Mar 14, 2023
On March 9, the Centers for Medicare and Medicaid Services (CMS) Division of Practitioner Services for Medicare and the ÀÖ²©´«Ã½ (ACA) met to discuss program implementation.
ÀÖ²©´«Ã½has identified four areas in which we have requested CMS to consider providing clarification. These areas, except for Crisis Care Services (CCS), will allow Licensed Professional Counselors to use the Medicare codes that are currently in place when diagnosing and billing. Our goal is to ensure the regulations governing the Medicare program fully represent the profession's needs.
The four areas identified are:
BHI services use a Psychiatric Collaborative Care Model involving a team, including a Treating (Billing) Practitioner who can be a physician or nonphysician practitioner. The beneficiary may have, but is not required to have, comorbid, chronic, or other medical condition(s) that are managed by the billing practitioner.
CBMT codes cover services that involve training caregivers in interventions and strategies to help manage or treat the patient’s condition, which can improve beneficiaries’ clinical outcomes.
HBAI services help Medicare beneficiaries with emotional and psychosocial concerns that arise because of a medical condition (such as a diagnosis of cancer or an exacerbation of multiple sclerosis) unrelated to a mental health condition.
What’s Next
In July 2023, ÀÖ²©´«Ã½will respond to the CMS Public Comment for the Proposed Rule for Implementation where we will also address the above items in detail. ÀÖ²©´«Ã½will request counselors also respond to the rule. The Association will provide a template and guidance on how to respond to CMS public comment period.
Prior to July, ÀÖ²©´«Ã½will host virtual events to help counselors understand Medicare Implementation, and how to prepare for enrolling into the program.
For more information, please contact the ÀÖ²©´«Ã½Government Affairs and Public Policy team at advocacy@counseling.org.