According to an article in Medicare Learning Network, the patient IS eligible for TCM if discharged to a nursing home (or at least a "rest home") or to assisted living. Here's the article:
http://www.cms.gov/Outreach-and-Edu...-Management-Services-Fact-Sheet-ICN908628.pdf
We've been billing Medicare for TCM for a few months now and have gotten paid on all of them so far. We've really had to dot our i's and cross our t's - in other words, document and double-check
everything. Make sure the follow-up phone call is done within two business days and documented. And obtain a copy of the hospital discharge summary with the date of discharge. That is what Medicare will go by and if your records don't match, I guarantee you'll have problems.
We did hit a bump in the road this week. Medicare requested a refund on a 1/28/14 TCM charge. The patient was readmitted in 1/20. Our billing staff didn't know that at the time because the doctors hadn't turned in hospital charges but our doctors billed hospital visit charges for that hospitalization, including a visit on 1/28/14. If you look on page 6 of the article linked above, Medicare says you CAN bill TCM even if the patient is readmitted before the 30 days are up. However, when I called Medicare I was told "the patient can't be in two places at once - they can't be both in the hospital and in the office on the same day." That's actually wrong - we see rehab hospital patients in our office - they are inpatients but they are brought to our office to see the doctor. But that's another story. On the TCM, I'm not sure, but it appears that maybe you have to only count out-of-the-hospital days for TCM. In other words, you can only count up to the readmit, then resume after the patient is again discharged - ? Does anyone know? This patient hasn't gotten out of the hospital since the readmit. Somehow I doubt Medicare will allow us to resume the counting a few months down the road.