Hospitals with off-campus provider-based departments: Check your PECOS enrollment file

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Now is the time to double and triple check your Medicare Provider Enrollment, Chain, and Ownership System (PECOS) enrollment file to make sure all information for off-campus provider-based service locations is correct. Even minor errors may soon impact a hospital’s ability to submit claims from these locations to Medicare.

Since January 2017, in accordance with the Bipartisan Budget Act of 2015, the Centers for Medicare and Medicaid Services (CMS) have required hospitals to identify non-excepted items and services provided at off-campus hospital outpatient departments (HOPDs) by reporting the “PN” modifier on the claim line for each non-excepted item or service. In addition, excepted off-campus HOPDs must report the “PO” modifier for all excepted items and services furnished in such locations. The reporting of the “PO” and “PN” modifiers enables CMS to identify all off-campus HOPDs where services are being furnished and confirm that these modifiers are being used correctly and payment for these services is correct.

Starting as soon as April 2019, CMS is expected to direct Medicare Administrative Contractors (MACs) to implement an edit to the claims processing process that will validate that off-campus HOPDs where outpatient services are being provided are Medicare-enrolled locations. This means that Medicare will reject claims when there is not an exact match between the information that was on the hospital’s CMS Form 855A (and appearing in PECOS) and the off-campus HOPD service facility location reported on the hospital’s Medicare Outpatient Prospective Payment System (OPPS) claims.

So, not only must every off-campus HOPD location where your hospital provides services satisfy the provider-based requirements, be listed as a practice location on the hospital’s 855A, and be included in the hospital’s PECOS enrollment file, but there also must be an exact match between how the address is listed in PECOS and the service facility location shown on the claims submitted to Medicare. Exact means exact. In CMS’ MLN Matters article 18023 dated October 12, 2018, discussing the roll-out of the new edit, CMS noted that  most discrepancies that were found were spelling variations, such as “Road” versus “Rd” or “Rd.” and “Suite” versus “STE.” After the process edit is put into place, these discrepancies will cause claims to be rejected. 

Prior to April 2019, hospitals should ensure that all of their off-campus HOPD locations where outpatient services are being provided are in PECOS. If any are not, they should submit the 855A to add the missing location(s). To facilitate the cross-checking of addresses to ensure an exact match, CMS has committed to making the practice location screen in PECOS available for providers to query before the edit goes live and claims are set up to Return-to-Provider (RTP). This query function will enable hospitals to confirm the exact address of an off-campus HOPD as listed in PECOS and match it to the location where the services are being provided as shown on Medicare claims. Any necessary corrections to the PECOS file can then be made so claims are not rejected.

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DISCLAIMER: Because of the generality of this update, the information provided herein may not be applicable in all situations and should not be acted upon without specific legal advice based on particular situations.

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