If you've come to read this blog post, you're presumably looking for the rules you should be following to perform proper chronic care management (CCM) billing and coding. That's good. While the federal government has been increasingly supportive of care management programs, they are also more closely scrutinizing CCM reimbursement by auditing instances and causes of overpayment associated with incorrect billing of the service.
And there's every reason to believe that the federal government, including the Centers for Medicare & Medicaid Service (CMS) will be paying even closer attention to chronic care management (i.e., CCM) going forward. The agency is putting substantial money behind the care management service, which provides coverage for patients with 2+ chronic conditions for a continuous relationship with their care team. Thus, the importance of ensuring that you appropriately and consistently following the rules of CCM codes and CCM billing has probably never been greater.
Now let's breakdown what are considered the most common and frequently used chronic care management CPT codes. For your reference, we're also including 2023 average Medicare reimbursement rates for these CCM codes.
We begin with the base chronic care management CPT code and what's often referred to as its sister CPT code. Together, these two CCM codes are sometimes referred to as the non-complex CCM codes.
Chronic care management services, at least 20 minutes of clinical staff time directed by a physician or other qualified healthcare professional, per calendar month, with the following required elements:
Coding for CPT 99490 assumes 15 minutes of work by the billing practitioner per month.
Chronic care management services, provided personally by a physician or other qualified healthcare professional, at least 30 minutes of physician or other qualified healthcare professional time, per calendar month, with the following required elements:
When reviewing the requirements for CPT 99490 and CPT 99491, can you tell where they differ? Under CPT 99490, clinical staff supervised by a physician or other qualified healthcare professional can perform CCM for billing purposes. CPT 99491 compensates physicians or other qualified healthcare professionals for time spent on CCM-related care and requires them to provide such care personally. It also requires a minimum of 30 minutes a month of CCM instead of the 20 minutes required under CPT 99490.
Now let’s look at the two CCM add-on codes: CPT 99439, which replaced HCPCS code G2058 in 2021, and CPT 99437, which was add for 2022 in the 2022 Medicare Physician fee schedule final rule.
Chronic care management services, each additional 20 minutes of clinical staff time directed by a physician or other qualified healthcare professional, per calendar month.
CMS established payment for HCPCS code G2058 in its 2020 physician fee schedule final rule and then decided one year later to replace G2058 with CPT 99439. This code can be reported no more than twice per calendar month with CPT 99490 to capture additional care that exceeded the established 20-minute time allotments.
Chronic care management services each additional 30 minutes by a physician or other qualified health care professional, per calendar month.
As an add-on code for CPT 99491, it should only be billed for time spent beyond the initial 30 minutes spent providing services under 99491.
Now we'll move into the complex CCM codes. As we define in our glossary, complex CCM is "… is for patients with two or more qualifying conditions who require more clinical staff and physician time" than CCM. In other words, these are patients who must also require moderate- to high-complexity medical decision-making. We begin with the main CCM code.
Complex chronic care management services, with the following, required elements:
With the main complex CCM code explained, we can look at its sole add-on code.
Each additional 30 minutes of clinical staff time is directed by a physician or other qualified health care professional, per calendar month (list separately in addition to code for primary procedure).
As the end of the description for CPT 99489 suggests, this code should not be listed on its own. Rather, it should be reported in conjunction with CPT 99487 when a patient requires an additional 30 minutes of care in the month — which is on top of the 60 minutes covered under CPT 99487.
Now let's discuss the principal care management (PCM) codes. PCM is defined in our glossary as follows: "A service that provides additional care to patients with one or more chronic conditions by focusing care solely on one such condition. Like chronic care management, principal care management offers an avenue of reimbursement to physicians for the additional work they do while caring for high-risk, complex patients. Examples include medication reconciliation and adjustments, creating a care plan, and patient follow-up."
We begin by discussing the two main PCM codes. The codes were originally HCPCS G2064 and HCPCS G2065. They were replaced by CPT 99424 and 99426, respectively, in the 2022 Medicare physician fee schedule final rule.
Principal care management services, for a single high-risk disease, first 30 minutes provided personally by a physician or other qualified health care professional, per calendar month, with the following required elements:
Principal care management services, for a single high-risk disease, first 30 minutes of clinical staff time directed by a physician or other qualified health care professional, per calendar month, with the following required elements:
The difference between these two codes and CPT 99490 and 99491 are similar, just reversed. G2064 is reported when a physician or other qualified healthcare professional performs the service (like 99491) whereas G2065 is reported when clinical staff — under the direction of a physician or other qualified healthcare professional — performs the service (like 99490).
In the 2022 Medicare physician fee schedule final rule, CMS finalized the addition of four new PCM codes. There were CPT 99424 and CPT 99426, which replaced G2064 and G2065, as we just discussed.
CMS also finalized two new add-ons PCM codes, CPT 99425 and CPT 99427.
Each additional 30 minutes is provided personally by a physician or other qualified health care professional, per calendar month (list separately in addition to code for primary procedure).
Each additional 30 minutes of clinical staff time is directed by a physician or other qualified health care professional, per calendar month (list separately in addition to code for primary procedure).
As add-on codes, they should never be listed on their own. Rather, CPT 99425 and 99427 should be reported in conjunction with CPT 99424 or 99426, respectively, when a patient requires an additional 30 minutes of care in the month.
