- 2025 code changes: What doctors of optometry need to know
- Introducing the new CMS G2211 code
- Coordination of benefits 3 takeaways for optometric billing practices
- Clearing up modifier confusion
- Payor Downcoding: What Is It and What Should You Do About It
- New noteworthy optometry codes
- Modifier -25: How to use it appropriately and avoid costly penalties
- 3 coding questions cracked
- CPT codes deleted in 2023—do you know what codes may be billed to replace them?
- Why Proper Documentation Is Vital
- Common coding questions answered
- How and when to code for social determinants of health
- Most asked coding questions: dilation
- 2 points to keep in mind when patients decline dilation
- social determinants of health
- Can a doctor of optometry bill Medicare for a comprehensive eye exam and a procedure on the same day
- The future of audio-only reimbursement
- Coding conundrums solved
- 7 takeaways from the 2023 Medicare Physician Fee Schedule Final Rule
- Virtual check-in codes
- What your colleagues are asking about coding
- CMS releases 2023 Medicare PFS proposed rule
- Merit-based Incentive Payment System: What doctors should know
- Ask the coding experts
- Merit-based Incentive Payment System quality measures
- Coding for presbyopia eye drops
- Coding and contact lens safety
- CMS 2022 Medicare PFS decreases conversion factor sets new policy goals
- CMS releases information on Part B claims-based quality measure scoring for 2021
- Updated ICD-10 codes take effect October 1
- If it sounds too good to be true
- New EM codes
- What to do when a coding decision is made incorrectly
- 4 coding changes now in effect
- changes in 2021 to coding and documentation for evaluation and management services.
- AOA HPI provides coding benchmark data
- Appropriate use of modifier 25
- Changes on the horizon for evaluation and management services
- AOA Coding Experts gain AMA CPT appointments
- 2020 PFS changes for optometry
- 2020 updates to the ICD-10 code set
- Medicares virtual check-in codes
- The importance of accurate coding and contact lens safety
- coding for cognitive development test
- Medicare evaluation and management documentation and billing
- Coding and audits
- 5 coding queries cracked
- appropriate diagnosis code reporting
- Diagnostic code changes
- 4 coding conundrums clarified
- Where coding and coverage intersect
- Changes on the horizon for evaluation and management documentation and reimbursement
- Global period data collection and possible future changes
- New ICD-10 codes effective
- July-Aug17_Coding Q&As
- The ICD 10 code development process
- coding experts-billing for post-cataract glasses
- accurate coding for public health
- July Aug 2017 Coding Experts
- September Coding Experts
- CMS data collection on postoperative visits
- 3 solutions to common coding problems
- 3 coding changes doctors need to know
- Coding cases cracked
- New diabetes related diagnosis codes
- Get answers to your coding questions
- New ICD10 codes doctors need to know
- Be aware of changes for 2017 and beyond
- Common coding Qs answered
- Coverage indications limitations and medical necessity
- 4 tips for competing with online retailers
- Coding questions cracked
- Access online coding resource for AOA members
- What is the future of CPT coding
- CMS makes changes in how doctors revalidate Medicare enrollment information
- 5 coding changes and clarifications doctors need to know
- More ICD 10 coding Q&As
- Doctors of optometry could see a rise in labor costs under new federal overtime rule
- 4 tips for growing your practice
- HHS unveils proposed rule for new Quality Payment Program
- Ask the Coding Experts Comparative billing reports raise questions on glaucoma patient treatment and coding
- Ask the Coding Experts Modifier 24 and 25 usage
- ICD-10 coding QandAs October
- Ask the Coding Experts Chronic care management services
- ICD 10 transition So far so good
- CMS comparative billing reports What you need to know
- Ready resources for the ICD 10 rollout
- Coding Q&As
- Online payment option makes cents
- Modifiers for distinct procedural services
- Get a refresher on your public Open Payments data
- Final countdown Get answers to your ICD-10 coding questions
- AOA clarifies meaningful use rule on electronic order entry
- More ICD 10 coding QandAs
- Vision therapy coding
- Medicare claims and requests for additional documentation
- Coding QnAs May
- Referring ordering and form 8550
- Reporting code 92250
- One-year Medicare payment fix extends ICD-10 deadline
COVID-19 PHE ends today: What you need to know
May 11, 2023
The public health emergency officially expires on May 11 with immediate consequences on PREP Act vaccination authority and federal student loans, while telehealth allowances receive several months’ reprieve.
