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Hot Regulatory Topics Judi Lund Person, MPH NHPCO. Eligibility. Eligibility for Admission Medicare Hospice Benefit. § 418.20 Eligibility requirements. In order to be eligible to elect hospice care under Medicare, an individual must be-- ( a) Entitled to Part A of Medicare; and
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Eligibility for Admission Medicare Hospice Benefit § 418.20 Eligibility requirements. • In order to be eligible to elect hospice care under Medicare, an individual must be-- • (a) Entitled to Part A of Medicare; and • (b) Certified as being terminally ill in accordance with Sec. 418.22.
Compliance “Hot Spots” • Eligibility of hospice patients • Initial • Ongoing • Physician narrative • Certain non-cancer diagnosis • Dementia/ Alzheimer's • Debility unspecified • Level of care documentation • GIP
MAC Compliance “Hot Spots” • Eligibility of hospice patients • Ongoing • Physician narrative • Certain non-cancer diagnosis – evidencing 6 month or less prognosis • Dementia/ Alzheimer's • Debility unspecified • Level of care documentation • GIP – eligibility for all days billed at GIP
Opportunities to document eligibility • Certification • Verbal certification • Written certification • Physician narrative statement • Admission • Comprehensive assessment • Ongoing hospice service • Every note by the IDT • Update to the comprehensive assessment • Recertification • F2F encounter • Physician narrative statement
Eligibility assessment Definitely eligible Probably eligible Not eligible
Eligibility - 1st 90-day period • Demonstration of eligibility at admission • Information/ consultation between attending physician and hospice physician • Procurement of medical history and recent clinical documentation • For the clinical record • For use in the certification process • Attending physician and hospice physician certify patient based on their medical judgment of the disease progression
Eligibility - 1st 90-day period • Demonstration of eligibility at admission • Physician narrative should concisely describe why the patient is initially eligible for hospice • Comprehensive assessment documentation by IDG should evidence the details of the patient’s eligibility
Eligibility – Continued and at Recertification • Demonstration of eligibility at recertification • Physician narrative should concisely describe why the patient is continues to be eligible for hospice • Clinical note from face-to-face visit demonstrates eligibility (if 3rd of subsequent benefit period) • Update to the comprehensive assessment documentation by IDG should evidence the details of the patient’s continued eligibility
Certification/ Recertification NHPCO Certification/ recertification Process Maps available for purchase in NHPCO’s Marketplace
Although not the primary hospice diagnosis, the presence of disease such as the following…should be considered in determining hospice eligibility Co-morbidities • Chronic obstructive pulmonary disease • Congestive heart failure • Ischemic heart disease • Diabetes mellitus • Neurologic disease (CVA, ALS, MS, Parkinson’s) • Renal failure • Liver Disease • Neoplasia • Acquired immune deficiency syndrome • Dementia
Local Coverage Determination Policies (LCDs) GUIDELINES, not regulations: • Developed by each MAC (CGS, NGS, NHIC, Palmetto) • Outline guidelines for condition-specific determination of eligibility • Discuss documentation of secondary diagnoses and co morbid conditions to support terminal prognosis
Local Coverage Determination Policies (LCDs) • More emphasis on functional decline in the updated LCDs • Must have details to document the extent of decline • Need to consider the impact of disease on patient’s quality of life • Be familiar with the LCDs that are used in medical review for your region
Documentation Using LCDs • Documentation needs to address: • Impairments in function & structure • Activity limitations • Participation restrictions • Secondary diagnoses • Co-morbid conditions
Documentation Using LCDs • Address the patient’s activity level, self care, communication, and mobility • Give a historical perspective of what the patient’s ability was in the previous time period and then document current status • BUT REMEMBER… • Decline eligibility • Decline necessary or sufficient 67
Documentation Using LCDs • Use specifics to show the extent of the symptoms and limitations • Use the term “as evidenced by” to qualify the problems • Include symptoms such as wt loss, decubitus ulcers, & edema • Co-morbid conditions such as CHF, COPD and diabetes affect prognosis
The physician narrative • Components of a comprehensive and adequate physician narrative should include: • Explanation of the clinical findings that supports a life expectancy of 6 months or less • Reference to specific LCDs as appropriate • Reference to prognostic indicators or symptom management sales as appropriate
The physician narrative • Components of a comprehensive and adequate physician narrative should include: • Reference to functional status • PPS - Validated in palliative care • ECOG - Cancer • Karnofsky - Cancer • FAST - Dementia • Being specific is the most important thing: don’t say that the patient has lost weight – state that there has been a 15 pound weight loss in the past 2 months and 45 pounds in the last 6
The physician narrative • Components of a comprehensive and adequate physician narrative should include: • Evidence of a decrease in anthropomorphic measurements • Recent hospitalizations • Information about other significant complications in addition to the LCD specific criteria appropriate for that particular diagnosis • Statement should be concise, but adequate • Statement should contain prognostic indicators
CY2013 Quality Reporting Measures for quality reporting: • NQF #0209 Pain Measure • Structural Measure
CY2013 Quality Reporting NQF #0209: Comfortable Dying (NHPCO) Percentage of patients who were uncomfortable because of pain at the initial assessment (after admission to hospice services) whose pain was brought to a comfortable level within 48 hours.
CY2013 Quality Reporting Structural Measure: Participation in a QAPI program that includes at least 3 quality indicators related to patient care
CY2013 Quality Reporting QAPI Structural Measure Submission = • Indication if hospice has a QAPI program that includes at least three indicators related to patient care; and • Measures are used during reporting period • Description of all quality indicators related to patient care.
CY2013 Quality Reporting QAPI Structural Measure No results are submitted -- only the patient care measure descriptions
Hospice Quality Reporting • The data collection period is January 1 – December 26 of each year • Reporting is mandatory • Data due April 1 of each year • 2013 measures remain the same as 2012
Miss the deadlines? • Mandatory reporting • Measures required – no choice in what measures should be reported • Miss the 2013 reporting deadlines? • Deadlines HAVE NOT been extended • 2% cut in hospital market basket increase (hospice reimbursement rate “inflation adjustment”) in FY2014
CMS Resources 29 • CMS Hospice Quality Reporting web page • Information posted on CMS web site as it becomes available https://www.cms.gov/Medicare/Quality-Initiatives-Patient-Assessment-Instruments/Hospice-Quality-Reporting/index.html • Download PowerPoint presentations and hospice quality questions and answers: • http://www.cms.gov/Hospice-Quality-Reporting/ • Help Desk: help.hospicequality@rti.org • or by phone at 1.800.647.9670.
NHPCO Resources 30 Basic Information and Materials • www.nhpco.org/outcomemeasures • www.nhpco.org/qualityreporting Questions – send email to: • research@nhpco.org
Payment Year FY2015 • NQF #0209: Percentage of patients who report being uncomfortable because of pain on the initial assessment (after admission to hospice services) who report pain was brought to a comfortable level within 48 hours • Structural measure: Participation in a Quality Assessment and Performance Improvement (QAPI) program that includes at least three quality indicators related to patient care. Hospices would report whether or not they have a QAPI program with at least three indicators related to patient care.
Data Collection Period • Calendar year – January 1, 2013 through December 26, 2013 • Hospices submit data in the fiscal year prior to the payment determination. • For FY2015 and beyond: Data submission deadline of April 1of each year.
