The document discusses techniques for researching and incorporating evidence into appeal letters to overturn claim denials. It recommends following leads from denial letters to relevant regulations, guidelines and literature. Specific resources highlighted include CMS manuals, LCDs, CPT/ICD guidelines, peer-reviewed studies and position statements. Attendees will learn how to build an evidence-based argument and guide reviewers to an favorable decision.
The value of pre adjudication in healthcare claims processing - banc tec's wh...Jone Smith
BancTec provides Healthcare payers and benefit administrators with pre-adjudication technologies thus replacing error-prone human process and providing application for document management, PPO network management etc.
The value of pre adjudication in healthcare claims processing - banc tec's wh...Jone Smith
BancTec provides Healthcare payers and benefit administrators with pre-adjudication technologies thus replacing error-prone human process and providing application for document management, PPO network management etc.
Do you have a low to moderate risk medical device that does not have a substantially equivalent predicate device? Are you trying to figure out how to navigate the regulatory pathway for marketing your device? Prior to 1997, with the introduction of the FDA’s Modernization Act (FDAMA), if you answered yes to both questions, your device would automatically be considered a “new device” and be classified as a Class III device regardless of risk...
Coding & Billing Services for DME (Durable Medical Equipment), Prosthetics & ...GoTelecare
Overview of full range of medical coding & billing services for DME, Prosthetics & Orthotics provided by GoTelecare.
GoTelecare is a leading global provider of Business and Knowledge Process Outsourcing services in the US healthcare domain. We deliver proprietary technologies, workflow and business processes to cater to various medical billing & coding requirements of our clients. We specialize in turnkey Revenue Cycle Management services, Account Receivables collection & clean-up, DME / Prosthetics & Orthotics billing and provide a complete range of billing & coding services for pharmacies, physicians, hospitals, nursing homes, urgent care centers, drug rehab centers and more.
As digitization of the healthcare industry increases, the need to safeguard electronic patient data is also becoming increasingly important. Electronic protected health information (ePHI) is not just in the electronic medical records (EMRs). It also resides in emails, in documents and images on computers, servers, printer hard drives and mobile devices like laptops, cell phones, tablets and USB memory sticks. Healthcare professionals are also using texting and online file sharing services to conveniently share confidential information. The loss of this confidential patient health information is disastrous for patients and healthcare organizations.
News Flash – On June 18, 2010, the Office of the National Co.docxhenrymartin15260
News Flash – On June 18, 2010, the Office of the National Coordinator for Health Information
Technology (ONC) issued a final rule to establish a temporary certification program for electronic health
record (EHR) technology. To see the press release related to this rule, visit
http://www.hhs.gov/news/press/2010pres/06/20100618d.html on the Internet.
MLN Matters® Number: SE1022 Related Change Request (CR) #: N/A
Related CR Release Date: N/A Effective Date: N/A
Related CR Transmittal #: N/A Implementation Date: N/A
Medical Record Retention and Media Formats for Medical Records
Provider Types Affected
This is an informational article for physicians, non-physician practitioners,
suppliers, and providers submitting claims to Medicare contractors (carriers, fiscal
intermediaries (FIs), and Medicare Administrative Contractors (MAC)) for services
provided to Medicare beneficiaries.
Provider Action Needed
STOP – Impact to You
This Special Edition is informational in nature. There are no additions or changes
to current policies and procedures.
CAUTION – What You Need to Know
This article provides guidance for physicians, suppliers, and providers on record
retention timeframes.
GO – What You Need to Do
Review the information in this article and ensure that you are in compliance. Be
sure to inform your staff.
Disclaimer
This article was prepared as a service to the public and is not intended to grant rights or impose obligations. This article may contain references or links to statutes, regulations, or other
policy materials. The information provided is only intended to be a general summary. It is not intended to take the place of either the written law or regulations. We encourage readers to
review the specific statutes, regulations and other interpretive materials for a full and accurate statement of their contents.
