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July 6, 2010

Important PQRI Changes for Anesthesia Practices

CMS has released the 1250-page proposed rule containing changes to the Medicare Physician Fee Schedule for 2011. Chief among these changes is the calculation of next year’s conversion factor. By now you have probably heard that the proposed rule would cut payments by another 6.1 percent, effective January 1, 2011. We want to be sure you know that this is not a real number. It is driven by the Sustainable Growth Rate (SGR) formula and certain proposed shifts in relative values between various specialties. The final percentage change in the 2011 conversion factor will almost certainly look very different, for these reasons:

In other words, don’t assume that the 6.1 percent reduction will necessarily stand, but do use it to support your arguments to your Congressional representatives that they must fix the SGR.

Proposed Rule’s Changes to the PQRI

The proposed rule would implement a number of the provisions of the Patient Protection and Affordable Care Act, which has become known simply as the “Affordable Care Act.” Of particular interest are the modifications to the Physician Quality Reporting Initiative (PQRI). To begin with, the bonus for successfully reporting the measures applicable to one’s practice will decrease from 2 percent of Medicare allowed charges to 1 percent in 2011 and to just 0.5 percent in 2012, 2013 and 2014. In 2015, not reporting PQRI measures will net physicians a 1.5 percent decrease in their Medicare payments, and a 2.0 decrease beginning in 2016.

Other PQRI changes include:

The interim feedback reports and review mechanism have been proposed as a result of physician organizations’ including MGMA’s urging that for the PQRI to improve actual patient care, the program must give more timely and actionable clinical information to physicians. This is all the more important because CMS noted, in its discussion of the proposed rule, that only about half of all physicians who participated in the PQRI via claims-based reporting qualified for the incentive bonus.

Please remember that what CMS has just published is its proposed  rule for 2011 physician payment. The final rule, which may be substantially different, although it cannot introduce new topics, is required by law to be published before December. We will provide further information on both the PQRI and the fee schedule rule as it develops in the continuing hope of making it easier for every reader to obtain the payments to which he or she is entitled.

Sincerely,

Tony Mira
President and CEO