Guest guest Posted November 20, 2004 Report Share Posted November 20, 2004 : There is no specific reference under the Medicare standards. If your PRO is InterQual, there is a restriction to 25% of the patient's time that can be spent in group. Also, since IRF patients are being treated in a Part A environment, we believe that it is appropriate to do " concurrent therapy " under the Medicare Part A definition. Angie , PT President/CEO Images & Associates 407 South Shore Drive Amarillo, TX 79118 Phone- Fax- Mobile- Web: www.ptconsultant.com Email: images@... Home of The Desktop Consultant: The Rehab Department's Guide to JCAHO NOTICE: This message and its attachments may contain confidential information that is intended only for the use of the ADDRESSEE(s)named above. If you are not the named addressee or if this message has been addressed to you in error, you are directed not to read, disclose, reproduce, distribute, disseminate or otherwise use this transmission. Please notify the sender immediately by e-mail and delete and destroy this message and its attachments. Another IP Rehab question - groups All the references I and our compliance people can find regarding PT, OT, or ST groups are about outpatient. Does someone have references for groups being utilized for IP Rehab under PPS? That groups are OK? I guess that means, do the minutes in groups count? thanks very much, Jackins, P.T. Manager Physical Therapy/Exercise Training Center University of Washington Medical Center FAX Pager Privileged, confidential or patient identifiable information may be contained in this message. This information is meant only for the use of the intended recipients. If you are not the intended recipient, or if the message has been addressed to you in error, do not read, disclose, reproduce, distribute, disseminate or otherwise use this transmission. Instead, please notify the sender by reply email, and then destroy all copies of the message and any attachments. Looking to start your own Practice? Visit www.InHomeRehab.com. Bring PTManager to your organization or State Association with a professional workshop or course - call us at 313 884-8920 to arrange PTManager encourages participation in your professional association. Join and participate now! Quote Link to comment Share on other sites More sharing options...
Guest guest Posted November 20, 2004 Report Share Posted November 20, 2004 Group treatment is allowed, but it has to be for the benefit of the patient, not a facility practice. Group therapy has different regulations for Part A and Part B. Under Part A, all group participants must be doing the same task. And there can’t be more than four patients per supervising therapist. During an observation period, no more than 25 percent of the total time per discipline can be claimed from group therapy as minutes of service in the MDS. During this period, a patient must be receiving individual care to create a RUG III payment level. If more than 25 percent of the total number of minutes entered per discipline into the MDS come from group therapy then the facility is violating therapy regulations. Also, the person who signs the MDS as true and accurate can be charged with criminal activity for falsifying of a federal document. Also for Part A, providing group therapy must be identified in the plan of care and therapy documentation. Although a therapy log isn’t mandated, it’s highly recommended by Medicare and most Fiscal Intermediaries. This log must show time spent in group activities, as well as individual treatment. Under medical review, this practice would be investigated. For Part B patients, all patients being treated in a group are billed the group code, which isn’t a time sensitive unit. It’s not necessary for participants to be performing the same treatment or activity. (A group is two or more patients.) If you’re treating any other patient during the time you providing direct care to a Part B patient, that Part B patient must have services billed as group treatment codes. In order to perform a Part B evaluation there must be documented evidence of medical necessity, and Medicare is now pushing its long-standing requirement that a physician see a patient before an evaluation order is issued. It’s our belief that a percentage of patients who are residents of nursing facilities should be receiving therapy services. And people who live in any community have conditions that meet medical necessity requirements for Medicare services. Don't go looking for Part B patients. Quote Link to comment Share on other sites More sharing options...