Page 1 of 3
http://www.hhs.gov/news/press/2010pres/06/20100618d.html
MLN Matters® Number: SE1022 Related Change Request Number: N/A
Disclaimer
This article was prepared as a service to the public and is not intended to grant rights or impose obligations. This article may contain references or links to
statutes, regulations, or other policy materials. The information provided is only intended to be a general summary. It is not intended to take the place of either
the written law or regulations. We encourage readers to review the specific statutes, regulations and other interpretive materials for a full and accurate statement
of their contents.
Page 2 of 3
Retention Periods
State laws generally govern how long medical records are to be retained.
However, the Health Insurance Portability and Accountability Act (HIPAA) of 1996
(HIPAA) administrative simplification rules require a covered entity, such as a
physician billing Medicare, to retain required documentation for six years from
the date of its creation or the date when it last was in effect, whichever is
later. HIPAA requ.
A white paper written for Bluepoint Solutions that discusses the context for enterprise content management. Regulatory compliance demands have grown in recent years as a result of Dodd-Frank regulations rendering the old IT systems obsolete.
Do you have a low to moderate risk medical device that does not have a substantially equivalent predicate device? Are you trying to figure out how to navigate the regulatory pathway for marketing your device? Prior to 1997, with the introduction of the FDA’s Modernization Act (FDAMA), if you answered yes to both questions, your device would automatically be considered a “new device” and be classified as a Class III device regardless of risk...
Coding & Billing Services for DME (Durable Medical Equipment), Prosthetics & ...GoTelecare
Overview of full range of medical coding & billing services for DME, Prosthetics & Orthotics provided by GoTelecare.
GoTelecare is a leading global provider of Business and Knowledge Process Outsourcing services in the US healthcare domain. We deliver proprietary technologies, workflow and business processes to cater to various medical billing & coding requirements of our clients. We specialize in turnkey Revenue Cycle Management services, Account Receivables collection & clean-up, DME / Prosthetics & Orthotics billing and provide a complete range of billing & coding services for pharmacies, physicians, hospitals, nursing homes, urgent care centers, drug rehab centers and more.
As digitization of the healthcare industry increases, the need to safeguard electronic patient data is also becoming increasingly important. Electronic protected health information (ePHI) is not just in the electronic medical records (EMRs). It also resides in emails, in documents and images on computers, servers, printer hard drives and mobile devices like laptops, cell phones, tablets and USB memory sticks. Healthcare professionals are also using texting and online file sharing services to conveniently share confidential information. The loss of this confidential patient health information is disastrous for patients and healthcare organizations.
News Flash – On June 18, 2010, the Office of the National Co.docxhenrymartin15260
News Flash – On June 18, 2010, the Office of the National Coordinator for Health Information
Technology (ONC) issued a final rule to establish a temporary certification program for electronic health
record (EHR) technology. To see the press release related to this rule, visit
http://www.hhs.gov/news/press/2010pres/06/20100618d.html on the Internet.
MLN Matters® Number: SE1022 Related Change Request (CR) #: N/A
Related CR Release Date: N/A Effective Date: N/A
Related CR Transmittal #: N/A Implementation Date: N/A
Medical Record Retention and Media Formats for Medical Records
Provider Types Affected
This is an informational article for physicians, non-physician practitioners,
suppliers, and providers submitting claims to Medicare contractors (carriers, fiscal
intermediaries (FIs), and Medicare Administrative Contractors (MAC)) for services
provided to Medicare beneficiaries.
Provider Action Needed
STOP – Impact to You
This Special Edition is informational in nature. There are no additions or changes
to current policies and procedures.
CAUTION – What You Need to Know
This article provides guidance for physicians, suppliers, and providers on record
retention timeframes.
GO – What You Need to Do
Review the information in this article and ensure that you are in compliance. Be
sure to inform your staff.
Disclaimer
This article was prepared as a service to the public and is not intended to grant rights or impose obligations. This article may contain references or links to statutes, regulations, or other
policy materials. The information provided is only intended to be a general summary. It is not intended to take the place of either the written law or regulations. We encourage readers to
review the specific statutes, regulations and other interpretive materials for a full and accurate statement of their contents.
