Medicare Part B providers can now perform E/M office services, mental health counseling, home visits, and even preventative screenings via a virtual form of communication. Read on for a primer on the specifics of the telehealth expansion. See What CMS Considers ‘Virtual Care’ Under COVID-19 Medicare Part B breaks down virtual communications between beneficiaries and providers into four categories that CMS outlines in its initial March 17 fact sheet. They are as follows: Because the four options are similar, it’s easy to confuse or overlap the services. That’s why it’s critical you understand the nuances and what tools you’ll need to implement the various options. For example, you’ll want to understand what’s necessary to code a virtual service as a Medicare Part B telehealth visit. These visits are designated for patient encounters that would typically occur in-person. This would include an office visit, hospital visit, home visit for a homebound patient, or another form of face-to-face interaction with the provider. Review the initial March 17 fact sheet at www.cms.gov/newsroom/fact-sheets/medicare-telemedicine-health-care-provider-fact-sheet. Reminder: Semantics are important in distinguishing forms of communication between patient and provider. The term “telemedicine,” as opposed to “telehealth,” refers to communication using audio-only methodology. Who Is Eligible Under the New Guidelines? According to CMS guidance, the following Part B practitioners can perform and receive Medicare reimbursement for telehealth visits: Services that require direct supervision by the physician may also be provided virtually, using real time audio/ video technology. Note: When CMS began expanding telehealth services to thwart the spread of COVID-19, the agency announced that patients must have an established relationship with their providers for telehealth encounters. However, a March 30 press release and subsequent interim final rule published in the Federal Register in April mention that clinicians may provide telehealth services to new patients, in addition to established patients. Be Aware of These Important Telehealth Billing Updates Report a typical Medicare telehealth visit, which simulates an E/M office/outpatient encounter, using the E/M office/ outpatient visit code range 99201-99215. However, the March 30 press release outlines more than 80 services that will qualify for Medicare telehealth billing. Some of these services include: You can download the entire code list of covered telehealth services from CMS at www.cms.gov/Medicare/Medicare-General-Information/Telehealth/Telehealth-Codes. Resources Scope out the March 30 fact sheet at www.cms.gov/newsroom/fact-sheets/additional-backgroundsweeping-regulatory-changes-help-us-healthcare-system-address-covid-19-patient and see the CMS interim final rule in the Federal Register at www.cms.gov/files/document/covid-final-ifc.pdf. Disclaimer: Information related to COVID-19 is changing rapidly. This information was accurate at the time of writing. Be sure to stay tuned to future issues of Medicare Compliance & Reimbursement for more information. You can also refer to payer websites, CMS (cms.gov), CDC (cdc.gov), and AAPC’s blog (www.aapc.com/blog) for the most up-to-date information.