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    tPA-Drip and Ship-Additional Reimbursement for Receiving Facilities

    enApril 19, 2021
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    About this Episode

    An important element in the American Heart Association’s, “Get with the Guidelines-Stroke“ is that tPA should be administered within 4.5 hours of the first sign of stroke to dissolve the blood clot, restore blood flow to the impacted area of the brain and reduce disability.

     

    “Drip and ship” means that front-line, community hospitals quickly administer tPA to people suffering an ischemic stroke, and then immediately transport them to a comprehensive stroke center.

     

    The front-line community hospital typically treats the patient in the Emergency Department, administers tPA and prepares the patient for transport. The community hospital will bill an outpatient ED claim including the HCPCS code for the tPA (J2997- Injection, alteplase recombinant, 1 mg), CPT codes for the administration of the bolus/infusion of the tPA and any additional services provided prior to transfer.

     

    The receiving hospital will admit the patient and assume responsibility for the patient’s care.

     

    Upon discharge, the hospital will bill the admission on an inpatient claim.

     

    In addition to services provided while an inpatient, the receiving hospital should also add ICD-10-CM code Z92.82 (Status post administration of tPA (rtPA) in a different facility within the last 24 hours prior to admission to current facility) as a secondary diagnosis.  Including this code on the inpatient claim increases the reimbursement for the admission (in addition to the DRG payment). CMS coding guidance indicates that this code should be added even if the patient is still receiving the tPA at the time they are admitted to the receiving facility.

     

    Due to the specificity of the code, we recommend the transfer record be included in the medical record of the inpatient admission and that it is review to ensure that the documentation details that the patient received the tPA within 24 hours of admission.

     

    It may be difficult to identify these patients since the tPA was not administered at the receiving facility, and therefore J2997 would not be listed on the account. One approach is to review all inpatient discharges with a Point of Origin Code = 4 (Transfer from a hospital (different facility); Inpatient-The patient was admitted to this facility as a hospital transfer from an acute care facility where he or she was an inpatient or outpatient) that also have an ICD-10-CM diagnosis code of Stroke. Point of Origin codes are a required data field on the UB-04 or 837I (electronic equivalent of UB-04).

     

    SHOUT-OUTS!

     

    1. Revenue Cycle and HIM should develop a process to identify inpatient stroke patients who received tPA and another acute-care facility prior to transfer. One approach is to review all claims with a Point of Origin Code = 4, and a ICD-10-CM Diagnosis code of Stroke.

    2. HIM Coders should review the transfer record to ensure that there is documentation that the patient received tPA at the originating facility and add ICD-10-CM code Z92.82 as a secondary diagnosis which results in additional reimbursement.

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    Shout Outs! 

     

    1. Pharmacy and revenue integrity teams should ensure their HCPCS codes have been updated to reflect the changes effective 1/1/2023 and be on the lookout for additional brand-specific HCPCS codes in quarterly updates. 
    2. Pharmacy and IT teams should evaluate their processes to ensure each NDC is matched to the correct HCPCS and that the NDC being administered to the patient is the NDC that is represented on the claim.  
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    Hospital Outpatient Prospective Payment System (OPPS) Final Rule- CY2023

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    340B-acquired Drugs

    In light of the Supreme Court decision in American Hospital Association v. Becerra, 142 S. Ct. 1896 (2022), CMS is applying the default rate, generally average sales price (ASP) plus 6 percent, to 340B acquired drugs and biologicals and removing the increase to the conversion factor that was made in CY 2018 to implement the 340B policy in a budget neutral manner. These changes are reflected in posted ASP Pricing Files and Addendum B reimbursement rates.

    Non-opioid pain management

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    Drug Waste Reporting in Hospital Outpatient Departments

    New reporting requirements for drugs where there is no discarded waste were detailed in the CY2023 Physician Fee Schedule Rule and summarized in a recent Visante newsletter and podcast.

    The following links and notes provide additional information on changes in drug reimbursement in HOPD for CY2023:

    1. Pass-through expirations CY 2022- 32 drugs will have pass-through payment end on December 31, 2022. Table 57 (page 198 pdf)
    2. Pass-through Drugs and biologicals that will receive one to four quarters of separate payment in CY 2023- 43 drugs will receive separate payment in one or more quarters in CY2023. Table 58 (pg 202 pdf)
    3. Pass-through Drugs and biologicals with pass-through payment status to expire after CY2023 (with pass-through payment end dates)- 49 drugs will continue with pass-through status throughout CY2023. Table 59 (pg 208 pdf)
    4. Packaging Threshold- CMS raises the per-day cost packaging threshold for separate payments from $130 to $135.
    5. Biosimilars- Visante has provided a recent newsletter that details payment increases for biosimilars.

