no
administrative or judicial review under sections 1869 or 1878 of the
Act, or otherwise, of the data collection system or identification of
respondents.
We note that while the requirements of section 1834(l)(17) of the
Act are specific to ground ambulance organizations, many stakeholders
have expressed interest to us in making this type of information
available for other providers and suppliers of ambulance services. For
example, air ambulance organizations have suggested they are interested
in making this information available. We recognize that the regulation
of air ambulances spans multiple federal agencies, and note that
section 418 of the FAA Reauthorization Act of 2018 (Pub. L. 115-254,
enacted October 5, 2018) requires the Secretary of HHS, in consultation
with the Secretary of Transportation, to establish an advisory
committee that includes HHS, DOT, and others to review options to
improve the disclosure of charges and fees for air medical services,
better inform consumers of insurance options for those services, and
better inform and protect consumers of these services. We welcome
comments on the state of the air ambulance industry and how CMS can
work within its statutory authority to ensure that appropriate payments
are made to air ambulance organizations serving the Medicare
population.
3. Research To Inform the Development of a Ground Ambulance Data
Collection System
To inform the development of a ground ambulance data collection
system, including a representative sampling plan, our contractor
developed recommendations regarding the methodology for collecting
cost, revenue, utilization and other information from ground ambulance
providers and suppliers (collectively referred to in this proposed rule
as ``ground ambulance organizations'') and a sampling plan consistent
with sections 1834(l)(17)(A) and (B) of the Act. Our contractor also
developed recommendations for the collection and reporting of data with
the least amount of burden possible to ground ambulance organizations.
The recommendations took into consideration the following:
An environmental scan consisting of a review of existing
peer-reviewed literature, government and association reports, and
targeted web searches. The purpose of the environmental scan was to
collect information on costs and revenues of ground ambulance
transportation services, identify background information regarding the
differences among ground ambulance organizations including state and
local requirements that may impact the costs of providing ambulance
services, and describe financial challenges facing the ambulance
industry. Five previously fielded ambulance cost collection tools were
also identified and analyzed and are described below.
Interviews with ambulance providers and suppliers, billing
companies, and other stakeholders to determine all major cost, revenue,
and utilization components, and differences in these components across
ground ambulance organizations. These discussions provided valuable
information on the process for developing a data collection system,
including how to best elicit valid responses and limit burden on
respondents, as well as the timing of the data collection.
Analyses of Medicare claims and enrollment data, including
all fee-for-service (FFS) Medicare claims with dates of service in
2016, the most recent complete year of claims data for ground ambulance
services.
Our contractor also analyzed the following five data collection
tools that currently collect or have collected data from ground
ambulance organizations:
The Moran Company Statistical and Financial Data Survey
(the ``Moran
[[Page 40684]]
survey'').\85\ In 2012, American Ambulance Association (AAA)
commissioned a study with the goal of developing a data collection
instrument and making recommendations for collecting data to determine
the costs of delivering ground ambulance services to Medicare
beneficiaries. The result was the Moran survey, which is a two-step
data collection method in which all ambulance providers and suppliers
first complete a short survey with basic descriptive information on
their characteristics, and second, a representative sample of ambulance
providers and suppliers report more specific cost information.
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\85\ The Moran Company (2014). Detailing ``Hybrid Data
Collection Method'' for the Ambulance Industry: Beta Test Results of
the Statistical & Financial Data Survey & Recommendations, [Online].
Available at https://s3.amazonaws.com/americanambulance-advocacy/AAA+Final+Report+Detailing+Hybrid+Data+Collection+Method.pdf.
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Ground Emergency Medical Transportation (GEMT) Cost Report
form and instructions from California's Medicaid program.\86\ The GEMT
Cost Report form and instructions is used by some states to determine
whether ambulance providers and suppliers should receive supplemental
payments from state Medicaid programs to cover shortfalls between
revenue and costs. This data collection instrument is geared toward
government entities, as private ambulance providers and suppliers do
not qualify for the supplemental payments.
