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99232 vs 99233 Coding Comparison (Subsequent Care Hospital Follow-Up).

This lecture will assist physicians and non-physician practitioners (NPP) determine if their inpatient hospital follow-up note documentation meets criteria for a level 2 (CPT® 99232 mid level subsequent care) or a level 3 (CPT® 99233 high level subsequent care) evaluation and management (E/M) code.  Recovery Audit Contractors will most likely continue to target E/M codes for improper payments.  Physicians and  NPP must pursue documentation education to prevent accusations of over billing and to prevent under billing for work provided.  I am an internal medicine physician with over 10 years experience as a clinical Hospitalist.  Based on my decade of experience and exhaustive review of E/M coding criteria, I believe many level 2  hospital follow-up notes would qualify for a level 3 follow-up note if practitioners understood how to document work already being provided.  The link above provides free access to dozens of billing and coding lectures I have written to help others quickly decipher the complex rules used to determine the correct CPT® code for most inpatient and outpatient hospital and clinic encounters. 

CPT® DEFINITIONS


The American Medical Association's 2015 Standard Edition CPT® provides definitions of all E/M services.  This valuable resource is available through Amazon by clicking on the image to the right.   I have previously discussed level two inpatient subsequent care (99232) and level three inpatient subsequent care (99233) codes in detail and I recommend all readers thoroughly review these lectures at their convenience.  Remember, for hospital follow-up notes, only 2 out of 3 elements from history, physical examination and medical decision making must meet criteria for the level of care to be correctly determined.  This is unlike initial hospital care visits (CPT® 99221-99223 and 99218-99220) that require all three elements to meet minimum documentation criteria.

     LEVEL 2 (99232) CRITERIA

A level 2 subsequent hospital care note requires documentation of at least 2 of the following 3 components:  An expanded problem focused interval history; An expanded problem focused exam; Medical decision making of moderate complexity.   Usually, the patient is responding inadequately to therapy or has developed a minor complication (25 minutes).

     LEVEL 3 (99233) CRITERIA

A level 3 subsequent hospital care note requires documentation of at least 2 of the following 3 components:  A detailed interval history; A detailed examination; Medical decision making of high complexity.  Usually, the patient is unstable or has developed a significant complication or a significant new problem (35 minutes).
Unlike the minor differences between a level 2 and level 3 H&P, documentation requirements between the level 2 and level 3 hospital follow-up note are significantly different and will be reviewed below.

               TIME 

The CPT® definitions also provide guidance on expected time for the encounter.  However, time can only be used in conjunction with the rules of counseling and coordination of care.  Time based billing has been discussed elsewhere on The Happy Hospitalist and is not relevant to this discussion.

     CLINICAL EXAMPLES 


Appendix C of the CPT® manual provides pages and pages of clinical examples for a level 2 and level 3 hospital inpatient subsequent care visit.  These examples are a tragic example of failure to appreciate the complexities of patient care.  These one and two sentence scenarios cannot tell the whole picture nor do they represent the reality and complexity of patient encounters in real life.   I provide two Internal Medicine examples below from the CPT® handbook.

          Level 2 Subsequent Hospital Care (99232)
Subsequent hospital care visit for a 62-year-old female with congestive heart failure, who remains dyspneic and febrile.
CPT® provides this scenario as an appropriate level 2 subsequent care visit.  I disagree.  Most patients in this situation with multiple other comorbidities would clearly qualify for medical decision making of high complexity based on the Marshfield Clinic audit tool (described in detail below).  In addition, a level 3 history and physical examination would be medically indicated for this clinically complex situation with a broad differential diagnosis.  This clinical description in CPT® 2014inappropriately fails to recognize the risk and complexity of inpatient hospital care.  These CPT® clinical examples are not representative of real life patients.  Most patients do not present with single diseases.  Their complexity rises exponentially with other comorbid conditions.  I do not place faith on these CPT® examples for providing appropriate coding guidance.   This is why alternative methods have been developed to define moderate and high complexity and risk in audit situations. Here is a 2014 CPT®  handbook example of a level 3 subsequent hospital care.

