Posts Tagged Arthroscopy

UnitedHealthcare Updates Policies for Fourth Quarter

If UnitedHealthcare is among your list of payers, you’ll want to take note of several policy updates the insurer says it will implement on or before the fourth quarter of 2012. From prior authorization changes to supply codes no longer separately payable, the July 2012 Network Bulletin is a must-read. Here are the highlights:

Notification and Prior Authorization Program Changes

Polysomnography

Effective Nov. 1, certain UnitedHealthcare commercial customers will be required to obtain prior authorization and/or advance notification for attended sleep testing performed in a health care facility. Unattended home sleep testing will not require prior authorization, nor will providers be required to submit a patient information worksheet (PIW).

Radiology

Effective Aug. 13, the UnitedHealthcare Commercial Radiology Notification Program and Medicare Advantage Radiology Prior Authorization Program are expanding to include Connecticut, New Jersey, and New York.

Cardiology

Effective Oct. 1, UnitedHealthcare will require providers to obtain prior authorization for echocardiograms, stress echos, diagnostic catheterizations, and electrophysiology implants when furnished in an outpatient facility or physician office. Prior authorization will be required for electrophysiology implants regardless of where the service is performed. Note, however, that prior authorization is not required for these services when rendered in an emergency room (ER), observation unit, or urgent care facility.

A complete list of plans that are subject to this prior authorization requirement is available at UnitedHealthcareOnline.com.

Clinical and Surgical Pathology

Effective fourth quarter 2012, UnitedHealthcare’s Laboratory Rebundling policy will be revised to include dermatologists as eligible for reimbursement when reporting clinical and surgical pathology consultation codes (CPT® 80500-80502 and 88321-88325).

Arthroscopy

In accordance with National Correct Coding Initiative (NCCI) edits, UnitedHealthcare’s CCI editing policy will be revised in the fourth quarter to deny CPT® codes 29874 Arthroscopy, knee, surgical; for removal of loose body or foreign body (eg, osteochondritis dissecans fragmentation, chondral fragmentation) and 29877 Arthroscopy, knee, surgical; debridement/shaving of articular cartilage (chondroplasty) when they are reported with other reimbursable knee arthroscopy procedures (29866-29889). After this edit is in place, a modifier override will not be allowed as it has been in the past.

Supply Codes

UnitedHealthcare says it will expand its current list of supply codes that are not separately payable when reported with an evaluation and management (E/M) service and/or procedure provided on the same day in a physician or other health care professional’s office. The complete list of codes that will be added to the Supply Policy Non Reimbursable Code List can be found on pages 55-59 in July’s Network Bulletin.

July 13th, 2012

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Observe TMJ Coverage Guidelines Ever So Carefully

ICD-9-CM coding for TMJ is straightforward, but payer requirements vary widely.

By G. J. Verhovshek, MA, CPC

The temporomandibular joint (TMJ) is where the jawbone (the mandible) is connected to the skull bone (the temporal bone). These joints on either side of the head, just below the ear, allow the jaw to open and close, and to slide from side to side. Like other joints, the TMJ may suffer injury and degradation due to trauma or stress (such as that caused by teeth grinding, or bruxism), and is susceptible to ankylosis, arthritis, dislocation, and neoplasia, among other conditions.

Temporomandibular joint disorder (TMD or TMJD)—also known as TMJ syndrome and Costen’s syndrome—is a broad term to describe acute or chronic inflammation of the joint. Common symptoms include jaw and/or face pain, swelling, limited jaw movement, difficulty chewing, “popping” or clicking sounds, and locking of the joint. Because the joint is so close to the ear, tinnitus (ringing in the ears), headaches and dizziness also may occur.

If a diagnosis of TMD is not confirmed, report the applicable signs and symptoms codes (e.g., 719.48 Pain in joint involving other specified sites). A definitive diagnosis of TMD is classified to ICD-9-CM category 524.6 (fifth digit required):

524.60                   Temporomandibular joint disorders, unspecified (includes temporomandibular joint-pain-dysfunction syndrome)

524.61                  Adhesions and ankylosis (bony or fibrous) of temporomandibular joint

524.62                   Arthralgia of temporomandibular joint

524.63                  Articular disc disorder (reducing or non-reducing)

524.64                   Temporomandibular joint sounds on opening and/or closing the jaw

524.69                  Other specified temporomandibular joint disorders

A definitive diagnosis of TMD may be made through history and an evaluation of jaw movement, listening for jaw sounds, etc., and may include diagnostic studies such as computed tomography (CT) or magnetic resonance imaging (MRI). Note that TMD also may occur secondary to other injury, such as dislocation (830.0 Closed dislocation of jaw).