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\86\ State of California--Health and Human Services Agency
Department of Health Care Services Ground Emergency Medical
Transportation (2013). Ground Emergency Medical Transportation
Services Cost Report General Instructions for Completing Cost Report
Forms, [Online]. Available at https://www.dhcs.ca.gov/provgovpart/documents/gemt/gemt_cstrptinstr.pdf.
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The Emergency Medical Services Cost Analysis Project
(EMSCAP) framework.\87\ The National Highway Traffic Safety
Administration funded EMSCAP in 2007 to develop a framework for
determining the cost for an EMS system at the community level.
Subsequently, EMSCAP researchers used this framework to develop a cost
workbook and pilot test the instrument on three communities
representing rural, urban, and suburban areas. EMS services within the
three communities included volunteer, paid, and combination EMS
agencies, both fire department and third service-based. Third service-
based refers to services provided by a local government that include a
fire department, police department and a separate EMS, forming an
emergency trio.
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\87\ Lerner, E.B., Nichol, G., Spaite, D.W., Garrison, H.G., &
Maio, R.F. (2007). A comprehensive framework for determining the
cost of an emergency medical services system. Available at https://www.mcw.edu/departments/emergency-medicine/research/emergency-medical-services-cost-analysis-project.
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A 2012 Government Accountability Office (GAO) ambulance
survey.\88\ To examine ground ambulance suppliers' costs for
transports, in 2012 GAO administered a web-based survey to a random
sample of 294 eligible ambulance suppliers. GAO collected data on their
2010 costs, revenues, transports, and organizational characteristics.
Although the GAO survey collected data for each domain at the summary
level, it also prompted respondents to take into account multiple
factors when calculating their summary costs.
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\88\ U.S. Government Accountability Office (2012). Survey of
Ambulance Services. Available at https://www.gao.gov/assets/650/649018.pdf.
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The Rural Ambulance Service Budget Model.\89\ This tool
was developed by a task force of the Rural EMS and Trauma Technical
Assistance Center with funds from the Health Resources and Services
Administration (HRSA) in the early 2000s. The purpose was to provide
assistance to rural ambulance entities in establishing an annual budget
and to calculate the value of services donated by other entities, as
well as services donated by the ambulance entity's staff to the
community. The tool was last updated in 2010 and has been cited as a
resource for rural ground ambulance organizations by state and national
government agencies. However, use of the tool is not required by any of
these agencies.
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\89\ Health Resources and Services Administration. The Rural
Ambulance Service Budget Model, [Online]. Available at https://www.ruralcenter.org/resource-library/rural-ambulance-service-budget-model.
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Our contractor's analysis of these tools revealed that while there
was overlap of the broad cost categories collected (for example, labor,
vehicles, and facilities costs) via these tools, there were significant
differences in the more specific data collected within these broad
categories. Overall, there was a large amount of variability regarding
whether the tools allowed for detailed accounting of costs and whether
the tools used respondent-defined or survey-defined categories for
reporting. The five tools also differed in terms of their instructions,
format, and design in terms of how a portion of organizations' total
costs were allocated to ground ambulance costs, the time frame for
reporting, and the flexibility of reporting.
Based on these activities, our contractor prepared a report
entitled, ``Medicare Ground Ambulance Data Collection System--Sampling
and Data Collection Instrument Considerations and Recommendations''
(referred to as ``the CAMH \90\ report'') which is referenced
throughout this proposed rule. It is available at https://www.cms.gov/Center/Provider-Type/Ambulances-Services-Center.html and provides more
detail on the research, findings and recommendations concerning the
data collection instrument and sampling. This report, in addition to
other considerations we describe below, informed our proposals for the
data collection instrument.
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\90\ CMS Alliance to Modernize Healthcare.
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4. Proposals for the Data Collection Instrument
a. Proposed Format
We considered several options for collecting the data including a
survey, a cost report spreadsheet like the GEMT, and the Medicare Cost
Report (MCR). During interviews with ambulance providers and suppliers,
some participants stated that they would prefer that data collection be
done through a cost report spreadsheet, rather than a survey, such as
the GEMT and other similar data collection tools utilized by state
Medicaid programs. They noted that data cost collection spreadsheets
such as the GEMT are used in some states where supplemental payments
are made to ground ambulance organizations based on costs and revenue
reported via a cost reporting template. Although these tools are
valuable to the ambulance suppliers that utilize them for Medicaid
payment purposes, we note that only a small number of states make use
of these tools for the purpose of providing supplemental payments and
that they are generally geared toward government run entities that
provide a broad range of emergency medical services and not just ground
ambulance services. For these reasons, we do not believe that these
tools could be used by all ground ambulance organizations for Medicare
payment purposes without significant revision.