Payment Year FY2015 • No additional measures • Creation of a hospice patient-level data item set • Target date for implementation: CY2014 • Data items included in standardized data set to support possible measures
Patient level data collection • Mandatory data collection process being designed to collect data on individual hospice patients – demographics, diagnoses, symptoms • Used to collect data for future quality reporting • Expect to see a form and process in 2014 or 2015
Standardized Data Item Set CMS developing standardized assessment instrument • Many items standardized and used by other providers • Some items developed specifically for hospice • Developed to collect information for hospice-appropriate quality measures • Pilot testing with 9 hospices summer/fall 2012 • Propose to implement hospice patient-level data item set as early as CY 2014
Payment Determinations beyond FY2015 • Possible measures – implemented in future rulemaking • 1617 Opioid with bowel regimen • 1634 Pain screening • 1637 Pain assessment • 1638 Dyspnea treatment • 1639 Dyspnea screening • 0208 Family Evaluation of Hospice Care
Experience of Care Survey • Similar to FEHC • CAHPS survey being developed now
Value Based Purchasing • Value based purchasing – pilot testing • Utilize already implemented measures • Implement pilot by January 1, 2016
Part D and Hospice • OIG report issued in 2012 • Some Medicare hospice beneficiaries receiving hospice care also had drugs paid for under Part D • Scope of the problem: • 198,543 hospice beneficiaries • 677,022 prescription drugs through Part D • Drugs should have been covered by the hospice? • Part D paid pharmacies $33,638,137 • Beneficiaries paid $3,835,557 in copayments • Expect additional scrutiny for Part D payments
Recent Analysis • Analgesics only • 2010 information • 773,168 Medicare hospice beneficiaries enrolled in Part D • 112,555 (14.6%) received 334,387 analgesic prescriptions through Part D during hospice enrollment • Gross costs -- $13,000,430 • Examples of drugs: Fentanyl, oxycodone, morphine, hydrocodone, hydromorphone….
Recent Analysis • Location of patients? • 63% in nursing facilities and assisted living • 35% at home • Which hospices? • 96.7% of hospices billed some analgesics to Part D • Which pharmacies? • 40.9% of pharmacies
CMS Draft 2014 Call Letter • Questions about eliminating Part D payments for Medicare hospice patients • Comments submitted March 1 2013 • Proposing January 2014: • Part D sponsor who receives report that a beneficiary has elected the Medicare Hospice benefit • Sponsor place beneficiary-level prior authorization requirement for four categories of prescription drugs • Four categories: • Analgesics • antinauseants (antiemetics) • Laxatives • antianxiety
Multiple diagnoses on claim form • Requirement is not new • Clarification in FY 2013 Final Hospice Wage Index Rule • Analyses by CMS hospice contractor, showed that 77.2% of hospice claims from 2010 only reported a principal diagnosis • CMS believes that hospice claims which only report a principal diagnosis are not providing an accurate description of the patients’ conditions
Multiple diagnoses on claim form • Providers should code and report coexisting or additional diagnoses to more fully describe the Medicare patients they are treating • CMS’ Hospice Claims Processing manual requires that hospice claims include other diagnoses “as required by ICD-9-CM Coding Guidelines” (IOM 100-04, chapter 11, section 30.1, available at http://www.cms.gov/Regulations-and-Guidance/Guidance/Manuals/Downloads/clm104c11.pdf)
Multiple diagnoses on claim form • CMS clarifies that all of a patient’s coexisting or additional diagnoses s should be reported on the hospice claim • paper UB-04 claim allows for up to 17 additional diagnoses • electronic claim allows for 24 additional diagnoses • Hospices should not report diagnoses which are unrelated to the terminal illness on their claims
Mixed messages from CMS • CMS is asking for all coexisting diagnoses and comorbidities • Often significant and used to make the case in the narrative for 6 month life expectancy • Example: • Patient with heart failure • Significant COPD and Parkinson’s disease • COPD and Parkinson’s contributing to decline • “Unrelated” to the heart failure • Previously instructed not to include these very significant but unrelated diagnoses on claim form
The issues • Diagnoses definition inconsistency by CMS • Related • Co-morbid • Secondary • Many EMR software solutions do not allow more that one diagnosis (5010 allows 25 spaces) • Payment for non-related dx; concern of providers