Year: 2020
HHS-OIG Requests Recommendations for New or Updated Safe Harbor Provisions
Written by Emily Wilkins (NABH) on . Posted in Alerts.
CEOs from 14 Top Mental Health Organizations Join Together to Engage Federal and State Officials in 50 States to Prioritize Response to Nation’s Escalating Mental Health Crisis
Written by Emily Wilkins (NABH) on . Posted in News Releases.
A Unified Vision for Transforming Mental Health and Substance Use Care
Written by Emily Wilkins (NABH) on . Posted in Resources.
Biden Chooses California Attorney General Xavier Becerra to Lead HHS
Written by Emily Wilkins (NABH) on . Posted in Alerts.
NABH Letter to NGA on Covid-19 Vaccine Distribution
Written by Emily Wilkins (NABH) on . Posted in Letters.
NABH Participates in NQF Webinar
Written by Emily Wilkins (NABH) on . Posted in News Releases.
HHS to Host Hospital Data Reporting Webinar on Nov. 13
Written by Emily Wilkins (NABH) on . Posted in Alerts.
CMS Corrects Announcement to Say Providers Cannot Use PRF When Repaying Medicare Loans
Written by Emily Wilkins (NABH) on . Posted in Alerts.
CMS Gives Medicare Part A & B Providers One More Year to Repay AAP Loans
Written by Emily Wilkins (NABH) on . Posted in Alerts.
New CMS Guidance Requires Psychiatric Hospitals to Report Covid-19 Data Weekly
Written by Emily Wilkins (NABH) on . Posted in Alerts.
NABH Comments on the CY 2021 Physician Fee Schedule and other Changes to Part B Payment Policies Proposed Rule
Written by Emily Wilkins (NABH) on . Posted in Letters.
NABH Letter on HHS Provider Relief Fund Reporting Requirements
Written by Emily Wilkins (NABH) on . Posted in Letters.
HHS Includes Behavioral Healthcare Providers in Provider Relief Fund Phase 3 Distribution
Written by Emily Wilkins (NABH) on . Posted in Alerts.
- Change in operating revenues from patient care;
- Change in operating expenses from patient care, including expenses incurred related to the coronavirus; and
- Payments already received through the prior PRF distributions
HHS Provider Relief Fund Reporting Requirements Change Terms for Recovering Lost Revenue
Written by Emily Wilkins (NABH) on . Posted in Alerts.
NABH Comments on FY 2021 OPPS Rule
Written by Emily Wilkins (NABH) on . Posted in Letters.
NABH Letter on Covid-19 Reporting Requirements
Written by Emily Wilkins (NABH) on . Posted in Letters.
CMS Makes Covid-19 Data Collection a Requirement in Conditions of Participation
Written by Emily Wilkins (NABH) on . Posted in Alerts.
NABH and Other Healthcare Groups Support Eliminating the Provider Relief Fund Tax Penalties Act
Written by Emily Wilkins (NABH) on . Posted in Letters.
Letter Support the Elimination of the Provider Relief Fund Tax Penalties Act
HHS Extends Phase 2 General Distribution Deadline to Sept. 13
Written by Emily Wilkins (NABH) on . Posted in Alerts.
2020 NABH Annual Survey Starts Aug. 28!
Written by Emily Wilkins (NABH) on . Posted in Alerts.
Milliman Release: “Study Reveals Individuals with Behavioral Health Conditions in Addition to Physical Conditions Drive High Total Healthcare Costs; Small Portion Spent on Behavioral Treatment, Vast Majority Spent on Physical Treatment”
Written by Emily Wilkins (NABH) on . Posted in News Releases.
HHS to Host Provider Relief Fund Webinar on Thursday, Aug. 13
Written by Emily Wilkins (NABH) on . Posted in Alerts.
Coalition Letter In Support Of TREATS Act
Written by Emily Wilkins (NABH) on . Posted in Letters.
NABH Analysis: CMS Proposes Expanding Medicare Telehealth Benefits and Scope of Practice Changes Beyond Pandemic
Written by Emily Wilkins (NABH) on . Posted in Analysis.
