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CMS Center For Program Integrity (CPI)Part D Recovery Audit Contractor (RAC) Program Overview
CMS Center For Program Integrity (CPI)Part D Recovery Audit Contractor (RAC) Program Overview
Tanette Downs and Frank Chartier
Division of Plan Oversight & Accountability
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RAC Overview Agenda TopicsRAC Overview Agenda Topics
• RAC Program History and Background• Part D RAC Audit Process
• Pre-Audit Phase• Audit Phase• Post-Audit Phase• Questions
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History and Background of the Recovery Audit Contractor (RAC) Program
History and Background of the Recovery Audit Contractor (RAC) Program
• The RAC program was congressionally mandated to identify improper payments and recoup overpayments
• The RAC program is responsible for:• Identifying and correcting past improper payments to Medicare
providers and Medicare Advantage (MA) and Prescription Drug (PD) Plans
• Implementing procedures to help CMS, MA and PD Plans, Medicare Carriers, Fiscal Intermediaries, and Medicare Administrative Contractors (MACs) implement actions to prevent future improper payments
• CMS’ Center for Program Integrity (CPI) currently oversees the Medicare Prescription Drug “Part D” RAC program
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History of Part D and the Medicare RAC Program
History of Part D and the Medicare RAC Program
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• Part D, the Medicare Prescription Drug Benefit, was enacted via Title I of the Medicare Prescription Drug, Improvement and Modernization Act of 2003 (MMA) (P.L. 108-173) in December 2003
• The FFS RAC program was implemented as a demonstration project through The Tax Relief and Health Care Act of 2006
• CMS permanently implemented the FFS RAC program on a nationwide basis in October 2009
• Signed in 2010, Section 6411(b) of the Affordable Care Act (ACA) expanded the use of RACs to Medicare Parts C and D
Part D RAC Program RolesPart D RAC Program Roles
Center for Program Integrity
Contract Oversight
Part D RACACLR Strategic Business
Solutions http://aclrsbs.com
Data ValidationContractor (DVC)
Livantawww.livanta.com
Part D RAC Outreach & Education
StrategicHealthSolutions, LLC
www.strategichs.com
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The Part D RAC ProgramThe Part D RAC Program
The Part D RAC:• Analyzes previously paid individual Medicare Part D claims/
Prescription Drug Events (PDEs) and other financial information
• Corrects past improper payments to Medicare Part D Plans• Provides information to CMS to help prevent future
improper payments• Refers any potential fraud findings identified during the
auditing process to the MEDIC, CMS’s contracted field agent that assists with detection and prevention of fraud, waste and abuse in the Parts C and D programs
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RAC Overview Agenda TopicsRAC Overview Agenda Topics
• RAC Program History and Background• Part D RAC Audit Process
• Pre-Audit Phase• Audit Phase• Post-Audit Phase• Questions
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Part D RAC Program Audit PhasesPart D RAC Program Audit Phases
• Pre-Audit: CMS determines audit criteria and scope to conduct audits of previous Medicare Part D payments
• Audit: The RAC conducts improper payments analyses and impact calculations and notifies the Part D Plan of the findings, including the demanded amount
• Post-Audit: Identified improper payments are collected from Part D Plans. If an Plan feels the RAC findings are in error, this is also the phase in which a Plan is provided opportunity to appeal
Each of these audit phases is discussed in greater detail in the following slides
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RAC Overview Agenda TopicsRAC Overview Agenda Topics
• RAC Program History and Background• Part D RAC Audit Process
• Pre-Audit Phase• Audit Phase• Post-Audit Phase
• Questions
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CMS Audit IssuesCMS Audit Issues
CMS mandates review of contracts by issue type for a specified audit year and audit issue
Planned Part D RAC audit issues include: • Excluded Providers: The Part D RAC reviews PDE records submitted
for Part D drugs prescribed and filled by providers who were excluded from Medicare at the time of the claim
• Duplicate Payments: The Part D RAC reviews PDEs submitted for the same beneficiary, same medication for the same or closely matching dates
• Direct and Indirect Remuneration (DIR): The Part D RAC reviews information submitted to CMS regarding DIR to determine whether amounts reported and used for reconciliation match supporting documentation and actually-incurred costs 10
New Issues Review Board (NIRB)New Issues Review Board (NIRB)
Additional audit issues may be proposed through the New Issues Review Board (NIRB)
• The NIRB is a multi-member entity within CMS• Considers potential audit issues and their potential suitability
for the RAC program
• CMS, the RAC, Plans and other stakeholders are encouraged to submit as many potential audit issues as desired to the NIRB for consideration
• CPI leads the NIRB and reaches out to additional Subject Matter Experts (SMEs) within CMS, as appropriate
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RAC Overview Agenda TopicsRAC Overview Agenda Topics
• RAC Program History and Background• Part D RAC Audit Process
• Pre-Audit Phase• Audit Phase• Post-Audit Phase• Questions
