Updates to the CPT Coding System and Medicare Payment
Start the new year by learning about 2023 CPT coding, Medicare payment policies, and Medicare’s Quality Payment Program changes. Hospital and nursing home evaluation and management (E/M) services and prolonged service reporting have undergone major coding changes.
E/M CODING
Hospital and nursing home visits. This year’s biggest E/M coding changes are in hospitals and nursing homes, which now use the same code-level selection criteria as office/outpatient services. Physicians will choose codes for these services based on their patient care time or medical decision-making.
Hospital and nursing home E/M codes will use the same MDM table CPT as office-based codes, with a few CPT revisions:
- The low-level MDM elements for the problems category have been updated to include “1 stable acute illness” and “1 acute, uncomplicated illness or injury requiring hospital inpatient or observation level of care.”
- Additional decisions on “escalation of hospital-level of care” and “parenteral controlled substances” for high-risk MDM elements
- Only initial nursing facility visits have “multiple morbidities requiring intensive management” in the risk category.
Reporting these services is also affected by other CPT changes. CPT has done this for now:
- A single-family of hospital inpatient and observation codes 99221-99223 and 99231-99233
- Redefined the lowest level of emergency department codes (99281) to describe visits without a doctor or other qualified health care professional (like office-visit code 99211),
- A separate code for nursing home annual exams was removed and replaced with subsequent nursing home visits (99307-99310).
- Combined “Domiciliary, Rest Home (e.g., Boarding Home), or Custodial Care Services” into “Home or Residence Services.”
Multiple E/M Services on the Same Day
The CPT guidelines for hospital E/M now allow the reporting of multiple services when a patient is admitted to inpatient or observation status during a visit to an office or emergency department. Clinicians should add modifier 25 to the initial service and report the hospital-based service (no modifier required).
In these cases, the Centers for Medicare & Medicaid Services (CMS) will continue to require clinicians to report only one hospital visit per calendar date. Whether non-Medicare payers follow CPT or Medicare’s guidance is unknown.
Prolonged services
In the office (99354-99355) and inpatient (99356-99357) settings, CPT has removed codes for prolonged E/M services with direct patient contact. Since the 2021 changes, physicians can report prolonged office services using code 99417 (with 99205 or 99215). That will be the only option. For long-term hospital and nursing home services, 99418 will be used.
Once they exceed the minimum time of the highest level of service by 15 minutes, CPT allows clinicians to report 99417 and 99418 with a primary E/M code for each setting. Another difference between CPT and Medicare. Before reporting prolonged service codes, Medicare requires clinicians to exceed the highest E/M level by 15 minutes.
CMS has developed HCPCS codes to report prolonged services to Medicare under those conditions:
- G2212, extended office or outpatient services,
- G0316, extended inpatient and observation care,
- G0317, Extended nursing facility services
- G0318, extended home/residence services.
Two of CPT’s previous prolonged services codes, 99358 and 99359, are still used for non-face-to-face services on a different date. Instead of “Prolonged evaluation and management service before and/or after direct patient care,” those codes now read “Prolonged service on date other than the face-to-face evaluation and management service without direct patient contact.”
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