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Home visits for the evaluation and management of an established patient: less complex and last typically 25 minutes, | |
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Certain types of visits for patients with cognitive impairments, | |
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Group psychotherapy, | |
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Neurobehavioral status exams, | |
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Care planning for patients with cognitive impairment, | |
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Less complex domiciliary, rest home, or custodial care services, and | |
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Prolonged evaluation and management (E/M) services. |
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Psychological and neuropsychological testing, | |
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Emergency department visits, | |
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Home visits to address moderate to severe issues, typically lasting 60 minutes, | |
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More complex domiciliary, rest home, or custodial care services, and | |
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Nursing facilities discharge day management. |
Updates to Evaluation and Management Codes
In this proposed rule, CMS has proposed revaluing a number of code sets that rely on or are analogous to E/M visits including psychiatric diagnostic evaluations and psychotherapy services. CMS has also proposed simplified coding and billing requirements for E/M visits to take effect in January 2021.Proposed Changes to Scope of Practice Rules and Related Issues
CMS has also proposed changes to allow healthcare professionals to practice up to the top of their professional training and to continue some of the workforce flexibilities allowed during the PHE, including:![]() |
Allowing nurse practitioners, clinical nurse specialists, physician assistants, and certified nurse-midwives (instead of only physicians) to supervise others performing diagnostic tests consistent with state law and licensure, providing that they maintain the required relationships with supervising/collaborating physicians as required by state law, | |
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Clarifying that physicians and nonphysician practitioners, including therapists, can review and verify documentation entered into the medical record by members of the medical team for their own services that are paid under the Medicare physician fee schedule, | |
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Clarifying that therapy students, and students of other disciplines, working under a physician or practitioner who furnishes and bills directly for their professional services to the Medicare program, may document in the record so long as it is reviewed and verified (signed and dated) by the billing physician, practitioner, or therapist, and | |
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Requesting comment on whether to continue temporarily or permanently Medicare coverage for services of residents that are provided outside of the scope of their approved GME programs and furnished to inpatients of a hospital in which they have their training program as separately billable physicians’ services. |
HHS Extends Deadline for Provider Relief Funding Until Aug. 28
Written by Emily Wilkins (NABH) on . Posted in Alerts.
Wit v. UnitedHealthcare Hearing Delayed to Wednesday, Sept. 2
Written by Emily Wilkins (NABH) on . Posted in Alerts.
CMS Announces 2.2% Payment Update and Scope-in-Practice Changes for 2021
Written by Emily Wilkins (NABH) on . Posted in Alerts.
NABH Signs Letter to Congress Regarding Surprise Medical Billing
Written by Emily Wilkins (NABH) on . Posted in Letters.
NABH Signs Letter Calling For Access to OUD Treatment and RSS During Covid-19
Written by Emily Wilkins (NABH) on . Posted in Letters.
Help Maintain Coverage of Telehealth Expanded During Covid-19
Written by Emily Wilkins (NABH) on . Posted in Alerts.
Deadline to Apply for Medicaid / CHIP Provider Relief Extended to Aug. 3
Written by Emily Wilkins (NABH) on . Posted in Alerts.
- Awareness of the PRF program and Medicaid/CHIP distribution
- Understanding of program components, such as eligibility
- Technical challenges faced during the application process
NABH Letter on Telehealth: NABH sent a copy of this letter to the House Ways and Means and House Energy and Commerce Committees.
Written by Emily Wilkins (NABH) on . Posted in Letters.
HHS Announces Changes to Covid-19 Daily Data Reporting Process Effective July 15
Written by Emily Wilkins (NABH) on . Posted in Alerts.
- If your state has assumed reporting responsibility, submit all data to your state each day and your state will submit on your behalf. Your state can provide you with a certification if they are authorized to submit on your behalf.
- Submit data to TeleTracking™. All instructions about the data submission are on that site and the new and updated fields will be ready as of July 15.
- Authorize your health information technology (IT) vendor or other third party to share information directly with HHS.
- Publish to the hospital or facility’s website in a standardized format, such as schema.org.
SAMHSA Updates Confidentiality of Patient Records in Final Rule
Written by Emily Wilkins (NABH) on . Posted in Alerts.
- Part 2 programs may share information verbally with a non-part 2 provider without subjecting the non-part 2 record to the requirements of part 2, as long as the non-part 2 provider segregates specific substance use disorder (SUD) records.
