Always enjoy attending Southern Association of Workers’ Compensation Administrators All Committee Conference. This year's conference in Amelia Island was incredible. Beautiful site, delicious food, amazing service, great opportunities to socialize, and the best speakers, work comp industry leaders, administrators, commissioners, legislators, and adjudicators from around the country. Thank you Desiree Tolbert, Malcolm Jennings, Evelyn McGill, Bob Wilson, BA, WRP, WRPA, Gary Davis, Pauline Williams, Paul Sighinolfi, Abbie Hudgens, Scott Wilholt, Frank McKay, Brittany O'Neil, Tom Glasson, CPCU, Andrew Sabolic, and Adam Fowler! #sawca #allcommitteeconference ??????https://lnkd.in/eV49UAva?????
Cattie & Gonzalez, PLLC
律师事务所
Charlotte,North Carolina 2,907 位关注者
Legal services on Medicare/Medicaid Secondary Payer compliance: mandatory reporting, conditional payments, set asides.
关于我们
The only national law firm focusing its entire law practice on Medicare and Medicaid secondary payer issues, Cattie & Gonzalez, PPLC provides its clients the highest quality MSP compliance advice in a law firm environment, establishing an attorney/client relationship. The Firm stands behind its work and advice, meaning the Firm will defend its opinions, advice, and work product, including any post settlement conditional payments arising from the client’s application of and reliance on the Firm’s Medicare Set-Aside (MSA) Legal Opinion. Services include but are not limited to: Conditional Payments; Post-Final Demand Conditional Payment Appeals; MSA Legal Opinions; MSA Allocations; Medical Cost Projections; Section 111 Reporting Data Audits; MSP Claims Closure Projects; Medicaid Lien Resolution; Private/ERISA Lien Resolution; Military (VA/TriCare) Lien Resolution; and More! To reach the firm, you may email us at [email protected] or [email protected], call us at (844) 546-3500, or visit us at www.cattielaw.com.
- 网站
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https://www.cattielaw.com
Cattie & Gonzalez, PLLC的外部链接
- 所属行业
- 律师事务所
- 规模
- 11-50 人
- 总部
- Charlotte,North Carolina
- 类型
- 自有
- 创立
- 2016
地点
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主要
831 E Morehead St
Suite 650
US,North Carolina,Charlotte,28202
Cattie & Gonzalez, PLLC员工
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James M (Jim) Anderson
Cattie & Gonzalez
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Rafael Gonzalez, Esq.
speaker, blogger, podcaster, adjunct, attorney providing medicare/medicaid counsel nationwide on secondary payer issues in liability, no-fault, and…
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Lauren Sheldon
Emergency RN, BSN/MSA Allocator
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??John V. Cattie, Jr.
Minimizing liens and protecting future Medicare/ Medicaid benefits | Medicare Set Aside Problem Solver | Computer Software Exec | The Best is Yet to…
动态
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Have you seen our article about Civil Monetary Penalty (CMP) Applicability & Enforcement Reminders from CMS? Number 7 on the list highlights that if an RRE is late in reporting Ongoing Responsibility for Medical (ORM) and Total Payment Obligation to Claimant (TPOC) more than one year, but less than two years, the daily civil money penalty is $250, which after adjusted for inflation in 2024 equals $357. Stay informed about regulations by following our firm! #RRE #CMP #Medicare
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Although not as prevalent as Ongoing Responsibility for Medical (ORM) reporting errors, throughout our audits, we do see a volume of cases with Total Payment Obligation to Claimant (TPOC) reporting errors, including TPOC amounts, dates, and thresholds. Perhaps the most common error we see in TPOC reporting is with the amount. The TPOC amount refers to the dollar amount of a settlement, judgment, award, or other payment. The computation of the TPOC amount includes, but is not limited to, all Medicare covered medical expenses related to the claim, non-Medicare covered medical expenses related to the claim, all lost wages, property damages, attorneys’ fees, set aside amounts, payout totals for annuities, settlement advances, lien payments, and amounts forgiven by the insurer/carrier. #TPOC #MIR #Medicare
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Have you seen our Civil Monetary Penalty (CMP) Applicability & Enforcement Reminders from CMS? Number 6 on the list highlights the penalty amount for noncompliant NGHP records, as per statutory authority at 42 USC 1395y(b) and the latest federal regulations. CMS emphasizes the daily penalty assessment per file for noncompliant NGHP records. Stay informed about regulations by following our firm! #CMS #CMP #Medicare
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Ongoing Responsibility for Medical (ORM) Termination is frequently misreported, causing audit errors. The Responsible Reporting Entity (RRE) must accurately report the termination date without changing acceptance status or deleting records. Valid terminations occur when no medical care is needed, a claim is non-compensable, the claimant has died, or care is settled. Do not report a termination date if future payments are possible. Valid conditions for termination include no claims paid in five years, no medical implants, and total claims under $25,000. ORM termination must also adhere to state laws, insurance contracts, and physician recommendations. #ORM #RRE #MIR
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We can't understate the importance of staying informed about CMS updates regarding Civil Monetary Penalties (CMPs) enforcement! CMS always emphasizes that the responsibility for submitting MSP records in a timely manner lies with the RRE, not the reporting agent. It's crucial to understand and adhere to these guidelines to avoid any legal issues. Stay updated to comply with regulations and ensure smooth operations. #CMS #RRE #Medicare
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In our audits, a common error is the misreporting of ORM (Ongoing Responsibility for Medical). ORM Medical Codes do not guarantee ongoing medical care payment but reflect the current responsibility of the RRE. It's essential to report ORM with details about the illness, injury, and relevant ICD diagnosis codes. Codes starting in “Field 18” must adequately inform Medicare about the related medical care, as a common error involves reporting unrelated medical codes. #ORM #ICD #Medicare
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In our audits, a common error is the misreporting of ORM (Ongoing Responsibility for Medical). "Ongoing" refers to the RRE's (Responsible Reporting Entity) duty to cover medical care related to a claim, not to ongoing reporting of claims. An RRE assumes ORM when it learns of medical treatment linked to an injury, regardless of payment status. ORM typically takes effect from the injury date, aligning with when the RRE accepts responsibility. Payments made in a lump sum for ORM do not qualify as a TPOC (Total Payment Obligation to Claimant), as seen in no-fault situations like automobile insurance. #RRE #ORM #Medicare