A Medicare Practice Compliance Paperwork Checklist for Medical

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A Medicare Practice Compliance Paperwork Checklist for Medical Practices By: Jeff Howard jeff@rayhowardassociates. com

A Medicare Practice Compliance Paperwork Checklist for Medical Practices By: Jeff Howard jeff@rayhowardassociates. com and Alan S. Gassman, Esq. agassman@gassmanpa. com Copyright © 2011 Gassman, Bates & Associates, P. A. 1

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1. The contractor must be notified of each office location addition or deletion. Copyright

1. The contractor must be notified of each office location addition or deletion. Copyright © 2011 Gassman, Bates & Associates, P. A. 12

2. The contractor must be notified of each managing employee addition or deletion either

2. The contractor must be notified of each managing employee addition or deletion either W-2 or 1099. Copyright © 2011 Gassman, Bates & Associates, P. A. 13

3. The provider must attest to Section 3 as to if an adverse action

3. The provider must attest to Section 3 as to if an adverse action has taken place. Copyright © 2011 Gassman, Bates & Associates, P. A. 14

4. If the provider is a sole practitioner they must also have a NPI

4. If the provider is a sole practitioner they must also have a NPI for the corporate entity. Copyright © 2011 Gassman, Bates & Associates, P. A. 15

5. The punctuation in the NPI name must match identical to the IRS CP

5. The punctuation in the NPI name must match identical to the IRS CP 575 punctuation. Copyright © 2011 Gassman, Bates & Associates, P. A. 16

6. The Sunbiz name should match the IRS name. Copyright © 2011 Gassman, Bates

6. The Sunbiz name should match the IRS name. Copyright © 2011 Gassman, Bates & Associates, P. A. 17

7. The individual PTAN and NPI should be listed in Section 1 of the

7. The individual PTAN and NPI should be listed in Section 1 of the 855 B. Copyright © 2011 Gassman, Bates & Associates, P. A. 18

8. The signature page should be signed in blue ink. Copyright © 2011 Gassman,

8. The signature page should be signed in blue ink. Copyright © 2011 Gassman, Bates & Associates, P. A. 19

9. The bank account must be in the legal name of the entity. Copyright

9. The bank account must be in the legal name of the entity. Copyright © 2011 Gassman, Bates & Associates, P. A. 20

10. The routing number must be listed correctly as some banks do not use

10. The routing number must be listed correctly as some banks do not use the routing number on the check. (Sunbank). Copyright © 2011 Gassman, Bates & Associates, P. A. 21

For Immediate Release: Consolidated and Easier to Read and Understand New Accountable Care Organization

For Immediate Release: Consolidated and Easier to Read and Understand New Accountable Care Organization Proposed Regulations and Materials Released Free of Charge for Physicians and Members of the Press who call 727 442 -1200 or e-mail agassman@gassmanpa. com. Alan S. Gassman says that the regulations will favor hospitals and large healthcare systems over small physician practices and patient welfare. Gassman, Bates & Associates, P. A. in Clearwater Florida announces that it has reconfigured the recently released HHS Accountable Care Organization Regulations to be easier to understand more accessible to physicians, the press, and other interested parties. Issued as a 429 page document, the easier to read and navigate product version is available in hard copy and MS Word format, and was reduced to 213 pages. Features include acronym definition throughout the text, a Table of Contents linked to page numbers, and an Index. All pages from the original March 31 st HHS release are included, along with the separate pronouncement from the Department of Justice on abatement of the antitrust laws and other pertinent government issued releases. This text, along with a brief summary of the new Regulations written by attorneys Alan S. Gassman and Martha Sosa can be purchased by non physicians who are not members of the press for $20. 00, with all net proceeds going to the All Children’s Hospital Foundation in St. Petersburg, Florida. Attorney Alan S. Gassman stated “I was pleasantly surprised by the amount of detail and thought that went into the content of this document, but was completely hindered by its presentation. The size of the document and the overabundance of unfamiliar and unnecessary acronyms was overwhelming. There were no page numbers on the Table of Contents. Non lawyers who understand the intent of these proposed rules will be able to get a much better understanding of the details by reading this directly. I hope that this helps to allow for better commentary and input to CMS during the 60 day comment period. ” Mr. Gassman also said that “Physician interests are not as well served as hospital interests in these rules, and the vast majority of doctors do not have armies of lawyers and lobbyists to help them here. I am sad that my family doctor would have to join an organization of the size and complexity of an ACT to be able to make ends meet, and maybe these rules can be improved before finalization if more doctors read about them and provide feedback to simplify this process. Otherwise half or more of the hundreds of millions of dollars of incentives are going to go to lawyers, consultants and software companies instead of doctors and other hard working health professionals. ” There are easy ways to simplify these rules to help all concerned, including the government. Alan S. Gassman is an attorney and author who has published over 200 articles in national magazines, journals, and other services. Gassman, Bates & Associates, P. A. represents several hundred physicians in the Tampa Bay, Florida area. Mr. Gassman has been quoted in The Wall Street Journal, The New York Times, Medical Economics and many other respected publications. If you would like a copy of the reworked Regulations and supplemental materials, please call 727 442 1200, e-mail Agassman@gassmanpa. com, or visit Amazon. com where the book will be posted on April 7, 2011. Copyright © 2011 Gassman, Bates & Associates, P. A. 22