The Centers for Medicare & Medicaid Services (CMS) recently
announced details of its new quality reporting program for ASCs, which
will begin in 2012. Under the program, ASCs that fail to report required
information will face a reduction in their Medicare payments. This
document provides answers to some frequently asked questions about the
program. ASC members with additional questions can contact ASCA’s Member
Services Team at asc@ascassociation.org or 703.836.8808 for answers.
1. What measures will we be required to report? When will we be required to report them?
As of October 1, 2012, ASCs will be required to report data on the following five quality measures:
- Patient Burn
- Patient Fall
- Wrong Site, Side, Patient, Procedure, Implant
- Hospital Admission/Transfer
- Prophylactic IV Antibiotic Timing
2013 will usher in the addition of two more measures:
- Safe Surgery Checklist Use in 2012
- 2012 Volume of Certain Procedures
While ASCs won’t be required to report information on these two
measures until 2013, at that time, they will be expected to report data
based on activities conducted in 2012. This means that an ASC
should ensure that it is using a safe surgery checklist and has a system
in place to capture surgical volume data on January 1, 2012.
Although ASCs that want to avoid financial penalties will need to report
only whether or not they were using a safe surgery checklist as of
January 1, 2012, and throughout the year, CMS’s intention to make all
data public could generate significant negative news stories and
concerns among patients and providers about the quality of care that
individual ASCs and the entire industry provide.
In 2014, one additional measure, Influenza Vaccination Coverage Among
Health Care Personnel, is slated to be added to the list of quality
reporting measures. This measure assesses the percentage of health care
personnel (HCP) who have been immunized for influenza during the flu
season.
Each year, CMS will evaluate the list of measures, adding new
measures and, potentially, retiring existing ones. CMS will select
measures that reflect consensus among affected parties and, to the
extent feasible, will include measures set forth by one or more national
consensus-building entities. The following is a summary of the measures
ASCs will be required to report initially, and their performance and
reporting dates.
|
Measure
|
Reporting Period
|
Payments Affected Beginning
|
|
1. Patient Burn
|
Begins October 1, 2012
|
2014
|
|
2. Patient Fall
|
Begins October 1, 2012
|
2014
|
|
3. Wrong Site, Side, Patient, Procedure, Implant
|
Begins October 1, 2012
|
2014
|
|
4. Hospital Admission/Transfer
|
Begins October 1, 2012
|
2014
|
|
5. Prophylactic IV Antibiotic Timing
|
Begins October 1, 2012
|
2014
|
|
6. Safe Surgery Checklist Use in 2012
|
July 1 thru August 15, 2013
(measures use 1/1/12-12/31/12)
|
2015
|
|
7. 2012 Volume of Certain Procedures
|
July 1 thru August 15, 2013
(measures use 1/1/12-12/31/12)
|
2015
|
|
8. Influenza Vaccination Coverage Among Health Care Personnel
|
October 1, 2014 thru March 31, 2015
|
2016
|
2. How will the 2% penalty be calculated and applied?
An ASC that does not successfully report data to the Medicare program
by the specified deadlines will have its payments reduced by 2% in
2014. CMS will identify ASCs by their CMS Certification Number (CCN),
which was formerly called the Medicare Provider Number. If a facility
does not submit quality data beginning on October 1, 2012, CMS will
reduce the 2014 ASC conversion factor for that center by 2%, causing all
Medicare claims to be paid at a lower rate. For example, if the
conversion factor for the year was $40.00, a non-reporting ASC would
start with a base rate of $39.20. That new “starting point” would then
be multiplied by the relative weight for each service and adjusted by
the wage index to arrive at the reimbursement Medicare will provide to
that ASC.
Failure to report in subsequent years will affect future years’
payments to the same extent. For example, an ASC that fails to report in
2013 will receive reduced payments in 2015. The penalties, however,
will not be cumulative. An ASC that fails to report in 2012 but
successfully reports in 2013 will receive the full payment update in
2015.
3. My ASC is run by a management company. Can the corporate office report my facility’s data for me?
Generally, no. Beginning on October 1, 2012, ASCs must include
quality data codes (QDC) that Medicare will supply for the five measures
that CMS selected for the initial year of the reporting program. ASCs
will need to include these codes on the CMS-1500 claim forms they submit
to Medicare. At this time, CMS can receive this information only when
it is submitted on Medicare claims. CMS will announce the CPT Category
II or HCPCS Level II G codes to describe the quality measures in the
second quarter of 2012.
CMS will begin collecting information on certain quality measures in 2013 through its QualityNet web site (qualitynet.org).
(Note that the web site is not yet able to accept ASC registrations.)