          Level 3 Subsequent Hospital Care (99233)
Subsequent hospital visit for a type 1 diabetes mellitus patient with a new onset of fever, change in mental status, and a diffuse petechial, purpuric eruption.
I agree.  However, I also believe a higher percentage of hospital subsequent care visits are complex enough to warrant level 3 coding independent on the patient's clinical response to treatment.  A patient need not always be failing treatment or be unstable to meet criteria for level 3.  For example, patients with HTN, COPD, DM and a new onset stroke on a heparin drip with frequent lab draws for drug management should be appropriately be billed as a high level 99233 for many days, independent of the patient's clinical response to treatment or the development of complications.  The Marshfield Clinic audit tool provides support for this statement.  Physicians have an obligation to accurately describe variables which provide coding audit personnel a rationale to support high complexity coding decisions.
   

  COMPARISON BETWEEN A LEVEL 2 AND LEVEL 3 FOLLOW-UP


As stated above, the audit components of a level 2 and a level 3  inpatient or observation hospital admission are exactly the same with the exception of the medical decision making (MDM) component.   Unfortunately, this is not true for hospital follow-up visits.  The history, physical examination and medical decision making components all have different documentation requirements.   While CPT® definitions include reference to the stability of the patient, response to therapy or development of new complications, these factors are rarely used independently of the Marshfield Clinic audit tool rules to define the appropriate level of documentation.  Many complex patients with multiple comorbidities may contain all the documentations elements necessary to achieve level 3 hospital follow-up status despite the lack of new complications or  decreased stability. Great medical care that prevents deterioration in the patient condition should not be used to down charge high complexity care provided by practitioners. Based on the CPT® definitions, audit decisions are decided with a detailed analysis of history, examination and medical decision making documentation.

An auditor, who may have no medical training, must rely on tools that reliably determine the appropriate level of care provided.  Medicare's E/M Services Guide provides detailed instructions for history and physical examination elements.  However, guidance for determining medical decision making complexity is vague and difficult to reproduce with consistency in an audit situation.  Enter the Marshfield Audit Clinic Tool and point system that was developed to provide reproducible interpretation.   After a side-by-side review of history and physical examination elements for a level 2 and level 3 hospital follow-up care note, a detailed review of the Marshfield Clinic audit tool and MDM will be provided.

HISTORY:  LEVEL 2 VS. LEVEL 3


The history requirements for a 99232 and 99233 encounter are quite different.  Required elements can be reviewed on pages 26-30 of Medicare's E/M Services Guide.  Here is a summary of those requirements:

     LEVEL 2 HISTORY


          HPI:  1-3 elements  or documentation of the status of three chronic medical conditions
          ROS:  1 or more systems
          PMFSH:  None

     LEVEL 3 HISTORY


          HPI:  4 or more elements or documentation of the status of three chronic medical conditions
          ROS: 2-9 systems
          PMFSH:  None

 

PHYSICAL EXAMINATION:  LEVEL 2 VS. LEVEL 3

 

The physical examination requirements for a 99232 and  99233 encounter are quite different.  Required elements can be viewed on page 31 (for 1995 guidelines) page 49 (1997 guidelines) of Medicare's E/M Services Guide.

     LEVEL 2 PHYSICAL EXAMINATION

          1995 guidelines:  a limited examination of the affected body area or organ system and other symptomatic or related organ system(s).
          1997 guidelines:  a limited examination of the affected body area or organ system and any other symptomatic or related body area(s) or organ system(s).  1997 guidelines allow for a multi-system exam (described on page 13 of the E/M Services Guide) or a single organ exam (described on page 18 of the E/M Services Guide).  A general multi-system exam should include performance and documentation of at least six elementsidentified by a bullet (•) in one or more organ system(s) or body area(s).  A single organ system exam should include performance and documentation of at least six elementsidentified by a bullet (•) in one or more organ system(s) or body area(s).

