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Debra L. Patterson, MD

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Education Makes the Difference. Education Makes the Difference. Education Makes ... Submit comments via Web site or email to charles.haley_at_trailblazerhealth.com ... – PowerPoint PPT presentation

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Title: Debra L. Patterson, MD


1

TrailBlazer Health Enterprises, LLC Medicare
Administrative Contractor Oklahoma , Colorado,
New Mexico, and Texas
  • Debra L. Patterson, MD
  • J4 MAC Medical Director

Published May 2008
2
Todays Discussion
  • J4 MAC Implementation Status.
  • Recent MR Activities Of Interest to Oncology
  • PCA.
  • LCD.
  • Odds and Ends.

3
Jurisdiction 4
  • J4 MAC implementation is complete
  • Oklahoma Part A and B and New Mexico Part B
    cutover March 1, 2008.
  • Colorado Part B cutover March 23, 2008.
  • Texas Part A and B, New Mexico Part B, and
    Colorado Part B cutover June 13, 2008.

4
TrailBlazer Wins J4 Contract
J4 Texas, New Mexico, Colorado and Oklahoma
http//www.cms.hhs.gov/MedicareContractingReform/A
BMAC/list.aspTopOfPage
5
J4 MAC Web Site
  • Effective July 1, 2008 the J4 MAC Web site was
    consolidated with the main Medicare Web site.
  • http//www.trailblazerhealth.com

6
Contact Information
  • Providers may submit questions regarding the
    implementation process or other issues to
  • PartB.J4_at_trailblazerhealth.com
  • Questions or concerns about NPI may be addressed
    through the NPI issues e-mail address at
  • NPI.issues_at_trailblazerhealth.com

7
Jurisdiction 4
  • Going Forward
  • Unresolved implementation issues.
  • Provider enrollment and NPI backlog.
  • 2009 Budget and Medical Review Strategy.
  • LCD Re-work.

8
Medical Review
  • 2009 Medical Review Strategy And Budget Under
    Development
  • 2009 Problem List unchanged from 2008
  • Drugs.
  • Ambulance.
  • Imaging.
  • E/M.
  • CERT report (for 2007 claims) due in November 08.

9
Medical Review
  • Recent Post-pay audits
  • ESAs.
  • Chemotherapeutic agents.
  • Nuclear cardiac imaging.

Incomplete
10
Medical Review
  • Recent Probe Results ESAs
  • Selected records representing patients who had
    been on ESAs for prolonged periods of time (gt12
    wks).
  • Overall, about 11 of patients who get an ESA,
    remain on the ESAs for a prolonged period (gt12
    weeks).
  • Most of the patients had either MDS or CKD.

11
Medical Review
  • ESA Probe included 198 claims (all TX providers)
  • 21 Paid.
  • 79 Denied.
  • 56 (28) - non-covered diagnosis
  • Untreated correctable anemia (e.g., iron
    deficiency).
  • Myelofibrosis.
  • 48 (24) - lack of evidence for response to ESA.
  • 23 (12) lack of documentation for incident
    to.
  • 19 (10) - lack of documentation.
  • 3 claims denied due to high Hematocrit (gt40).

12
ESA LCD 3rd Edition
  • Background
  • Several studies indicate increased mortality with
    higher hemoglobin levels
  • CHOIR Study in CKD patients.
  • Four studies in cancer patients.
  • Other.
  • FDA added Black Box warning to label and issued
    Safety Alert.
  • CMS issued NCD on cancer related uses.

13
ESA Policy 3nd Edition
  • The previous ESA LCD included indications for
    dialysis and cancer patients
  • Use of ESAs in dialysis patients has specific
    coverage described in the CMS On Line Manual.
  • CMS recently issued an NCD for use of ESAs in
    cancer patients.
  • This version eliminates those services subject to
    National policy and clarifies coverage for other
    indications
  • Myelodysplastic syndrome.
  • Chronic Kidney Disease.
  • Anemia of Chronic Disease.
  • Anemia related to certain drugs.

14
ESA LCD 3rd Edition
  • Status
  • Comment period ends 8/11/08.
  • Policy effective date December 2008.
  • Submit comments via Web site or e-mail to
    draft.lmrp_at_trailblazerhealth.com

15
Miscellaneous Information
16
Miscellaneous Information
17
Miscellaneous Information
18
ESA LCD 3rd Edition
  • Status
  • Comment period ends 8/11/08
  • Policy effective date December 2008
  • Submit comments via Web site or email to
    charles.haley_at_trailblazerhealth.com

19
November 2007 CERT Report - Part B Carrier
Combined Error Rate by Type of Error Claims
Submitted 4/1/2006 - 3/31/2007
Paid Claims Error Rate 4.8
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28
E/M Computer Based Training Modules

29
E/M Frequently Asked Questions
  • 1. The 1995 DG state that a notation indicating
    all other systems are negative is permissible.
    Why then does Trailblazer not accept this
    language as evidence of a complete systems
    review?
  • The guidelines specify how many systems must be
    documented for each level of ROS.  That a system
    that is negative may be documented with a
    notation of "negative" in no way implies
    absolution from documenting the specified number
    of systems either with pertinent positives,
    pertinent negatives, or, if asymptomatic and not
    related to the presenting problem, simply noted
    as "negative". 

30
E/M Frequently Asked Questions
  • 2. May I count a system in the ROS when I counted
    it in HPI?
  • HPI and ROS are generally fundamentally different
    kinds of information but they overlap with the
    HPI element called associated signs and
    symptoms. The system related to a HPI sign or
    symptom may be counted only if it is not double
    counting of a single bit of information.

31
E/M Frequently Asked Questions
  • 3. Who may perform the HPI?
  • The HPI, Examination, and Medical Decision Making
    must be performed by the physician or other
    qualified non-physician practitioner under whose
    Medicare ID the service is reported to Medicare.
    The ROS, and PFSH may be performed, if clinically
    appropriate, by ancillary personnel.

32
E/M Frequently Asked Questions
  • 4. TrailBlazer uses Medical Decision Making that
    is different from CMS E/M Guidelines. Why?
  • The CMS E/M Guidelines provide no quantification
    for the first two components of MDM
    (diagnoses/management options and data).
    TrailBlazers auditing tool is different from
    some of the commercial and non-commercial
    auditing tools that have appeared over the last
    13 years but are totally consistent with CMS E/M
    Guidelines. Provider choice of auditing method
    for MDM is optional, but TrailBlazer suggests
    careful evaluation of methods to validate results
    and verify their consistency with Medical
    Necessity.

33
E/M Frequently Asked Questions
  • 5. How many organ systems must be documented for
    a detailed examination
  • DETAILED examination requires the same number of
    organ systems as EXPANDED PROBLEM FOCUSED
    examination, 2-7. The difference between these
    two examinations is not organ systems but is the
    amount of detail given about the systems. EPF is
    a limited examination whereas DETAILED is and
    extended examination.

34
New Headaches
  • ICD-10

35
  • Questions?
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