Guest guest Posted November 20, 2004 Report Share Posted November 20, 2004 Noreen's response relates to SNF/skilled under RUGS - there are specific regs for this. For IP Rehab in an IRF, see my previous response. Angie , PT President/CEO Images & Associates 407 South Shore Drive Amarillo, TX 79118 Phone- Fax- Mobile- Web: www.ptconsultant.com Email: images@... Home of The Desktop Consultant: The Rehab Department's Guide to JCAHO NOTICE: This message and its attachments may contain confidential information that is intended only for the use of the ADDRESSEE(s)named above. If you are not the named addressee or if this message has been addressed to you in error, you are directed not to read, disclose, reproduce, distribute, disseminate or otherwise use this transmission. Please notify the sender immediately by e-mail and delete and destroy this message and its attachments. RE: Another IP Rehab question - groups Group treatment is allowed, but it has to be for the benefit of the patient, not a facility practice. Group therapy has different regulations for Part A and Part B. Under Part A, all group participants must be doing the same task. And there can't be more than four patients per supervising therapist. During an observation period, no more than 25 percent of the total time per discipline can be claimed from group therapy as minutes of service in the MDS. During this period, a patient must be receiving individual care to create a RUG III payment level. If more than 25 percent of the total number of minutes entered per discipline into the MDS come from group therapy then the facility is violating therapy regulations. Also, the person who signs the MDS as true and accurate can be charged with criminal activity for falsifying of a federal document. Also for Part A, providing group therapy must be identified in the plan of care and therapy documentation. Although a therapy log isn't mandated, it's highly recommended by Medicare and most Fiscal Intermediaries. This log must show time spent in group activities, as well as individual treatment. Under medical review, this practice would be investigated. For Part B patients, all patients being treated in a group are billed the group code, which isn't a time sensitive unit. It's not necessary for participants to be performing the same treatment or activity. (A group is two or more patients.) If you're treating any other patient during the time you providing direct care to a Part B patient, that Part B patient must have services billed as group treatment codes. In order to perform a Part B evaluation there must be documented evidence of medical necessity, and Medicare is now pushing its long-standing requirement that a physician see a patient before an evaluation order is issued. It's our belief that a percentage of patients who are residents of nursing facilities should be receiving therapy services. And people who live in any community have conditions that meet medical necessity requirements for Medicare services. Don't go looking for Part B patients. Looking to start your own Practice? Visit www.InHomeRehab.com. Bring PTManager to your organization or State Association with a professional workshop or course - call us at 313 884-8920 to arrange PTManager encourages participation in your professional association. Join and participate now! Quote Link to comment Share on other sites More sharing options...
Guest guest Posted November 21, 2004 Report Share Posted November 21, 2004 I think it is important for us to make the distinction between payment & coverage requirements v. clinical need. Angie's point about groups in IRFs is well-taken, because Medicare payment in this setting is primarily function-based, not resource-based. In other words, while there is a time requirement for minimum amount of needed therapy services as the basis for admission (and coverage of the stay), payment is based upon the patient status, not " minutes " . What we may sometimes fail to recognize, however, is that definitions & descriptions of " skilled " , reasonableness and necessity, cross all settings covered under the Medicare program. Similarly, our professional standards & legal standards do not distinguish between Medicare-certified settings, and are universal. Therefore, if we base our decision to treat patient in a group format solely on the basis of reimbursement concerns, we are placing ourselves in a VERY vulnerable position. If we allow reimbursement to drive practice, then our practice will diminish along with reimbursement levels. I will reiterate a prior comment on this subject: pilots refer to such a maneuver as a graveyard spiral. Sources: IRF-PAI http://www.cms.hhs.gov/providers/irfpps/default.asp APTA Summary of IRF Final Rule http://tinyurl.com/6xh87 http://www.apta.org/PT_Practice/ethics_pt/pro_conduct Ken Mailly, PT Mailly & Inglett Consulting, LLC Tel. 973 692-0033 Fax 973 633-9557 68 Seneca Trail Wayne, NJ, 07470 www.NJPTAid.biz Bridging the Gap! RE: Another IP Rehab question - groups Group treatment is allowed, but it has to be for the benefit of the patient, not a facility