Check Payer Guidelines Before Billing

Treatment for TMD ranges from doing nothing (symptoms may resolve on their own) to full-blown surgery—including everything in between, from over-the-counter medications to bite guards, stress management, Botox® injections, physical therapy, and more. Coding for TMD treatment is complicated further by coverage and billing requirements that vary widely from payer to payer.

Medicare statute, per 1862(a)(12) of the Social Security Act, excludes payment “for services in connection with the care, treatment, filling, removal, or replacement of teeth or structures directly supporting teeth.” As a result, Medicare generally does not cover TMD treatment—and neither do many other payers (TMJ disorders occupy a hazy middle ground between dental and medical benefits). In those cases when the insurer does cover TMD, they typically require pre-authorization of services and for the provider to follow a strict treatment protocol (beginning with the most conservative treatments).

 

Illustrations copyright Ingenix. All rights reserved.

21010-AENT-220605-2

Policy Examples Show the Need for Vigilance

As an example of possible coding scenarios, UnitedHealthcare provides coverage determination guidelines that list TMD-related services, to include:

  • Evaluations (consultations, office visits, examinations)
  • Diagnostic testing (e.g., panoramic X-ray) (subject to company medical policy criteria)
  • Dental casts
  • Arthrocentesis (e.g., 20605 Arthrocentesis, aspiration and/or injection; intermediate joint or bursa (eg, temporomandibular, acromioclavicular, wrist, elbow or ankle, olecranon bursa))
  • Arthroplasty (e.g., 21240 Arthroplasty, temporomandibular joint, with or without autograft (includes obtaining graft), 21242 Arthroplasty, temporomandibular joint, with allograft, and 21243 Arthroplasty, temporomandibular joint, with prosthetic joint replacement)
  • Arthroscopy (e.g., 29800 Arthroscopy, temporomandibular joint, diagnostic, with or without synovial biopsy (separate procedure) or 29804 Arthroscopy, temporomandibular joint, surgical)
  • Arthrotomy (e.g., 21010 Arthrotomy, temporomandibular joint)
  • TMJ splints/biteplates
  • Trigger point injections (e.g., 20552 Injection(s); single or multiple trigger point(s), 1 or 2 muscle(s))
  • Corticosteroid injections
  • Physical therapy

Coverage does not apply to all patients/plans, and UnitedHealthcare specifically excludes other treatment options—such as biofeedback, acupuncture, and TMJ implants—in all cases.

A clinical policy bulletin for Aetna likewise explains, “Most Aetna HMO plans exclude coverage for treatment of temporomandibular disorders (TMD). … For plans that cover treatment of TMD and TMJ dysfunction, requests for TMJ surgery require review by Aetna’s Oral and Maxillofacial Surgery patient management unit. Reviews must include submission of a problem-specific history … and physical examination, TMJ radiographs/diagnostic imaging reports, patient records reflecting a complete history of 3 to 6 months of non-surgical management (describing the nature of the non-surgical treatment, the results, and the specific findings associated with that treatment), and the proposed treatment plan.”

Aetna also lists potentially covered and always excluded services for TMD, but its list differs from UnitedHealthcare’s. For instance, “Aetna considers relaxation therapy, electromyographic biofeedback, and cognitive behavioral therapy medically necessary for treatment of TMJ/TMD.”

Blue Cross/Blue Shield of North Carolina’s (BCBSNC) Corporate Medical Policy observes different criteria from either UnitedHealthcare or Aetna. BCBSNC “determine[s] medical necessity for evaluation and treatment of Temporomandibular Joint Dysfunction on an individual consideration basis.” Coverage may include bite splints or oral orthotic appliances, physical therapy, and/or TMJ surgery, while braces and orthodontic treatment are considered dental therapy and are not eligible under medical benefits.

Know Payer Requirements

Check with the payer to determine if coverage is available and, if so, what is covered and in what order. Coding must reflect the service provided, as supported by documentation, but insurer reimbursement requires that the provider carefully observe applicable guidelines. For Medicare beneficiaries and others who may not be covered, carefully explain treatment options, their costs, and the patient’s financial responsibility.

G.J. Verhovshek, MA, CPC, is managing editor at AAPC.

 

July 1st, 2011

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Arthroscopic Gems: Hints for Accurate Coding

By Denis Rodriguez, CPC, CCS, CIRCC, CASCC

Arthroscopy refers to less invasive procedures in which an endoscope is placed within the joint for the performance of diagnostic and therapeutic procedures. As technology advances, procedures previously performed through large incisions are now performed arthroscopically. To accommodate this emerging technology, new arthroscopy, CPT® Category III codes, and HCPCS Level II codes, have been added over the past few years.