    Hope this summary is helpful in evaluating your reimbursement for the coming year!

    SHOUT-OUT

    1. All pharmacy revenue cycle teams should review the OPPS CY 2023 Rule Final Rule and ensure systems are updated by January 1, 2023.

     

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    Payment Increases for Biosimilars

    Payment Increases for Biosimilars

    On April 16th, 2022, the Inflation Reduction Act of 2022 was signed into law. Section 11403 requires a temporary increase in add-on payment for qualifying biosimilars from 6% to 8% for 5 years. This change was implemented on October 1, 2022, and CMS uploaded pricing files that already include the temporary price increase.

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    Qualifying biosimilar
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    Add on payment
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    Shout Outs

    1. Pharmacy and Finance Teams - should review your biosimilar strategy and financial models. CMS 2022 Q4 pricing files were uploaded to reflect the 8% temporary price increase.

    Our goal is simple; we’re taking complex information and making it practical.
    Until our next edition, this is Maxie Friemel and Agatha Nolen providing you with tips for increasing your Pharmacy Revenue Cycle.

    Car T-cell Therapy: Coverage and Billing-Outpatient (Updated – October 1, 2022)

    Car T-cell Therapy: Coverage and Billing-Outpatient (Updated – October 1, 2022)

    Chimeric Antigen Receptor (CAR) T-cell therapy is an example of a rapidly emerging immunotherapy approach called adoptive cell transfer (ACT) where patients’ own immune cells are collected and used to treat their cancer.

    This newsletter details coverage and billing instructions when the products are used on an outpatient basis and has been updated to reflect HCPCS codes current as of October 1, 2022.

    The Center for Biologics Evaluation and Research (CBER) of the Food and Drug Administration (FDA) regulates cellular therapy products, human gene therapy products, and certain devices related to cell and gene therapy. The FDA provides a list of approved cellular and gene therapies including six that are Car T-cell therapies:

    ABECMA (idecabtagene vicleucel)

    BREYANZI (lisocabtagene maraleucel)

    CARVYKTI (ciltacabtagene autoleucel)

    KYMRIAH (tisagenlecleucel)

    TECARTUS (brexucabtagene autoleucel)

    YESCARTA (axicabtagene ciloleucel)

    Coverage

    CMS finalized a National Coverage Determination (NCD 110.24) on Car T-cell therapies on 8/7/2019. The NCD detailed that for Medicare Fee-For-Service and Medicare Advantage, Medicare covers the autologous treatment for cancer with T-cells expressing at least one chimeric antigen receptor (CAR) when:

    • Administered at healthcare facilities enrolled in the FDA risk evaluation and mitigation strategies (REMS)
    • Used for a medically accepted indication, i.e. for either an FDA-approved indication as detailed in the FDA-approved label for the product, or for other uses when the product has been FDA-approved and the use is supported in one or more CMS-approved compendia

    When the above requirements are not met, the CAR T-cell therapy is non-covered.

    In addition, the routine costs in clinical trials that use CAR T-cell therapy as an investigational agent are covered when they meet the requirements listed in NCD 310.1.

    Billing and Reimbursement

    HCPCS/CPT codes

    Billing for CAR T-cell therapy on outpatients includes HCPCS codes for the therapies as well as the administration. All CAR T-cell products should be billed with revenue code 891.

    Kymriah (tisagenlecleucel) is reported with HCPCS code Q2042- Tisagenlecleucel, up to 600 million car-positive viable T cells, including leukapheresis and dose preparation procedures, per therapeutic dose.

    Yescarta (axicabtagene ciloleucel) is reported with HCPCS code Q2041- Axicabtagene Ciloleucel, up to 200 Million Autologous Anti-CD19 CAR T Cells, including leukapheresis and dose preparation procedures, per infusion.

    Tecartus- (brexucabtagene autoleucel) is reported with HCPCS code Q2053- Brexucabtagene autoleucel, up to 200 million autologous anti-cd19 car positive viable t cells, includimg leukapheresis and dose preparation procedures, per therapeutic dose.

    Breyanzi- (lisocabtagene maraleucel) is reported with HCPCS code Q2054- Lisocabtagene maraleucel, up to 110 million autologous anti-cd19 car-positive viable t cells, including leukapheresis and dose preparation procedures, per therapeutic dose.

    Abecma (idecabtagene vicleucel) is reported with HCPCS code Q2055- Idecabtagene vicleucel, up to 460 million autologous b-cell maturation antigen (bcma) directed car-positive t cells, including leukapheresis and dose preparation procedures, per therapeutic dose.