Medicare’s temporary telehealth allowances will expire on Dec. 31, 2024, as the federal COVID-19 public health emergency (PHE) and the necessary flexibilities it triggered begin to phase out.
On Jan. 30, the Biden Administration announced it plans to allow the COVID-19 PHE to expire by day’s end on May 11, 2023, allowing the Department of Health and Human Services (HHS) to issue a 90-day notice for payers, health care providers and states to prepare for the slew of policy changes that had been in effect for the past three years. Most notably, the COVID-19 PHE expiration will put an end to certain testing, treatment and coverage policies temporarily extended or waived under Medicare and Medicaid by the Trump Administration in 2020, as well as start a timer on the cessation of Medicare telehealth flexibilities.
As part of the COVID-19 PHE, Medicare currently pays the same amount for telehealth services as it would if the services were furnished in person. Billing for Medicare telehealth services, as well as for the telephone assessment and management services, and additional flexibilities for communications technology-based services (CTBS) were effective only through the PHE’s end. However, Congress acted in December 2022 with the Consolidated Appropriations Act (CAA) to extend these Medicare telehealth flexibilities for the formerly expanded list of Medicare-covered services through Dec. 31, 2024.
In a fact sheet regarding the COVID-19 PHE cessation, the AOA notes this temporary extension:
- Permits doctors to use telehealth services for patients in any geographic area, including their homes.
- Allows telehealth services to be delivered via smartphone in lieu of equipment with both audio and video capability.
- Permits an expanded list of Medicare-covered services that can be provided via telehealth.
Up until May 11, 2023, Medicare-covered providers may use any nonpublic-facing application to communicate with patients without risking any federal penalties, even if the application isn’t HIPAA compliant. The AOA expects additional regulations to come from the HHS to update and finalize additional rules prior to the Dec. 31, 2024, expiration. Medicare will allow doctors of optometry to continue to provide telehealth services using 92 and 99 codes, the AOA notes.
Medicaid telehealth flexibilities will remain unchanged for the time being, the HHS notes in a fact sheet.
Jeffrey Michaels, O.D., AOA Advocacy Executive Committee member, notes that during this interim period, it would behoove doctors of optometry to check with their malpractice carriers to find out how the end of the PHE will affect their telehealth malpractice coverage.
“Many doctors may be surprised to find out that their malpractice coverage changes with the end of the PHE,” Dr. Michaels says.
In addition to telehealth ramifications, the PHE’s end also means:
- The PREP Act declaration permitting qualified doctors of optometry to administer COVID-19 vaccines will end on Oct. 1, 2024.
- The federal student loan pause—automatically pausing payments and setting interest rates to 0%—will end on June 30, 2023, with payments scheduled to resume 60 days afterward.
Telehealth in optometry going forward
The COVID-19 pandemic and the federal PHE thrust doctors of optometry and their patients into using telehealth, Dr. Michaels says, necessitating doctors to acclimate quickly out of necessity. In fact, across the broader health care industry, utilization of telehealth services jumped from an average of 325,000 services per week in March 2020 to nearly 1.9 million in April 2020.
“The use of telehealth during COVID has changed our patients’ expectations for care delivery,” Dr. Michaels says. “Today, most patients have experience with telehealth and many have an expectation that it will continue.”
Such is the case, these patient experiences fueled multiple iterations of the AOA’s Telemedicine in Optometry policy statement, the most recent version updated and adopted in fall 2022. This 12-page policy statement notes the AOA’s support for an appropriate use of telemedicine in optometry but also reiterates that telemedicine cannot replace in-person, comprehensive eye care by doctors of optometry and emphasizes the need for preserving access to high-value, high-quality eye health and vision care.
In presenting the revised position statement during the AOA Leaders Summit in St. Louis, Missouri, Feb. 2-4, Dr. Michaels noted: “There’s an ongoing need to continue providing some value in telemedicine in eye care, including triaging some emergencies and at-home monitoring of previously diagnosed conditions. We recognize this technology is evolving quickly, and we’re going to continue evaluating remote technologies and work to protect our patients.”
If you have recommendations or concerns regarding the AOA’s policy statement, please contact AOA’s Chief Strategy Officer Kara Webb.