There are three general principles of arthroscopic coding: (more…)

August 20th, 2010

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Collagen Meniscus Implants Non-covered

Effective for dates on or after May 25, claims submitted for a collagen meniscus implant procedure will be denied by Medicare. The Centers for Medicare & Medicaid Services (CMS) completed a National Coverage Determination (NCD) for collagen meniscus implants in May, rendering the procedure non-covered for Medicare beneficiaries.

Effective with the July 2010 updates of the Medicare Physician Fee Schedule Database (MPFSDB) and the Integrated Outpatient Code Editor (I/OCE), new HCPCS Level II code G0428 Collagen or other tissue engineered meniscus knee implant procedure for filling meniscal defects (e.g., collagen scaffold, Menaflex) should be used to report non-covered collagen meniscus implant claims with service dates on and after May 25.

As is custom, notifying the Medicare patient of his or her responsibility to pay for this non-covered service and asking the patient to sign an Advanced Beneficiary Notice (ABN) would be appropriate.

NOTE:  This NCD does not include cadaver meniscus transplants, for which you would report CPT® code 29868 Arthroscopy, knee, surgical; meniscal transplantation (includes arthrotomy for meniscal insertion), medial or lateral.

Source: CMS Transmittal 1977, CR 6903, issued May 28.

June 11th, 2010

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CMS vs. CPT®

By LuAnn Jenkins, CPMA, CPC, CEMC, CFPC

In 1992, the “global surgery” concept was introduced under the Resource Based Relative Value Unit System (RBRVS) and payment policy. Medicare adopted this method to control costs and to pay providers based on the value of services provided before, during, and after surgical procedures. Many commercial payers also adopted this system as the basis for their fee schedules and global periods; however, not all payers follow all of Medicare’s global surgery payment policies. The CPT® manual provides guidance on coding and also defines what a “global surgery” includes from a coding perspective.

This can be very important for surgical complication billing because CPT® policy is less restrictive than Medicare.

Know Your Payer, Know the Rules

Accurate coding and billing requires knowing your payer rules prior to claims submission. The Health Insurance Portability and Accountability Act of 1996 (HIPAA) named CPT® and HCPCS Level II as the national code sets and required all entities to be able to accept those codes. It did not, however, require payers to pay all codes or adopt uniform CPT® coding policies.

Do not assume all payers follow all of Medicare’s policies; payers may choose to use all or part of the Medicare global fee rules. They may use the global days and relative value units (RVUs), but not the national Correct Coding Initiative (CCI) or other specific rules. For example, Michigan’s Workers’ Compensation Agency uses the RBRVS system as a basis for their fee schedule and global days, but follows the CPT® post operative complication rule.

Postoperative complications may consume significant time and resources. If the services legitimately can be billed, be sure to capture that revenue. Gathering policy information can be time consuming, but provide a valuable tool to share with coders and billers. Adopting a “one size fits all” coding/billing policy may be easier in the short term, but can be costly and result in lost revenue for your practice.

In the end, it is your contracts that dictate the coding and billing rules you must follow. What you can bill to an insurance company depends on the payer involved. As a result, what you bill for a particular service may vary from one patient to another. Postoperative complications that never would be billed to Medicare, for example, may be allowable under a commercial payer contract.

Gather information pertaining to your specific type of practice. Issues such as complication rules, global days, and modifier definitions are crucial to each practice and vary by payer. In medical billing, too often we learn by trial and error; we bill a service, receive a denial or partial payment, and then contact the payer and discover what created the problem. Often, an unknown or misunderstood payer rule is to blame. Unfortunately, this information isn’t always documented or shared, and the same (wrong) steps are repeated.

If you are unable to get specific answers in payer manuals, contact medical directors in writing to ask what the medical policy is on postoperative complications.

Create a resource for your office. Following documented guidelines will enable you to confidently submit clean claims to all payers, which will result in lower denial rates and fuller reimbursement for services provided.

Applying Modifiers for Postoperative Reimbursement

Modifiers are the key to payment for surgical complications. Both CPT® and Medicare agree that a complication requiring a return to the operating room (OR) should be paid separately using the appropriate modifier. Complications requiring treatment outside of the OR that are provided in the office, outpatient, or inpatient setting also will require modifiers for those non-Medicare payers that follow CPT® guidelines.

