On November 13, 2014, the Centers for Medicare and Medicaid Services (CMS) issued the Medicare Physician Fee Schedule final rule, including a new code and
guidance for billing for chronic care management services (CCM), effective January 1, 2015. The final rule sets forth criteria for submitting claims to
Medicare for CCM services and establishes a base reimbursement rate of $42.60 for such services. The provision of coverage for CCM services is an important
corollary to the population management goals of accountable care organizations, and is consistent with various incentives established by the Affordable
Care Act. While some questions remain unanswered, Medicare reimbursement for CCM services should greatly benefit the growing population of elderly patients
with multiple comorbidities, many of whom depend on proactive care management, including remote monitoring, to avoid medical complications, hospitalization
and unnecessary readmissions.
The final rule contains a number of criteria for billing CCM services, including the following: (1) over the course of a month, at least 20 minutes of
clinical staff time directed by a physician or other qualified health care professional must be devoted to provision of the services; (2) the patient must
have multiple chronic conditions that are expected to last at least 12 months, or until the death of the patient; (3) the chronic conditions must place the
patient at significant risk of death, acute exacerbation/decompensation or functional decline; and (4) a comprehensive care plan must be established,
implemented, revised or monitored. CCM services do not have to be provided face-to-face and include overseeing patient self-medication, ensuring receipt of
all recommended preventative services, monitoring a patient’s conditions and reviewing data reported about the patient from a remote monitoring device.
Providers who are eligible to bill for CCM services include physicians,
nurse practictioners, physician assistants, clinical nurse specialists and midwives. The CCM
provider must: (1) use certified electronic health record technology (but need not qualify for meaningful use incentive payments); (2) create and regularly
update a comprehensive electronic care plan for the patient that can be accessed by the care team, other providers who care for the patient, and the
patient; (3) offer 24 hours per day, seven days per week access to care for chronic care needs; (4) provide continuity of practice and care management; (5)
allow patients to communicate with the provider by phone and asynchronous consultation methods; (6) manage transitions of care within the health care
system; and (7) coordinate with home and community-based clinical service providers. CMS will pay for only one provider to furnish CCM to the same patient
in the same calendar month.
The patient receiving CCM services must be a Medicare beneficiary and must furnish the provider who is billing for the services, with written consent for
the receipt of CCM services. The written consent must be documented in a certified electronic health record and must inform the patient of the following:
(1) which CCM services are available; (2) how CCM services are accessed; (3) how patient information will be shared among providers and the care team; (4)
that cost sharing applies to services even when they are not delivered face-to-face; (5) that consent to CCM services can be revoked by the patient at any
time, effective at the end of the calendar month; and (6) that CMS will pay for the services of only one practitioner in each 30-day period.
There are still certain open questions regarding billing for CCM services. CMS has not provided a definitive list of chronic conditions that qualify a
patient to receive the services. Similarly, CMS has not provided standards for evaluating how long the conditions are expected to last or whether the
conditions place the patient at significant risk of death, acute exacerbation/decompensation or functional decline. Finally, as most patients with multiple
chronic conditions have more than one physician but only one provider may bill for CCM services for a patient in a 30-day period, it is unclear how a
patient’s providers will determine who will bill for CCM services. Over time, and with the issuance of manual instructions and medical review policies by
CMS and its contractors, certain of these issues may be resolved.
If you have any questions regarding Medicare program reimbursement for CCM services, please do not hesitate to contact either of the authors.