practice. Group therapy has different regulations for Part A and Part B. Under Part A, all group participants must be doing the same task. And there can't be more than four patients per supervising therapist. During an observation period, no more than 25 percent of the total time per discipline can be claimed from group therapy as minutes of service in the MDS. During this period, a patient must be receiving individual care to create a RUG III payment level. If more than 25 percent of the total number of minutes entered per discipline into the MDS come from group therapy then the facility is violating therapy regulations. Also, the person who signs the MDS as true and accurate can be charged with criminal activity for falsifying of a federal document. Also for Part A, providing group therapy must be identified in the plan of care and therapy documentation. Although a therapy log isn't mandated, it's highly recommended by Medicare and most Fiscal Intermediaries. This log must show time spent in group activities, as well as individual treatment. Under medical review, this practice would be investigated. For Part B patients, all patients being treated in a group are billed the group code, which isn't a time sensitive unit. It's not necessary for participants to be performing the same treatment or activity. (A group is two or more patients.) If you're treating any other patient during the time you providing direct care to a Part B patient, that Part B patient must have services billed as group treatment codes. In order to perform a Part B evaluation there must be documented evidence of medical necessity, and Medicare is now pushing its long-standing requirement that a physician see a patient before an evaluation order is issued. It's our belief that a percentage of patients who are residents of nursing facilities should be receiving therapy services. And people who live in any community have conditions that meet medical necessity requirements for Medicare services. Don't go looking for Part B patients. Looking to start your own Practice? Visit www.InHomeRehab.com. Bring PTManager to your organization or State Association with a professional workshop or course - call us at 313 884-8920 to arrange PTManager encourages participation in your professional association. Join and participate now! Quote Link to comment Share on other sites More sharing options...
Guest guest Posted November 22, 2004 Report Share Posted November 22, 2004 I found this link for info on IRF... hope it helps regulations covering IRF can be found in the Internet Only Manual (IOM) Pub.100-2 Medicare Benefit Policy Manual at the Centers for Medicare and Medicaid Services (CMS) Website at www.cms.hhs.gov/manuals/pm_trans/R808HO.pdf Section 110 - Inpatient Hospital Stays for Rehabilitation Care. : There is no specific reference under the Medicare standards. If your PRO is InterQual, there is a restriction to 25% of the patient's time that can be spent in group. Also, since IRF patients are being treated in a Part A environment, we believe that it is appropriate to do " concurrent therapy " under the Medicare Part A definition. Angie , PT President/CEO Images & Associates 407 South Shore Drive Amarillo, TX 79118 Phone- Fax- Mobile- Web: www.ptconsultant.com Email: images@... Home of The Desktop Consultant: The Rehab Department's Guide to JCAHO NOTICE: This message and its attachments may contain confidential information that is intended only for the use of the ADDRESSEE(s)named above. If you are not the named addressee or if this message has been addressed to you in error, you are directed not to read, disclose, reproduce, distribute, disseminate or otherwise use this transmission. Please notify the sender immediately by e-mail and delete and destroy this message and its attachments. Another IP Rehab question - groups All the references I and our compliance people can find regarding PT, OT, or ST groups are about outpatient. Does someone have references for groups being utilized for IP Rehab under PPS? That groups are OK? I guess that means, do the minutes in groups count? thanks very much, Jackins, P.T. Manager Physical Therapy/Exercise Training Center University of Washington Medical Center FAX Pager Privileged, confidential or patient identifiable information may be contained in this message. This information is meant only for the use of the intended recipients. If you are not the intended recipient, or if the message has been addressed to you in error, do not read, disclose, reproduce, distribute, disseminate or otherwise use this transmission. Instead, please notify the sender by reply email, and then destroy all copies of the message and any attachments. Looking to start your own Practice? Visit www.InHomeRehab.com. Bring PTManager to your organization or State Association with a professional workshop or course - call us at 313 884-8920 to arrange PTManager encourages participation in your professional association. Join and participate now! Quote Link to comment Share on other sites More sharing options...
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