As a result of these principal care management additions, the PCM codes now mirror the existing chronic care management code structure: There are initial and add-on codes for services personally provided by physicians and qualified healthcare professionals and services provided by clinical staff.
Now we’ll look at the two CPT codes used when remote physiological monitoring — sometimes referred to as remote patient monitoring or RPM — is added to chronic care management: CPT 99453 and CPT 99454.
Remote monitoring of physiologic parameter(s) (eg, weight, blood pressure, pulse oximetry, respiratory flow rate), initial; set-up and patient education on use of equipment.
Remote monitoring of physiologic parameter(s) (eg, weight, blood pressure, pulse oximetry, respiratory flow rate), initial; device(s) supply with daily recording(s) or programmed alert(s) transmission, each 30 days.
CPT 99453 is reported when a patient is initially enrolled into a remote physiological monitoring program. It can only be reported once for a patient and generates a single payment.
CPT 99454, on the other hand, is reported for the ongoing delivery of RPM services and can be billed on a monthly basis. This code typically requires at least 16 days of data to be collected every month. There is a temporary waiver, put in place during the COVID-19 public health emergency, permitting the reporting of CPT 99454 when two days of data is collected. However, this requires meeting specific exceptions identified under the waiver. Learn more about the measurement-days requirements here.
Note: For more assistance with remote patient monitoring coding, download this RPM guide.
In this section, we'll briefly discuss HCPCS G0506, an add-on code.
Comprehensive assessment of and care planning for patients requiring chronic care management services (list separately in addition to primary monthly care management service).
As an FPM Journal article notes, G0506 "… extends payment for CCM initiating visits that require extensive face-to-face assessment and care planning by the billing provider." This care planning, the journal states, should go beyond the usual effort described by the evaluation and management, annual wellness visit (AWV), or initial preventive physical examination code (IPPE).
HCPCS G0506 can be billed separately from the monthly care management service codes — CPTs 99490, 99491, 99487, 99489 — but the time and effort described by G0506 cannot also be counted toward another code. Like the AWV and IPPE, G0506 can only be billed once per patient per provider.
In 2018, HCPCS code G0511 took effect and became the go-to chronic care management code for rural health centers (RHCs) and federally qualified health centers (FQHCs).
Rural health clinic or federally qualified health center (RHC or FQHC) only, general care management, 20 minutes or more of clinical staff time for chronic care management services or behavioral health integration services directed by an RHC or FQHC practitioner (physician, NP, PA, or CNM), per calendar month.
Since 2018, RHCs and FQHCs are expected to use HCPCS code G0511 when the requirements for the non-complex or complex CCM CPT codes are met.
Payment for HCPCS G0511 is established by averaging the national non-facility physician fee schedule payment rate for CPT codes 99490, 99487, 99491, and 99484 (discussed next).
Finally, let’s discuss CPT 99484. This code is reported for general behavioral health integration (BHI) care management services.
Care management services for behavioral health conditions, at least 20 minutes of clinical staff time, directed by a physician or other qualified health care professional time, per calendar month, with the following required elements:
CPT 99484 is often discussed in conjunction with three other CPT codes 99492, 99493, and 99494. In simple terms, these three codes describe psychiatric collaborative care management services delivered under the Psychiatric Collaborative Care Model (CoCM). COCM is rarely used in the same context as CCM and BHI as it includes requirements that are largely outside the scope of a standard care management program.
Meanwhile, as CMS notes, "CPT code 99484 is used to bill monthly services delivered using BHI models of care other than CoCM that similarly include service elements such as systematic assessment and monitoring, care plan revision for patients whose condition is not improving adequately, and a continuous relationship with a designated care team member. CPT code 99484 is also used to report models of care that do not involve a psychiatric consultant, or a designated behavioral health care manager."
To learn more about BHI services and these CPT codes, reference this helpful CMS resource.
While this post should better help ensure your organization properly codes and is paid for chronic care management services, adding a solution like the Prevounce platform can make these processes even easier. Prevounce CCM removes the complexities and confusion surrounding chronic care management, including coding and reimbursement, through personalized, compliant solutions that fit seamlessly into any organization's workflow.
To view the platform relied upon by a growing number of organizations with chronic care management programs, schedule a demo.
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Disclaimer
Health economic and reimbursement information provided by Prevounce is gathered from third-party sources and is subject to change without notice as a result of complex and frequently changing laws, regulations, rules, and policies. This information is presented for illustrative purposes only and does not constitute reimbursement or legal advice.
Prevounce encourages providers to submit accurate and appropriate claims for services. It is always the provider’s responsibility to determine medical necessity, the proper site for delivery of any services, and to submit appropriate codes, charges, and modifiers for services rendered. It is also always the provider’s responsibility to understand and comply with Medicare national coverage determinations (NCD), Medicare local coverage determinations (LCD), and any other coverage requirements established by relevant payers which can be updated frequently.
Prevounce recommends that you consult with your payers, reimbursement specialists, and/or legal counsel regarding coding, coverage, and reimbursement matters.
Payer policies will vary and should be verified prior to treatment for limitations on diagnosis, coding, or site of service requirements.
The coding options listed here are commonly used codes and are not intended to be an all- inclusive list. We recommend consulting your relevant manuals for appropriate coding options.
The Health Care Provider (HCP) is solely responsible for selecting the site of service and treatment modalities appropriate for the patient based on medically appropriate needs of that patient and the independent medical judgement of the HCP.