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New CMS FY 14 IPPS Rule affecting Inpatient Status. What does the physician need to know . Why the new Rule? . Concerns from Beneficiaries - experiencing long length of stay in observation – resulting in high out of pocket expenses Concerns from Hospitals of the high volume of RAC reviews
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New CMS FY 14 IPPS Ruleaffecting Inpatient Status What does the physician need to know
Why the new Rule? Concerns from Beneficiaries - experiencing long length of stay in observation – resulting in high out of pocket expenses Concerns from Hospitals of the high volume of RAC reviews High Payment Error Rate – Not medically necessary Inpatient stays should be receiving care as an outpatient/observation
Medicare “Inpatient” • New Rule Begins October 1, 2013 • Physician Order MUST state: “Admit to Inpatient” or “Admit as Inpatient” at the time/before admission • Inpatient is now based on the physician’s expectation that the patient would require hospitalcare spanning 2 midnights • Physician certification is required
Elements of Certification • Inpatient order is required • Reasons for hospitalization stated • Estimated time the patient requires hospital services • Plans for post-hospital care, if appropriate • Certification must be completed and signed/dated before the patient is discharged 42 CFR§424 subpart B and 42 CFR §412.3
Medicare Medical Necessity • Benchmark • Physician may consider the accumulative time the patient spent receiving outpatient services (observation, ED, OR time, etc.) when determining if inpatient admission is justified. – as long as patient requires greater than a total of 2 midnights in hospital
Medicare Medical Necessity • Presumption • Inpatient hospital stays with the length of stay greater than 2 midnights, after the formal admission order, will be presumed generally appropriate for Part A (inpatient) payment – and should not be reviewed by RAC • Requires the services provided to be medically necessary • Requires the hospitalization to be medically necessary • Requires documentation of order and certification
Medicare Medical Necessity • Medical Necessity is based on the following: Age, Signs and Symptoms, Comorbidities, Morbidity, Mortality, Risk if patient were to be discharged, and Hospital Treatment • Dailyphysician documentation as to why the patient needs to stay in the hospital and receive care at the hospital (Medical Necessity) - This is CRUCIAL to avoid denial and cannot be overemphasized.
Impact on admissions • Medical/Surgical cases with expected Length of Stay of less than 2 midnights will likely NOT qualify as inpatients • ICU patients are not exempt • Surgeries/procedures that are on “Medicare Inpatient Only” list must be inpatient, even if remain in hospital only 1 day • 3-day qualifying stay requirement for SNF placement has not changed – cannot count time prior to the inpatient order – the patient must require necessary hospital care each day
OBSERVATION Observation Status - medically necessary hospital services that do not require 2 midnights If a second midnight is required for care of patient, that patient should be converted to inpatient The intent of new CMS rule is to reduce observation Length of Stay
Example #1 • Tuesday - Patient receiving care for SBO in ED at 22:00 • Wednesday - Inpatient order is written at 2:00 pm – MD estimates patient requires 2 midnights for hospital stay • Thursday - Patient DC at 9:00 am • 1st MN crossed as outpatient in ED • 2nd MN crossed as inpatient • RESULT: 2 midnights occurred in hospital = INPATIENT (providing hospital services were necessary)
Example #2 • Tuesday - Pt with TIA in ED at 14:00 • Tuesday - Observation order written at 18:00 • Wednesday am - MRI performed: acute stroke • Wednesday noon - Inpatient order written - MD estimates pt requires 2 midnights • Thursday - Patient DC at 9:00am • 1st MN crossed as OBS • 2nd MN crossed as INPT • RESULT: 2 midnights occurred in hospital = INPATIENT