June 3, 2021
Physicians and other practitioners who are paid under the Medicare Physician Fee Schedule bill for common office and other outpatient visits for evaluation and management (E/M) services use a set of Current Procedural Terminology (CPT)* codes that distinguish visits based on the level of complexity, site of service, and whether the patient is new (CPT codes 99202–99205) or established (CPT codes 99211–99215).
For the first time since its introduction in 1992, the office/outpatient E/M CPT code set has been extensively revised for 2021. This column addresses frequently asked questions about the new office/outpatient E/M reporting guidelines.
In 2021, office/outpatient E/M codes no longer require documentation of a detailed history and exam. Code selection is based on the level of medical decision-making (MDM) or total time spent on the date of the patient encounter, and each service includes a “medically appropriate history and/or examination.”
For 2021, only the office/outpatient E/M codes 99202–99215 have been revised to allow reporting either using MDM or total time. The 1995/1997 documentation guidelines still apply for all other E/M codes, including consultation codes.
No, only one method—either MDM or total time—may be used to select the level of office/outpatient E/M visit code for a single patient encounter. However, you do not need to use the same method for all visits. Surgeons will likely use MDM for code selection for most patient encounters and use total time for code selection to account for a small subset of visits that require low-level MDM but involve extensive time because of extenuating circumstances (for example, language barriers or food or shelter insecurities).
All face-to-face and non-face-to-face time of both the physician and qualified health professional (QHP) related to the patient encounter on the day of encounter applies when reporting an office/outpatient E/M visit using time. This includes documentation of the visit in the electronic health record, review of imaging, and consultation with external physicians, among other types of work. Time for clinical staff (such as nurses, medical assistants) may not be included in the physician/QHP total time.
When using MDM to select the code level, activities that are performed on days before or after the office visit that are directly related to the encounter, such as speaking with a radiologist about an imaging report, may be counted.
Yes, this scenario applies to the MDM element “risk of complications and/or morbidity or mortality of patient management,” which includes both possible management options selected, as well as those considered but not selected after shared decision-making with the patient and/or family. For example, a decision about hospitalization includes consideration of alternative levels of care, such as a skilled nursing facility or home care. Shared MDM involves eliciting patient and/or family preferences, patient and/or family education, and explaining risks and benefits of management options.
The rules for reporting an E/M code and procedure code on the same day have not changed. Modifier 25 may be appended to the E/M code to indicate that on the day a procedure was performed, the patient’s condition required a significant, separately identifiable E/M service above and beyond the usual preoperative and postoperative care associated with the procedure that was performed. A significant, separately identifiable E/M service is defined or substantiated by documentation that satisfies the relevant criteria for the respective E/M service to be reported. The E/M service may be prompted by the symptom or condition for which the procedure was provided. As such, different diagnoses are not required for reporting of the E/M services on the same date. If one uses time rather than MDM to justify the level of E/M service billed, the time to prepare and perform the procedure cannot be considered in the calculation of total time.
The terms “major” and “minor” in MDM Element 3 (Risk) are unrelated to the global period of a code. The CPT guidelines for code level selection and definitions for major and minor surgery specifically describe the intent of these terms. Medicare refers to major and minor surgery in the context of the amount of postoperative work that is bundled for global package payment. When estimating risk for the determination of the level of MDM, major and minor are based on the common meaning as interpreted by trained clinicians and not based on a global payment package assignment. These terms are not defined by a global payment package classification nor are they defined by the type of anesthesia administered.
The following resources are available:
TABLE 1. ON-DEMAND CODING COURSES
*All specific references to CPT codes and descriptions are © 2020 American Medical Association. All rights reserved. CPT is a registered trademark of the American Medical Association.