Page 1 of 3
http://www.hhs.gov/news/press/2010pres/06/20100618d.html
MLN Matters® Number: SE1022 Related Change Request Number: N/A
Disclaimer
This article was prepared as a service to the public and is not intended to grant rights or impose obligations. This article may contain references or links to
statutes, regulations, or other policy materials. The information provided is only intended to be a general summary. It is not intended to take the place of either
the written law or regulations. We encourage readers to review the specific statutes, regulations and other interpretive materials for a full and accurate statement
of their contents.
Page 2 of 3
Retention Periods
State laws generally govern how long medical records are to be retained.
However, the Health Insurance Portability and Accountability Act (HIPAA) of 1996
(HIPAA) administrative simplification rules require a covered entity, such as a
physician billing Medicare, to retain required documentation for six years from
the date of its creation or the date when it last was in effect, whichever is
later. HIPAA requ.
A white paper written for Bluepoint Solutions that discusses the context for enterprise content management. Regulatory compliance demands have grown in recent years as a result of Dodd-Frank regulations rendering the old IT systems obsolete.
When Section 501(r) was added to the Internal Revenue Code in 2010, focus on the Affordable Care Act (ACA) regulatory changes shifted to non-profit hospitals, namely imposing requirements to maintain tax-exempt status. The amended ACA affects organizations with one or more hospitals, which are reviewed on a facility-by-facility basis.
As health centers strive to provide high quality comprehensive care, whether by contract or MOU
arrangement, each document type must contain certain provisions in order to be compliant with the HRSA
Compliance Manual and Site Visit Protocol (SVP). This webinar will provide participants with a non-legal perspective on contracts and MOUs, identify “must haves” within contracts, and finally identify best practices to assist with maintaining compliance.
Bad News for SR&ED Claimers with Government Loans
In November 2014 Immunovaccine Technologies Inc. made application to the Supreme Court of Canada for leave to appeal decisions against it by the Tax Court of Canada and the Federal Court of Appeal...
A comprehensive review of the Medicare appeal process. Appropriate for all SNF nursing staff, management, and therapy professionals. The presentation discusses the various levels of Provider Medicare appeal rights. The presentation further explains how facilities can thoroughly manage the appeal process and participate in a successful ALJ hearing.
ICD-10: A Payer Update with Aetna & United Health GroupFlorida Blue
Our November 2014 Open Line Friday call brings you updates from three major payers on their ICD-10 testing: Aetna, United, and Florida Blue. Follow our live tweeting of the call @FLBlue, or go to www.floridablue.com/icd-10 for a comprehensive list of resources.
We feature experts Stanley Nachimsom of Nachimsom Associates and Michael Palatoni of Athena Health to review WEDI survey results and share small practice/physician update on ICD-10 implementation. Visit floridablue.com/icd-10, your complete ICD-10 resource.
Effective Appeals from the ALJ Perspective Handout, 9-29-2010
Judge Irwin Schroeder (Administrative Law Judge) provides insight on how to file an effective provider appeal.
The French Revolution, which began in 1789, was a period of radical social and political upheaval in France. It marked the decline of absolute monarchies, the rise of secular and democratic republics, and the eventual rise of Napoleon Bonaparte. This revolutionary period is crucial in understanding the transition from feudalism to modernity in Europe.
For more information, visit-www.vavaclasses.com
Macroeconomics- Movie Location
This will be used as part of your Personal Professional Portfolio once graded.
Objective:
Prepare a presentation or a paper using research, basic comparative analysis, data organization and application of economic information. You will make an informed assessment of an economic climate outside of the United States to accomplish an entertainment industry objective.
Palestine last event orientationfvgnh .pptxRaedMohamed3
An EFL lesson about the current events in Palestine. It is intended to be for intermediate students who wish to increase their listening skills through a short lesson in power point.
Francesca Gottschalk - How can education support child empowerment.pptxEduSkills OECD
Francesca Gottschalk from the OECD’s Centre for Educational Research and Innovation presents at the Ask an Expert Webinar: How can education support child empowerment?
1. Effective Appeals 2.0
Researching the Ultimate Appeal Letter
Call in Phone Number: 712-432-0075
Access Number: 866886
Participant pho ne s are m ute d. Afte r dialing in, yo u willno t
he ar so und untilthe co nfe re nce starts.
