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COMPLIANCE & THE DIRECTORS UPDATE ON THE 3PB REVENUE ENHANCEMENT PROJECT OPERATIONS AND THE REIMBURSEMENT SYSTEM BEST PRACTICES DASHBOARD FOR MANAGING THE REIMBURSEMENT SYSTEM. HEALTH CARE COMPLIANCE. Deliberate ignorance. COMPLIANCE PROGRAMS. Voluntary in 2000…..Mandatory now
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COMPLIANCE & THE DIRECTORS • UPDATE ON THE 3PB REVENUE ENHANCEMENT PROJECT • OPERATIONS AND THE REIMBURSEMENT SYSTEM BEST PRACTICES • DASHBOARD FOR MANAGING THE REIMBURSEMENT SYSTEM
COMPLIANCE PROGRAMS • Voluntary in 2000…..Mandatory now • Evolved into Compliance and Ethics Programs • Affordable Care Act - Indian Health Care programs are deemed Essential Community Providers therefore ACO’s must include. ACO membership mandates the implementation of a compliance program
DUTY OF CARE - Board Responsibility • Must demonstrate good faith judgment • Must act in a manner an ordinarily prudent person would exercise under similar circumstances • Must act in a manner believed to be in the best interest of the corporation • Must perform reasonable inquiry – Is compliance program reporting and information system adequate from an oversight not operational perspective
Reasonable Inquiry • Ask knowledgeable and appropriate questions • Structural Questions – designed to explore the adequacy of program breadth, reporting relationships and resources to implement the program • Operational Questions – directed to an evaluation of the adequacy and vitality of the compliance program
2 Categories of Questions are suggested for Directors: • Operational Questions – directed to an evaluation of the adequacy and vitality of the operations compliance program • Structural Questions –scope of the organization’s compliance program; designed to explore the adequacy of program breadth, reporting relationships and resources to implement the program
Structural questions Compliance Infrastructure • How is the compliance program structured and who are the key employees responsible for its implementation and operation? • Do the personnel have sufficient authority, autonomy and resources to perform assessments and respond appropriately to misconduct to implement the compliance program? • Are employees held accountable for meeting these compliance-related objectives during performance reviews?
Structural questions Measures to Prevent Violations • What is the scope of compliance-related education and training across the organization? • Has the effectiveness of such training been assessed? • What policies/measures have been developed to enforce training requirements and to provide remedial training as warranted? • How is the Board kept apprised of significant regulatory and industry developments affecting the organization’s risk? • How is the compliance program structured to address such risks?
Structural questions Measures to Respond to Violations • What is the process by which the organization evaluates and responds to suspected compliance violations? • Does the organization have policies that address the appropriate protection of “whistleblowers” and those accused of misconduct?
SMALL GROUP PRACTICE GUIDANCE oig 2000 7 KEY COMPONENTS 1. Conducting internal monitoring and auditing 2. Implementing compliance and practice standards 3. Designating a compliance officer or contact 4. Conducting appropriate training and education 5. Responding appropriately to detected offenses and developing corrective action 6. Developing open lines of communication 7. Enforcing disciplinary standards through well publicized guidelines
BOARD ACTIONS • Peer Review and Credentialing & Privileging • Policy and Procedures with controls for risk areas • Periodically evaluate the effectiveness of the compliance program • Ensure access to resources
OPERATIONAL Risk areas • Coding and Billing Errors • Safety for patients and staff • Quality of Care • Contracting • Accuracy of reporting • Conflict of interest • Privacy and Security Rules • Harassment or intimidation • Culture of business environment • Social Networking
RESOURCES • Participate with local hospital or physicians association programs • Health Care Compliance Association • American Academy of Professional Coders • American Health Information Management Association • Office of Inspector General • Center for Medicare and Medicaid Services
3RD Party Revenue Enhancement UPDATE • VISITED SITES • HOSTED 2 GATHERINGS • HOSTED 7 WEB-EX TRAININGS 1 MORE TO DO • 8 WEB-EX INTENSIVE SERIES FOR CODING PLANNED • IMPLEMENTING 3PB SYSTEMS AT 14 SITES • SUPPORTED SITES WITH FQHC APPLICATIONS • DEVELOPMENT OF SLIDING DISCOUNT SCHEDULES • ASSIST COORDINATION OF AREA OFFICE SUPPORT
COMING UP • ACCOUNTS RECEIVABLES MANAGEMENT • INTENSIVE CODING SERIES • INTENSIVE MEDICARE SERIES • ICD-10 IMPLEMENTATION PLANNING • COMPLIANCE PROGRAM DEVELOPMENT
Findings • Need consistent support • Need for Electronic Health Record & Meaningful Use support • Need for regular coding and billing training • Need assistance processing Medicare/Medicaid FQHC applications • Practice Management systems being retired
DASHBOARD • REAL MEANING OF ALL CAUGHT UP • PRODUCTIVITY MEASURES – Provider, Coder/Auditor, Biller • AGED RECEIVABLES – 0-30 31-60 61-90 91-120 120+ • COLLECTIONS AND REASONS FOR WRITE OFFS • SCHEDULE COLLECTION GOALS • MANAGE WARNING SIGNS AS ALERTS • BALANCE WITH FINANCE • TRAINING REQUIREMENTS • DIRECTORS 3RD PARTY REIMBURSEMENT MANAGEMENT WORKSHOP
Contract cautions……… • What is your reimbursement under this contract? And when are rates renegotiated? • Can the health insurer unilaterally change the terms? • Is the health insurer obliged to pay you promptly? • How is medical necessity defined? Who qualifies? • Does the contract or manual designate all services and procedures that are subject to prior authorization requirements? • Are electronic 837 claims accepted in the 5010 format (now)? • Are electronic remittance 835 available now and do they include adjustments with payments • How is eligibility determined? Online or by phone?
Focus points… • Fundamentals • Change • Goal • Similarity of processes • 3rd Party revenue • Work to do • It’s why we are already here