Posts Tagged TC

ASC Coding and Billing: Know What’s Important

By Brenda Chidester-Palmer, CPC, CPC-I, CEMC, CASCC

The basics of ambulatory surgery center (ASC) coding and billing aren’t hard to master, but they do differ from physician and facility requirements. The following overview will help you know what’s most important in the ASC setting.

Definition of ASC

To understand correct coding and billing for an ASC, you must first understand what an ASC is.

The Medicare Carriers Manual, section 10.1, defines an ASC as a distinct entity, operating exclusively to furnish outpatient surgical services. ASCs are not in the business of providing office visits, laboratory services, diagnostic tests, etc.

A hospital-operated facility may be considered by Medicare to be either an ASC or a provider-based department of the hospital, as defined in 42 CFR 413.65. To provide and bill services performed in an ASC, the ASC must enter into a participating provider agreement with the Centers for Medicare & Medicaid Services (CMS).

Basic Coding and Billing

ASCs use a combination of hospital and physician billing. Although ASCs use CPT® and HCPCS Level II codes to bill most of their services (as do physicians), some payers will allow an ASC to bill ICD-9-CM procedure codes (like a hospital). Some payers even base implant reimbursement on revenue code classification.

It’s important to use the proper form when submitting claims. Medicare pays for ASC services under Part B and requires the CMS-1500 claim form. Some third-party carriers will accept the CMS-1500 form, while others allow the UB04.

Approved List of Surgical Procedures

For Medicare patients, you cannot perform just any procedure in the ASC setting. Medicare has an “approved” list of procedures for the ASC that CMS has determined not to pose a significant safety risk, and that are not expected to require an overnight stay following the surgical procedure. The list of approved procedures is based on the criteria:

  • They are NOT emergent or life threatening (for example, a heart transplant or reattachment of a severed limb).
  • They CANNOT be performed safely in a physician’s office.
  • They can be elective.
  • They can be urgent.

Procedures also do not involve major blood vessels or result in major blood loss, and cannot involve prolonged invasion of a body cavity.

Medicare publishes this list of covered procedures annually. Updates are published quarterly, or as necessary. The file consists of two addenda listing approved surgical procedures and covered ancillary services.

Addendum AA (Final ASC-covered Surgical Procedures) includes comments, payment indicators, and final payment amounts for covered surgical procedures. (See the Addendum AA example on the next page.)

Addendum BB (Final Integral to Covered Surgical Procedures) covers included and separately billable ancillary services. (See the Addendum BB example on the next page.)

Other addenda included in the file tell us how to interpret the comments and indicators listed on addenda AA and BB. You should have this file and refer to it frequently when billing CMS for ASC services. These addenda are:

  • Addendum DD1 – Final ASC Payment Indicators
  • Addendum DD2 – Final ASC Comment Indicators
  • Addendum EE – Surgical Procedures to Be Excluded from Payment
  • Addendum EE is the “Excluded from Payment” list. If these procedures are performed in the ASC, you may not be paid unless there were extenuating circumstances.

(See examples of Addendum DD1, Addendum DD2, and Addendum EE on the following pages.)

Packaged Services and Separate Payment

Payments to ASCs are “packaged,” which means related services are bundled together and paid in one lump sum.

Examples of packaged items include:


Some categories listed above include a note stating “not on pass-through status.” This means that even though payment is based on a package price, some items are “carved out,” or may be reported and paid in addition to the package price for the surgical procedure. Be aware of the supplies that have pass-through status: You do not want to miss an opportunity to capture the correct reimbursement.

Other items that may be reported separately include brachytherapy sources, as well as certain items and services that CMS has designated as contractor priced (e.g., procurement of corneal tissue).

Medicare Claims Submissions

There is a separate set of billing rules for ASCs. While some issues may be addressed by CMS, most billing guidelines are best obtained from your local carrier or intermediary. Some carriers/intermediaries issue very detailed guides (e.g., Trailblazer), while others may simply provide a list of links to the CMS website (e.g., Empire).

To reiterate, an ASC must not report separate line items, HCPCS Level II codes, or any other charges for procedures, services, drugs, devices, or supplies that are packaged into the payment allowance for covered surgical procedures. The allowance for the surgical procedure itself includes these other services or items.

CMS does, however, strongly encourage billing for drug and biologicals that are eligible for separate payment. ASCs should report supplies with the correct HCPCS Level II code and correct number of units on the claim form.

Device Intensive Procedures

A modified (and somewhat confusing) payment methodology is used for device-intensive procedures (i.e., procedures done specifically to insert a device, such as a pacemaker).

