Guest guest Posted May 3, 2006 Report Share Posted May 3, 2006 If anyone's interested, here are selections from the AMA and Phoenix Health Systems/HIPPAAdvisory websites. I've added some emphasis in bold type, and a couple of explanatory comments in [bracketts]. 3 summary points: 1) note the usages of " covered entities " , " required " , " elligible/free to " , " compliance not required " , " media " and " transmission " (in the AMA material called " transactions " ) 2) Implementation a) phased: providers not in Federal Plans, and not using electronic transmission " will be enumerated after all other providers. " b) Implementation will be difficult -- lots of new human system pieces and computer code; that means trouble for early adapters. Most problems will probably relate to the new identifiers, as that's wholly new processes and code, but also likely problems with legacy identifiers (our old SSN or Fed Tax Ids), as processes and code will be at least partially modified here also. (From my 30+ years experience in hightech/software (prior/overlapping with CM education), I know well how early adapters are turn out to be " debuggers " .) 3) the AMA structure and depth of information about HIPPA and NPI is impressive. A google search on " acupuncture HIPPA " , as well as scanning websites of CSOMA (California assn), AOMAlliance, and AAOM yielded precious little on HIPPA/NPI information. Perhaps AAOM, CSOMA should provide a link to the AMA site. This topic's, for me, sufficiently beaten to death. After this latest information, I personally will probably hold out applying, and watch further, monitor other's experiences with the " implementation " issues. Come to think of it, a downright useful service for the " professional associations " might be to set up some group to just observe and gather information as to how this will be proceeding, and develop tips and warnings or solutions to problems as they arise. And, (just once more) try to give us complete information and options, not just exhortations to jump on the bandwagon. --\ -------------- Through the AMA (American Medical Association) website to: http://www.ama-assn.org/ama/pub/category/4234.html " The Health Insurance Portability and Accountability Act of 1996 (HIPAA) prompted new Federal regulations which require physicians to ensure they are protecting the privacy and security of patients' medical information and using a standard format when submitting electronic transactions, such as submitting claims to payers. " Link to " National Provider Identifiers " http://www.ama-assn.org/ama/pub/category/14479.html Then to " NPI Primer " (MS-Word file named: NPI_Final.doc) " While all physicians who transmit health information in electronic form are covered entities and are required to obtain and use a NPI, non-covered entity physicians (i.e., physicians using only paper claims) are also free to obtain and use a number. Obtaining a number will not result in making a non-covered entity a covered entity. " " How to 'HIPPA' - Top 10 Tips " (I didn't trace how I found this via links, but this URL gets there) http://www.ama-assn.org/ama1/pub/upload/mm/435/hipaa10tips-opt.pdf See flow-chart on page 3 on who's required to comply Link from (AMA) " " National Provider Identifiers " page through link " HIPPAAdvisory " (to a site by Phoenix Health Systems) http://www.hipaadvisory.com/regs/finalprovid/def.htm Quotes HIPPA regulations: " The varying needs for healthcare provider numbers guided our decisions on which entities would be eligible to receive NPIs. Our general rule is that all healthcare providers, as we define that term in the regulations, will be eligible to receive NPIs. We discuss this in detail later in this section. It is important to note that not all healthcare providers who are eligible to receive NPIs will necessarily be required to comply with the HIPAA regulations. This is because some healthcare providers are not covered entities under HIPAA. The fact that a healthcare provider obtains an NPI does not impose covered entity status on that healthcare provider. Only those entities that (1) meet the definition of healthcare provider at § 160.103, and (2) transmit health information in electronic form on their own behalf, or that use a business associate to transmit health information in electronic form on their behalf, in connection with a transaction for which the Secretary has adopted a standard (a covered transaction) are healthcare providers who are required to comply with the HIPAA regulations. " http://www.hipaadvisory.com/regs/natlident.htm Who and What Are Covered? Section 1173 of HIPAA Administrative Simplification called for “a standard unique health identifier for each individual, employer, health plan, and health care provider for use in the healthcare system.” The Act recognized that DHHS would have “to take into account multiple uses for identifiers and multiple locations and specialty classifications for healthcare providers.” The proposed rules apply to health plans and clearinghouses, and any provider electronically transmitting any of the transactions covered by HIPAA. As a practical matter, software vendors that have contracts with health plans and providers to support healthcare transactions will also be affected by the identifier requirements. “Electronic transmissions” includes all media, including magnetic tape, disk, CD media, the Internet, extranets, leased lines, dial-up lines, and private networks. Telephone voice response, " faxback " systems, and HTML interaction are not included. Transmissions within a corporate entity are not affected. [NOTE: memory media such as disk here means not those used as local or network internal storage systems, but as transmission media, i.e. physically moved from one computer/network to another.] .... How Will We Implement the NPI? DHHS has recommended that the NPI be implemented through a central electronic National Provider System (NPS), to be managed by HCFA. The NPS will consist of a combination of existing Federal health plans, Medicaid state agencies and a new, Federally-directed registry -- all of whom will assign identifiers, or “enumerate” providers. Federal health plans and Medicaid agencies will enumerate their own healthcare providers. Providers who don’t belong to one of the included Federal programs will be enumerated by the Federally-directed registry. NPI enumeration will be implemented in phases. First, providers that submit electronic Medicare transactions will automatically be assigned an NPI. Non-Medicare health plans such as Medicaid and HMOs will then phase in enumeration of their providers. Providers using these programs will not need to apply for an NPI, but will have to decide which health plan will provide it. Providers who do not participate in any Federal health plans or Medicaid but who transmit standard HIPAA transactions electronically, will have to apply directly to the new Federal registry for their NPIs. Finally, providers who don’t participate in any Federal plans or transmit the electronic transactions covered by HIPAA are expected to be enumerated after all other providers. The NPS will maintain the national database in perpetuity. [NOTE: So in the final phase of implementation, all other providers, presumably including non-covered entities, will be " enumerated " .] Implementation of the NPI is likely to be a challenge, both for the Federal government and the healthcare community. The proposed National Provider System does not yet exist, and while enlisting the participation of Federal plans may help lower set-up costs, coordinating an initial nation-wide enumeration process and managing the transition from multiple identifiers to a single identifier environment may become complicated. Providers and other organizations will have to update their legacy information systems, administrative processes, reference files and forms in order to ensure continuity between old provider identifiers and the new NPIs. Some providers and vendors will find that their systems require tweaking or significant reengineering to accommodate the new standard. Health plans, clearinghouses and software vendors may have to perform software conversions to meet the requirement. [NOTE: Conversion to the use of NPI will likely result in numerous mistakes and problems, probably more for those using the new numbers, as that computer code will be new, but likely also for those still using legacy ids, such as SSN or Fed Tax Id, as old computer code will be messed with also. General guideline (from my 30+ years in a former career in computer tech): early adapters had better have a high tolerance for problems and frustration!] Quote Link to comment Share on other sites More sharing options...
Recommended Posts
Join the conversation
You are posting as a guest. If you have an account, sign in now to post with your account.
Note: Your post will require moderator approval before it will be visible.