Other ambulance providers and suppliers stated their preference for
survey-based reporting, such as the Moran survey, because they believe
survey reporting is less burdensome and allows more flexibility for
reporting. We agree that survey reporting can be designed to provide
greater flexibility of reporting with reduced reporting burden.
However, the Moran survey recommended excluding small ground ambulance
organizations with limited capacity or those which relied heavily
[[Page 40685]]
on volunteer services, which would exclude a large percentage of ground
ambulance organizations from our sample. It would also not take into
account the unique differences of government run ground ambulance
entities, and specifically ground ambulance entities that provide other
emergency services such as fire services, and could not be used by all
ground ambulance organizations without significant revisions. Some
ambulance organizations that favored using the Moran survey also
recommended using cost reporting guidelines that are similar to the CMS
requirements for the MCR. Although we agree that standardization is
important for data analysis, many smaller ground ambulance
organizations have said they would have difficulty complying with
complex cost reporting guidelines. We believe that requiring ground
ambulance organizations to complete and submit an MCR for the purpose
of the data collection required in section 1834(l)(17) of the Act would
be unnecessarily resource intensive and burdensome.
We also considered using multiple instruments or staged data
collection as recommended in the Moran Report, where we would first
collect organizational characteristic data from all ground ambulance
organizations, use that information for sampling purposes, and then
collect cost and revenue information from a sample of ambulance
providers and suppliers. Using this approach, we would need 100 percent
participation from all ground ambulance organizations in reporting the
organizational characteristic data in order for the data to be used for
sampling purposes. We are not proposing this approach because we
believe multiple data collections would increase respondent burden and
may not align with sections 1834(l)(17)(A) and (B) of the Act which
requires CMS to collect data from a random sample and prohibits data
collection from the same ground ambulance organizations in 2
consecutive years to the extent practicable. We will discuss this more
in the options we considered for sampling section of this proposed
rule.
Based on our analysis of the existing or previously used data
collection instruments described above, we do not believe that any of
them would be sufficient to adequately capture the data required by
section 1834(l) of the Act. Therefore, we are proposing to collect
ground ambulance organization data using a survey that we developed
specifically for this purpose, which we will refer to from this point
forward in this proposed rule as the data collection instrument, and
which we would make available via a secure web-based system. We believe
that the data collection instrument should be usable by all ground
ambulance organizations, regardless of their size, scope of operations
and services offered, and structure. The proposed data collection
instrument includes screening questions and skip patterns that direct
ground ambulance organizations to only view and respond to questions
that apply to their specific type of organization. We also believe that
the proposed data collection instrument is easier to navigate and less
time consuming to complete than a cost report spreadsheet. The proposed
secure web-based survey would be available before the start of the
first data reporting period to allow time for users to register,
receive their secure login information, and receive training from CMS
on how to use the system. We are also proposing to codify these
policies at Sec. 414.626.
b. Proposed Scope of Cost, Revenue, and Utilization Data
Section 1834(l)(17)(A) of the Act requires CMS to develop a data
collection system to collect data related to cost, revenue,
utilization, and other information determined appropriate by the
Secretary for ground ambulance organizations. Section 1834(1)(17)(A)(i)
of the Act further specifies that the information collected through the
system should be sufficient to evaluate the extent to which reported
costs relate to payment rates.
We considered several options regarding the scope of collecting
data on ground ambulance cost, revenue, and utilization. One option
would be to require ground ambulance organizations to report on their:
(1) Total costs related to ground ambulance services; (2) total revenue
from ground ambulance services; and (3) total ground ambulance service
utilization. This approach would consider all ground ambulance costs,
revenue, and utilization, regardless of whether the service was
billable to Medicare or related to a Medicare beneficiary. The
advantage of this approach is that ground ambulance organizations
already track information at their organizational level on total costs,
revenue, and utilization for their own internal budgeting and planning.
