Remember cumulative time for correct coding. As we venture into the second decade of the 21st century, digital healthcare is getting more and more common. As such, digital health tools are becoming more and more important; and coders should know how to report virtual evaluation and management (E/M) services accurately and compliantly. Read on for more information on how to report these services in the now, and what experts think the future might bring for digital E/Ms. Stay Detail-Focused An e-visit is a patient-initiated digital encounter that takes place through a secure online portal. There are two sets of codes. One is for encounters between a patient and physician: The other set is for encounters between a patient and another qualified nonphysician healthcare professional (QNHP): 7 Is the Magic Number The potentially tricky part about these codes is keeping track of when and whether to report the service. These codes are exclusive to established patients and may include time spent for interaction for up to seven days. This means that providers must document the time associated with each interchange in order to add up the time spent at the end of the seven-day period. Therefore, you won’t bill for these encounters as soon as they occur. Additionally, “if the inquiry is related to a surgical procedure within a global period, then the service is not reported. The provider therefore must keep a permanent record on file. Other rules apply and are listed in the CPT® manual,” says Natalie Ruggieri-Buzzelli, CPC, CGSC, HIM coding specialist at the Hospital of the University of Pennsylvania. Utilize NCCI Edits When Following 7-Day Rule If a patient initiates an online digital inquiry for the same or a related problem within seven days of a previous E/M service, you shouldn’t report the online digital visit. CPT® also specifies that if a separately reported E/M visit occurs within seven days of the online digital service’s initiation, then the work the physician or QHP devotes to the online digital E/M service should be incorporated into the separately reported E/M visit. For further clarification of this seven-day rule, turn to the National Correct Coding Initiative (NCCI) edits. CPT® considers that digital service to be part of a related E/M visit if the digital service falls within seven days of the encounter. You’ll see that while 99421-99423 are Column 2, or component, codes to 99202-99215 (Office or other outpatient visit for the evaluation and management of a/an new/established patient …), the edit pairs all have 0 modifier indicators, meaning that you cannot use an NCCI-associated modifier to unbundle the services. Note these exceptions: 99422 and 99423 are not paired with new patient office codes 99202-99205. For the established patient E/M codes, things are a little more complicated, as 99421-99423 are not paired with 99211, while only 99421 is paired with 99212. Conversely, when 99422-99423 are the Column 1, or comprehensive, codes, NCCI has only paired them with 99211 and 99212, with each pair having a 0 modifier indicator. However, as a Column 1 code, 99421 only has a 0 indicator with 99211. The codes are not paired with any of the other 99202-99215 codes. Why? “When 99421-99423 are paired up with the 99202-99215 codes, some edit pairs have the 99421-99423 codes in Column 1, and some edit pairs have them in Column 2,” notes Kent Moore, senior strategist for physician payment at the American Academy of Family Physicians. “I believe CMS [Centers for Medicare & Medicaid Services] has decided which code is the Column 1 code in any given combination based on which of the two codes in the pair has a higher work relative value unit [RVU], indicating a more extensive service,” Moore continues.
Coding tip: Despite these exceptions, there are still many instances where 99421-99423 and 99202-99215 are not code pairs. This means that you will be able to claim an online digital E/M with an office visit on the same date of service. To do so, you must be able to justify that the two services are not related in any way. Digital Code Pay Is (Probably) Here to Stay While these codes have taken some getting used to because of the documentation requirements, the good news is that there’s probably no reason to expect they’ll go away or that CMS will stop paying for them. “I fully expect both of those code families to be covered and paid by CMS, just as they are now,” says Moore. Service codes 99421-99423 were added to CPT® prior to the pandemic.