 

     LEVEL 3 PHYSICAL EXAMINATION

          1995 guidelines: an extended examination of the affected body area(s) and other symptomatic or related organ system(s).
          1997 guidelines:  an extended examination of the affected body area(s) or organ system(s) and any other symptomatic or related body area(s) or organ system(s).  1997 guidelines allow for a multi-system exam (described on page 13 of the E/M Services Guide) or a single organ exam (described on page 18 of the E/M Services Guide).  A general multi-system exam should include at least six organ systems or body areas . For each system/area selected, performance and documentation of at least two elements identified by a bullet (•) is expected. Alternatively, a detailed examination may include performance and documentation of at least twelve elements identified by a bullet (•) in two or more organ systems or body areasA single organ system exam, other than the eye and psychiatric examinations, should include performance and documentation of at least twelve elementsidentified by a bullet (•), whether in a box with a shaded or unshaded border. Eye and psychiatric examinations should include the performance and documentation of at least nine elements identified by a bullet (•), whether in a box with a shaded or unshaded border. 


MEDICAL DECISION MAKING (MDM):  LEVEL 2 VS. LEVEL 3


      MARSHFIELD CLINIC AUDIT TOOL


Where did the Marshfield Clinic point system E/M tool come from? It was developed in the early 1990s at a 600 physician multi-site, multi-specialty, mostly office-based practice in Wisconsin where Medicare's 1995 EM guidelines were beta tested. This medical decision making point system audit tool was developed by clinic staff and their local Medicare carrier. These scoring tools never made it into the official guidelines, but are accepted as a standard audit tool by most carriers today.  I have created an E/M pocket reference guide as a rapid bedside decision tool that incorporates their guidance into clinical decisions.  Details of this bedside reference can be found at the link provided just above.  These cards are available for purchase.  All proceeds are donated to charity.


LINK TO E/M POCKET REFERENCE POST

EM Pocket Reference Cards Using Marshfield Clinic Point Audit

Click image for high def view


     CMS GUIDANCE ON MEDICAL DECISION MAKING


Why do many Medicare carriers use the Marshfield Clinic Audit Tool to determine the correct level of service provided?  Medicare's description of medical decision making in the Evaluation and Management Services Guide (page 33) contains vague language that cannot be reliably reproduced in clinical practice.  Here is a screen shot of the E/M Services Guide discussing medical decision making criteria.

Medicare E/M Services Guideline Medical Decision Making

How can a practitioner or auditor reliably determine when the number of diagnoses are multiple or extensive?  How can a practitioner or auditor reliably determine when the  amount and complexity of data is moderate or extensive?  They can't.  Ironically, determining the correct level of medical decision making complexity is complex.   Just as the CPT® definitions use vague language in defining their codes, the E/M Services Guide also uses the same difficult language to guide physicians and other NPPs.  This is a tragic.  This is why The Marshfield Clinic Audit Tool for MDM was developed and used by auditors and practitioners to stay compliant.  Pages 33-37 of the E/M Services Guide provides the basis for the Marshfield Clinic Audit Tool point system shown above on The Happy Hospitalist's bedside pocket E/M reference card.  It provides quick access to documentation elements converted into Marshfield Clinic Audit Tool points. It may also help providers remember to document work provided but rarely described in the chart in order to get credit for documentation elements in an audit situation.    For example, in the number of diagnoses or management options component of medical decision making,  three points is given for a new problem with no workup planned when using the Marshfield Clinic Audit Tool.  This is based on Medicare's E/M Services Guide (page 34) description of diagnosis complexity here.
The number and type of diagnostic tests employed may be an indicator of the number of possible diagnoses. Problems which are improving or resolving are less complex than those which are worsening or failing to change as expected. 
This same point system applies to the amount and/or complexity of data to be reviewed.  For example, one point is given for ordering a lab or an  x-ray in the Marshfield Clinic Audit Tool.  This  decision is based on Medicare's E/M Services Guide (page 35) description of amount and/or complexity of data to be reviewed.
If a diagnostic service (test or procedure) is ordered, planned, scheduled, or performed at the time of the E/M encounter, the type of service, eg , lab or x -ray, should be documented.
Medicare does provide decent guidance on risk of complications and/or morbidity or mortality with their risk table (shown below).  However, some elements within this table contain vague language that can be open to interpretation and require  physicians and other NPP to document their thought processes aggressively to avoid accusations of  incorrect billing when they believe high risk to the patient is present.