This method was also used to calculate an organization-level average
cost per transport in two previous studies described below:
In a 2012 study entitled, ``Ambulance Providers: Costs and Medicare
Margins Varied Widely; Transports of Beneficiaries has Increased'',\91\
the GAO performed an analysis to assess how Medicare payments,
including the temporary add-on payments, compared to costs reported
using a survey. The GAO collected information via a survey on
organizations' total costs, including operating and capital costs,
without restriction to costs associated with Medicare transports or
costs incurred in responding to calls for service from Medicare
beneficiaries. GAO then divided reported total costs by the reported
number of transports (regardless of whether Medicare paid for the
transport) to calculate an average cost per transport for each
organization, and reported summary statistics across these averages,
including a median cost per transport of $429. However, to simplify
data collection and analysis, the analysis was limited to ambulance
suppliers that did not share operational costs with a fire department,
hospital, or other entity. GAO stated that its calculations assumed
that this average cost per transport was constant for all of an
organization's transports regardless of whether or not the patient
transported was a Medicare beneficiary. This approach implicitly loads
the costs associated with activities that did not result in a
transport, such as responses by a ground ambulance where the patient
could not be located, refused transport, or was treated on the scene,
into the estimated cost per transport.
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\91\ This report is available at https://www.gao.gov/assets/650/649018.pdf.
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The second study, ``Report to Congress Evaluation of Hospitals'
Ambulance Data on Medicare Cost Reports and Feasibility of Obtaining
Cost Data from All Ambulance Providers and Suppliers,'' \92\ was
conducted by HHS as required under the American Taxpayer Relief Act of
2012 (ATRA) (Pub. L. 112-240, enacted January 2, 2013). This report
used data from Medicare cost reports as its data source, rather than a
survey, and included only ambulance providers, rather than ambulance
providers and suppliers. It described substantially higher costs per
transports for ambulance providers compared to the estimate from GAO,
with a median of approximately $1,750 per transport. It did not compare
reported total costs to Medicare revenue tallied in claims data with
and without the temporary add-on payments. Neither the GAO nor the HHS
report compared costs and AFS payment rates for specific Healthcare
Common Procedure Coding System
[[Page 40686]]
(HCPCS) codes because the available cost data in both studies did not
support that level of analysis.
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\92\ This report is available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/AmbulanceFeeSchedule/Downloads/Report-To-Congress-September-2015.pdf.
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Another option would be to consider only those costs that are
relevant to ground ambulance services furnished to Medicare
beneficiaries. Collecting costs associated with specific services (such
as Medicare transports) and excluding other services (such as Medicaid
transports or responses that did not result in transport) would require
either a much more intensive and costly data collection approach (such
as time and motion studies) or assumptions on which portions of total
costs were related to the specific activity. We believe this approach
would be overly burdensome and complex for ground ambulance
organizations, especially those who provide other services in addition
to ground ambulance services.
A third option would be to consider only those costs that are
related to the specific ground ambulance transport services that are
paid under the AFS. This would require ground ambulance organizations
to report costs, revenue, and utilization related to specific levels of
services reported with HCPCS codes, but not costs, revenue, and
utilization for other services such as responses that did not result in
a transport (which is not covered under the AFS). We believe this
option would also be overly burdensome and complex.
In discussions with ambulance providers and suppliers, we were
informed that ground ambulance organizations most often track
organization-level total costs, revenue, and utilization across all
activities and services furnished to all patients, and that most would
find it difficult to report costs, revenue, and utilization associated
with services furnished exclusively to Medicare beneficiaries or
associated with Medicare services covered under the AFS.
Therefore, we propose the first option as discussed above, which
would require ground ambulance organizations to report on their: (1)
Total costs related to ground ambulance services; (2) total revenue
from ground ambulance services; and (3) total ground ambulance service
utilization. This approach would consider all ground ambulance costs,
revenue, and utilization, regardless of whether the service was
billable to Medicare or related to a Medicare beneficiary to collect
total cost, total revenue, and total utilization data.