Copyright 2010 INTERSECT HEALTHCARE, INC.
1
2. Effective Appeals 2.0
The Next IHI Appeal Education
Event
Using Advanced Document
Management Techniques to Create
the Ultimate Appeal Letter
Brian McGraw, CEO
Wednesday, November 17, 2010 1:00 PM
ESTCopyright 2010 INTERSECT HEALTHCARE, INC.
2
Advanced Document Management Techniques
to
Create the Ultimate Appeal Letters
(An Adobe Acrobat Workshop)
3. Effective Appeals 2.0
Researching the Ultimate Appeal
Letter
3
Copyright 2010 INTERSECT HEALTHCARE, INC.
Denise Wilson MS, RN, RRT
Director Audit and Appeal Services
We can take your appeals to a higher level. Ask me how!
4. Introductions
Denise Wilson MS, RN, RRT
Director of Audit and Appeal Services at Intersect
Healthcare, Inc.
28 years of healthcare experience in staff,
management, compliance, education, and denials
and appeals positions
Personally managed several hundred Medicare
appeals and presented dozens of cases at the
Administrative Law Judge level with a 95%
success rate
Copyright 2010 INTERSECT HEALTHCARE, INC.
4
5. Introductions
Intersect Healthcare, Inc.
One of the nation's leading providers of Payor
Compliance and Audit and Denial Management
software for healthcare providers.
Offers a comprehensive combination of denial
and audit software, appeal services and
education.
www.intersecthealthcare.com
Copyright 2010 INTERSECT HEALTHCARE, INC.
5
6. Appeal Education Offerings
Online Education - $550 per facility includes:
Fifteen MS-DRG Appeal Templates from IHI Appeal Library
Two hours of Dedicated Online Education with Appeals Staff with Denise
Wilson
Case Appeal walkthrough with one actual case, using the IHI appeal
template
On Site Education - $1,600 per facility
includes:
All Intersect Healthcare Medical Necessity and Coding Appeal templates
Dedicated training program on researching and writing the Ultimate
Appeal letters using the templates as your starting point
Designing and defining your facility RoadMap to the ALJ
Chart review, abstracting and document management techniques to
highlight the most important issuesCopyright 2010 INTERSECT HEALTHCARE, INC.
6
7. Appeal Support Services
AppealMasters Outsourcing – from $250 per
case
DRG Validation and Medical Necessity Experts
A dedicated network of Physicians, Appeal Nurses and P.A.’s
RAC through the QIC for one competitive case rate
ALJ Hearing preparation and execution services available
No minimums required
Full access to IHI Library, AppealMasters Reporting on Realtime Appeal
Status, Wins and Results
Simplified referral process through the VERACITYTM
portal
Guaranteed turnaround times
Root Cause tracking for all referred issues
Copyright 2010 INTERSECT HEALTHCARE, INC.
7
8. Learning Objectives
Research regulations to support your winning
argument.
Research payment and reimbursement
guidelines.
Research evidence based clinical practice
guidelines.
Incorporate research into appeal letter templates.
Drive your reviewers to a decision in your favor
by building a road map for your case.
Become an ultimate appeals writer by following
all the leads and doing the research.
8
Copyright 2010 INTERSECT HEALTHCARE, INC.
9. Building the Foundation for
Appeal9
Copyright 2010 INTERSECT HEALTHCARE, INC.
Start with the Decision Letter (Following all the
Leads)
Excerpt from a Review Results Letter (HDI)
Download and save these sections of the SSA in your Appeals
Documents library.
http://www.socialsecurity.gov/OP_Home/ssact/ssact-toc.htm
Title XVIII Health Insurance for the Aged and Disabled
10. Building the Foundation for
Appeal
Copyright 2010 INTERSECT HEALTHCARE, INC.
10
Review the Reason for Denial
Excerpt from a Review Results Letter (DCS)
Download and save the ICD-9-CM Official Guidelines for Coding and
Reporting for these claims dates of service in your Appeals
Documents Library.