      SIDE-BY-SIDE MDM CRITERIA COMPARISON (Level 2 vs Level 3)


If you feel lost in this discussion, now is the time to place close attention.  Using Medicare's E/M Services Guide as a reference, I have incorporated the Marshfield Clinic point system as a side-by-side reference below.

Within the diagnosis and data elements of MDM,  points are provided for defined elements of documentation found during a chart audit.  For example, one point is allowed for a self limiting or minor problem in the diagnosis section of MDM while one point may be given for evidence the provider requested prior records.   This is the basis of the point system under the Marshfield Clinic Audit Tool that is used by most Medicare carriers.

Medical Decision Making Point System

While this point system is not officially part of Medicare's E/M Services Guide, the risk table is.  The risk table is available on page 20 or 37 of the Evaluation and Management Services Guide.  I have provided a screen shot here for quick reference.  The highest element anywhere on the risk table determines the highest overall level of risk on the risk table.  For example, a patient with an abrupt change in neurological status meets criteria for high risk on the risk table regardless of any other data points on the table.

Risk Table E/M CMS

To determine the overall level of MDM complexity, the highest two out of three elements from diagnoses, data and risk determine the overall level of MDM.  In other words, the highest level of documentation for data and diagnosis, data and risk or diagnosis and risk will determine the overall level of MDM.  Below are the minimum MDM criteria for a level 2 and level 3 subsequent hospital care.  For example a patient who's documentation supports 3 diagnosis points, 1 data point and moderate risk would qualify for level 2 MDM. A patient who's documentation supports 2 diagnosis points, 4 data points and high risk would qualify for level 3 MDM.  A patient who's documentation supports 2 diagnosis points, 2 data points and high risk would not qualify for either level 2 or level 3 MDM for subsequent hospital care visit.

     LEVEL 2 MDM (highest 2 out of 3 determines overall level of MDM)

DIAGNOSIS:  3 points
DATA:  3 points
RISK TABLE:  moderate

     LEVEL 3 MDM (highest 2 out of 3 determines overall level of MDM)

DIAGNOSIS:  4 points
DATA:  4 points
RISK TABLE:  high

 

LEVEL 2 PERMUTATIONS


Here are all eleven potential documentation permutations for medical decision making of a level 2 subsequent hospital care evaluation.  However, keep in mind subsequent hospital care evaluations only require the highest two out of three elements from history, physical examination and medical decision making.  E/M rules do not mandate medical decision making as a required element.  The two out three highest levels of documentation in diagnosis, data and risk will determine the overall level of MDM.   If MDM is going to be used, the following graphics describe all permutations of moderate complexity medical decision making (level 2).  This same exercise can be done to determine high complexity medical decision making (level 3)

Remember to always consider medical necessity.  For example, ordering a head CT to increase the complexity of medical decision making on a chief complaint of pulled hamstring may raise some red flags if the chart undergoes an audit.  I believe if you're anywhere in the ball park of practicing standard of care, justifying medical necessity will rarely be a determining factor in having to support your level of care based on history, physical or decision making.

Level 2 hospital medical decision making option
Level 2 hospital medical decision making example
Level 2 hospital medical decision making example
Level 2 hospital medical decision making example
Level 2 hospital medical decision making example
Level 2 hospital medical decision making example
Level 2 hospital medical decision making example
Level 2 hospital medical decision making example
Level 2 hospital medical decision making example
Level 2 hospital medical decision making example
Level 2 hospital medical decision making example



WHERE CAN I GET A COPY OF THE POINT SYSTEM?


Many examples of the Marshfield Clinic point system are available on the internet.  Page two of this Codeapedia reference provides a detailed description of the point system.  This point system  is the basis for the bedside E/M reference card provided by The Happy Hospitalist pictured above and  linked here again for easy reference.

