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Much has been written about new competencies physicians must develop in the face of payment and delivery system reform. But providers are not the only ones seeing their roles change. Compliance officers, who serve as organizations’ internal police officers, will have many new challenges. PYA Principal Martie Ross presented a national Health Care Compliance Association (HCCA) webinar entitled “The Evolving Role of the Compliance Officer In the Age of Accountable Care.”
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Page 1
Prepared for Health Care Compliance Association
February 27, 2014
The Evolving Role of the Compliance Officer
In the Age of Accountable CareHealth Care Compliance Association
Web ConferenceFebruary 27, 2014
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Prepared for Health Care Compliance Association
February 27, 2014
Fences Around Fee-For-Service• Anti-Kickback Statute• Stark Law• Civil Monetary Penalties• NCDs/LCDs• CoPs• False Claims Act• Documentation standards• Coding rules
…and the list goes on…
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Prepared for Health Care Compliance Association
February 27, 2014
Compliance-Related ACA Provisions• Mandatory compliance programs
• Increased funding for enforcement
• Physician Payment Sunshine Act
• IRC 501(r) (non-profit hospitals)
• Stark self-disclosure protocol
• 60-day window for refunding overpayments
• AKS violations = FCA liability
• Government-subsidized insurance = FCA liability?
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February 27, 2014
Evolution of Health Care
ACO
SpecialistsFacilities
MedicalHome
Person
IPFacilities
OPFacilities
PCPs
Specialists
Multi- SpecialtyGroups
AncillaryServices
Patient
Today Tomorrow
CIN
ACO
SpecialistsFacilities
MedicalHome
Person
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February 27, 2014
Evolution of Relationships
Tomorrow
Today
• Hospitals as police officers
• Physicians as cherry-picking competitors
• Exception-based practice
• Provider-entered care
• Care coordination and provider collaboration
• Evidence-based practice
• Patient-centered care
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Prepared for Health Care Compliance Association
February 27, 2014
Bundled Payments
Partial Capitation
Global Payment
Fee for Service
Shared Savings
Reactive Focused Predictive
04/11/2023 Page 6
Visitor
Symptomatic
Acute Needs
Services and Supplies
Unit-Based
No Financial Risk
Patient
Episode
Most Common Conditions
Packaged Treatments
Efficiency-Based
Partial Financial Risk
Person
Overall Health
Community Health Characteristics
Manage Well-Being
Outcome-Based
Full Financial Risk
Evolution of Reimbursement
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February 27, 2014
• If quality – not quantity – drives payment, what happens to compliance risk as we know it?
• If new payment models encourage collaboration, but existing regulations discourage it, how do we deal with inconsistencies?
• How do we avoid unintended consequences in designing incentives for quality and efficiency?
Foot in Two Canoes
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Prepared for Health Care Compliance Association
February 27, 2014
Two Strategies
PaymentBased onQuality
Rewardsfor ClinicalIntegration
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Prepared for Health Care Compliance Association
February 27, 2014
Payments Based on QualityFour Tactics
1. Hospital Readmission Reduction Program2. Hospital Value-Based Purchasing
DRG ModifierHAC/Never Event Penalty
3. Physician Quality Reporting System
4. Physician Value-Based Payment Modifier
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Prepared for Health Care Compliance Association
February 27, 2014
• Penalty based on 3-year historical 30-day hospital readmission rates for AMI, heart failure, and pneumonia – Same or any other subsection (d) hospital
– Reason for readmission irrelevant
– List expands in 2015 to include hip/knee arthroplasty and COPD
Hospital Readmission Reduction Program
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Prepared for Health Care Compliance Association
February 27, 2014
PenaltiesPenalty attaches to all DRG payments:
Even more costly• Negative perception in community• Commercial insurance/employers
FY2013
1% Reduction
2,200 hospitals penalized
$280 million
FY 2014
2% Reduction
FY 2015 and
going forward
3% Reduction
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Prepared for Health Care Compliance Association
February 27, 2014
• Medicare Modernization Act of 2003– Hospital IQR Program
• Report on quality measures to avoid 2% cut in payment updates• 90% participation
• American Reinvestment and Recovery Act of 2009– Meaningful use incentive payments (quality reporting)
• Affordable Care Act of 2010– DRG modifier– HAC/Never Event penalty
Hospital Value-Based Purchasing
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February 27, 2014
DRG Modifier• Adjustment to DRG payment based on clinical quality
measures and patient satisfaction scores– Achievement and improvement
– Budget neutral (winners and losers)
– Percentage of DRG payments at risk (withhold and redistribute)• 1.25 percent for FY2014
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Prepared for Health Care Compliance Association
February 27, 2014
HAC/Never Event Penalty• Begins in FY2015
• Top quartile (lowest scores) = 1 percent payment reduction
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February 27, 2014
• Proposed “never events” – Pressure ulcer rate– Volume of foreign object left in the body – Iatrogenic pneumothorax rate– Post-operative physiologic and metabolic derangement rate – Post-operative pulmonary embolism or DVT rate– Accidental puncture and laceration rate
• Proposed HACs– Central line-associated blood stream infection– Catheter-associated UTI
Measures
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February 27, 2014
Rock and a Hard Spot• JAMA: Surgical Complications and
Hospital Finances– Analyzed data from 10-hospital
system in southern US
– Surgical complications = higher hospital contribution margins (except for Medicaid and self-pay)
– Substantial adverse near-term financial consequences of reducing overall complication rate
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February 27, 2014
Physician Quality Reporting System • Submission of reports, not achievement of scores
– Range of reporting options• Carrots followed by sticks
– 0.5% bonus in 2013 and 2014 – 1.5% penalty in 2015 if ≠ report in 2013 – 2.0% penalty in 2016 ≠ report in 2014 (and thereafter)
• Meaningful Use penalties– 1% penalty in 2015 if not MU in 2014; 2% in 2016; 3% in 2017;
4% in 2018 or 2019– eRx Incentive Program Payment Adjustment – 2% penalty in
2014
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• Phased in between 2015 and 2017
• 2013 performance determines 2015 modifier for providers in groups of 100+
• Budget neutral (winners and losers)
• wRVU x conversion factor x VBPM– Positive number = paid more
– Negative number = paid less
• Far broader impact than Medicare payment
Physician Value-Based Payment Modifier
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Physician Feedback Reports • Individual reports on resource use and quality of care as
compared to peer group based on Medicare data
• Used to calculate Medicare physician value-based payment modifier
• Schedule– By April 2013, reports to physicians in groups of 25+ in nine states based on
2011 data (CA, IL, WI, MN, MI, MO, IA, KS, NE)
– By February 2014, reports to physicians in groups of 25+ nationwide based on 2012 data
– All physicians by 2016
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SGR Fix• Formula (never) used to calculate Medicare physician
payment rates
• CBO now estimates cost around $120 billion (a bargain!)
