Evaluation and Management (E/M) Office or Other Outpatient Services Top Provider Questions with Answers - JE Part B

Evaluation and Management (E/M) Office or Other Outpatient Services Top Provider Questions with Answers

Services January 1, 2021, and after.

This collection of inquiries is a collaborative from all Medicare Administrative Contractors (MACs) that have been presented by our provider community. These top provider questions with answers were designed in collaboration with the Provider Outreach and Education (POE) and Medical Review departments of the A/B MACs in conjunction with CMS to educate Medicare providers on E/M services. Our joint effort ensures consistent communication and education so that providers and physicians have the information about E/M services they need to submit claims appropriately and receive proper payment in a timely manner.

The following questions and answers apply to E/M Office or Other Outpatient Services codes provided January 1, 2021, and after. The procedure codes are 99202 - 99215. These questions and answers do not apply to other categories or procedure codes.

The American Medicare Association (AMA) updated information contained in their document on March 9, 2021. The questions and answers in this document reflect these changes. The AMA document details the changes for Office or Other Outpatient procedure codes 99202-99215. This document includes multiple definitions of the terms they use in the Medical Decision-Making (MDM) table. Please review the definitions when evaluating the question-and-answer document.

We will use the term "practitioner" to include the physician or other qualified health care professional (QHCP). This is a person who can submit claims to Medicare for E/M services.

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Time

Q1. How must the patient medical record indicate the specific times and activities for each encounter when time is relied upon for coding and payment?
A1. There are no specific requirements. You do not have to "stop-watch" your activities. The best practice is to document the activities and the time you spent recording the start and stop times of your activities is the most complete document, but not necessary. The medical record must support the level of service chosen. An encounter includes both face-to-face and non-face-to-face time between you and the patient. The AMA document includes a description of the non-face-to-face activities you can use to account for time. When using time, only time spent on the calendar date of the face-to-face service counts toward choosing your level of service. CMS includes these instructions "Our reviewers will use the medical record documentation to objectively determine the medical necessity of the visit and accuracy of the documentation of the time spent (whether documented via a start/stop time or documentation of total time) if time is relied upon to support the E/M visit." https://www.cms.gov/files/document/physician-fee-schedule-pfs-payment-officeoutpatient-evaluation-and-management-em-visits-fact-sheet.pdf.

Q2. I spent time reviewing charts and results prior or answering questions on a different date than the face-to-face encounter (i.e., activities occurring before or after the date of the encounter. Can I count this time in choosing my level of service?
A2. No. When using time to choose your level of service, use only the time you spent on the date of service.

Q3. Must I provide counseling or coordination of care to use time to choose my level of service?
A3. No. The AMA does not require you to provide counseling or coordination of care to choose your procedure code based on the time you spent.

Q4. If I do not document on the date of the encounter, does this mean I cannot use time to choose my level of service?
A4. You can still use the time spent face-to-face and for appropriate non-face-to-face activities on the date of the encounter to choose your procedure code. If documenting the service on a different calendar date, do not include the time spent documenting.

Q5. The electronic medical record requires/records a start and stop time for the face-to-face service. How would I document the time spent on the non-face-to face care?
A5. Notate this time in the medical record. Medicare would be unable to count non-face-to-face time without notation in the medical record.

Q6. I spend approximately 25 minutes on each patient. Another physician spends 35 total minutes on each patient. How would we choose the correct code choice based on these differences?
A6. If choosing your level of service based on time, code to the time documented. This could result in different levels of service. Medicare would evaluate the time you documented.

Q7. I see a new patient and spend 12 minutes on that patient on that calendar day. Can I choose a subsequent patient procedure code?
A7. No. The patient is still a new patient. The 99202 new patient visit code requires at least 15 minutes of time. If providing a new patient service and you do not meet the time, you would code using the MDM.

Q8. Can I count time spent by ancillary staff providing face-to-face or non-face-to face services?
A8. No. Only count time spent by you and the QHCP to choose your level of service.

Q9. How do I document to receive reimbursement for the new extended time procedure code?
A9. The new procedure code is G2212. The medical record should show you exceeded the time for 99205 or 99215 by at 15 minutes. This is only available when you use time to choose your procedure code. There is a contrast between Medicare guidelines and the AMA published information. The time for 99205 is 60 to 74 minutes. Medicare can allow additional time when the practitioner has spent at least 89 minutes on that patient. The time for 99215 is 40 to 54 minutes. You can use the new code when the medical record shows at least 69 minutes. If you have more than one unit of service, you can submit on one line with multiple units. You could have an additional unit of service when meeting the next unit of service of 104 or 84 minutes. Once you meet the threshold of time you can submit this code. Medicare does not require you to meet the half-way point prior to submitting.

Q10. My level of service is a 99205 or 99215 based on MDM. Can I use the new extended time procedure code, G2212?
A10. No. This code (G2212) is an add-on code to 99205 or 99215 only when choosing the level of service using time.

Q11. Do we have to document start and stop times for the prolonged service?
A11. The current instructions in the CMS Internet-Only Manual (IOM) 100-04, Chapter 12, Section 30.6.15.D indicate you must document start and stop times for prolonged services.

Q12. I code the E/M based on time and perform a procedure on the same date. Do I carve out the actual time performing the procedure or the fee schedule "normal time"?
A12. You would carve out the actual time spent on the activities relating to the procedure from the time for the E/M service. The identified "fee schedule" time is time used for pricing the service.

Q13. Can I count both the resident's and my time (the teaching physician) to choose the level of service? Under the primary care exception, do I count both my time as the teaching physician and the resident's time?
A13. Per the 2022 Final Rule, when time is used, only time spent by the teaching physician in qualifying activities can be included for purposes of visit level selection. Under the primary care exception, time cannot be used to select the visit level - only MDM may be used to select E/M visit levels in this scenario, to avoid possible inappropriate coding that reflects resident's inefficiencies.

Q14. Under the primary care exception, do I count both my time as the teaching physician and the resident's time?
A14. See answer to question 13 above.

Q15. I requested and reviewed all records from the patient's numerous stays at a facility (one unique source). Can I use the time required to review all the records?
A15. You can count the time you spent in both face-to-face and non-face-to-face time for that patient on the date of the encounter. The AMA document includes the specific activities.

Medical Decision-Making

Q1. Under the 1995 or 1997 Documentation Guidelines (DG), a new patient had to meet the level for three out of three - history, exam, and medical decision making. Is that still valid for the new instructions?
A1. The AMA requirements are the same for the new and established patients. You must meet or exceed the level for two out of the three categories of the MDM. The revised 2021 MDM categories are number, and complexity of problems addressed, amount and complexity of data to be reviewed and analyzed, and risk of complications and/or morbidity or mortality of patient management.

Q2. My office uses a commercially available tool or electronic medical record (EMR) functionality to choose the level of services. Can I continue to use this for services after January 1, 2021?
A2. There are multiple tools available to assist you in choosing your level of service. The choice of using a separate tool or using your EMR to assist you in choosing your level of care is yours.

Q3. The MDM table states you must meet two out of the three categories. What does this mean?
A3. The levels of service are Straightforward, Low, Moderate, and High. Documentation must support the level in at least two out of the three categories. For example: