ARKids Renewals – Change in process

screen-shot-2017-01-03-at-4-04-30-pmDHS has been posting on social media to remind everyone to be sure that they’ve renewed their ARKids 1st.

They have changed the way that they operate. For renewal purposes now, they use the new Medicaid applications for the renewals. Use a form 152 if doing it on paper and write RENEWAL at the top, or go online to the website and fill it out there.

Either way, recipients need to check “yes” to confirm the need for coverage even if the child already has it, because otherwise the system will read it as they no longer want coverage for the child.

Even if you have not received a letter, you may want to call your local office or 1-888-474-8275 to check if you think it’s been close to a year or more since your last renewal. They are on the last round of renewals, and you need to take action if you have any questions.

Here are the numbers to offices in each county: http://humanservices.arkansas.gov/Pages/DHSOffices.aspx

Report from Provider-Led Coalition Meeting 12/16/16 (a Managed Care model)

Thanks to Rebekah James for this report. She offers a good perspective with the following experience:

  • Member of Medicaid Saves Lives
  • Member of Therapy Workgroup
  • Owner/Executive Director of Arkansas Therapy Outreach
  • Practicing Speech-Language Pathologist

The BH-DD Provider-Led Coalition group is organized primarily of mental, behavioral and substance abuse treatment provider associations along with the Developmental Disabilities Provider Association (DDPA). The meeting was aimed at forming a committee and several subcommittees to focus the group’s work towards forming a provider-led managed care model by beginning work on the “BH-DD Provider-Owned Arkansas Shared-Savings Entity” (a PASSE). Colorado (Beacon) and Indiana (Anthem) are other states being reviewed for their implementation of a provider-led or hybrid managed care model. A traditional model is not preferred by any known providers, and this group is formed by those in support of the hybrid model.

At this time, tier 1 which is loosely termed to include most therapy services for those who do not meet the waiver (Tier 2) or institutional level of care (Tier 3) criteria are not grouped with the current provider-led managed care as discussed by DHS. With a reduced need to coordinate complex medical care, the Tier 1 population savings are intended to have been met in part through the therapy threshold and prior authorization system to provide the necessary level of therapy care while contributing to the requirement to balance an overall budget. The “soft therapy cap” as some refer to it is still planned to be implemented on July 1, 2017 assuming there are no issues with the RFP or contract to place the vendor for the prior authorization piece. Additionally, the Tier 1 behavioral health population is not expected to be included in the managed care model being discussed. DHS has proposed excluding tier one for both BH and DD populations and suggested their care would be managed by the Patient Centered Medical Homes. The group that met today is seeking more data from DHS to assist in developing a more accurate population criteria for Tiers 1, 2, and 3.

**This is my understanding from discussions, observations and notes provided during the meeting.

Managed Care Data provided by the Stephen Group

This data has been provided by the Stephen Group. They did this research when they recommended to Governor Hutchinson that Managed Care is a viable option for cost savings. This is being seriously considered by the legislature, and it is separate from the therapy cap that is passing through committees right now.

Before we know how to respond, we need to look at data on all sides of this issue. Please read this before you respond to your Representatives. But please know that these decisions are in work NOW. They have these facts that they believe support Managed Care. If you disagree, you will need facts as well. I hope to provide information against managed care as well to give a rounded view of the issue.

I have been given permission by the Stephen Group to share these files, and they have said that they welcome any of our questions.

2016-miliman-report-on-risk-based-managed-care

tsg-summary-of-managed-care-plans-survey-responses-for-task-force-9-2016

sellers_dorsey_medicaid_managed_care_tx

medicaid-101-mahp

mcare-101

exerpts-from-nov-15-tf-meeting-ppt-tsg

Medicaid Meeting Report – 11/29/16

Article by Kimberly Hines, MSL Leadership Team

The meeting today talked about Medicaid expenditures for both the special needs and behavioral health (BH) populations. 2016 costs for both populations were discussed and projected costs were estimated, both with and without the implementation of managed care. Please note that “halo costs” are described as costs that are above and beyond regular care, such as additional hospital admissions or ER visits. Tier III care is defined as inpatient treatment requiring 24/7 care (these are the Medicaid users that are the most expensive).
The possibility of combining both the special needs and BH populations into one managed care program was the main discussion today.

This concerns me on so many different levels. First and foremost, these two populations of patients are entirely different and should not fit under one umbrella. While the pediatric special needs population (generally speaking) have caregivers/parents to make sure they get the health care and therapy services they need, the BH population is entirely different. From a population health management standpoint, increased BH costs are commonly a result of non-compliance with medications (whether that be an inability to afford medications or a patient opting not to take them). Non-compliance can sometimes lead to an acute inpatient admission or decline in health status due to other underlying health conditions that are not managed by the patient. Another issue many BH patients experience is the lack of care access – there simply are not enough health providers for BH services. BH providers are very limited and are more apt to accept a private commercial insurance. Those BH providers that do have open Medicaid slots for new patients sometimes have a six-month waiting list. Another reason for this lack of access to adult BH care providers is due to the cost difference that Medicaid pays to providers. Medicaid reimburses physicians/providers much more substantially for the pediatric population, opposed to the adult population.

I did try to ask Dennis (the presenter) why they wanted to combine the two populations into one managed care program since the two are so different. The response I received was that this was just a preliminary planning stage and nothing was set in stone.

I also asked if they had made any cost projections that indicated how much more tier III patients with a special needs would cost them long-term if they were to decrease therapy services for special needs children now, while they are at their most rapid level of development. Dennis said they had not completed these types of projections.

I think the important thing we need to advocate for is making sure that these two populations are considered SEPARATELY. I will say that above all managed care for the BH population due to lack of access and other issues I mentioned may benefit these patients. That being said, I do not feel managed care would at all help the special needs pediatric population when you look at the reduction of therapy services to cover the costs of managed care.


If you would like to contact your representative about this, you can find more information here.

Join the movement: #thankfulformedicaid

When we’re fighting for ourselves or our loved ones, we often forget that Medicaid is a 2015_recipient_chartblessing, not necessarily a right. First of all, we’re lucky to be Americans, and if you qualify for aid, you’re even more privileged. In other countries, children and adults often die of starvation or lack of medical treatment.

Life is far from easy for my family or yours. However, many Arkansans simply don’t have a diagnosis that qualifies them for financial aid at all. Recently, in a Public Health & Welfare Joint committee meeting, Representative Sullivan said that he has constituents who are concerned that their taxes are paying for children on Medicaid to receive better care than their own children, who are covered only by private insurance. Many children who don’t receive Medicaid also have a great need for therapy and expensive medical treatments.

When we lived in a neighboring state, under Managed Care I might add, we had to live solely on what private insurance covered. Our deductible was very high, and some therapies like Speech were not even covered. Treating my daughter’s heart condition alone, we had usually met the threshold by April. But we had no choice because without the treatment, she would die. With both of us working, we still couldn’t cover the costs. The lack of some treatments, the ones we just could not afford, has left her profoundly delayed. After that experience, I realize what other Arkansans are suffering through.

Of course, many feel at least a slight entitlement to this aid. My first response was to feel defensive at Rep. Sullivan’s statement. In my case, I have paid taxes for years. For 8 years, I paid taxes to improve schools, even though I was not a student or parent. I have probably paid for countless parks or road repair that I have yet to see. For 17 years, before it ever benefited anyone I knew, I paid taxes that funded Medicaid. Why should I feel guilty about receiving it now? In fact, even as a Medicaid recipient, I pay a lot for the care my daughter gets – first for a private insurance premium and second a TEFRA premium. Why shouldn’t I fight for my child’s needs?

Those thoughts are the trap of a selfish heart. The beauty of taxes in our country is that they are a way that we can take care of each other’s needs. As American citizens, we do get to express our opinions about how best to apply those funds. Our country is full of worthy causes, and there’s only so much money to go around. Yes, my job is to speak up for my loved one, but I need to do so with a thankful and empathetic heart.

budget

At the Legislative Joint Budget hearing yesterday, it was reported that the DHS Medical Services budget is growing. Cuts to therapy will be implemented, and yet the number is rising year after year. From our side, we know it’s worth allocating money to Medicaid. But think about how other taxpayers feel about the rising costs. People need their money to cover their own costs, and many other needs in the country beg for tax funds to cover them. That’s why we can expect more cuts. We have to think about it from their side because they’re speaking to their representatives too. Many of them don’t have a good view of Medicaid recipients. If we want to protect the funds we receive, we need to come together to THANK our lawmakers and fellow tax-paying Arkansans. We should tell them what great things that Medicaid does for Arkansas, but if we demand it, they may be more apt to cut the budget. Taxpayers are literally saving lives by going to work every day and by paying taxes that fund Medicaid. How will they know that if we don’t tell them?

Many of us still hold some fear about the therapy cap issue and the possibility of managed care. Today, I spoke to Representative Sullivan by phone about how best to improve this situation for everyone. I was encouraged to know that he is a former teacher and principal, and currently he’s the CEO of Ascent Child Health Services. That means he has daily experience with what great things Medicaid can do, and he understands the intricacies of the system. He is a person who seems to “see the real people behind the billing codes.” Rep. Sullivan said he is working with a group of legislators on ideas of where best to save money with a strategy that would be aimed at improving the quality of care and the cost of care – for those on Medicaid and for all taxpayers. He offered to meet with me, and possibly our whole group if we can work that out, to provide answers to our questions.

If you’re in need of Medicaid, that probably means that life is no picnic for you. But before you storm to the capitol to fight, take a minute to think about those who don’t get the help that you get. Stop to take a step outside yourself. What do non-recipients see when they look at us? I want them to see us as thankful. I want them to see us as people who put those dollars to good use. Take a minute to think about what Medicaid has done for you or a loved one. Be thankful, and fight hard to inspire those around you toward unity.

If you want to take action, call your Senators and Representatives, and thank them for the funding that we receive. Tell them the wonderful ways in which Medicaid affects your life. If you’re on social media, take a second to thank those around you. Tell them what lifesavers they are! #thankfulformedicaid

Large Therapy Workgroup – 11/18/16

The next meeting of the Therapy Workgroup will be on Friday, November 18, 2016 from 12:00 pm – 2:00 pm.

The location of the meeting is:
Easter Seals Arkansas
3724 Woodland Heights Road
Little Rock, AR 72212

You may also join through the Zoom conference platform utilizing the following:

Topic: Large Group Pediatric Healthcare Alliance Meeting
Time: Nov 18, 2016 12:00 PM (GMT-6:00) Central Time (US and Canada)

Join from PC, Mac, Linux, iOS or Android: https://zoom.us/j/636793728?pwd=LLDmDq9a1wc%3D
Password: Friday

Or iPhone one-tap (US Toll): +14086380968,636793728# or +16465588656,636793728#

Or Telephone:
Dial: +1 408 638 0968 (US Toll) or +1 646 558 8656 (US Toll)
Meeting ID: 636 793 728
International numbers available: https://zoom.us/zoomconference?m=_V-wKP6O5d5C_lq0iW5gKi3m8C4HGNk4

Please forward Stephanie any documents that you wish to share and discuss at the meeting. Stephanie will send out an agenda and any attachments on Thursday, 11/17/2016.

ssmith@eastersealsar.com

Get serious!

Ok, everybody. It’s time to get serious. If you care about Medicaid coverage, you need to get on board.

https://medicaidsaveslives.com/what-you-can-do/leadership-team-application/

It doesn’t cost that much time and effort to fight for something we need so desperately.

President-elect Trump has detailed his plan for the first 100 days, and tax cuts sound good, don’t they? Those tax cuts will affect us. The money will come from somewhere! Tax cuts are already affecting us. Our group can make a difference if we stand together as one voice. If we take action instead of sitting passively. We have to tell our leaders that this funding is essential for Arkansas families! Work with me!

Click to access O-TRU-102316-Contractv02.pdf

Behavioral Health Services – Rules open for Public Comment

There are a couple of rules open for public comment until November 13, 2016.


Several manuals will change in this rule change proposal. Here are the important changes:

All of these documents can be found in full here.

Please send your comments to robert.nix@dhs.arkansas.gov.


LMHP-2-16 Provider Manual Update
The transition process to eliminate the Rehabilitative Services for Persons with Mental Illness (RSPMI) Program, Licensed Mental Health Practitioner (LMHP) Program and the Substance Abuse Treatment Services (SATS) Program is contingent upon the approval of the implementation of the Outpatient Behavioral Health Services Program.  Clients currently served by the RSPMI, LMHP and SATS programs will begin transitioning to the Outpatient Behavioral Health Program starting July 1, 2017.  RSPMI, LMHP and SATS will cease to exist on June 30, 2018 and no Arkansas Medicaid payments will occur to any RSPMI, LMHP or SATS provider for services provided after June 30, 2018.


INPPSYCH-3-16 Provider Manual Update

203.100             Facility-Based Community Reintegration Program 7-1-17

The Facility-Based Community Reintegration Program is designed to serve as an intermediate level of care between inpatient psychiatric facilities and outpatient services.  To enroll as a freestanding Facility-Based Community Reintegration Program unit or as a Facility-Based Community Reintegration Program unit within an inpatient psychiatric hospital, the inpatient psychiatric provider must meet all of the conditions listed below:

  1. The provider must meet the child and adolescent standards of the Joint Commission on Accreditation of Healthcare Organizations (JCAHO) and be accredited by JCAHO.
  2. Any provider located within Arkansas must be licensed by the Arkansas Department of Human Services as a Facility-Based Community Reintegration Program.

This manual, the Inpatient Psychiatric Services for Under Age 21 Provider Manual, shall govern all aspects of services provided as well as claim submissions for beneficiaries of the Facility-Based Community Reintegration Program.

211.000             Scope 7-1-17

G.     Under the direction of a physician (contracted physicians are acceptable).

A standardized independent assessment will determine eligibility for Inpatient Psychiatric Services for Persons Under Age 21.  The standardized independent assessment must be performed by an independent entity.

The independent assessment will contain additional criteria and questions, which will be asked based upon results from the independent assessment to determine eligibility for Inpatient Psychiatric Services for Persons Under Age 21.  Acute inpatient psychiatric care will not require an independent assessment.

The standardized independent assessment must be conducted at least every 12 months by an independent assessor in consultation with the beneficiary and anyone the beneficiary requests to participate in the standardized independent assessment.  The standardized independent assessment will also take into consideration information obtained from behavioral health service providers that are providing services to the beneficiary.

A beneficiary must be referred to the independent assessment entity to evaluate whether the beneficiary meets the eligibility criteria for Inpatient Psychiatric Services for Persons Under Age 21.  The following are allowable methods of referral to receive a standardized independent assessment for determination of eligibility for Inpatient Psychiatric Services for Persons Under Age 21:

A.      Trigger from claims data/MMIS claims data

B.      Referral from counseling level services provider

C.      Referral from physician (including those in acute settings, mobile crisis units)

D.      An individual determined to be medically fragile due to behavior health needs

E.      Referral from the Division of Children and Family Services (DCFS)/the Division of Youth Services (DYS) when they are the legal guardian of the beneficiary

F.      Referral/court order from the court system/justice system

G.     Referral from care coordination entity

A re-assessment can be requested by the direct behavioral health service provider or the care coordination entity if the direct behavioral health service provider or care coordination entity determines the beneficiary’s needs are not being met or the beneficiary is not benefitting from the Inpatient Psychiatric Services for Persons Under Age 21 being provided.

The independent assessor will contact the beneficiary to be assessed within 48 hours of referral and will complete the face-to-face assessment within 14 calendar days.  For identified priority populations, the independent assessor will contact the beneficiary to be assessed within 24 hours of notification from the beneficiary’s provider and will complete the assessment within 7 days of the notification.  Examples of priority population include, but are not to be limited to:

A.      Youth involved in the juvenile justice system

B.      Individuals involved in the foster care system

C.      Individuals discharged from acute hospital stays

D.      Individuals discharged from crisis residential stays

E.      Adults involved in the criminal justice system

F.      Clients identified and referred by the Division of Behavioral Health Services (DBHS)

250.500             Facility-Based Community Reintegration Program 7-1-17

The per diem rates for Facility-Based Community Reintegration Programs are established at the lesser of: 1) the center’s budgeted cost per day which includes the professional component or 2) a $245 per day upper limit (cap).  This is a prospective rate with no cost settlement.

The budgeted per diem cost is calculated from the annual budget, which all Facility-Based Community Reintegration Program providers are required to submit for the upcoming state fiscal year (July 1st through June 30th).  Annual budgets are due by April 30th.  Should April 30th fall on a Saturday, Sunday or state or federal holiday, the due date shall be the following business day.  Failure to submit the budget by April 30th may result in the suspension of reimbursement until the budget is submitted.  Rates are calculated annually and are effective for dates of service occurring during the state fiscal year for which the budgets have been prepared.

New providers are required to submit a full year’s annual budget for the current state fiscal year (July 1st through June 30th) at the time of enrollment.  This budget is used to set their rate at the lesser of the budgeted allowable cost per day or the upper limit (cap) of $245 per day.


RSPMI-4-16 Provider Manual Update
The transition process to eliminate the Rehabilitative Services for Persons with Mental Illness (RSPMI) Program, Licensed Mental Health Practitioner (LMHP) Program and the Substance Abuse Treatment Services (SATS) Program is contingent upon the approval of the implementation of the Outpatient Behavioral Health Services Program.
  Clients currently served by the RSPMI, LMHP and SATS programs will begin transitioning to the Outpatient Behavioral Health Program starting July 1, 2017.  RSPMI, LMHP and SATS will cease to exist on June 30, 2018 and no Arkansas Medicaid payments will occur to any RSPMI, LMHP or SATS provider for services provided after June 30, 2018.


SATS-2-16 Provider Manual Update
The transition process to eliminate the Rehabilitative Services for Persons with Mental Illness (RSPMI) Program, Licensed Mental Health Practitioner (LMHP) Program and the Substance Abuse Treatment Services (SATS) Program is contingent upon the approval of the implementation of the Outpatient Behavioral Health Services Program.
  Clients currently served by the RSPMI, LMHP and SATS programs will begin transitioning to the Outpatient Behavioral Health Program starting July 1, 2017.  RSPMI, LMHP and SATS will cease to exist on June 30, 2018 and no Arkansas Medicaid payments will occur to any RSPMI, LMHP or SATS provider for services provided after June 30, 2018.


SBMH-1-16 Provider Manual Update
* There are several smaller changes in this manual that deserve notice, but here’s the biggest.

211.300             Primary Care Physician (PCP) Referral 7-1-17

Each beneficiary who receives School-Based Mental Health Services can receive a limited amount of services.  Once those limits are reached, a Primary Care Physician (PCP) referral or Patient-Centered Medical Home (PCMH) approval will be necessary to continue treatment.  This referral or approval must be retained in the beneficiary’s medical record.

A beneficiary can receive three (3) School-Based Mental Health Services before a PCP/PCMH referral is necessary.  No services will be allowed to be provided without appropriate PCP/PCMH referral.  The PCP/PCMH referral must be kept in the beneficiary’s medical record.

The Patient-Centered Medical Home (PCMH) will be responsible for coordinating care with a beneficiary’s PCP or physician for School-Based Mental Health Services.  Medical responsibility for beneficiaries receiving School-Based Mental Health Services shall be vested in a physician licensed in Arkansas.

The PCP referral or PCMH authorization for School-Based Mental Health Services will serve as the prescription for those services.

See Section I of this manual for the PCP procedures.  A PCP referral is generally obtained prior to providing service to Medicaid-eligible children.  However, a PCP is given the option of providing a referral after a service is provided.  If a PCP chooses to make a referral after a service has been provided, the referral must be received by the SBMH provider no later than 45 calendar days after the date of service.  The PCP has no obligation to give a retroactive referral.

214.000             Covered Services 7-1-17

Outpatient Services

Fifteen-minute units, unless otherwise stated.

Outpatient Behavioral Health Services must be billed on a per-unit basis, as reflected in a daily total, per beneficiary, per service.

 

One (1) unit = 8–24 minutes
Two (2) units = 25–39 minutes
Three (3) units = 40–49 minutes
Four (4) units = 50–60 minutes

 

Time spent providing services for a single beneficiary may be accumulated during a single, 24-hour calendar day.  Providers may accumulatively bill for a single date of service, per beneficiary, per Outpatient Behavioral Health service.  Providers are not allowed to accumulatively bill for spanning dates of service.

All billing must reflect a daily total, per Outpatient Behavioral Health service, based on the established procedure codes.  No rounding is allowed.

The sum of the days’ time, in minutes, per service will determine how many units are allowed to be billed.  That number must not be exceeded.  The total number of minutes per service must be compared to the following grid, which determines the number of units allowed.

 

One (1) unit = 8–24 minutes
Two (2) units = 25–39 minutes
Three (3) units = 40–49 minutes
Four (4) units = 50–60 minutes

 

In a single-claim transaction, a provider may bill only for service time accumulated within a single day for a single beneficiary.  There is no “carryover” of time from one day to another or from one beneficiary to another.

Documentation in the beneficiary’s record must reflect exactly how the number of units is determined.

No more than four (4) units may be billed for a single hour per beneficiary or provider of the service.

219.100             Record Reviews 7-1-17

The Division of Medical Services (DMS) of the Arkansas Department of Human Services (DHS) has contracted with an independent contractor to perform on-site inspections of care (IOC) and retrospective reviews of outpatient mental health services provided by Outpatient Behavioral Health Services providers.  View or print current contractor contact information.  The reviews are conducted by licensed mental health professionals and are based on applicable federal and state laws, rules and professionally recognized standards of care.

228.130             Retrospective Reviews 7-1-17

The Division of Medical Services (DMS) of the Arkansas Department of Human Services has contracted with a Quality Improvement Organization (QIO) or QIO-like organization to perform retrospective (post-payment) reviews of outpatient mental health services provided by Outpatient Behavioral Health providers.  View or print current contractor contact information.

The reviews will be conducted by licensed mental health professionals who will examine the medical record for compliance with federal and state laws and regulations.

228.131             Purpose of a Review 7-1-17

The purpose of a review is to:

  1. Ensure that services are delivered in accordance with the treatment plan and conform to generally accepted professional standards.
  2. Evaluate the medical necessity of services provided to Medicaid beneficiaries.
  3. Evaluate the clinical documentation to determine if it is sufficient to support the services billed during the requested period of authorized services.
  4. Safeguard the Arkansas Medicaid program against unnecessary or inappropriate use of services and excess payments in compliance with 42 CFR § 456.3(a).
229.000             Medicaid Beneficiary Appeal Process 7-1-17

If an adverse decision is received, the beneficiary may request a fair hearing of the denial decision.

The appeal request must be in writing and received by the Appeals and Hearings Section of the Department of Human Services within thirty days of the date on the letter explaining the denial of services.

229.200             Recoupment Process 7-1-17

The Division of Medical Services (DMS), Utilization Review Section (UR) is required to initiate the recoupment process for all claims that the current contractor has denied because the records submitted do not support the claim of medical necessity.

Arkansas Medicaid will send the provider an Explanation of Recoupment Notice that will include the claim date of service, Medicaid beneficiary name and ID number, service provided, amount paid by Medicaid, amount to be recouped, and the reason the recoupment is initiated.

272.110             Mental Health Diagnosis 7-1-17

 

CPT®/HCPCS PROCEDURE CODE PROCEDURE CODE DESCRIPTION
90791 Psychiatric diagnostic evaluation (with no medical services)
SERVICE DESCRIPTION MINIMUM DOCUMENTATION REQUIREMENTS
Mental Health Diagnosis is a clinical service for the purpose of determining the existence, type, nature and appropriate treatment of a mental illness or related disorder as described in the current allowable DSM. This service may include time spent for obtaining necessary information for diagnostic purposes. The psychodiagnostic process may include, but is not limited to, a psychosocial and medical history, diagnostic findings, and recommendations. This service must include a face-to-face component and will serve as the basis for documentation of modality and issues to be addressed (Plan of Care). Services must be congruent with the age and abilities of the beneficiary, client-centered and strength-based, with emphasis on needs as identified by the beneficiary and provided with cultural competence. ·      Date of service·      Start and stop times of the face-to-face encounter with the beneficiary and the interpretation time for diagnostic formulation·      Place of service·      Identifying information·      Referral reason·      Presenting problem(s), history of presenting problem(s) including duration, intensity and response(s) to prior treatment·      Culturally- and age-appropriate psychosocial history and assessment·      Mental status/clinical observations and impressions·      Current functioning plus strengths and needs in specified life domains·      DSM diagnostic impressions to include all axes·      Treatment recommendations·      Goals and objectives to be placed in Plan of Care·      Staff signature/credentials/date of signature
NOTES UNIT BENEFIT LIMITS
This service may be billed for face-to-face contact as well as for time spent obtaining necessary information for diagnostic purposes; however, this time may NOT be used for development or submission of required paperwork processes (i.e. treatment plans, etc.). Encounter DAILY MAXIMUM OF UNITS THAT MAY BE BILLED: 1 YEARLY MAXIMUM OF UNITS THAT MAY BE BILLED (extension of benefits can be requested): 1
APPLICABLE POPULATIONS SPECIAL BILLING INSTRUCTIONS
Children and Youth Outpatient Behavioral Health Services Providers cannot bill 90791 on same date of service
ALLOWED MODE(S) OF DELIVERY TIER
Face-to-face School-Based Mental Health
ALLOWABLE PERFORMING PROVIDER PLACE OF SERVICE
·      Licensed Certified Social Worker (LCSW)·      Licensed Master Social Worker (LMSW)·      Licensed Professional Counselor (LPC)·      Licensed Associate Counselor (LAC)·      Licensed Psychological Examiner (LPE)·      Psychologist* School-Based Mental Health Services provider employees or contractors will provide services only in those areas in which they are licensed or credentialed. 03

 

272.120             Psychological Evaluation 7-1-17

 

CPT®/HCPCS PROCEDURE CODE PROCEDURE CODE DESCRIPTION
96101 Psychological testing (includes psychodiagnostic assessment of emotionality, intellectual abilities, personality and psychopathology, e.g. MMPI, Rorschach®, WAIS®), per hour of the psychologist’s or physician’s time, both face-to-face time administering tests to the patient and time interpreting these test results and preparing the report.
SERVICE DESCRIPTION MINIMUM DOCUMENTATION REQUIREMENTS
Psychological evaluation for personality assessment includes psychodiagnostic assessment of a beneficiary’s emotional, personality, and psychopathology, e.g. MMPI, Rorschach®, and WAIS®. Psychological testing is billed per hour both face-time administering tests and time interpreting these tests and preparing the report. This service may reflect the mental abilities, aptitudes, interests, attitudes, motivation, emotional and personality characteristics of the beneficiary. Medical necessity for this service is met when:•       the service is necessary to establish a differential diagnosis of behavioral or psychiatric conditions;•       history and symptomatology are not readily attributable to a particular psychiatric diagnosis; or•       questions to be answered by the evaluation could not be resolved by a psychiatric/diagnostic interview, observation in therapy or an assessment for level of care at a mental health facility. •     Date of service•     Start and stop times of actual encounter with beneficiary•     Start and stop times of scoring, interpretation and report preparation•     Place of service•     Identifying information•     Rationale for referral•     Presenting problem(s)•     Culturally- and age-appropriate psychosocial history and assessment•     Mental status/clinical observations and impressions•     Psychological tests used, results, and interpretations, as indicated•     DSM diagnostic impressions to include all axes•     Treatment recommendations and findings related to rationale for service and guided by test results•     Staff signature/credentials/date of signature(s)
NOTES UNIT BENEFIT LIMITS
  60 minutes DAILY MAXIMUM OF UNITS THAT MAY BE BILLED: 1 YEARLY MAXIMUM OF UNITS THAT MAY BE BILLED (extension of benefits can be requested): 8
APPLICABLE POPULATIONS SPECIAL BILLING INSTRUCTIONS
Children and Youth  
ALLOWED MODE(S) OF DELIVERY TIER
Face-to-face School-Based Mental Health
ALLOWABLE PERFORMING PROVIDERS PLACE OF SERVICE
•     Licensed Psychological Examiner (LPE)•     Psychologist 03

 

272.130             Interpretation of Diagnosis 7-1-17

 

CPT®/HCPCS PROCEDURE CODE PROCEDURE CODE DESCRIPTION
90887 Interpretation or explanation of results of psychiatric or other medical examinations and procedures, or other accumulated data to family or other responsible persons, or advising them how to assist patient
SERVICE DESCRIPTION MINIMUM DOCUMENTATION REQUIREMENTS
Interpretation of Diagnosis is a direct service provided for the purpose of interpreting the results of psychiatric or other medical exams, procedures or accumulated data. Services may include diagnostic activities and/or advising the beneficiary and his/ her family. Consent forms may be required for family or significant other involvement. Services must be congruent with the age and abilities of the beneficiary, client-centered and strength-based, with emphasis on needs as identified by the beneficiary and provided with cultural competence. •     Start and stop times of face to face encounter with beneficiary and/or parents or guardian•     Date of service•     Place of service•     Participants present and relationship to beneficiary•     Diagnosis•     Rationale for and objective used that must coincide with the goals and objectives placed in Plan of Care•     Participant(s) response and feedback•     Staff signature/credentials/date of signature(s)
NOTES UNIT BENEFIT LIMITS
For beneficiaries under the age of 18, the time may be spent face-to-face with the beneficiary, the beneficiary and the parent(s) or guardian(s) or alone with the parent(s) or guardian(s). For beneficiaries over the age of 18, the time may be spent face-to-face with the beneficiary and the spouse, legal guardian or significant other. Encounter DAILY MAXIMUM OF UNITS THAT MAY BE BILLED: 1 YEARLY MAXIMUM OF UNITS THAT MAY BE BILLED (extension of benefits can be requested): 1
APPLICABLE POPULATIONS SPECIAL BILLING INSTRUCTIONS
Children and Youth  
ALLOWED MODE(S) OF DELIVERY TIER
Face-to-face School-Based Mental Health
ALLOWABLE PERFORMING PROVIDERS PLACE OF SERVICE
•     Licensed Certified Social Worker (LCSW)•     Licensed Master Social Worker (LMSW)•     Licensed Professional Counselor (LPC)•     Licensed Associate Counselor (LAC)•     Licensed Psychological Examiner (LPE)•     Psychologist* School-Based Mental Health Services provider employees or contractors will provide services only in those areas in which they are licensed or credentialed. 03

 

272.140             Marital/Family Behavioral Health Counseling with Beneficiary Present 7-1-17

 