MANY LEVEL 2s ARE PROBABLY LEVEL 3s


Practitioners who know how to accurately document their work are probably providing level three subsequent hospital care visits without knowing it.  So much of what physicians and NPP do in their daily practice is taken for granted as not complex enough to rise to the highest levels of care.  Practitioners who  understand the elements of the risk table and are educated about the elements of the Marshfield Clinic Audit Tool point system can and should be coding the highest level of care when their documentation supports it.  Many hospitalized patients are complex enough to require high levels of history and physical to discover or prevent complications of therapy and have high complexity medical decision making regardless of their clinical status as stable or improved.  Many complications are prevented and clinical deterioration is prevented due to time consuming high complexity MDM.  Medical necessity should never be questioned in these patients

In reality, many physicians and other NPP are scared to bill too many level 3 hospital follow-up notes for fear of getting audited.  No fear should exist if documentation supports level 3  work already being provided.  If all providers would document work they are already providing and billed appropriately, level 3 subsequent care distribution would rise dramatically and physician outliers, who are coding correctly, would disappear.  Practitioners  worried about getting audited as an outlier should continue to document work they are already providing and to bill correctly, regardless of their status as an outlier.  Being an outlier is not fraudulent when documentation supports correct coding decisions.   It's quite possible that most physicians who aren't billing higher levels of  99233 vs 99232 visits are the outliers because they either don't document work they are already providing, are not providing work that is medically necessary or are intentionally under billing for fear of an audit.

RVU COMPARISON


Most E/M services are given a relative value unit (RVU) value by CMS.  I have previously discussed RVUs.  The most updated table of RVU values can be found here.  The difference in relative value units assigned to a level 2 vs. a level 3 subsequent hospital care visit are significant.  For practitioners who's compensation may be determined by productivity, coding accurately for work already being provided can boost payments significantly.  What are the RVU values for a level 2 and level 3 hospital follow-up?  For Medicare patients in 2016, one RVU is worth $35.8043.

     LEVEL 2 (99232)
  • work RVU 1.39; total RVU 2.02
     LEVEL 3 (99233)
  • work RVU 2.0; total RVU 2.91
A level 3 hospital subsequent care visit is valued nearly 45% higher than a level 2 based on total RVU and work RVU.  This difference is significant.  Since subsequent hospital care visits represent a large percentage of most hospital based medical physicians, appropriately coding level 3 instead of level 2 when documentation supports those efforts would provide a significant increase in revenue opportunity.

DISTRIBUTION OF LEVEL 2 vs. LEVEL 3 HOSPITAL FOLLOW-UP


What is the distribution of level 2  and level 3 hospital admissions?  This can vary depending on specialty.  One Medicare carrier has provided us insight into 99232 vs 99233 coding distribution at 62% and 30% respectively.  Other Medicare distribution data is available at the CPT® 99232 and CPT® 99233 articles linked near the top of this lecture.  These distribution numbers confirm similarity with SHM/MGMA data.

PAYMENT COMPARISON


Payments will vary based on geographical location.  Providers in New York would generally get paid more than providers in North Dakota.  For example, in some localities, a level 2 subsequent hospital care visit pays around $70 and a level 3 subsequent hospital care visit around $100, a nearly 45% increase.  Failure to document work already being provided can be expensive.  Given the large volume of subsequent care visits provided by Hospitalists and other hospital based specialties, knowing how to document work already being provided is valuable in any practice.

RAC AUDITORS


Medicare may be targeting inappropriate payments to providers for subsequent hospital care visits.  A practitioner's best defense against accusations of fraud is to document thoroughly for work provided and to practice standard of care.  Despite being an outlier,  accurate stand alone documentation of medically necessary care should always support any coding distribution that results.   I have thoroughly reviewed Medicare's Evaluation and Management Services Guide and can confirm that fear of an audit is not an element that should be used to guide coding decisions.




Supporting Chicago's Entrepreneurs: Marketplace Brings New Health Coverage Options


Finding the right healthcare plan can be stressful, and with all the noise surrounding the new healthcare law, it may seem downright overwhelming. But there’s good news coming out of Illinois. The state’s new health insurance marketplace is open for business, and it’s already providing small business owners and their employees with improved options for affordable coverage.

The new marketplace, Get Covered Illinois, is a partnership marketplace, which means the state and federal government run the marketplace together while Illinois prepares to run the marketplace on its own beginning in 2015. Get Covered Illinois has two branches – one for individuals, the other for small businesses. The individual marketplace is available to any self-employed individual or small business employee whose employer doesn’t offer insurance. Open enrollment for 2015 begins on November 15. In the meantime, employees and self-employed folks can use an online calculator to determine if they’re eligible for a subsidy to help cover the cost of insurance for coverage in 2015.

