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Here's a prior authorization form for Aetna.
For more forms for Aetna, check out their website here - https://www.aetna.com/health-care-professionals/health-care-professional-forms.html
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New CMS Edit Impacting Drug Testing Reimbursement CPT 80307 HCPCS G0480-G0483 - Effective July 1, 2023 I already saw this coming. For the past 5 years, I have made recommendation to my clients that these 2 tests should not be reported considering the timing of each test. It just simply doesn't happen on the same day and much more the result of these tests doesn't happen at the same time. Who's with me with this? Key Changes to NCCI PTP Edits for Medical Testing in 2023: The Centers for Medicare & Medicaid Services (CMS) has made significant updates regarding the National Correct Coding Initiative (NCCI) Procedure to Procedure (PTP) edits. Here's a concise breakdown of these important changes affecting medical laboratories: 1. Implementation of NCCI PTP Edits: Starting from July 1, 2023, CMS introduced NCCI PTP edits which directly affect:
2. Limitation on Using NCCI Modifier: Currently, medical entities cannot override these edits using an NCCI modifier. However, this is about to change. 3. Introduction of the CCMI of 1: CMS announced a forthcoming modification. The edits will transition to a Correct Coding Modifier Indicator (CCMI) of 1. This significant shift means that providers can utilize a modifier to bypass the edits when the concurrent billing of these codes is deemed appropriate. 4. Determining Bypass Allowance: When can these codes be billed together using a modifier? This is primarily outlined by the Medicare Administrative Contractors (MACs) in their Local Coverage Determinations. 5. Retroactivity and Implementation: The acceptance of the modifier for bypassing will be retroactive, dating back to July 1, 2023. Come October 1, 2023, in their next quarterly update, the Medicare claims processing systems will reflect this change. 6. Guidance for Laboratories: During the transition period:
Laboratories also have the option to initiate the MAC appeals process if they prefer not to await the auto-adjustment. Alternatively, they can hold off on their claims submissions until CMS enforces the change. In essence, these modifications herald a more flexible approach to coding and billing, providing medical entities with more options and clearer pathways for claim submissions and adjustments. |
Pinky Maniri-Pescasio
Founder and CEO of GoHealthcare Practice Solutions
Pinky Maniri-Pescasio, MSc, CRCR, CSAPM, CSPPM, CSBI, CSPR, CSAF, Certified in A.I. Governance is a nationally recognized leader in Revenue Cycle Management, Utilization Management, and Healthcare AI Governance with over 28 years of experience navigating Medicare, CMS regulations, and payer strategies. As the founder of GoHealthcare Practice Solutions, LLC, she partners with pain management practices, ASCs, and specialty groups across the U.S. to optimize reimbursement, strengthen compliance, and lead transformative revenue cycle operations. Known for her 98% approval rate in prior authorizations and deep command of clinical documentation standards, Pinky is also a Certified Specialist in Healthcare AI Governance and a trusted voice on CMS innovation models, value-based care, and policy trends. She regularly speaks at national conferences, including PAINWeek and OMA, and works closely with physicians, CFOs, and administrators to future-proof their practices. Current HFMA Professional Expertise Credentials: HFMA Certified Specialist in Physician Practice Management (CSPPM) HFMA Certified Specialist in Revenue Cycle Management (CRCR) HFMA Certified Specialist Payment & Reimbursement (CSPR) HFMA Certified Specialist in Business Intelligence (CSBI) search hereArchives
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