Although we are proposing to collect a ground ambulance
organization's total costs and total revenues, we are aware that many
ground ambulance organizations share operational costs with fire
departments, other public service organizations, air ambulance
services, hospitals, and other entities. For these organizations, only
a portion of certain capital and operational costs contribute to total
ground ambulance costs, and only a portion of revenue is from ground
ambulance services. We are also aware that some ground ambulance
suppliers deploy emergency medical technicians (EMTs) in fire trucks,
which would make it difficult to determine whether the fire truck costs
should be factored into the total ground ambulance costs, and if so,
how that would be calculated.
One option to address these challenges is to limit data collection
to ground ambulance organizations that do not share operational costs
with fire departments, hospitals, or other entities, as GAO did for
their 2012 report. However, we do not believe this approach meets the
requirement in section 1834(l)(17)(B)(ii) of the Act for a
representative sample because many ambulance suppliers and all
ambulance providers share operational costs with fire, police, health
care delivery or other activities. We also considered including
providers' and suppliers' total costs and revenues across all
activities. While this would simplify cost and revenue data reporting,
the resulting data would not be limited to ground ambulance activities,
and therefore, would result in biased estimates of ground ambulance
costs or require significant assumptions to estimate ground ambulance
costs alone.
To more accurately define total costs and total revenues related to
ground ambulance services for those ground ambulance organizations that
provide other services in addition to ground ambulance services, we are
proposing an approach where the data collection instrument instructions
would separately address three further refined proposed categories of
total ground ambulance costs and revenues:
Cost and revenue components completely unrelated to ground
ambulance services. These costs and revenues would be unrelated to this
data collection and not reported. Examples include administrative staff
without ground ambulance responsibilities, health care delivery outside
of ground ambulance, community paramedicine, community education and
outreach, and fire and police public safety response.
Cost and revenue components partially related to ground
ambulance services. These costs and revenue would be reported in full,
but respondents would report additional information that can be used to
allocate a portion of the costs to ground ambulance services. Depending
on how the data would be utilized, certain costs could be included or
excluded from an analysis after data are collected. Examples include
EMTs who are also firefighters and facilities with both ground
ambulance and fire department functions. (We considered an alternative
where respondents would allocate costs and report only costs associated
with ground ambulance services but believe that would pose an
additional burden on the respondent to calculate allocated amounts, and
would result in an allocation process that is less transparent and
standardized).
Cost and revenue components entirely related to ground
ambulance services. These costs are reported in full. Examples include
EMTs with only ground ambulance responsibilities and ground ambulance
vehicles.
We believe that this approach would enable us to collect the data
necessary to evaluate the adequacy of payments for ground ambulance
services, the utilization of capital equipment and ambulance capacity,
and the geographic variation in the cost of furnishing such services.
The data could be analyzed in the same manner as the data in the GAO
report, for example, calculating an average per-transport cost for each
organization and calculating Medicare margins with and without add-on
payments, or could provide the basis for other analyses to link
reported costs to AFS rates. For example, an analysis could use
reported total costs and information on the volume of transports by
levels of services to estimate a cost for each HCPCS code reported for
the AFS, or regression-based approaches to estimate the marginal cost
of furnishing each HCPCS code on the AFS. We believe that under our
proposed approach, the collected data would be available to estimate
total costs and revenue relevant to ground ambulance services.
c. Proposed Data Collection Elements
The draft data collection instrument is available on the CMS
website at https://www.cms.gov/Center/Provider-Type/Ambulances-Services-Center.html. An overview of the elements of the data
collection instrument we are proposing is in Table 29, including
information on costs, revenues, utilization (which we define for the
purposes of the instrument as service volume and service mix), as well
as the characteristics of ground ambulance organizations.
To help structure the data collection instrument, we organized
costs by category (for example, labor, vehicles, and facilities), which
is the approach
[[Page 40687]]
used in the GEMT and the AAA/Moran survey.