- Patients may consent to disclosures without naming a specific individual to receive this information; the update provides instructions for disclosures to exchanges and research institutions and provides guidance on disclosures related to care coordination and case management.
- Non-part 2 providers are not required to redact information in their medical records and may redisclose information if the patient has signed a written consent, or if the disclosure is otherwise permitted under the regulations.
- Written consents expressly allow sharing information with 18 types of payment and healthcare operations, including for care coordination and case management.
- Non-opioid treatment providers have access to central registries if they have a treatment relationship to the patient.
- Opioid treatment programs have new permissions to disclose information to prescription drug monitoring programs.
- During medical emergencies, information may be shared among part 2 programs or other SUD treatment providers during state or federally declared natural and major disasters.
- Disclosures for conducting scientific research may be made to non-Health Insurance Portability and Accountability Act (HIPAA) covered entities and those who are not subject to the Common Rule.
- Permits federal, state, and local agencies to conduct audits and evaluations.
- Extends to 12 months the period of placement of undercover agents or informants, which may be further authorized by a new court order.
NABH Letter: Elementary and Secondary Emergency Relief Fund
Written by Emily Wilkins (NABH) on . Posted in Letters.
HHS Announces Relief Funding for Medicaid & CHIP Providers, Safety Net Hospitals
Written by Emily Wilkins (NABH) on . Posted in Alerts.
Regulatory Relief to Support Access to Behavioral Healthcare
Written by Emily Wilkins (NABH) on . Posted in Letters.
Covid-19 Task Force Letter to Congress
Written by Emily Wilkins (NABH) on . Posted in Letters.
NABH-The Kennedy Forum Op-Ed
Written by Administrator on . Posted in Resources.
CMS Expects FY 2021 IPF Payments to Increase by 2.4%
Written by Emily Wilkins (NABH) on . Posted in Alerts.
HHS Announces $30 Billion in Covid-19 Relief Funding for Providers
Written by Emily Wilkins (NABH) on . Posted in Alerts.
Critical Behavioral Healthcare Recommendations During Covid-19
Written by Emily Wilkins (NABH) on . Posted in Letters.
MHLG Letter to HHS and CMS on Medicare Telehealth
Written by Emily Wilkins (NABH) on . Posted in Letters.
MHLG Telehealth State Coverage Letter 3/25/20 House and Senate
Written by Emily Wilkins (NABH) on . Posted in Letters.
NABH Covid-19 Letter
Written by Emily Wilkins (NABH) on . Posted in Letters.
CSOO Addiction Service Workforce Recommendations
Written by Emily Wilkins (NABH) on . Posted in Resources.
MHLG Supports Medicare Mental Health Inpatient Equity Act
Written by Emily Wilkins (NABH) on . Posted in Letters.
DEA Eases Regulations for Mobile Methadone
Written by Emily Wilkins (NABH) on . Posted in Issue Brief.
- Registration
- Registrants notify the local DEA office in writing about intent to operate an mNTP and receive explicit written approval prior to operation.
- The mNTP functions within the same states that the NTP is registered.
- Practitioners maintain a DEA license in each state where they dispense controlled substances.
- Vehicles possess valid county/city and state information on file at the NTP.
- mNTPs are a controlled premise subject to administrative inspection; registrants provide licensing and registration to DEA at time of the inspection and before transportation of substances.
- mNTPs may not serve as hospitals, long-term care facilities, emergency medical service vehicles, or patient transportation.
- Security
- Storage area must not be accessible from the outside of the mNTP vehicle.
- Substances are secured in a locked safe:
- with safeguards against forced entry, lock manipulation, and radiological attacks;
- cemented to the floor or wall such that it cannot be readily removed;
- equipped with an alarm system that can directly signal a protection company, local or State policy agency, or 24-hour registrant-operated control station, or other DEA Administrator approved protection.
- Transportation personnel retain control over the controlled substances when transferring, traveling, and dispensing the substances.
- mNTP is returned to registration location after operations are completed.
- Substances are removed and secured within the registered NTP location.
- Protocols allow for securing substances if the component is disabled.