CPT®/HCPCS PROCEDURE CODE PROCEDURE CODE DESCRIPTION
90847 Family psychotherapy with patient present (conjoint psychotherapy)
SERVICE DESCRIPTION MINIMUM DOCUMENTATION REQUIREMENTS
Marital/Family Behavioral Health Counseling with Beneficiary Present is a face-to-face treatment provided to one or more family members in the presence of a beneficiary. Services must be congruent with the age and abilities of the beneficiary, client-centered and strength-based, with emphasis on needs as identified by the beneficiary and provided with cultural competence. Services are designed to enhance insight into family interactions, facilitate inter-family emotional or practical support and to develop alternative strategies to address familial issues, problems and needs. Services pertain to a beneficiary’s (a) Mental Health and/or (b) Substance Abuse condition. Additionally, tobacco cessation counseling is a component of this service. •       Date of Service•       Start and stop times of actual encounter with beneficiary and spouse/family•       Place of service•       Participants present and relationship to beneficiary•       Diagnosis and pertinent interval history•       Brief mental status of beneficiary and observations of beneficiary with spouse/family •       Rationale for, and description of treatment used, that must coincide with the master treatment plan and improve the impact the beneficiary’s condition has on the spouse/family and/or improve marital/family interactions between the beneficiary and the spouse/family.•       Beneficiary and spouse/family’s response to treatment that includes current progress or regression and prognosis•       Any changes indicated for the master treatment plan, diagnosis, or medication(s)•       Plan for next session, including any homework assignments and/or crisis plans•       Staff signature/credentials/date of signature•       HIPAA compliant release of Information, completed, signed and dated
NOTES UNIT BENEFIT LIMITS
Natural supports may be included in these sessions if justified in service documentation.  Only one beneficiary per family per therapy session may be billed. Encounter DAILY MAXIMUM OF UNITS THAT MAY BE BILLED: 1 YEARLY MAXIMUM OF UNITS THAT MAY BE BILLED (extension of benefits can be requested): 12
APPLICABLE POPULATIONS SPECIAL BILLING INSTRUCTIONS
Children and Youth  
ALLOWED MODE(S) OF DELIVERY TIER
Face-to-face School-Based Mental Health
ALLOWABLE PERFORMING PROVIDERS PLACE OF SERVICE
•     Licensed Certified Social Worker (LCSW)•     Licensed Master Social Worker (LMSW)•     Licensed Professional Counselor (LPC)•     Licensed Associate Counselor (LAC)•     Licensed Psychological Examiner (LPE)•     Psychologist* School-Based Mental Health Services provider employees or contractors will provide services only in those areas in which they are licensed or credentialed. 03

 

272.150             Crisis Intervention 7-1-17

 

CPT®/HCPCS PROCEDURE CODE PROCEDURE CODE DESCRIPTION
H2011, HA Crisis intervention service, per 15 minutes
SERVICE DESCRIPTION MINIMUM DOCUMENTATION REQUIREMENTS
Crisis Intervention is unscheduled, immediate, short-term treatment activities provided to a Medicaid-eligible beneficiary who is experiencing a psychiatric or behavioral crisis.  Services are to be congruent with the age, strengths, needed accommodation for any disability, and cultural framework of the beneficiary and his/her family.  These services are designed to stabilize the person in crisis, prevent further deterioration and provide immediate indicated treatment in the least restrictive setting.  (These activities include evaluating a Medicaid-eligible beneficiary to determine if the need for crisis services is present.) •     Date of service•     Start and stop time of actual encounter with beneficiary and possible collateral contacts with caregivers or informed persons•     Place of service•     Specific persons providing pertinent information in relationship to beneficiary•     Diagnosis and synopsis of events leading up to crisis situation•     Brief mental status and observations•     Utilization of previously established psychiatric advance directive or crisis plan as pertinent to current situation OR rationale for crisis intervention activities utilized•     Beneficiary’s response to the intervention that includes current progress or regression and prognosis•     Clear resolution of the current crisis and/or plans for further services•     Development of a clearly defined crisis plan or revision to existing plan•     Staff signature/credentials/date of signature(s)
NOTES UNIT BENEFIT LIMITS
A psychiatric or behavioral crisis is defined as an acute situation in which an individual is experiencing a serious mental illness or emotional disturbance to the point that the beneficiary or others are at risk for imminent harm or in which to prevent significant deterioration of the beneficiary’s functioning.This service can be provided to beneficiaries that have not been previously assessed or have not previously received behavioral health services.The provider of this service MUST complete a Mental Health Diagnosis (90791) within 7 days of provision of this service.  If the beneficiary needs more time to be stabilized, this must be noted in the beneficiary’s medical record and the Division of Medical Services Quality Improvement Organization (QIO) must be notified. 15 minutes DAILY MAXIMUM OF UNITS THAT MAY BE BILLED: 12 YEARLY MAXIMUM OF UNITS THAT MAY BE BILLED (extension of benefits can be requested): 72
APPLICABLE POPULATIONS SPECIAL BILLING INSTRUCTIONS
Children and Youth  
ALLOWED MODE(S) OF DELIVERY TIER
Face-to-face School-Based Mental Health
ALLOWABLE PERFORMING PROVIDERS PLACE OF SERVICE
•     Licensed Certified Social Worker (LCSW)•     Licensed Master Social Worker (LMSW)•     Licensed Professional Counselor (LPC)•     Licensed Associate Counselor (LAC)•     Licensed Psychological Examiner (LPE)•     Psychologist* School-Based Mental Health Services provider employees or contractors will provide services only in those areas in which they are licensed or credentialed. 03