11. Building the Foundation for
Appeal
ICD-9-CM Official Guidelines for Coding and
Reporting
These guidelines are included on the official
government version of the ICD-9-CM, and also
appear in “Co ding Clinic fo r ICD-9 -CM”
published by the AHA.
Updated annually.
http://www.cdc.gov/nchs/icd/icd9cm_addenda_guidelines.htm
Copyright 2010 INTERSECT HEALTHCARE, INC.
11
12. Researching CMS Regulations
CMS Internet Only Manuals (IOM)
http://www.cms.gov/Manuals/IOM/list.asp
100-02 Medicare Benefit Policy Manual
Chapter 1 - Inpatient Hospital Services
Covered Under Part A
10 - Covered Inpatient Hospital Services Covered
Under Part A
Definition of Inpatient
Physician’s responsibility on deciding on Inpatient
admissionCopyright 2010 INTERSECT HEALTHCARE, INC.
12
13. Researching CMS Regulations
CMS Internet Only Manuals (IOM)
http://www.cms.gov/Manuals/IOM/list.asp
100-02 Medicare Benefit Policy Manual
Chapter 6 - Hospital Services Covered Under
Part B
20.6 - Outpatient Observation Services
Definition of Observation Services
Coverage of Outpatient Observation Services
Copyright 2010 INTERSECT HEALTHCARE, INC.
13
14. Researching CMS Regulations
CMS Internet Only Manuals (IOM)
http://www.cms.gov/Manuals/IOM/list.asp
100-03 Medicare National Coverage
Determinations (NCD)
NCDs are easier to find through the Medicare
Coverage Database (MCD) index
http://www.cms.gov/MCD/overview.asp
Copyright 2010 INTERSECT HEALTHCARE, INC.
14
15. Researching CMS Regulations
CMS Internet Only Manuals (IOM)
http://www.cms.gov/Manuals/IOM/list.asp
100-04 Medicare Claims Processing Manual
Chapter 29 - Appeals of Claims Decisions
240 - Time Limits for Filing Appeals & Good
Cause for Extension of the Time Limit for Filing
Appeals
250 - Amount in Controversy Requirements;
Aggregation of Claims for Appeal
Copyright 2010 INTERSECT HEALTHCARE, INC.
15
16. Researching CFR Regulations
Code of Federal Regulations (CFR); 42
CFR 400 and following
Describes the Appeal Process including the
Administrative Law Judge process
http://www.gpoaccess.gov/cfr/index.html
Copyright 2010 INTERSECT HEALTHCARE, INC.
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17. Researching CMS Regulations
National Coverage Determinations
Published by CMS
Applies to all CMS providers/beneficiaries
CMS Internet Only Manuals (IOM); 100-03
Medicare National Coverage Determinations
(NCD)
http://www.cms.gov/MCD/overview.asp
National Coverage
National Coverage Determinations (NCDs):
Alphabetical Listing
Copyright 2010 INTERSECT HEALTHCARE, INC.
17
18. Researching CMS Regulations
Local Coverage Determinations
Developed and published by MACs/FIs
Applies to providers/beneficiaries residing in the
MAC/FI region
Not allowed to be more restrictive than CMS
regulations
ALJs do not have to abide by LCD regulations
http://www.access.gpo.gov/nara/cfr/waisidx_08/42cfr405_08.ht
ml
Copyright 2010 INTERSECT HEALTHCARE, INC.
18
19. Researching CMS Regulations
Local Coverage Determinations
http://www.cms.gov/MCD/overview.asp
Local Coverage
LCDs
By Contractor
By State
Alphabetically
Copyright 2010 INTERSECT HEALTHCARE, INC.
19
20. Researching CMS Regulations
ICD-9-CM Coding Manual
ICD-9-CM Addendums
(The National Center for Health Statistics
(NCHS) and CMS)
http://www.cdc.gov/nchs/icd/icd9cm.htm
Coding Clinics (AHA)
http://www.ahacentraloffice.org/ahacentraloffice/shtml/Products.shtml
CPT, CPT Assistant (AMA)
https://catalog.ama-assn.org/Catalog/cpt/cpt_home.jsp
Copyright 2010 INTERSECT HEALTHCARE, INC.
20
21. Researching CMS Regulations
RAC SOW p. 18
“When making coverage and coding determinations, if
no written Medicare policy, Medicare article, or
Medicare-sanctioned coding guideline exists, the RAC
shall not use automated review. Examples of
Medicare-sanctioned coding guidelines include: CPT
statements, CPT Assistant statements, and Coding
Clinic statements.”
http://www.cms.hhs.gov/RAC/downloads/Final%20RAC
%20SOW.pdf
Copyright 2010 INTERSECT HEALTHCARE, INC.
21
22. Researching SSA Regulations
Limitation on Liability § 1879 of the Act
Excerpt from Focused Review Denial (NGS)
22
Copyright 2010 INTERSECT HEALTHCARE, INC.
23. Researching SSA Regulations
Limitation on Liability; Social Security Act § SEC. 1879
Sec. 1879. [42 U.S.C. 1395pp] (a) Where—
(1) a determination is made that, by reason of section 1862(a)(1) or
(9) or by reason of a coverage denial described in subsection
(g), payment may not be made under part A or part B of this title
for any expenses incurred for items or services furnished an
individual by a provider of services…, and
(2) …such provider of services…, did not know, and could not
reasonably have been expected to know, that payment would not
be made for such items or services under such part A or part B,
then to the extent permitted by this title, payment shall,…be made
for such items or services …
http://www.socialsecurity.gov/OP_Home/ssact/ssact-toc.htm
Copyright 2010 INTERSECT HEALTHCARE, INC.
23
24. Researching CFR Regulations
Determining Limitation on Liability (42 C.F.R. § 411.406)
(a) Basic rule. A provider, practitioner, or supplier that furnished services which
constitute custodial care under Sec. 411.15(g) or that are not reasonable
and necessary under Sec. 411.15(k) is considered to have known that the
services were not covered if any one of the conditions specified in
paragraphs (b) through (e) of this section is met.
(e) Knowledge based on experience, actual notice, or constructive notice. It is
clear that the provider, practitioner, or supplier could have been expected to
have known that the services were excluded from coverage on the basis of
the following:
(1) Its receipt of HCFA notices…
(2) Federal Register publications…
(3) Its knowledge of what are considered acceptable standards of practice by the local
medical community.
http://www.gpoaccess.gov/cfr/index.html
Copyright 2010 INTERSECT HEALTHCARE, INC.
24
25. Researching HCFA (CMS)
Rulings
Determining “acceptable standards of practice by the
local medical community” (HCFA Ruling 95-1)
V. ACCEPTABLE STANDARDS OF PRACTICE--APPLICATION
In situations in which services or items furnished do not meet
locally acceptable standards of practice, the provider,
practitioner, or other supplier is considered to have known that
Medicare payment for the services or items would be denied.
Providers, practitioners, and other suppliers are always
responsible for knowing locally acceptable standards of practice;
their local licensure is premised on the assumption that they
have such knowledge. Medicare payment to providers,
practitioners, or other suppliers is premised on the presumption
that they have such knowledge, as evidenced by their licensure.
No other evidence of knowledge of local medical standards of
practice is necessary.
http://www.cms.hhs.gov/Rulings/CMSR/list.asp
Copyright 2010 INTERSECT HEALTHCARE, INC.
25
26. Researching HCFA (CMS)
Rulings
Determining “acceptable standards of practice by the
local medical community” (HCFA Ruling 95-1)
Co ntinue d…
Medicare contractors, in determining what "acceptable standards of
practice" exist within the local medical community, rely on published
medical literature, a consensus of expert medical opinion, and
consultations with their medical staff, medical associations, including
local medical societies, and other health experts. "Published medical
literature" refers generally to scientific data or research studies that have
been published in peer-reviewed medical journals or other specialty
journals that are well recognized by the medical profession, such as the
"New England Journal of Medicine" and the "Journal of the American
Medical Association." By way of example, consensus of expert medical
opinion might include recommendations that are derived from
technology assessment processes conducted by organizations such as
the Blue Cross and Blue Shield Association or the American College of
Physicians, or findings published by the Institute of Medicine.