Many self-employed Chicagoans have already discovered the benefits of enrolling through the state’s marketplace, including Jade Phillips, a local children’s book author. After a brief stint with a precipitously high monthly premium and deductible from a private insurance company, Phillips says she spent the majority of her 20s uncovered. But this year, the self-employed entrepreneur was able to sign up for coverage through the individual market. For the first time in years, she’s enrolled in an affordable plan that allows her to continue doing what she loves while enjoying the peace of mind her new insurance brings.

There’s even more good news for small employers. The small business marketplace has year-round enrollment, so small business owners with fewer than 50 employees looking for a plan have plenty of time to determine if the new marketplace is the right choice. There are more than 230,000 small businesses in the Chicago metropolitan area, but in order for them to take advantage of this new option, entrepreneurs need to know what Get Covered Illinois’ small business marketplace can do for their businesses.

Here are some key facts about the marketplace to help get small employers up to speed.

  • The new health insurance marketplace is one of the most important components of the Affordable Care Act for Chicago small employers. The small business marketplace allows small businesses with fewer than 50 employees to band together when buying coverage – giving them the kind of purchasing clout large businesses enjoy.
  • The marketplace offers businesses more competitive choices, which can help lower premium costs, thus improving their bottom lines.
  • Small employers that do offer coverage through the marketplace may also be eligible for a tax credit of up to 50 percent of your premiums. Check out our tax credit calculator to see if you’re eligible and to receive a tax credit estimate. 
  • Illinois’ small business marketplace will offer employee choice in the future, which means small business workers will be able to choose from a number of plans from different carriers.

In order to begin the enrollment process, Chicago entrepreneurs can visit Get Covered Illinois’ site or Healthcare.gov and begin filling out a paper application, or visit contact a certified health insurance broker who can assist with the enrollment process.

What’s more, Small Business Majority’s certified educators can help answer questions regarding the enrollment process. Check out our state outreach calendar or the Small Business Health Care Consortium’s events page to find an event in your area.

To learn more about the small business marketplace, enrollment dates and coverage plans, visit our Health Coverage Guide (healthcoverageguide.org), which contains a wealth of information for small business owners regarding enrollment, the Affordable Care Act and the healthcare system in general.

The more small business owners know about the new marketplace, the easier it will be for them to get their employees and businesses more affordable insurance coverage. And then, instead of worrying about health insurance, they can do what they do best: run the companies that make up the backbone of our state and our nation. 


Mary Timmel
Midwest Outreach Manager
Small Business Majority

On COBRA? New Announcement from HHS Could Save you Thousands of Dollars


In mid-April, I received a call from a 62-year-old woman named Alice who had been laid off from her job quite a while back. She was paying around $650 each month to maintain her COBRA coverage. Turns out she got my number from her brother, Carl, whom I had helped enroll into a Marketplace plan. He, too, was paying a lot of money each month for COBRA coverage after his employer had cut his hours in half, making him ineligible for employer-offered coverage. By enrolling into a subsidized Marketplace plan, Carl saved more than $400 a month in premium costs. He hoped I could also help his sister. Unfortunately, she called me just a few weeks after open enrollment had ended.

Normally, this would mean that she would have to wait until the next open enrollment period or until she exhausted her COBRA coverage before she could qualify for a Special Enrollment Period which would allow her to enroll into a much more affordable Marketplace plan. It seemed she had missed this window of opportunity – that is until HHS announced new Special Enrollment Periods for folks currently enrolled into COBRA coverage.

As I mentioned, normally a consumer has four options regarding COBRA coverage:
  • Decline an initial offer of COBRA coverage
  • Get a Special Enrollment Period and enroll in marketplace coverage
  • Switch from COBRA coverage to marketplace coverage during open enrollment
  • Wait until the exhaustion of COBRA coverage to get an Special Enrollment Period

Well, HHS recognized that folks just like Alice were confused about their options. So they decided to offer COBRA enrollees a Special Enrollment Period. If you or someone you know is on COBRA, he or she can qualify for a Special Enrollment Period to shop for a plan on the Marketplace until July 1 of this year.

