The annual release of the Medicare Physician Fee Schedule (PFS) proposed rule is always a major event for healthcare providers, and the newly released 1,800-plus-page draft for 2026 is no exception. While we at Prevounce are still analyzing the full document, one thing is already clear: The Centers for Medicare & Medicaid Services (CMS) is doubling down on its commitment to remote care.
The proposed changes for remote patient monitoring (RPM) are not just minor tweaks. They represent what is arguably the most significant and positive expansion of the RPM program since its inception. For practices currently offering RPM and those considering launching a program, these updates introduce game-changing flexibility designed to improve patient care, expand eligibility, and streamline operations and do so in ways that can improve the financial value of the service.
This column will break down the history of RPM CPT codes, detail the exciting new proposed device and time codes for 2026, and explain what these changes mean for remote patient monitoring programs.
To understand why the 2026 proposals are so significant, it helps to remember how the current RPM program is structured. Introduced around 2019, the core RPM CPT codes created a framework for reimbursement that, while revolutionary for the time, had some built-in limitations.
To date, the key RPM codes have been:
CPT 99453: Initial patient setup and education on using the RPM device(s), billable after 16 measurement-days in a 30-day period.
CPT 99454: Supplying the device for a 30-day period. Crucially, this code required the device to record and transmit data on at least 16 days out of the 30 to be billable.
CPT 99457: The first 20 minutes of clinical staff time spent on interactive communication and care management with the patient per calendar month.
CPT 99458: Each additional 20 minutes of time.
While this structure has enabled hundreds of thousands of patients to receive proactive care at home, the "16-day rule" for device billing and the "20-minute threshold" for time have been operational hurdles. Not every clinical condition requires 16 days of monitoring, and valuable clinical interactions lasting 10 or 15 minutes couldn't be billed.
The 2026 proposed changes would directly address these limitations, creating a more flexible and clinically relevant RPM program.
CMS is proposing to make the rigid 16-day requirement for CPT 99454 a thing of the past. The proposed new structure is as follows:
Here’s the most exciting part: CMS is proposing that the new 2-15 day code be reimbursed at the exact same rate as the 16-30 day code. If this change is finalized, it would be a massive win. It acknowledges that the clinical value is in having the monitoring capability available to the patient for the month, not just in the number of transmissions.
The all-or-nothing 20-minute threshold for care management is also being addressed as follows:
If finalized, this would provide stability for existing programs and introduce new efficiency for capturing reimbursement for shorter, yet still vital, patient interactions.
Attribute |
Current Billable Criteria |
Proposed Billable Criteria for 2026 |
Reimbursement Differences |
Device supply and measurements |
99454 – 16 or more measurement days per 30-day period |
99XX4 – 2-15 measurement days per 30-day period 99454 – 16 or more measurement days per 30-day period |
Reimbursement is the same regardless of measurement-day count over 2. |
Management time tiers |
99457 – 20+ minutes 99458 – each additional 20 minutes |
99XX5 – 10-20 minutes 99457 – 20+ minutes 99458 – each additional 20 minutes |
Reimbursement is roughly the same per minute of time spent. The new code (99XX5 for 10+ minutes) reimburses half of the existing code (99457 for 20 minutes). |
Key takeaway: For patients who record fewer than 16 reading days or need brief clinician engagement, 2026 finally offers billable options.
These proposed changes aren't just about billing codes. They are about empowering providers to build better, more efficient, and more inclusive RPM programs. Consider the following:
The 2026 PFS proposed rule sends a powerful message: CMS clearly sees remote patient monitoring as a cornerstone of modern healthcare. These changes, if finalized, would unlock the full potential of RPM, making it a more powerful tool than ever for managing chronic conditions, improving outcomes, and building a more efficient practice.
Note: I will be discussing these and other key remote care management changes included in the PFS proposed rule, along with broader developments shaping care management in 2026 and beyond, during the upcoming webinar, "Understanding Medicare's 2026 Proposed Changes to Remote Care Management," on July 31, 2025, at 2:00 PM EDT / 11:00 AM PDT. I encourage you to register for the program here.
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