Complications requiring additional surgical procedures in the OR related to the original surgery require modifier 78 Unplanned return to the operating room/procedure room by the same physician following initial procedure for a related procedure during the postoperative period to be appended to the appropriate procedure code. Under the Centers for Medicare & Medicaid Services (CMS) policy for this purpose, an OR is defined as “a place of service specifically equipped and staffed for the sole purpose of performing procedures. The term includes a cardiac catheterization suite, a laser suite, and an endoscopy suite. It does not include a patient’s room, a minor treatment room, a recovery room, or an intensive care unit (unless the patient’s condition was so critical there would be insufficient time for transportation to an OR).”

For example, a patient undergoes carotid endarterectomy (35301 Thromboendarterectomy, including patch graft, if performed; carotid, vertebral, subclavian, by neck incision), performed in the morning. Later that day, the patient is returned to the OR for exploration of the neck for postoperative hemorrhage. The return to the OR is coded as 35800 Exploration for postoperative hemorrhage, thrombosis or infection; neck, with modifier 78 appended.

Note: In certain circumstances, a return to the OR during the global period may call for modifier 58 Staged or related procedure or service by the same physician during the postoperative period rather than modifier 78. Medicare Claims Processing Manual, chapter 12, section 40.1.B states “If a less extensive procedure fails, and a more extensive procedure is required, the second procedure is payable separately.” In such a case, modifier 58 is appropriate.

For example, a patient is seen and treated with closed reduction of a tibial shaft fracture (27750 Closed treatment of tibial shaft fracture (with or without fibular fracture); without manipulation). One week later, it is determined the closed reduction failed, and the patient is taken to the OR for an open treatment. Coding for the more extensive procedure is 27758 Open treatment of tibial shaft fracture (with or without fibular fracture), with plate/screws, with or without cerclage, with modifier 58 appended.

Unrelated post-operative evaluation and management (E/M) services are reported with modifier 24 Unrelated evaluation and management service by the same physician during a postoperative period appended. Beware: CMS’ Office of the Inspector General (OIG) has added modifier 24 to its annual Work Plan due to concern of misuse and resulting overpayments. The appropriate use of modifier 24 depends on what rules your payer follows.

Under Medicare policy, modifier 24 applies for:

  • Visit for a new problem unrelated to surgery—supported by different ICD-9-CM code
  • Visit for treatment of the underlying condition (not wound care, pain management, or a repeat procedure)

Under CPT® guidelines, modifier 24 applies for:

  • Visit for a new problem unrelated to surgery—supported by different ICD-9-CM code
  • Visit for treatment of the underlying condition, and
  • Visit for treatment of complications, exacerbations, recurrence

For example, a Medicare patient is returning for a 30-day follow-up visit for a hip replacement. At the visit, the patient complains of new onset shoulder pain, which is evaluated and treated. Because the new complaint is unrelated to the previous surgery, you may separately report the E/M service using an established patient office visit code (9921x) with modifier 24 appended. The visit should be linked to a new diagnosis of 719.41 Pain in joint; shoulder region. A surgical procedure at the same visit—for example, a joint injection 20610 Arthrocentesis, aspiration and/or injection; major joint or bursa (eg, shoulder, hip, knee joint, subacromial bursa)—requires you to append modifier 79 Unrelated procedure.

In a different example, a patient with third-party insurance returns for a 10-day follow-up visit to hip replacement surgery complaining of a painful incision and fever. The excision is not healing and shows redness and drainage. The physician assesses the wound and treats the patient for postoperative wound infection. Assuming the payer follows CPT® guidelines, this visit is separately billable as 9921x-24, at the service level supported by documentation. For Medicare payers, however, the visit is not separately billable; the postoperative wound infection is “related” to the original surgery and did not require a return to the operating room. The service is bundled into the global surgical package for Medicare payment.

An example of treating the underlying problem is a breast biopsy (19101 Biopsy of breast: open incisional). If the result of the biopsy is a malignant neoplasm, and the patient is seen within the global period (10 days) to discuss treatment of a malignancy, the E/M service is reported with modifier 24 to indicate treatment of the underlying condition. If major surgery is performed within this 10-day period, modifier 58 would be applied to the service as a more extensive procedure.