Table 29--Proposed Components for the Data Collection Instrument
------------------------------------------------------------------------
Component (data collection
instrument section) Broad description
------------------------------------------------------------------------
Ground ambulance organization Information regarding the identity of the
characteristics (2-4). organization and respondent(s), service
area, ownership, response time, and
other characteristics; broad questions
about offered services to serve as
screening questions.
Utilization: Ground ambulance Number of responses and transports, level
service volume and service of services reported by HCPCS code.
mix (5 and 6).
Costs (7-12)................. Information on all costs partially or
entirely related to ground ambulance
services.
Staffing and Number and costs associated with EMTs
Labor Costs (7). administrative staff, and facilities
staff; separate reporting of volunteer
staff and associated costs.
Facilities Costs Number of facilities; rent and mortgage
(8). payments, insurance, maintenance, and
utility costs.
Vehicle Costs Number of ground ambulances; number of
(9). other vehicles used in ground ambulance
responses; annual depreciation; total
fuel, maintenance, and insurance costs.
Equipment & Capital medical and non-medical
Supply Costs (10). equipment; medical and non-medical
supplies and other equipment.
Other Costs (11) All other costs not reported elsewhere.
Total Cost (12). Total costs for the ground ambulance
organization included as a way to cross-
check costs reported in the instrument.
Revenue (13)................. Revenue from health insurers (including
Medicare); revenue from all other
sources including communities served.
------------------------------------------------------------------------
The following sections describe our proposed approach for data
collection in each of these categories.
(1) Collecting Data on Ground Ambulance Provider and Supplier
Characteristics
CMS is required to collect information regarding the geographic
location of ground ambulance organizations to meet the requirement at
section 1834(l)(17)(A)(iii) of the Act that the collected data include
information on services furnished in different geographic locations,
including rural areas and low population density areas. We also
recognize that there are differences between and among ground ambulance
organizations on several key characteristics, including geographic
location; ownership (for-profit or non-profit, government or non-
government, etc.); service volume, organization type (including whether
costs are shared with fire or police response or health care delivery
operations); EMS responsibilities; and staffing models. Research
conducted for this proposal indicates that:
There are differences in costs per transport by ground
ambulance organizations with a different ownership status;
EMS level of service and staffing models often have an
important impact on costs, with higher EMS levels of service (for
example, quicker response times) and static staffing models (that is,
mainatining a constant response capability 24 hours a day, 7 days a
week, 365 days a year) involving higher fixed costs; and
Utilization varies significantly across ambulance
providers and suppliers of different characteristics.
Due to this variation in characteristics and the effect it has on
costs and revenues, we believe it is important for ground ambulance
organizations to report additional characterictics, as described below,
to adequately analyze the differences in costs and revenue among
different types of ambulance providers and suppliers. We also believe
collecting this information directly through the proposed data
collection instrument will improve data quality with minimal burden on
the respondents because the proposed data collection instrument is
designed to tailor later sections and questions based on respondents'
characteristics through programmed ``skip patterns''. We considered
relying exclusively on the Medicare enrollment form CMS 855A for ground
ambulance providers or CMS 855B for ground ambulance suppliers to
capture this information, but believe that data accuracy would be more
robust if reported directly by respondents for the specific purpose of
this data collection.
The proposed data collection questions related to organizational
characteristics and service area are in sections 2, 3, and 4 of the
data collection instrument. We are proposing to collect information on
ownership and organization type through a sequence of questions in
section 2 of the data collection instrument. Some of the questions in
this section are adapted in part from prior surveys (such as the GAO
and Moran surveys) with changes as necessary to fit scenarios reported
during interviews with ground ambulance organizations. The first
question related to organizational characteristics, question 6, asks
about the organizations' ownership status. This item aligns closely
with a similar question on the Medicare enrollment form CMS 855B for
ambulance suppliers. Question 7 asks whether the respondent's
organization uses any volunteer labor. While this question could have
been asked later in the data collection instrument around the
collection of labor data, we opted to include it here because many
ground ambulance organizations informed CMS that they view the use of
volunteer labor as a defining organizational characteristic, on par
with ownership status, and that a volunteer labor question was expected
by respondents at this early point in the data collection instrument.