Copyright 2010 INTERSECT HEALTHCARE, INC.
26
28. Researching Acceptable
Standards of Practice
Copyright 2010 INTERSECT HEALTHCARE, INC.
28
NCD for Cardiac Pacemakers (20.8)
Second reconsideration for Cardiac Pacemakers
(CAG-00063R2)
Decision Memo
29. Researching Acceptable
Standards of Practice
Copyright 2010 INTERSECT HEALTHCARE, INC.
29
Evidence Based Guidelines; Position
Statements
Professional Associations
American College of Cardiology
http://www.cardiosource.org
30. Researching Acceptable
Standards of Practice
Copyright 2010 INTERSECT HEALTHCARE, INC.
30
Evidence Based Guidelines; Position
Statements
Professional Associations
American Thoracic Society
http://www.thoracic.org/statements/index.php
32. Researching RAC Issues
Region A DCS
http://www.dcsrac.com/IssuesUnderReview.aspx
Region B CGI
http://racb.cgi.com/Issues.aspx
Region C Connolly
http://www.connollyhealthcare.com/RAC/pages/approved_issues
.aspx
Region D HDI
https://racinfo.healthdatainsights.com/Public1/NewIssues.aspx
Copyright 2010 INTERSECT HEALTHCARE, INC.
32
33. Links
Social Security Act
http://www.socialsecurity.gov/OP_Home/ssact/ssact-toc.htm
ICD-9-CM Official Guidelines for Coding and Reporting
http://www.cdc.gov/nchs/icd/icd9cm_addenda_guidelines.htm
CMS Internet Only Manuals (IOM)
http://www.cms.gov/Manuals/IOM/list.asp
National Coverage Determinations (NCDs)
http://www.cms.gov/MCD/overview.asp
Code of Federal Regulations (CFR) 42 CFR 400 (Appeal Process)
http://www.gpoaccess.gov/cfr/index.html
33
Copyright 2010 INTERSECT HEALTHCARE, INC.
34. Links
ICD-9-CM
http://www.cdc.gov/nchs/icd/icd9cm.htm
Coding Clinics (AHA)
http://www.ahacentraloffice.org/ahacentraloffice/shtml/Products.shtml
CPT, CPT Assistant (AMA)
https://catalog.ama-assn.org/Catalog/cpt/cpt_home.jsp
RAC Statement of Work
http://www.cms.hhs.gov/RAC/downloads/Final%20RAC%20SOW.pdf
Limitation on Liability; Social Security Act § SEC. 1879. [42 U.S.C.
1395pp]
http://www.ssa.gov/OP_Home/ssact/title18/1879.htm
34
Copyright 2010 INTERSECT HEALTHCARE, INC.
35. Links
Determining Limitation on Liability (42 C.F.R. § 411.406)
http://www.gpoaccess.gov/cfr/index.html
Determining “acceptable standards of practice by the local medical
community” (HCFA Ruling 95-1)
http://www.cms.hhs.gov/Rulings/CMSR/list.asp
American College of Cardiology
http://www.cardiosource.org
American Thoracic Society
http://www.thoracic.org/statements/index.php
RAC Demonstration Project
http://www.cms.gov/RAC/02_ExpansionStrategy.asp
35
Copyright 2010 INTERSECT HEALTHCARE, INC.
36. Research Tips
Start with the Decision Letter
Follow all Leads
Match the Regulation or Guideline Year to the
DOS
Develop a Library of Resources
PDF Documents
Bookmark Web Pages
Create Reusable Appeal Letter Templates
Include Acceptable Standards of Medical Care
in the Community the Regulation Year to
the DOS
Copyright 2010 INTERSECT HEALTHCARE, INC.
36
37. Thanks for attending!
Research! Research!
Research!
Download, Bookmark, Print,
Save, Store, File,
Organize, Share, Use -
Appeal!
You can reach me at:
dwilson@intersecthealthcare.com
410-252-4343 ext 16
37
Copyright 2010 INTERSECT HEALTHCARE, INC.
Blog:
http://www.intersecthealthcare.com/index.php/category/blog/compliance-corner/