 

Define the Global Surgery Package

As outlined in the Medicare Claims Processing Manual, Pub. 100-4, chapter 12, section 40.1, CMS includes the following items/services in the global surgical package:

  • Preoperative visits after the decision is made to operate, beginning with the day before the day of surgery for major procedures and the day of surgery for minor procedures;
  • Intra-operative services that are normally a usual and necessary part of a surgical procedure;
  • Complications following surgery, including all additional medical or surgical services required of the surgeon during the postoperative period of the surgery because of complications which do not require additional trips to the operating room;
  • Follow-up visits during the postoperative period of the surgery that are related to recovery from the surgery;
  • Postsurgical pain management by the surgeon;
  • Supplies (except for those identified as exclusions); and
  • Miscellaneous services/items such as dressing changes; local incisional care; removal of operative pack; removal of cutaneous sutures and staples, lines, wires, tubes, drains, casts, and splints; insertion, irrigation, and removal of urinary catheters, routine peripheral intravenous lines, nasogastric and rectal tubes; and changes and removal of tracheotomy tubes.

In contrast, CPT®, as detailed in the Surgery Section Guidelines, defines the global surgical package to include:

  • Local infiltration, metacarpal/metatarsal/digital block, or topical anesthesia;
  • Subsequent to the decision for surgery, one related E/M encounter on the date immediately prior to or on the date of the procedure (including history and physical);
  • Immediate postoperative care, including dictating operative notes, walking with the family and other physicians;
  • Writing orders;
  • Evaluating the patient in the post-anesthesia recovery area;
  • Typical postoperative follow-up care.

CMS and CPT® also exclude different services from the global surgical package. Per Medicare, the following items/services are NOT included in the global surgical package:

  • The initial consultation or evaluation of the problem by the surgeon to determine the need for surgery. Please note that this policy only applies to major surgical procedures. The initial evaluation is always included in the allowance for a minor surgical procedure;
  • Services of other physicians except where the surgeon and the other physician(s) agree on the transfer of care. This agreement may be in the form of a letter or an annotation in the discharge summary, hospital record, or ambulatory surgery center (ASC) record;
  • Visits unrelated to the diagnosis for which the surgical procedure is performed, unless the visits occur due to complications of the surgery;
  • Treatment for the underlying condition or an added course of treatment which is not part of normal recovery from surgery;
  • Diagnostic tests and procedures, including diagnostic radiological procedures;
  • Clearly distinct surgical procedures during the postoperative period which are not re-operations or treatment for complications. (A new postoperative period begins with the subsequent procedure.) This includes procedures done in two or more parts for which the decision to stage the procedure is made prospectively or at the time of the first procedure. Examples of this are procedures to diagnose and treat epilepsy (such as craniotomy procedures 61533, 61534-61536, 61539, 61541, and 61543), which may be performed in succession within 90 days of each other;
  • Treatment for postoperative complications that require a return trip to the operating room (OR). An OR for this purpose is defined as a place of service specifically equipped and staffed for the sole purpose of performing procedures. An OR may include a cardiac catheterization suite, a laser suite, and an endoscopy suite. It does not include a patient’s room, a minor treatment room, a recovery room, or an intensive care unit (unless the patient’s condition was so critical there is insufficient time to transport to an OR);
  • If a less extensive procedure fails, and a more extensive procedure is required, the second procedure is payable separately;
  • For certain services performed in a physician’s office, separate payment no longer can be made for a surgical tray (code A4550). Splints and casting supplies are payable separately under the reasonable charge payment methodology;
  • Immunosuppressive therapy for organ transplants; and
  • Critical care services (codes 99291 and 99292) unrelated to the surgery where a seriously-injured or burned patient is critically ill and requires constant physician attendance.

Under CPT® rules, the following services are NOT included in the global surgical package:

  • Follow-up care for diagnostic procedures (eg, endoscopy, arthroscopy, injection procedures for radiography) includes only care related to the recovery from the diagnostic procedure itself. Care of the condition for which the diagnostic procedure was performed or of other concomitant conditions is not included and may be listed separately.
  • Follow-up care for therapeutic surgical procedures includes only care which is usually a part of the surgical service. Report complications, exacerbations, recurrence, or the presence of other diseases or injuries requiring additional services separately.

 

LuAnn Jenkins, CPMA, CPC, CEMC, CFPC, is the president/owner of MedTrust LLC a practice management consulting firm located in Lapeer, Mich. With over 27 years in coding and reimbursement, LuAnn performs office assessments, chart reviews, education/training and provides medical billing services for multiple specialties including physical therapy, cardiology, neurosurgery, allergy, chiropractic, physical medicine, and internal medicine. She speaks on coding and reimbursement issues for the AAPC and the Michigan State Medical Society with whom she is a contracted consultant. LuAnn is vice president of the Michigan Medical Billers Association and 2006 AAPC Coder of the Year.

May 1st, 2010

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