Question 8 asks respondents to select a category that best describes
their ambulance organization. The response options for this item are
mutually exclusive and align with the ambulance provider and supplier
taxonomy described in the CAMH report. The next two questions, 9 and
10, more directly ask whether the respondent has shared operational
costs with an entity of another type, including a fire department,
hospital, or other entity. We are proposing these questions in addition
to the organization type question to account for situations where a
respondent might primarily identify as an organization of one type
(with implications for shared operational costs) but then might have
shared
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operational costs with another entity type. Responses to questions 9
and 10 play an important role in skip logic later in the data
collection instrument regarding questions and response options relevant
only to ground ambulance organizations with shared operational costs
with an entity of another type.
Other proposed questions regarding organizational characteristics
are necessary to tailor later parts of the data collection instrument
to the respondent. These include proposed questions in section 2 of the
data collection instrument on whether the respondent's ambulance
organization:
Is part of a broader corporation or other entity billing
under multiple National Provider Identifiers (NPIs) (question 2).
Routinely responds to emergency calls for service
(question 11).
Operates land, water, and air ambulances (questions 12-
14).
Has a staffing model that is static (that is, consistent
staffing over the course of a day/week) or dynamic (that is, staffing
varies over the course of a day/week) or combined deployment (certain
times of the day have a fixed number of units, and other times are
dynamic depending on need) (question 15).
Provides continuous (also known as ``24/7/365'') emergency
services) (question 16).
Provides paramedic or other emergency response staff to
meet ambulances from other organizations in the course of a response
(questions 17 and 18).
In our interviews with ambulance providers and suppliers, some
participants indicated that their staffing model is an organizational
characteristic that would likely be associated with costs per
transport. Organizations that need to maintain fixed staffing levels
over time (for example, to maintain an emergency response capability to
serve a community) would likely have higher costs than those that do
not.
Section 1834(l)(17)(A)(iii) of the Act requires collecting data
from ambulance providers and suppliers in different geographic
locations, including rural areas and low population density areas. The
area served by ambulance providers and suppliers is an important
characteristic and we are proposing to collect information on the
geographic area served by each ambulance provider and supplier in
section 3 of the data collection instrument.
Many ground ambulance organizations have a primary service area in
which they are responsible for a certain type of service (for example,
ALS-1 emergency response within the borders of a county, town, or other
municipality) and may have secondary services areas for a variety
reasons, such as providing mutual or auto aid, or providing a different
service in a secondary area (for example, non-emergency transports
state-wide). We considered several alternatives to collect information
on service area. One option would be to utilize Medicare claims data,
but this would limit the information to Medicare billed transports only
and would also not differentiate between primary and other service
areas. Another option would be to allow respondents to write in a
description of their primary and other service areas, but this would
require converting written responses to a format that can be used for
analysis. A third option would be for respondents to report the ZIP
codes that constitute their primary and other service area. This
approach aligns with the Medicare enrollment process requirement to
submit ZIP codes where the ground ambulance organization operates. It
would also collect ZIP code-based information on service area that can
be easily linked to the ZIP Code to Carrier Locality file \93\ that
lists each ZIP code and its designation as urban; rural; or super-
rural. This file is used by the MACs to determine if the temporary add-
on payments should apply to a transport under the AFS. The main
limitation of this approach is that ZIP codes would not always align to
service areas, because ZIP codes routinely cross town, county, and
other boundaries that are likely relevant for defining ground ambulance
organizations' service areas.
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\93\ Available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/AmbulanceFeeSchedule/.
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We are proposing to require ground ambulance organizations that are
selected during sampling to identify their primary service area by
either: (1) Providing a list of ZIP codes that constitute their primary
service area; or (2) selecting a primary service area using pre-
populated drop-down menus at the county and municipality level in
question 1, section 3 of the data collection instrument. We are also
proposing to require respondents to specify whether they have a
``secondary'' service area, which are areas where services are
regularly provided under mutual aid, auto-aid, or other agreements in
section 3, question 4 of the data collection instrument and if so, to
identify the secondary service area using ZIP codes or other regions as
described above for the primary service area (section 3, question 5).