• HR 4015, The SGR Repeal and Medicare Provider Payment Modernization Act of 2014 – Phase 1: Stabilize FFS payment rates
– Phase 2: Merit-based Incentive Payment System
– Phase 3: Alternative Payment Models
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February 27, 2014
• Physician incentives – Employed physicians
– Gainsharing
– Co-management agreements
– Care management services
• Patient inducements
• Lemon dropping/cherry picking
• Accuracy of quality data reporting
• Medical record documentation (consistent with quality reports)
Compliance PrioritiesPayments Based on Quality
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Clinically Integrated Care
Pillar 1:Collaborative Leadership
Pillar 2:Aligned
Incentives
Pillar 3:Clinical
Programs
Pillar 4:Technology
Infrastructure
Governance body
Compliant legal structure
Payer strategy
Culture change
Physician compensation
Program infrastructure
Physician support
Disease programs
Care protocols
Clinical metrics
Population health management
Health information exchange
Patient longitudinal
record
Disease registry
Patient portal
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Rewards for Clinical IntegrationThree Tactics
1. FFS Payment for Care Management
2. Accountable Care Organizations
3. Bundled Payments
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FFS Payment for Care Management
• New MPFS payment for post-discharge transitional care management
• Key elements– Contact within 2 days of discharge
– Face-to-face visit within 7 (or 14) days
– Non-face-to-face care management services over 30-day period
• Proposed chronic care management payments in CY2015
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• Providers who voluntarily work together to improve quality/reduce costs
• Patient attribution based on PCP
• Opportunity for shared savings – Total FFS payments – benchmark
– Held accountable for quality of care by performance standards
Accountable Care Organization
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Medicare Shared Savings ProgramACO Functions
• Establish and maintain quality assurance and improvement program
• Promote evidence-based medicine, patient engagement, care coordination, patient-centeredness
• Compile and report participants’ quality measure scores
• Distribute shared savings and assess shared losses
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Calculating Shared Savings/Losses
• Each ACO participant continues to bill fee-for-service independently
• Eligibility for and level of shared savings based on performance score
• Calculate actual total cost of care for assigned patients against pre-determined benchmark
• Apply formula to determine share of savings (losses)
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• Stark Law, Anti-Kickback Statute, CMPs on gainsharing, beneficiary inducement
• Governing body determines financial arrangement promotes MSSP purposes
• Pre-participation waiver up to one year prior to application submission
• Participation waiver remains in place so long as part of MSSP
MSSP ACO Waivers
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Bundled Payments
Medicare ACE Demonstration Project
Single payment for defined group of services within specified episode
of care
Pricing based on discount of payer’s
historic total cost of care
Formula to distribute payment among
providers; incentives for cost reductions
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• Blue Cross Blue Shield of TN – ortho bundle
• Walmart bundled payments for spine and cardiac procedures– Exclusive to six “Centers of Excellence”
– No-cost medical tourism for employees
• Cleveland Clinic’s cardiac bundles with Boeing and Lowe’s
• Carolina HealthCare cardiac bundles for private pay, local employers
Commercial Payers
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• Privacy and security of PHI shared among providers
• Billing for care coordination/management services
• Mergers and acquisitions– Due diligence
– Post-transaction integration
• Network alliances
• Joint payer negotiations (antitrust)
• Waivers of fraud and abuse laws
Compliance PrioritiesClinical Integration
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Clinical Integration = Risk Integration? • Brother’s keeper?• If undertake to monitor . . .
– Undertake education?
– Undertake remediation?
– Undertake mitigation?
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Integrating Compliance• What entity will you work for?
• How may hats will you wear?– GQRC
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Shifting Risk • Evidence-based clinical standard of care
• Negligence relating to cost/efficiency
• Clinical integration = risk integration?
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• Initiative of the American Board of Internal Medicine Foundation started in 2011
• 46 specialty societies have published “Five Things Physicians and Patients Should Question”
• 24 Consumer Reports patient education guides
Choosing Wisely
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Financial Harm • First, Do No (Financial) Harm (JAMA 08/14/13)
– “Medical bills are now a leading cause of financial harm, and physicians decide what goes on the bill.”
• Duty to counsel? Duty to avoid unnecessary costs?
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Thank You!
Martie RossPershing Yoakley & Associates, PC
9900 W. 109th Street, Suite 130Overland Park, KS 66210
(913) 232- [email protected]
This presentation is for general informational purposes only. Please consult with a qualified advisor with regard to the application in specific circumstances
of the information discussed herein.