Exempt from MIPS? Think again about participating as a group

2017 02 10 12 54 02 365 Calamaro Maria 400

With the first year of the Merit-Based Incentive Payment System (MIPS) already well underway, the U.S. Centers for Medicare and Medicaid Services (CMS) began sending out MIPS participation status letters in April. The letters were sent to each eligible clinician (EC) associated with a group taxpayer identification number (TIN).

An eligible clinician can also check the Medicare Quality Payment Program (QPP) website to determine his or her eligibility. The letter and website contain general information about participation in MIPS, along with email and telephone contact information that should be used if a provider feels his or her status is incorrect.

Maria Calamaro from Healthcare Administrative Partners.Maria Calamaro from Healthcare Administrative Partners.

The participation status letters point out that clinicians are exempt from participation in MIPS for the 2017 transition year if they billed less than $30,000 in Medicare Part B allowed charges, or provided care for 100 or fewer Part B-enrolled Medicare beneficiaries during the eligibility look-back period of September 1, 2015, to August 31, 2016.

However, physicians and other providers who are part of a group practice must evaluate whether they will participate in MIPS as individuals or as part of the group. If the practice decides that group reporting is best, and the group passes the eligibility requirements, then every physician in the group will participate regardless of the information contained in the CMS letter.

While there may be some benefits to being individually exempt from MIPS, there are many more potential benefits and additional factors that need to be weighed from an overall group perspective relative to participation in the MIPS program. Consider the following points in favor of group reporting:

  • Group reporting is an all or nothing game. A group practice TIN is considered a "super clinician" under MIPS when reporting as a group. Every rule that applies to an individual eligible clinician will apply to the entire group as if it is a single eligible clinician. Thus, some ECs in a group cannot choose to report individually or qualify for exclusion while the rest of the group reports together. When one clinician reports or excludes individually, the rest of the group must do the same. This decision could greatly disadvantage other group members, as each would then be required to take on all of the responsibilities required to succeed in all necessary MIPS categories rather than as a collective group entity.
  • More favorable terms are available for reporting in the improvement activities (IA) category. When reporting as a group, only one individual clinician needs to participate in an improvement activity for the entire group (i.e., every eligible clinician) to receive credit for that activity. This will greatly reduce the burden of participation in the IA category since it requires from one to four activities to maximize performance (based on activities selected and group- or clinician-specific parameters). Practices also have the ability to maximize participation in the quality category by selecting the best, most achievable measures to report across the entire group. This is especially helpful for radiologists who may have fewer measures available, some of which may be more difficult to achieve compliance with. Individual provider performance does contribute to the overall quality score for the entire group, however.
  • Financial benefit. When the group as a whole achieves a positive Medicare fee schedule adjustment, every member of the group who provides any level of Medicare Part B services will contribute to and receive that positive adjustment. If the ECs were reporting individually, exemption from MIPS would only allow for avoidance of a penalty while others in the practice would receive a positive payment adjustment.
  • Reputational considerations. Medicare's Physician Compare website publishes the results of each physician's quality scores. By choosing to avoid MIPS participation, a physician will be missing from the listing, and this might raise questions in the minds of potential patients. Positive quality scores posted on Physician Compare can also be leveraged for marketing purposes and may ultimately appear on consumer ratings web sites such as Yelp and Healthgrades. Participation along with the group practice will give each physician the opportunity to have his or her positive quality scoring posted.
  • Reduced administrative burden. When reporting as a group, everyone's interests and methods are aligned. If the practice administrator has to keep track of the measures and activities for each EC individually, the opportunity for error is greater, as is the amount of resources required to monitor and report each one separately.
  • Planning for the future. Medicare's Quality Payment Program will be in place for the long term, but an exemption might be short-lived. As a physician's Medicare patient mix changes or as MIPS exemptions are phased out, he or she will most likely have to participate at some point in the future. Beginning participation early, with most likely less-stringent requirements, gives the physician the experience to succeed. Working on quality metrics within the group practice will allow success with less pressure than reporting as an individual when the time comes to participate.

In addition to MIPS participation status, radiologists also need to know whether they will be considered "patient-facing" clinicians or "hospital-based" clinicians. These two factors contribute to the ways radiologists must comply with the MIPS program, although this information is yet to be released by CMS and there is no specific release time frame.

Maria Calamaro serves as product director for Healthcare Administrative Partners and is the company's subject-matter expert for CMS quality programs. She has more than 20 years of experience leading product development and direction-setting for physician and hospital healthcare applications.

The comments and observations expressed herein are those of the author and do not necessarily reflect the opinions of AuntMinnie.com.

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