ASCs will have to create an account on the web site, and log in during
specified periods of time in 2013 (see the chart included in the
response to Question #1 above) to report whether or not they had a safe
surgery checklist in use during Calendar Year 2012. ASCs will also need
to use this site to report the surgical volumes for specific procedures
performed on all patients (Medicare and non-Medicare.) This information
could be reported by an individual who is located either in a center or
at a corporate headquarters as long as the ASC has authorized that
person to file the report using the center’s unique access code.
4. Will Medicare evaluate our ASC’s performance based only on
whether we report the data as required, or do we have to achieve
certain results? In other words, will CMS penalize us if we fail to meet
certain benchmarks?
For now, if you report the required data (for example, whether or not
you used a safe surgery checklist throughout the year) you will be in
compliance with the ASC Quality Reporting Program and receive the full
annual update to your payments. The program does not currently base
payments on your performance on the quality measures.
ASCs should be aware that CMS will make these data reports available
to the public. The public may form a negative perception of ASCs that do
not report data or that report poor performance on the quality
measures, so centers are encouraged to focus not only on reporting
successfully, but also on achieving high levels of performance on each
measure.
5. Do we have to report data for Medicare patients only or for all patients?
This answer depends on the reporting measure. The first five measures
in the chart included in Question #1 will need to be reported using the
QDCs that Medicare will provide. Your ASC will need to report these
measures only for Medicare Part B fee-for-service beneficiaries
(including Railroad Retirement Board and Medicare Secondary Payer). For
example, no data would be submitted for a Medicare beneficiary who is
enrolled in a Medicare Advantage plan. CMS will announce the CPT
Category II or HCPCS Level II G codes that should be used to describe
the measures in the second quarter of 2012.
Beginning in 2013, however, ASCs will be required to report their
total—Medicare and non-Medicare—2012 surgical volume for certain
specified procedures.
The other two measures that have been announced—Safe Surgery
Checklist Use and Influenza Vaccination Coverage Among Health Care
Personnel—are not patient-specific. They apply to the general operation
of the ASC.
6. Do we report data on claims for Medicare beneficiaries if they are for non-covered services?
No. When a Medicare beneficiary has a service that is not covered by
Medicare, you would not report quality data on the claim submitted for
this service.
7. Should an ASC report a charge or leave the charge field blank when reporting a QDC on a claim?
QDCs must be submitted with a line-item charge of zero dollars
($0.00) when the associated covered service is performed. Additional
reporting requirements ASCs need to keep in mind include the following:
- The submitted charge field cannot be blank.
- The line-item charge should be $0.00.
- If a system does not allow a $0.00 line-item charge, a nominal
amount can be substituted; the beneficiary is not liable for this
nominal amount.
- Entire claims with a zero charge will be rejected. (Total charge for the claim cannot be $0.00.)
- When a $0.00 charge or a nominal amount is submitted to the carrier
or contractor, payment for the amount included in the ASC QDC line is
denied and tracked.
8. Will my ASC receive a Remittance Advice (RA) associated with a claim that contains the ASC QDC line-item?
ASCs will receive an RA for a claim on which the QDC code is
reported. The RA will include a standard remark code (N365) and a
message confirming that the QDC passed into the National Claims History
(NCH) file. N365 reads as follows: “This procedure code is not payable.
It is for reporting/information purposes only.” The N365 remark code
does not indicate whether the QDC is accurate for that claim or for the
measure being reported.*
ASCs should keep track of all cases that they report using a QDC code
so that they can verify the QDCs that their ASC reported against the RA
notice sent by their Medicare Administrative Contractor (MAC). Each QDC
line-item will be listed with the N365 denial remark code.
ASCs should note that the submission of a non-zero charge amount for
ASC QDCs may complicate secondary payers' processing of the claims. ASCs
are not allowed to collect any monies from beneficiaries for charges
submitted for the QDCs.
9. We forgot to put the QDC code on a claim. Can we resubmit the claim with the proper QDC codes attached?
Claims may notbe resubmitted for the sole purpose of adding or correcting QDCs.*
10. We submitted a claim that was denied, but the error has
been corrected and we plan to resubmit the claim. Do we include the QDCs
again?
If a denied claim is subsequently corrected through the appeals
process involving the carrier/Medicare Administrative Contractors, QDCs
should also be included on the resubmitted claim in accordance with the
instructions in the measure specifications.*
*These answers are based on guidance issued by CMS for the
Physician Quality Reporting System (PQRS) program. While we anticipate
that the agency will apply similar guidance to the ASC Quality Reporting
Program (QRP), CMS could apply different standards. These FAQs will be
updated when final guidance is issued by CMS.