- Substances are removed and secured if the vehicle is taken to an automotive shop for repair.
- For security breaches such as theft and loss, the NTP must abide by theft and loss reporting requirements.
- NTPs follow state and federal regulations or whichever is more stringent and consults with State Opioid Treatment Authority to ensure compliance.
- Other security controls
- Ensure proper security measures and patient dosage, e.g., enrolled individuals wait in an area of the mNTP that is physically separated from the narcotic storage and dispensing area by a physical entrance.
- If no seating is available, patient will wait outside of the mNTP.
- mNTPs will abide by existing HHS standards for quantity of substances provided for unsupervised use.
- Degree of security is at DEA discretion, based on factors including the location, number of patients, staff, and security guard.
- Disposal of controlled substances is done consistent with all applicable laws and regulations.
- Distribution and delivery of controlled substances to mNTP is only done at the registered location. Persons delivering narcotic drugs to mNTP may not:
- Receive or deliver controlled substances to another mNTP or other entity while deployed outside the registered location.
- Act as reverse distributors (or collectors).
- Ensure proper security measures and patient dosage, e.g., enrolled individuals wait in an area of the mNTP that is physically separated from the narcotic storage and dispensing area by a physical entrance.
- Records and Reports
- mNTP records are maintained in a paper dispensing log at the registered NTP, or
- Use of automated/computerized system if the system:
- maintains the same information as required for paper records;
- has the capability to produce hard copies of the dispensing records;
- the mNTP prints each day’s dispensing log which is initialed by individuals who dispense the medication;
- produces accurate summary reports for any time frame requested by DEA in an investigation;
- Hard copies of summaries are systematically organized at the NTP;
- Computer generated information has off-site back-up;
- DEA approves of the system.
- mNTP maintain records for two years, or longer if required by the state.
NABH 2020 Directory Features Essential Behavioral Healthcare Sources
Written by Emily Wilkins (NABH) on . Posted in News Releases.
A National Plan to Address Opioid Misuse
Written by Emily Wilkins (NABH) on . Posted in Alerts.
Kirsten Beronio Joins NABH as Director of Policy and Regulatory Affairs
Written by Emily Wilkins (NABH) on . Posted in News Releases.
MHLG Supports the Implementation of the National Suicide Hotline Improvement Act of 2018
Written by Emily Wilkins (NABH) on . Posted in Issue Brief.
NABH Supports Nutrition Care Act
Written by Emily Wilkins (NABH) on . Posted in Letters.
White House Proposes Changes IMD Exclusion in 2021 Budget
Written by Emily Wilkins (NABH) on . Posted in Alerts.
ONDCP Issues 2020 National Drug Control Strategy and Treatment Plan
Written by Emily Wilkins (NABH) on . Posted in Alerts.
- Developing protocols for medically managed withdrawal including MAT to prevent relapse and promote stabilization;
- Increasing emergency department use of addiction medicine specialty services;
- Exploring the inclusion of stimulant disorder treatment in opioid treatment programs;
- Increasing access to all medication and psychosocial services, promoting syringe exchange, interim methadone, mobile methadone vans, and peer outreach. One objective of the federal Performance and Reporting System is to make sure 100% of all specialty providers offer MAT by 2020;
- Adopting model state specialty SUD treatment licensing laws;
- Developing mobile and online platforms with updated information on treatment slot availability with online appointment capacity;
- Encouraging public and private payers to cover comprehensive services and improve reimbursement rates where out-of-network rates are higher;
- Urging providers to subsidize and provide treatment scholarships; and
- Exploring the idea of developing national consensus standards for addiction treatment to consolidate treatment quality standards.
CDC Reports U.S. Drug Overdose Death Rate Down, Opioid Overdose Death Rate Up in 2018
Written by Emily Wilkins (NABH) on . Posted in Alerts.
NABH Sends CMS Recommendations to Reduce Administrative Burden
Written by Emily Wilkins (NABH) on . Posted in Letters.
NABH Supports Expanding Access to Inpatient Mental Health Act
Written by Emily Wilkins (NABH) on . Posted in Letters.
NABH Comments on CMS’ New Survey and Certification Process for Psychiatric Hospitals
Written by Emily Wilkins (NABH) on . Posted in News Releases.