Simply call the Marketplace call center at 1-800-318-2596 and tell them you are currently on COBRA and that you would like to explore your options in the Marketplace. Then fill out an application at healthcare.gov to see if you’re eligible for financial help. This could very well save you hundreds of dollars each month in premium costs. You have nothing to lose. I’ve already called Alice.

Jillian Phillipsr
Chicagoland Organizer
Campaign for Better Health Care


For more info on qualifying events:
http://illinoishealthmatters.org/wp-content/uploads/2014/04/Special-Enrollment-Periods-Explained.pdf

Can Non-Profits leverage the ACA to bring down health insurance costs?

The non-profit sector is a leading source of job growth in the United States and currently employs just under 11 million people nationally.[1]  Locally here in Illinois, we see  direct growth in this sector – now holding 10.6% of the private employment, up from 9% in 2005.[2]   However, in a recent survey of 600 national non-profit organizations, recent increases in employee turnover are indicated to be an ongoing concern.[3]  One of the greatest tools that organizations have available to them to attract and retain high quality employees is the compensation and benefits package.  Providing high value, yet affordable benefits is part of the ethos of most non-profit organizations.  However, as the cost curve of health insurance continues to rise, this proposition has become increasingly more challenging.  The Affordable Care Act created a small employer tax credit to help offset some of these costs – but many non-profits are left wondering how this might benefit them.

The ACA includes a provision that gives small employers, including nonprofits with fewer than 25 employees (with average salaries below $50,000), the right to access a tax credit for insurance premiums paid by the employer for their employees' health insurance.  For tax-exempt nonprofits the credit is treated as a refund on quarterly payments that the nonprofit has made to the IRS for income tax withholdings or Medicare withholdings from employee wages. For 2010-2013 the refund is 25% of the expenses paid by the employer towards employees' health insurance premiums; the refund increases to 35% after January 1, 2014.[4]  Non-profits should know that they are still able to retroactively apply for previous year’s tax credit if they meet all of the eligibility guidelines.
            To better understand the tax credit and available provisions under the ACA, you may want to explore the new small business page of Illinois Health Matters.  Here you can find additional information about the small employer tax credit and other key resources.
            Beginning in 2014, to obtain the tax credit – employers must enroll in a qualified health plan through the SHOP Marketplace.  These plans are competitively priced and cover all of the EssentialHealth Benefits that are important to you and the employees you are trying to retain. The Illinois SHOP Marketplace can be found at GetCoveredIllinois.gov.  Here you can find additional information about the plans available – but more importantly through their Get Help feature you can search for registered brokers in your neighborhood.  Brokers can assist you in applying for the small employer tax credit, evaluate your health insurance and employee benefit package, and assist you in enrolling in a plan that qualifies for the tax credit reduction.
The ACA offers two important tools to assist small employers – the SHOP marketplace, and the small business tax credits. Together, these two strategies can help non-profits begin or continue to offer quality benefit programs at an affordable price. As nonprofit organizations continue to play an integral role in the workforce and in the communities they serve – finding business partners that can assist in helping to leverage these resources will continue to be paramount for long term workforce and budgetary planning. Creating stability and financial sustainability in these areas will ultimately allow non-profits more freedom to focus on what’s important – fulfilling the mission of their organization and continuing to serve the community around them.


Michele Thornton, MBA
Insurance & Benefits Consultant

[1] Salamon, LM, SW Sokolowski and SL Geller. Holding the Fort: Nonprofit employment during a decade of turmoil. Nonprofit Employment Bulletin 39, Johns Hopkins University. January 2012.

[2] Salamon, LM, SW Sokolowski and SL Geller. Illinois Nonprofit Employment: An Update.  Nonprofit Employment Bulletin 21, Johns Hopkins University. January 2005.

