Artigo Acesso aberto Revisado por pares

Telehealth: Helping your patients and practice survive and thrive during the COVID-19 crisis with rapid quality implementation

2020; Elsevier BV; Volume: 82; Issue: 5 Linguagem: Inglês

10.1016/j.jaad.2020.03.052

ISSN

1097-6787

Autores

Ivy Lee, Carrie Kovarik, Trilokraj Tejasvi, Michelle Pizarro, Jules B. Lipoff,

Tópico(s)

Cutaneous Melanoma Detection and Management

Resumo

To the Editor: Telehealth is an effective, efficient way to triage and deliver timely, quality medical care. In the setting of this public health emergency, telemedicine can maintain access and continuity of care for patients, support colleagues on the front line, optimize in-person services, and minimize infectious transmission of COVID-19 coronavirus. On March 17, 2020, the Centers for Medicare & Medicaid Services (CMS) issued a 1135 Waiver and expanded telehealth coverage for all Medicare patients during the COVID-19 pandemic. What does this mean for clinical practitioners? In short, telemedicine can be used for the evaluation and management of most patients. CMS's policy changes effectively eliminate the main barriers to telemedicine implementation: lack of reimbursement, licensing restrictions, and Health Insurance Portability and Accountability Act (HIPAA) compliance (Table I). Given current Centers for Disease Control and Prevention guidelines, in-person care should be limited to only the most urgent patients. This minimizes risk of COVID-19 transmission and ensures that finite clinical resources will be equitably distributed to those that need it most.Table IUpdates in telehealth policy in the COVID-19 crisis∗Medicare policy unless otherwise stated.,+Please see AAD Teledermatology Toolkit for the most up to date codes and resources.1 †CMS is expanding telehealth on a temporary and emergency basis under the 1135 waiver authority and Coronavirus Preparedness and Response Supplemental Appropriations Act. The Department of Health and Human Services (HHS) is announcing a policy of enforcement discretion for Medicare telehealth services furnished pursuant to the waiver under section 1135(b)(8). Changes also include the Interim Rule issued March 30, 2020. ^Retroactive coverage to March 6, 2020. >Practitioners who bill Medicare telehealth services should report POS code that would have been reported had the service been furnished in person. Practitioners who bill Medicare telehealth services should report POS code that would have been reported had the service been furnished in person. Practitioners who bill Medicare telehealth services should report POS code that would have been reported had the service been furnished in person. Please see AAD Teledermatology Toolkit for the most up to date codes and resources.1 †CMS is expanding telehealth on a temporary and emergency basis under the 1135 waiver authority and Coronavirus Preparedness and Response Supplemental Appropriations Act. The Department of Health and Human Services (HHS) is announcing a policy of enforcement discretion for Medicare telehealth services furnished pursuant to the waiver under section 1135(b)(8). Changes also include the Interim Rule issued March 30, 2020. ^Retroactive coverage to March 6, 2020. >Practitioners who bill Medicare telehealth services should report POS code that would have been reported had the service been furnished in person. <Before COVID-19, Medicare used POS 02 to identify telehealth services; however, due to the change in POS code to increase reimbursement, Medicare requests the use of modifier 95 to describe services furnished by telehealth.Modifier: 95 Practitioners who bill Medicare telehealth services should report POS code that would have been reported had the service been furnished in person. Please see AAD Teledermatology Toolkit for the most up to date codes and resources.1 †CMS is expanding telehealth on a temporary and emergency basis under the 1135 waiver authority and Coronavirus Preparedness and Response Supplemental Appropriations Act. The Department of Health and Human Services (HHS) is announcing a policy of enforcement discretion for Medicare telehealth services furnished pursuant to the waiver under section 1135(b)(8). Changes also include the Interim Rule issued March 30, 2020. ^Retroactive coverage to March 6, 2020. >Practitioners who bill Medicare telehealth services should report POS code that would have been reported had the service been furnished in person. <Before COVID-19, Medicare used POS 02 to identify telehealth services; however, due to the change in POS code to increase reimbursement, Medicare requests the use of modifier 95 to describe services furnished by telehealth.Modifier: 95 Practitioners who bill Medicare telehealth services should report POS code that would have been reported had the service been furnished in person. Please see AAD Teledermatology Toolkit for the most up to date codes and resources.1 †CMS is expanding telehealth on a temporary and emergency basis under the 1135 waiver authority and Coronavirus Preparedness and Response Supplemental Appropriations Act. The Department of Health and Human Services (HHS) is announcing a policy of enforcement discretion for Medicare telehealth services furnished pursuant to the waiver under section 1135(b)(8). Changes also include the Interim Rule issued March 30, 2020. ^Retroactive coverage to March 6, 2020. >Practitioners who bill Medicare telehealth services should report POS code that would have been reported had the service been furnished in person. <Before COVID-19, Medicare used POS 02 to identify telehealth services; however, due to the change in POS code to increase reimbursement, Medicare requests the use of modifier 95 to describe services furnished by telehealth.Modifier: 95 Practitioners who bill Medicare telehealth services should report POS code that would have been reported had the