Mutual aid agreements are joint agreements with neighboring areas in
which they can ask each other for assistance. Auto-aid arrangements
allow a central dispatch to send the closest ambulance to the scene. We
are not proposing to collect information on areas served only in
exceptional circumstances, such as areas rarely served under mutual or
auto-aid agreements or deployments in response to natural disasters or
mass casualty events because we believe reporting on rarely-served
areas would involve significant additional burden and would add to
instrument complexity without generating data that would be useful for
analysis.
The proposed approach distinguishes between primary and secondary
service areas. This would allow subsequent questions on the balance of
transports in a respondent's primary versus secondary service area and
whether average trip time and response times are substantively longer
in the secondary versus primary service area. We believe this approach
results in data that can be easily analyzed and eliminates the need to
ask certain other questions (such as the population and square mileage
of the respondent's service area) because this information can be
inferred using the reported geographic service area boundaries.
We are proposing to ask the following questions in sections 3 and 4
of the of the data collection instrument, service area and subsequent
emergency response time, because the responses to these questions are
closely related to the area served by the organization:
Whether the respondent is the primary emergency ambulance
organization for at least one type of service in their primary service
area (section 3, question 2).
Average trip time in primary and secondary service areas
(section 3, questions 3 and 6).
Average response time (for organizations responding to
emergency calls for service) for primary and secondary service areas
(section 4, questions 1-2).
Whether the organization is required or incentivized to
meet response time targets by contract or other arrangement (for
organizations responding to emergency calls for service) (section 4,
question 3).
Average trip and response time are necessary to understand how
geographic distance between the ground ambulance organization's
facilities and patients affects costs. In interviews, ground ambulance
organizations recommended the collection of average trip time in
addition to mileage because some rural and remote areas may have
relatively
[[Page 40689]]
long average trip times even though mileage may be more modest due to
terrain, the quality of roads, and other factors. We believe that
collecting information on average response time would allow the
analysis of whether communities with different response time
expectations and targets have systematically different costs.
(2) Collecting Data on Ground Ambulance Utilization
CMS is required to collect information on the utilization of ground
ambulance services. While we could collect information on the volume of
ground ambulance services that can be billed to Medicare, this approach
would not provide information needed to determine total utilization of
ground ambulance organizations. Another option would be to utilize
Medicare claims data for estimates of ground ambulance transport volume
and separately collect information on services not payable by Medicare
(such as responses that did not result in a transport). This approach
would also not provide complete information on total transport volume,
since other services, such as responses that do not result in a
transport, would not be included.
Based on information provided during interviews with ground
ambulance organizations, we identified several distinct utilization
categories, such as total responses and ground ambulance responses.
This is particularly important for fire-based and police-based
organizations that may have a significant volume of fire and police
responses that do not involve a ground ambulance. The number of
responses that did not result in a transport can be separately tallied.
Other important utilization categories are ground ambulance transports
(that is, responses during which a patient is loaded in a ground
ambulance), which can be measured in terms of total transports (that
is, all ground ambulance transports regardless of payor) or paid
transports (that is, transports for which the ambulance provider or
supplier was paid in part or in full). Another utilization category
would include information on ambulance providers and suppliers that
furnish paramedic intercept services or provide paramedic-level staff
in the course of a BLS response where another organization provides the
ground ambulance transport.
We believe it is important to collect utilization data related to
all services, not just transports, because other services that
contribute to the total volume of responses have direct implications
for costs. Collecting utilization information related to transports but
not other services could omit important cost information. Some
utilization measures, such as the ratio of ground ambulance to total
responses, may be one basis for allocating certain costs reported
elsewhere in the data collection instrument. Another example would be
the difference between total and paid transport, as this would provide
information on services that were provided to patients but for which no
payment is received.
To best capture the full range of utilization data, we are
proposing a two-pronged approach to collect data on the volume and the
mix of services. First, we are proposing to collect total volume of
services for each of the categories listed below in section 5 of the
proposed data collection instrument:
Total responses, including those where a ground ambulance
was not deployed (question 1).
Ground ambulance responses, that is, responses where a
ground ambulance was deployed (question 2).
Ground ambulance responses that did not result in a
transport (question 4).