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When to Submit a CMS-855 Form It has come to our attention that providers and suppliers are being advised by various sources (i.e., Software Vendors, Clearinghouses, Billing Agencies, NPPES Registry, and Specialty Societies) that they should proactively submit a CMS 855 Enrollment Application to their Medicare contractor for purpose of revalidation or to register their NPI number(s). We want to make you aware that this is not necessary. Please do not proactively submit a CMS-855 form unless you meet one of the following criteria:
Following these guidelines will assist us in processing valid applications in a timely fashion. This will also prevent you from completing unnecessary paperwork. If at any time you are unsure whether a CMS-855 form should be submitted in a given situation, please call our Customer Service line at 1-866-488-0549 for further guidance. Obtaining Additional NPIs To Resolve Claim Issues -Groups/Organizations Only This instruction is only relevant to groups and organizations who are in the process of obtaining additional NPIs in response to:
If you have experienced either situation identified above, follow these steps to take corrective action:
Example
Please include a cover letter, describing your specific situation (i.e. claim rejections, development letters) and send the spreadsheet to: Highmark Medicare Services Change of Information Request May Lead to Revocation Highmark Medicare Services, in accordance with Section 7.1.1 of Chapter 10 in the Program Integrity Manual, will request a complete CMS-855 application, if a provider/supplier requests any change to the information on their file, and they are not in the Provider Enrollment Chain and Ownership System (PECOS). The provider/supplier has 60 calendar days from the date of our request to furnish the entire CMS-855 application. If the provider/supplier fails to submit a complete application within the 60-day period, we are required by CMS to take steps to revoke the provider’s/supplier’s billing privileges. If your Medicare billing privileges are revoked, your Medicare provider agreement (approval to participate in the Medicare program) will be terminated by act of regulation (42CFR 424.535(b)). You may submit a Corrective Action Plan (CAP) within 30 days after the postmark date of the revocation. Submission of a CAP shall contain, at a minimum, verifiable evidence of the provider’s/supplier’s compliance at the time the revocation was issued. If a CAP is approved, billing privilege will be reissued retroactive to the date of the revocation. If a CAP is not approved, your next course of action is to request a Reconsideration/Appeal. To avoid revocation, please submit all information requested by Highmark Medicare Services, in order to furnish the entire CMS-855 application, within 60 calendar days from the date of the request. If you would like to speak with an Enrollment Representative, please call (866) 488-0549 between the hours of 8:30 a.m. and 4:15 p.m. Monday through Thursday and 8:30 a.m. through 1:30 p.m. on Friday. The following newly mandated guidelines have contributed to delays in processing CMS-855 applications. This article includes a description of some of those changes, and some helpful information to ensure submission of complete and accurate applications. 1. The new (06/2006) version of CMS-855 enrollment applications must be used. Although these forms have been improved, because of the changes, we are experiencing an increase in returns and development due to inaccurate or missing information. Over 60% of the forms we receive are missing required information or attachments used for verification, or have information within the application, but not in the proper field(s). This causes delays in processing.
2. The National Provider Identifier (NPI) number is now a required element on each CMS-855 application. Providers must also supply a copy of the notice (e-mail or letter - generated from the National Plan and Provider Enumeration System [NPPES]) sent to them from the NPI Enumerator so we can verify the NPI. We are instructed to request the NPI notification as an attachment with each 855. If the information on the NPI notification does not match the information on other official sources, we will request that you correct this information on the NPPES file. We will not be able to finalize processing your CMS-855 until issues of this nature are resolved. (Example: The NPI notification lists the name as Tom Jones’ Medical Practice, while the IRS tax document lists the name as Dr. Thomas Jones’ Medical Practice, PC) 3. The CMS-588 form (Authorization for Electronic Funds Transfer) is now required in conjunction with all CMS-855 applications, whether the application is submitted for a new enrollee or to effectuate a change of information for an already enrolled provider (if the provider currently receives paper checks). Tips:
4. CMS requires us to request a complete CMS-855 application if we receive a change of information request for an enrolled provider/supplier (including changes to EFT) when we do not yet have a record established for the provider/supplier in the national provider database, the Provider Enrollment, Chain and Ownership System (PECOS). We will also request a complete CMS-855 application if you are reactivating your file. 5. As we have communicated in previous Medicare Report articles, and also outlined in the instructions within the CMS-855 applications, any change of information must be reported within 90 days of the effective date of the change. The only exception is for changes of ownership or control, which must be reported within 30 calendar days of the effective date of the change or requests for changes to the cost report date, not associated with a CHOW, which must be reported within 120 days. In accordance with 42 CFR 424.82 and 42 CFR 424.535, if a provider fails to timely report a change of information/ownership/control, the provider’s billing privileges may be deactivated, and in order to reactivate privileges, a complete CMS-855 application must be submitted. 6. Release of Information rules have been clarified by CMS. We can only release enrollment information to the authorized/delegated official on file and our response must be in writing. 7. We cannot mark or alter the CMS-855 applications in any way, so we may not accept information over the phone. We also cannot highlight a blank form to instruct providers. |
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