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RAC’s Multi-Step Process OutlineRAC’s Multi-Step Process Outline
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The RAC Audits StepsThe RAC Audits Steps
• Step 1: Obtain Supporting DocumentationThe RAC must obtain the appropriate documentation from CMS
• Step 2: Review PDEs or Other Data Needed to Conduct the AuditAfter the documentation is compiled, the RAC can conduct analyses and impact calculations on audit data to identify improper payments
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The RAC Audits StepsThe RAC Audits Steps
• Step 3: Request Additional InformationIf an improper payment is identified, the RAC may send a Request For Additional Information (RFI) to Plans
• Step 4: Prepare IPRPAfter the RAC identifies an improper payment, it compiles an IPRP, which contains the audit issue, audit year and contract number along with supporting documentation identifying the impacted PDE records that support improper payment findings
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The RAC Audits StepsThe RAC Audits Steps
• Step 5: Perform Data Analysis CheckThe Data Validation Contractor (DVC) receives the IPRP and performs an analysis of the IPRP along with a sample of the associated PDE records
• Step 6: Create Validation Findings FileThe DVC creates an IPRP Validation Findings file which includes its analysis and supporting documentation; along with a status of its findings
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The RAC Audits StepsThe RAC Audits Steps
• Step 7: Resolve RAC/DVC Findings DisputesIf the DVC and the RAC cannot resolve a dispute; the RAC shall notify CMS. CMS is the final decision maker to resolve disagreements on improper payment findings between the DVC and the RAC after they have exhausted all other means
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The RAC Audits StepsThe RAC Audits Steps
• Step 8: Send Notification of Improper Payment Letter Specifying Amounts OwedOnce the IPRP has been submitted and validated, a Notification of Improper Payment Letter is formally sent to the Part D Plans specifying the amount of improper payments identified, the process for payment and information regarding appeal
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RAC Overview Agenda TopicsRAC Overview Agenda Topics
• RAC Program History and Background• Part D RAC Audit Process
• Pre-Audit Phase• Audit Phase• Post-Audit Phase• Questions
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RAC Post AuditRAC Post Audit
RAC will remain involved for Post Audit issues:
• Notification of Improper Payments Letters are sent and identified improper payments are collected from Plans
• Appeal and payment information will be sent along with Notification of Improper Payment Letter
• RAC will assist CMS on appeal issues
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RAC Post AuditRAC Post Audit
Payment Adjustment Process
• Interim adjustments made to monthly payment• Adjustment recouped at contract level• Adjustment credited to the contract during the
re-opening of reconciliation
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RAC Post AuditRAC Post Audit
Part D RAC Outreach & Education
• Conduct educational activities • Facilitate dissemination of information• Educate Part D Plan sponsors about audit and
appeals issues
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RAC Post AuditRAC Post Audit
RAC Audit Issues Appealable:
• Determination that an overpayment was made• Amount of the overpayment• RAC findings and support
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RAC Post AuditRAC Post Audit
Audit Issues NOT Appealable
• The methodology and standards used to identify and calculate the overpayment(s)
• PDEs submitted by the Part D Plans subsequent to the final reconciliation for plan year 2007
• Any issues other than those identified in the NIP letter
• Any issues related to re-openings24
RAC Post Audit RAC Post Audit
Supporting Evidence for Appeal is documentation indicating:• An excluded provider/prescriber obtained an OIG
waiver (Social Security Act § 1128(c)(3)(B))• An excluded provider/prescriber rendered a service or
item under exigent circumstances (42 C.F.R. § 1001.1901(c)(5)(i))
• An excluded provider/prescriber rendered a service or item during a Federal disaster or other public health emergency declaration (Social Security Act § 1135(b)) 25
RAC Post AuditRAC Post Audit
Appeals are submitted by e-mail to:
• Level I: Request for Redetermination
• Level II: Request for Reconsideration
RAC Post AuditRAC Post Audit
Medicare Part D RAC Appeal TimelineAppeal Level Submission
TimelineNew Supporting Documentation
Determination Timeline
I. Request for Redetermination
30 calendar days from the date of
the NIP letter
Yes 60 calendar days
II. Request for Reconsideration
30 calendar days after
Redetermination decision
No 30 calendar days
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ResourcesResources
• Medicare Parts C and D Recovery Audit Program websitehttp://www.cms.gov/Research-Statistics-Data-and-Systems/Monitoring-Programs/recovery-audit-program-parts-c-and-d/
• General questions orguidance on redeterminationand Reconsideration
PartD [email protected]
RAC Overview Agenda TopicsRAC Overview Agenda Topics
• RAC Program History and Background• Part D RAC Audit Process
• Pre-Audit Phase• Audit Phase• Post-Audit Phase• Questions
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QuestionsQuestions
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