    Carvykti (ciltacabtagene autoleucel) received FDA approval on 2/28/2022, and CMS has assigned a new HCPCS code effective October 1, 2022: code Q2056- Ciltacabtagene autoleucel, up to 100 million autologous b-cell maturation antigen (bcma) directed car-positive t cells, including leukapheresis and dose preparation procedures, per therapeutic dose.

    The administration of any CAR T-cell therapy should be reported with CPT code 0540T- Chimeric antigen receptor T-cell (CAR-T) therapy; CAR-T cell administration, autologous. This CPT code should be reported with revenue code 874 – Infusion of Modified Cells w/CPT 0540T.

    Some payers also require that the claim include a new value code 86 with the invoice/acquisition cost when revenue code 891 is present on an outpatient claim. 

    CMS provides instructions that providers may include all costs and charges and report them under revenue code 891, or they may separately report cell collection, storage and other preparatory activities. However, CMS does not reimburse these codes separately and they are reported for information only. Detailed examples on these two options for CAR T-cell billing for outpatients is available at CMS Transmittal #10454- (November 13, 2020).

    Revenue Codes

    CMS has also provided instructions for specific revenue codes to report all services associated with CAR T-cell therapy for inpatients and outpatients. The following Revenue Codes are used:

    0871 – Cell Collection w/Current Procedural Technology (CPT) code 0537T

    0872 – Specialized Biologic Processing and Storage – Prior to Transport w/CPT 0538T

    0873 – Storage and Processing after Receipt of Cells from Manufacturer w/CPT 0539T

    0874 – Infusion of Modified Cells w/CPT 0540T

    0891 – Special Processed Drugs – FDA Approved Cell Therapy w/HCPCS Q2041, Q2042, or C9399

    SHOUT-OUTS!

    1. Pharmacy and Revenue Integrity should determine if CAR T-cell therapy will be provided and ensure that appropriate chargemaster entries for the products are established with product specific HCPCS codes and the unique revenue code, 891.
    2. Pharmacy, Managed Care and Revenue Integrity should determine if any payers require the invoice cost to be added to claim with value code 86 and establish a process to ensure that the invoice cost is correctly added to the claim.
    3. Revenue Integrity and HIM Coders should receive instructions as to which products will be utilized and the medical record location where the administration will be recorded.
    4. Pharmacy should ensure that if the product is administered under a clinical trial, or received at no cost from the manufacturer, that it is clearly indicated in the medical record to ensure proper billing and coding.

    Our goal is simple; we’re taking complex information and making it practical. 

    Until our next edition, this is Maxie Friemel and Agatha Nolen providing you with tips for increasing your Pharmacy Revenue.

     

    Vacating the 340B Payment Reduction Policy

    Vacating the 340B Payment Reduction Policy

    On September 28, 2022, the US District Court issued a ruling that states the Department of Health and Human Services (HHS) is required to vacate the prospective portion of the 340B reimbursement rate outlined in the 2022 Outpatient Prospective Payment System (OPPS) Rule. In other words, payment rates must revert to the default of ASP + 6% rather than the reduced rate for select drugs of ASP - 22.5%. The decision was determined to not cause substantial disruption; thereby, requiring HHS to begin immediately. This was in response to American Hospital Association v. Becerra, 142 S. Ct. 1896 (2022), in which the Supreme Court ruled against the Department of Health and Human Services (HHS) stating they exceeded their statutory authority by varying its 2018 and 2019 OPPS reimbursement rates for 340B hospitals without first conducting a statutorily mandated survey of hospitals acquisition costs.

     

    CMS has issued a statement that they will be reprocessing claims contractors paid on or after September 28, 2022, using the default rate of ASP+6%. CMS is also uploading a revised OPPS drug file that will apply the default rate generally ASP+6% to the 340B drugs for the remainder of this year. Additionally, providers can contact their MAC to make a mass adjustment for claims paid prior to September 28, 2022. 

     

     

    Shout Outs!

     

    1. Revenue integrity teams should be aware that Medicare fee-for-service claims paid at the ASP - 22.5% will be reprocessed and paid at generally ASP+6%. This is effective for claims paid on or after September 28, 2022.
    2. Revenue integrity teams should contact their MAC to determine the process for making a mass adjustment to claims paid prior to September 28, 2022.
    3. Pharmacy and finance teams should review the impact to the price change and the associated impact to pharmacy budgets.
    4. Revenue cycle teams should be on the lookout for upcoming discussions and changes to the OPPS CY 2023.

     

    Our goal is simple; we’re taking complex information and making it practical. Until our next edition, this is Maxie Friemel and Agatha Nolen providing you with tips for increasing your Pharmacy Revenue.