It’s Time to Talk about Time for Office Billing in 2021

It’s about time.

I talked about the medical decision-making element regarding the updated 2021 Office and Ambulatory Services Evaluation and Management (E&M) Guidelines a few weeks ago. Today, I am going to go over selection of E&M levels of service (LOS) according to time.

In other Current Procedural Terminology (CPT®) E&M guidelines and for previous office/outpatient visits, time-based billing has a “typical time” specified, and there is a requirement that the provider must exceed that typical time, and greater than 50 percent of the time must be spent in counseling and/or coordination of care. Best-practice documentation has the provider attesting to exactly these specifications and giving some points as to what was discussed or addressed in the counseling or coordination of care.

The updated office or other outpatient and prolonged services codes now hinge on amount of time, plain and simple.

Time-based Billing for Office and Ambulatory Outpatient Services 2021

New pt E&M  codes

Total time in minutes

 

Established pt E&M codes

Total time in minutes

99201

Code deleted

 

99211

No time based

99202

15-29

 

99212

10-19

99203

30-44

 

99213

20-29

99204

45-59

 

99214

30-39

99205

60-74

 

99215

40-54

Counseling and coordination of care can be elements of what was done during the encounter, but they no longer need to dominate the service visit. Time can include both face-to-face (F2F) and non-F2F time now. The time is added over the course of the calendar day, and it does not need to be sequential.

Here’s what time encompasses:

  • Preparation to see the patient, such as reviewing tests done prior to the visit;
  • The provider obtaining their own history and/or reviewing history obtained by someone else, like a medical assistant;
  • Performance of a medically appropriate physical examination;
  • Counseling and education of the patient, a family member, and/or a caregiver;
  • The ordering of medications, tests, or procedures, including whatever machinations it takes to accomplish that, such as electronic order entry;
  • Referring and communicating with other healthcare professionals;
  • Documenting in the health record, whether electronically, by dictation, or handwriting;
  • Independently interpreting results (not separately reported) and communicating results to the patient or surrogate; and
  • Care coordination, if not billed under a separate care coordination CPT code.

Here is what is excluded:

  • If the provider and another qualified healthcare professional both see a patient, only one person can claim any given minute of time – you can’t double-dip, even if two individuals are in the same room at the same time. Keep in mind that office-based encounters are only eligible to be billed as incident-to, not split/shared visits.
  • A service that is separately reported or billed can’t be counted towards the E&M LOS.
  • Time spent traveling; and
  • Teaching that is general and not limited to the discussion required for the management of a specific patient.

If your documentation template has a place to indicate time, and more than one person has signed the chart (like an APP and a supervising physician), if someone is planning on using time as their component for determining level of service, be sure that it is clear whose time is being claimed. The time would not be additive. The physician can’t take credit for time the APP invested.

Although time is often guesstimated, as opposed to formally being clocked in and out with a stopwatch, the provider should try to be accurate. If they were to get audited and the cumulative time claimed in a day exceeded the workday (or, even worse, 24 hours), there would be serious repercussions.

Finally, social time doesn’t count, either. There is no medical necessity to make small talk about the patient’s family member’s wedding or the patient’s newfound love of birding during the pandemic. Although discussing niceties may be endearing and increase patient satisfaction, there is no associated reimbursement.

To indicate billing based on time, the provider could develop an attestation that has a field to enter a specific amount of time, and note that the total time includes face-to-face and non-face-to-face time (including, but not limited to…). Here they could list a few of the activities that count toward total time, as bulleted above. It does not have to be comprehensive, but should support the amount of time being claimed.

Get your providers educated and their documentation prepared. Don’t waste time getting the provider credit for time-based billing!

Programming Note: Listen to Dr. Erica Remer when she co-hosts Talk Ten Tuesdays with Chuck Buck, Tuesdays at 10 a.m. Eastern.

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Erica Remer, MD, FACEP, CCDS, ACPA-C

Erica Remer, MD, FACEP, CCDS, ACPA-C has a unique perspective as a practicing emergency physician for 25 years, with extensive coding, CDI, and ICD-10 expertise. As physician advisor for University Hospitals Health System in Cleveland, Ohio for four years, she trained 2,700 providers in ICD-10, closed hundreds of queries, fought numerous DRG clinical determination and medical necessity denials, and educated CDI specialists and healthcare providers with engaging, case-based presentations. She transitioned to independent consulting in July 2016. Dr. Remer is a member of the ICD10monitor editorial board and is the co-host on the popular Talk Ten Tuesdays weekly, live Internet radio broadcasts.

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