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ACR Comments on 2025 Physician Fee Schedule

From the College  |  September 6, 2024

The ACR expressed support for this proposal because it could be particularly important in situations where the average sales price (ASP) is very low or negative and other data are used to calculate the payment amount, resulting in an amount that exceeds the inflation-adjusted payment amount.

Telemedicine

The CMS is not proposing to extend the geographic-location telemedicine flexibilities that originated during the COVID-19 pandemic and were extended through 2024 by Congress. Starting Jan. 1, 2025, telemedicine originating-site specifications would limit patient location to certain rural and underserved areas. Several bills under consideration in Congress would extend or make telemedicine flexibilities permanent.

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The ACR encouraged the CMS to work with Congress to permanently extend all regulatory flexibilities on telemedicine reimbursement. We also called for the CMS to remove all restrictions on payment parity and remove any barriers to interstate licensure that bar providers from treating beneficiaries across state lines.

The CMS is also proposing to permanently reimburse for two-way, real-time audio-only communication to satisfy the requirement for an interactive telecommunications system, when appropriate. The ACR expressed support for this proposal.

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G2211

The CMS is proposing to pay for G2211 on claims that use modifier -25 to report a Medicare annual wellness visit, vaccine administration or Medicare Part B preventive service at the same encounter as an office/outpatient evaluation and management (E/M) service. Although the ACR expressed support for this incremental change, we iterated our desire for the restrictions on modifier -25 to be removed completely.

Quality Payment Program

The following are some of the changes the CMS is proposing to the Merit-Based Incentive Payment System (MIPS) for CY 2025:

  • The CMS is proposing to maintain the performance threshold at 75 points for CY 2025. Scoring above 75 points would allow an individual or group a payment bonus; scoring below 75 points would result in a payment penalty in 2027.
  • By law, the CMS is not proposing to change the category weights. The quality performance and cost performance categories will each be weighted at 30%. Promoting interoperability and improvement activities performance categories will maintain their respective 25% and 15% weights.
  • The CMS will maintain the data completeness threshold for the MIPS quality performance category at 75% for the 2025 through 2028 performance years. This is a change from previous proposed rules, which stated the data completeness threshold would increase to 80% in 2027.
  • The CMS is proposing to add six new measures in the cost category, including rheumatoid arthritis.
  • The CMS is proposing to add adult Covid-19 vaccination status to the rheumatology measure set. It is also proposing changes to four existing measures in the rheumatology set.
  • The CMS is proposing various changes to the Advancing Rheumatology Patient Care MIPS Value Pathway.

The ACR expressed support for these changes. However, the CMS is also proposing to sunset traditional MIPS in favor of MIPS Value Pathways (MVPs) for the 2029 reporting year/2031 performance period. The ACR has successfully encouraged rheumatologists to report the Advancing Rheumatology Patient Care MVP through the ACR’s Rheumatology Informatics System for Effectiveness (RISE) registry but has only experienced one reporting period. RISE users have also called for more specialty-specific measures in the MVP. Because measure development is a time- and resource-intensive activity, the ACR urged the CMS to allow more time for specialty-specific measures to be developed in MVPs before sunsetting traditional MIPS.

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Filed under:From the CollegeLegislation & Advocacy Tagged with:ACR advocacyMedicare Physician Fee Schedule (MPFS)

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