service been furnished in person. Please see AAD Teledermatology Toolkit for the most up to date codes and resources.1 †CMS is expanding telehealth on a temporary and emergency basis under the 1135 waiver authority and Coronavirus Preparedness and Response Supplemental Appropriations Act. The Department of Health and Human Services (HHS) is announcing a policy of enforcement discretion for Medicare telehealth services furnished pursuant to the waiver under section 1135(b)(8). Changes also include the Interim Rule issued March 30, 2020. ^Retroactive coverage to March 6, 2020. >Practitioners who bill Medicare telehealth services should report POS code that would have been reported had the service been furnished in person. <Before COVID-19, Medicare used POS 02 to identify telehealth services; however, due to the change in POS code to increase reimbursement, Medicare requests the use of modifier 95 to describe services furnished by telehealth.Modifier: 95 Practitioners who bill Medicare telehealth services should report POS code that would have been reported had the service been furnished in person. Practitioners who bill Medicare telehealth services should report POS code that would have been reported had the service been furnished in person. <Before COVID-19, Medicare used POS 02 to identify telehealth services; however, due to the change in POS code to increase reimbursement, Medicare requests the use of modifier 95 to describe services furnished by telehealth.∗∗ Time defined as all of the time associated with E/M on the day of service. Open table in a new tab E/M, Evaluation and management; HIPAA, Health Insurance Portability and Accountability Act; HRSA, Health Resources and Services Administration. In the CMS guidance,3Centers for Medicare & Medicaid Services Medicare Telemedicine Healthcare Provider Fact Sheet: Medicare coverage and payment of virtual services.https://www.cms.gov/newsroom/fact-sheets/medicare-telemedicine-health-care-provider-fact-sheet?inf_contact_key=38ca3f198618fc3aeba4091611f5b055680f8914173f9191b1c0223e68310bb1Date accessed: March 20, 2020Google Scholar many restrictions that have roadblocked telehealth adoption for decades have been removed to promote "good faith use of telehealth" in these unprecedented times. To preserve both patient and society's trust, medical communities must hold our standards for professionalism and quality care high. Adherence to state regulations,2Center for Connected Health Policy. Federal and State Regulation updates.https://www.cchpca.orgDate accessed: March 20, 2020Google Scholar thorough clinical intake, clear and consistent video connectivity and images, documentation, patient education and transparency, care coordination, data security, and patient privacy should remain a top priority, even in times of crisis. If a non-HIPAA compliant platform is used initially, conversion to a HIPAA-compliant platform should be encouraged as soon as possible. Telehealth offers a tool to provide accessible quality care and maintain connectivity while practicing social distancing. Thoughtful implementation1American Academy of Dermatology Teledermatology ToolkitCan dermatologists use telemedicine to mitigate COVID-19 outbreaks?.practice/telederm/toolkitDate accessed: March 20, 2020Google Scholar,4American Telemedicine Association COVID-19 (coronavirus).https://info.americantelemed.org/covid-19-news-resourcesDate accessed: March 20, 2020Google Scholar,5American Medical Association AMA quick guide to telemedicine in practice.https://www.ama-assn.org/practice-management/digital/ama-quick-guide-telemedicine-practiceDate accessed: March 20, 2020Google Scholar of telehealth now allows for sustainable and scalable practice beyond the current crisis. We recommend the following steps for implementing telemedicine into outpatient practices:1.Use existing systems and platforms (patient portals) to encourage patients to initiate telemedicine when available.2.Identify highest-risk or urgent patients and schedule them for telemedicine visits.3.Defer all nonessential visits until a later time.4.Develop an established pathway for contact and evaluation for urgent patients.5.Make sure patients know there is a clear line of communication to minimize emergency department overuse for noncritical issues. In the last weeks, we have been proud of the quick actions of our colleagues to adapt and change their way of practice. However, there will always be questions as clinicians change the way they practice. Will telemedicine provide the same quality care as in person? How can we foster patient relationships with electronic distance? Unfortunately, we do not have the resources to see most patients in person, nor can we risk exposing otherwise healthy people to COVID-19. With telehealth implementation, we can see patients remotely, whereas we would not have seen them at all. We anticipate that these changes are necessarily difficult, and our system will grow in new ways. Together as physicians, we will inevitably learn new things about allocating resources, improving efficiency, and optimizing our health system by using telehealth to tackle this pandemic. The COVID-19 crisis: A unique opportunity to expand dermatology to underserved populationsJournal of the American Academy of DermatologyVol. 83Issue 1PreviewTo the Editor: Lee et al1 recently discussed the 1135 Waiver issued by the Centers for Medicare and Medicaid Services in March, which eliminates many barriers that have prevented widespread teledermatology adoption: reimbursement coverage, out-of-state licensing restrictions, and virtual platform compliance with the Health Insurance Portability and Accountability Act.1 Dermatologists can now provide teledermatology to Medicare patients, in-or out-of-state, and receive full compensation for their services. Full-Text PDF

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