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The ֲýSubmit Comments To CMS Regarding Impact On Medicare and Medicaid Programs: CY 2023 Payment Policies Under the Physician Fee Schedule and Other Changes to Part B Payment Policies; Medicare Shared Savings Program; et al.

Sep 6, 2022

The ֲý (ACA), in addition to other mental health organizations, submitted comments to the Centers for Medicare and Medicaid Services (CMS) on how the 2023 Medicare Physician Fee Schedule Proposed Rule’s “general supervision” requirement affects the counseling profession. As CMS indicates, “general supervision” is a more flexible type of supervision that would not require the Medicare-eligible provider to be present in the clinic when an LPC or LMFT treats a Medicare beneficiary, although the Medicare-eligible provider must still submit the reimbursement claim. Although this rule’s “general supervision” clause will positively impact the counseling profession, ֲýshared in its comments that “without Congressional action, CMS’s ability to expand Medicare beneficiaries’ access to LPCs and LMFTs is limited,” but ֲýwill “support all steps CMS can take to increase beneficiary access to these practitioners within its regulatory authority.”

The ֲýprovided the following recommendations to CMS:

  • Recommendation 1 - Include Associate Counselors completing their supervised clinical training requirements to be “auxiliary personnel”
  • Recommendation 2 - Clarify Supplemental Payer Coverage Requirements

Read the full comments submitted by ֲýhere.