The ASC will get paid for the device, but does not submit a separate line item for the device. The ASC would instead include the cost of the device in the procedure code and submit one line item. ASCs are not allowed to base price on the allowable code from the Medicare Physician Fee Schedule (MPFS).

For example, if a device intensive procedure is performed, and the formula is to bill the Medicare allowable plus 10 percent, you may be leaving money on the table. If the 10 percent increase does not cover the cost for the device, the money will not be recouped. It is important to know the cost to the ASC and add the cost of the device into the allowable. See Tables 1 and 2 for the right and wrong ways to bill a device intensive procedure.

Modifiers in the ASC

Some modifiers used in the ASC are the same as those used by physicians, while others are unique to the ASC facility. Modifiers recognized for ASC claim filing are (these are abbreviated descriptions):

  • 52 Reduced services
  • 59 Distinct separate procedure
  • 73 Procedure discontinued after prep for surgery
  • 74 Procedure discontinued after anesthesia administered
  • RT Right side
  • LT Left side
  • TC Technical component
  • FB Device furnished at no cost/full credit
  • FC Device furnished at partial credit
  • PT Screening service converted to a diagnostic or therapeutic service
  • PA Wrong body part
  • PB Surgery wrong patient
  • PC Wrong surgery on patient
  • GW Surgery not related to hospice patient’s terminal condition

ASCs have their own modifiers for a discontinued procedure. Modifier 73 Discontinued outpatient hospital/ambulatory surgery center (ASC) procedure prior to the administration of anesthesia is used when preparation for surgery has begun, but anesthesia has not been administered. The patient is taken back to the “prep” area and has completed paperwork, etc. The reasons may be the patient has a low grade temperature, or has eaten within the past four hours. The facility charges for the preparation, etc., but adds the modifier to show the procedure was not completed.

Modifier 74 Discontinued outpatient hospital/ambulatory surgery centers (ASC) procedure after administration of anesthesia is used when the procedure is terminated after anesthesia is administered. Plans can pay from 25 percent to 65 percent of the allowable amount, based on the modifier and documentation of how much of the service was performed.

New modifier PT Colorectal cancer screening test; converted to diagnostic test or other procedure designates that a screening colonoscopy was converted to a diagnostic or therapeutic service. For example, a patient presents to the ASC for a screening colonoscopy. He is not high risk and has no symptoms or complaints. During the colonoscopy, a polyp is found in the sigmoid. The ASC reports 45380 Colonoscopy, flexible, proximal to splenic flexure; with biopsy, single or multiple instead of 45378 Colonoscopy, flexible, proximal to splenic flexure; diagnostic, with or without collection  of specimen(s) by brushing or washing, with or without colon decompression (separate procedure) or G0121 Colorectal cancer screening; colonoscopy on individual not meeting criteria for high risk. Modifier PT designates the procedure was planned as a screening, but resulted as a diagnostic procedure. For Medicare patients, this allows the procedure to be paid as a screening with no co-insurance.

Commercial Plans

Commercial plans may or may not follow CMS policy for ASC claim filing. Check the carrier’s site for information on claim filing, and check your contract with the payer.

Brenda Chidester-Palmer, CPC, CPC-I, CEMC, CASCC, is the principal of Palmer Coding Consultant, providing audits and education to physicians in northeast Texas. She has 25 years experience in both single- and multi-specialty practices. Brenda is the former coding compliance manager of Kelsey-Seybold Clinic, a 300 physician practice in Houston. She has spoken nationally at conferences and AAPC workshops, teaches PMCC curriculum, and is a former coding educator at San Jacinto Junior College in Pasadena, Texas. Brenda was an officer of the Houston, Texas chapter and former AAPC National Advisory Board (NAB) member.

October 1st, 2012

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CMS Establishes New 3-day Payment Window Modifier

The Centers for Medicare & Medicaid Services (CMS) has established new payment modifier PD Diagnostic or related nondiagnostic item or service provided in a wholly owned or operated entity to a patient who is admitted as an inpatient within 3 days. Physicians, suppliers, and providers are now required to append modifier PD to preadmission diagnostic and admission-related nondiagnositic services reported with HCPCS Level II or CPT® codes subject to the 3-day payment window policy.

Modifier PD is available for claims with dates of service on or after Jan. 1, 2012. This is changed from the effective date of Jan. 10, 2012, established in CMS Transmittal 2297. CMS advises entities to begin coordinating their billing practices and claims processing procedures with their hospitals to ensure compliance with the 3-day payment window policy no later than for claims received on or after July 1, 2012.

