By Lance O. Leider, J.D., The Health Law Firm
As the U.S. population ages and heart disease continues to be a leading cause of health issues, cardiologists and cardiology practices are finding themselves billing Medicare for more and more visits and procedures.
Along with that increase in reimbursement from Medicare comes an increase in scrutiny. According to the Centers for Medicare and Medicaid Services (CMS), more than sixteen percent (16%) of total Medicare spending in 2010, was for cardiovascular care.
Some experts predict that this number will increase as cardiologists continue to adopt state-of-the-art technology and procedural techniques when treating their patients.
All of this means that whistleblowers, Recovery Audit Contractor (RAC) auditors, Zone Program Integrity Contractor (ZPIC) auditors, and CMS’s data mining services are going to be more incentivized to come after cardiovascular reimbursements.
To read more on the high scrutiny cardiologists face, click here to read an article on Modern Healthcare.
The Audits Are Coming.
Cardiology physicians and practices need to understand that just because they are doing things the “right way” does not mean that they will not be the subject of an audit. Auditing can be triggered by any number of things ranging from disgruntled employees, competing practices, dissatisfied patients, random audits, above average billing for certain codes, etc. None of these triggers means that a practice is doing anything wrong, but it will have to face an audit nonetheless.
Being prepared before an audit happens can be the most effective defense. Review some of these prior articles and blogs we have written for tips in establishing audit protocols and handling audits in general:
– Self Audit Now to Save Your Practice Later
– Responding to a Medicare Audit – Practice Tips
– Checklist on What to Do When Notified of a ZPIC or Medicare Audit and Site Visit – Part 1
– Checklist on What to Do When Notified of a ZPIC or Medicare Audit and Site Visit – Part 2
The Best Defense for an Audit is to be Prepared Before an Audit Happens.
So long as CMS employs a “pay and chase” method of reimbursement, audits will be a permanent part of the healthcare landscape. Every medical practice should consult with an attorney experienced in handling Medicare, Medicaid and other third party audits in order to develop effective policies and procedures. By preparing for an audit prior to its occurrence a practice is in the best position to avoid any kind of sanction or overpayment demand.
Don’t Wait Until It’s Too Late; Consult with a Health Law Attorney Experienced in Medicare and Medicaid Issues Now.
The attorneys of The Health Law Firm represent healthcare providers in Medicare audits, ZPIC audits and RAC audits throughout Florida and across the U.S. They also represent physicians, medical groups, nursing homes, home health agencies, pharmacies, hospitals and other healthcare providers and institutions in Medicare and Medicaid investigations, audits, recovery actions and termination from the Medicare or Medicaid Program.
For more information please visit our website at www.TheHealthLawFirm.com or call (407) 331-6620 or (850) 439-1001.
Comments?
Do you think cardiologist and cardiology practices are under a higher amount of scrutiny? Please leave any thoughtful comments below.
Sources:
Carlson, Joe. “Cardiologists Enmeshed in High-Scrutiny Climate.” Modern Healthcare. (July 8, 2013). From: http://www.modernhealthcare.com/article/20130708/BLOG/307089995/cardiologists-enmeshed-in-high-scrutiny-climate
About the Author: Lance O. Leider is an attorney with The Health Law Firm, which has a national practice. Its main office is in the Orlando, Florida, area. www.TheHealthLawFirm.com The Health Law Firm, 1101 Douglas Avenue, Altamonte Springs, Florida 32714, Phone: (407) 331-6620.