[3] 2013 Nonprofit Employment Trends Survey Report. Nonprofit HR Solutions. Accessed at: http://www.nonprofithr.com/wp-content/uploads/2013/03/2013-Employment-Trends-Survey-Report.pdf

[4] Small Business Healthcare Tax Credit for Small Employers. IRS (2014).  Accessed at: http://www.irs.gov/uac/Small-Business-Health-Care-Tax-Credit-for-Small-Employers

CPOE Humor Memes. (Laugh Q 1 Hour PRN Scheduled Routine Stat)

If you're looking for a little CPOE humor, look no further.   CPOE stands for Computerized Physician Order Entry.   CPOE provides a perfect opportunity for good humor. Their ain't nothin' funnier in this world than watching emotional breakdowns in middle-aged 1%ers as they try to navigate C-B-C on a standard English keyboard that hasn't changed in centuries.   No matter what your position is on physician order entry, we can all agree on one thing:  If you can't laugh at yourself, the Happy Hospitalist will do it for you. What you'll find here is a fine assortment of original (and not so original)  CPOE humor memes to help bring joy to your daily grind.  Please enjoy these memes Q 1 hour prn scheduled routine stat.

"Stat orders?  Ain't nobody got time for that!"

Stat orders?  Ain't nobody go time for that! medical humor meme photo.


"You didn't really mean stat. Did you?"

You didn't really mean stat.  Did you?  Medical humor meme photo.


"The next phase of CPOE is here: Computerized Physician Order Empathy"  (Stage 3 Meaningful Use)

The next phase of CPOE is here!  (Computerized Physician Order Empathy) photo.


"The leading cause of death among doctors is CPOE:  Computerized Physician Order Exacerbation"

The leading cause of death among doctors is CPOE (Computerized Physician Order Exacerbation) ecard meme humor photo.


"'Round these parts, when our CPOE system dies, we call that a Computerized Physician Order Execution."

'Round these parts, when our CPOE system dies, we call that a Computerized Physician Order Execution CPOE ecard meme humor photo 18f19e7f-c4fa-4e41-a220-4e319208d151_zps850a48fb.jpg


"I don't always do CPOE. But when I do it's called computerized physician order errors."

I don't always do CPOE.  But when I do it's called computerized physician order errors CPOE humor meme photo.


"I don't always do CPOE. But when I do, they serve cake and I scream."

I don't always do CPOE.  But when I do, they serve cake and I scream CPOE humor meme photo.


"I don't always do CPOE. But when I do, AKDHT ALCKE BALDK THBOEK EOE!!!"

I don't always do CPOE.  But when I do, AKDHT ALCKE BALDK THBOEK EOE!!! CPOE humor meme photo.


"I don't always do CPOE. But when I do, expect shock and awe....f**k!"

I don't always do CPOE.  But when I do, expect shock and awe....f**k! CPOE humor meme photo.


"I don't always do CPOE. But when I do, expect 5 more meetings on your agenda."

I don't always do CPOE.  But when I do, expect 5 more meetings on your agenda CPOE humor meme photo.


"I don't always do CPOE. But when I do, shit hits the fan Q 1 hour am scheduled prn."

I don't always do CPOE.  But when I do, shit hits the fan Q 1 hour am scheduled prn CPOE humor meme.


"I don't always do CPOE. But when I do, I imagine lots of people saying 'WTF was that order'."

I don't always do CPOE.  But when I do, I imagine lots of people saying 'WTF was that order CPOE humor meme photo.


"Oh you hate putting in your own orders. Tell me again about your excellent penmenship." (source unknown)

Oh you hate putting in your own orders.  Tell me again about your excellent penmenship CPOE humor meme photo.


"Facebook humor"

Penmanship MD humor


FACEBOOK HUMOR:
The FDA, CMS, CDC, AMA and ABIM has just put out an urgent alert today recommending all physicians wear SCDs and take Lovenox shots while rounding. A rash of CPOE (Computerized Physician Order Embolism) related deaths is to blame. The most at risk are suspected to be physicians sitting for hours trying to figure out how to enter a standard garden variety 5-way if/then order involving pharmacy, lab, nursing and housekeeping. These eClots are for real. Take action now! 
An exciting Novartis news release today says they are now selling Computerized Physician Order Excedrin. This proprietary CPOE formula promises to counteract headaches from any CPOE system on the market. It's available only be e-prescription. Unfortunately, no physician can figure out how to enter the order.