When modifier PD is present on claims for service, Medicare will pay:

  • Only the professional component (PC) for CPT®/HCPCS Level II codes with a technical component (TC)/PC split that are provided in the 3-calendar day (or, 1-calendar day) payment window; and
  • The facility rate for codes without a TC/PC split.

See MLN Matters MM7502 for background information relating to the 3-day window payment policy. AAPC’s Barbara J. Cobuzzi, MBA, CPC, CPC-H, CPC-P, CPC-I, CHCC, CENTC, offers additional guidance.

January 13th, 2012

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Pres. Obama Signs Tax Bill Forestalling Physician Pay Cuts

On Dec. 23, 2011, just hours before leaving for the holidays, Congress acted to stall a 27.4 percent cut in Medicare payments that would have gone into affect Jan. 1 of this year. The measure was part of a larger package that included extensions of payroll tax cuts and unemployment benefits. President Barack Obama signed the Temporary Payroll Tax Cut Continuation Act of 2011 (TPTCCA) into law the same day. (more…)

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Meet Advanced Diagnostic Imaging Accreditation Requirements

Attention physicians, non-physician practitioners (NPPs), and independent diagnostic testing facilities (IDTF) supplying imaging services and submitting Medicare claims for the technical component (TC) of advanced diagnostic imaging (ADI) procedures: MLN Matters SE1122 provides assistance to help you meet the accreditation requirements established in Section 135 (a) of the Medicare Improvements for Patients and Providers Act of 2008 (MIPPA).

For you to furnish the TC of ADI services for Medicare beneficiaries, you must be accredited by Jan. 1, 2012 to submit claims with a date of service on or after Jan. 1, 2012.

(more…)

July 15th, 2011

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Compliance Newsletter Clarifies Recent RAC Findings

The April edition of the Centers for Medicare & Medicaid Services’ (CMS’) freely distributed Medicare Quarterly Provider Compliance Newsletter tackles a variety of payment issues that affect inpatient rehabilitation facilities, physicians, non-physician practitioners (NPPs), radiology suppliers, and inpatient and outpatient hospitals. Billing staff should be on the lookout for the claims errors highlighted in this publication, and take steps to prevent them.

The general format of the newsletter describes each problem identified by Medicare claims processing contractors, recovery audit contractors (RACs), program safeguard contractors, zone program integrity contractors (ZPICs), and other governmental organizations, such as the Office of Inspector General (OIG). It then explains the issues that may occur as a result of the error, the steps CMS has taken to make providers aware of the problem, and guidance on what providers need to do to avoid repeating the error or improper activity. The newsletter also refers providers to other documents for more detailed information.

Among the common billing errors identified in this edition is that for oxaliplatin. Contractors and auditors continue to find many outpatient hospitals incorrectly calculating the number of service units billed for this anti-cancer chemotherapeutic agent for the treatment of colorectal cancer.

CMS restates that, for outpatient services furnished on or after Jan. 1, 2006, hospitals should use HCPCS Level II code J9263 Injection Oxaliplatin 0.5 mg to report administration of this drug. The confusion, CMS says, may come from previous policy that instructed hospitals to use HCPCS Level II code C9205 Injection, Oxaliplatin, per 5 mg. The major difference between doses (0.5 mg and 5 mg) often results in hospitals billing too many units. Refer to the newsletter for examples on how this drug should be billed and links to additional Medicare guidance.

Speaking of billing too many units, another issue identified in the newsletter is that for physicians, NPPs, and outpatient hospitals billing excessive units of untimed codes. CMS instructs these providers to use untimed codes to bill for services not defined by specific timeframes; but no matter how long the evaluation or service takes, bill only one unit of an untimed code for a patient, per date of service (some exceptions apply).

Another RAC finding highlighted in the April newsletter involves the technical component (TC) of radiology provided by suppliers, physicians, and NPPs. CMS reminds these providers that the TC of radiology services in a Patient Perspective System (PPS) hospital setting cannot be billed separately to Part B. Medicare reimburses the hospital, and radiology suppliers should bill the hospital, not the Medicare contractor.

The newsletter also regularly includes a brief synopsis of a variety of Special Edition (SE) articles regarding OIG findings. In this edition, CMS highlights the following:

SE1102 Inappropriate Medicare Payments for Transforaminal Epidural Injection Services

SE1103 Capped Rental DME: Enforcement of Payment Requirements for Beneficiary-owned Capped Rental DME

SE1104 The Importance of Correctly Coding the Place of Service by Physicians and their Billing Agents

Read the newsletter for complete details.

June 10th, 2011

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