08 Feb 2010 |
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Each RAC annually is expected to establish a per-campus cap on the maximum number of medical records it can request per 45-day period. A campus unit may consist of one or more separate facilities or practices operating under a single organizational umbrella; each limit will be based on units' Medicare claims volume for the prior calendar year.
Determining Limits
For example, if provider A has TIN No, 123456789 and two physical locations in ZIP codes 12345 and 12356, the two sites would qualify as a single campus unit.
If provider B has TIN No. 123456780 and two physical locations in ZIP codes 12345 and 21345, this provider would be considered two distinct entities and each location would have its own documentation limit.
Setting Limits
For example, if provider C billed 156,253 claims, the additional documentation limit would be (156,253 X .01) / 8 = 195.31, or 195 ADRs per 45 days.
While respecting a provider's overall limit, RACs may exercise discretion in the exact composition of an additional documentation request. For example, the RAC may request inpatient records up to the full limit even though the provider's inpatient business may represent only a small portion of its total claim volume.
Two Caps Set
The cap will remain at 200 ADRs per 45 days through March for all providers and suppliers. From April through September, those that bill more than 100,000 claims to Medicare will have a cap of 300 ADRs per campus unit, per 45 days.
Exceeding the Cap
The above information, current as of Jan. 28, is available at http://www.cms.hhs.gov/RAC/Downloads/DRGvalidationADRlimitforFY2010.pdf, is
About the AuthorBarbara Vandergrift, RN, BSN, MA, is a senior healthcare consultant with Medical Learning, Inc. (MedLearn), St. Paul, MN. MedLearn is a nationally recognized expert in healthcare compliance and reimbursement. Founded in 1991, MedLearn delivers actionable answers that will equip healthcare organizations with their coding, chargemaster, reimbursement management and RAC solutions.
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The recent announcement by CMS regarding its modification of additional documentation requests for institutional providers during fiscal year 2010 has generated considerable response from providers seeking clarification about tax identification numbers and definitions of terms like "campus."




