Supporting the Physiatrist, Strengthening the Specialty

AAPM&R is working to ensure PM&R is positioned to thrive in the future of healthcare and that you’re prepared for wherever your career takes you. Our more than 10,000 Academy members support each other in advancing PM&R’s impact through healthcare. As we move forward, it is more important than ever that every member play an active role in helping one another realize the vision for our specialty.

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Looking for AAPM&R members in the news? Press releases? Our Academy Action Center? Or looking to submit your members in the news content? You'll find it all in our Newsroom. You will also be able to explore PM&R and Academy news as well as learn how to contact us if you would like to submit your member content, or if you are a reporter who is interested in speaking with a PM&R physician.

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PM&R Aspire is our career-exploration platform purpose-built to help PM&R professionals make better-informed career decisions. We have mapped employer locations across the United States, enabling you to explore, message and apply to the roles that matter most to you.

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AAPM&R is leading the advancement of physiatry’s impact throughout healthcare as aligned with YOUR vision for the specialty. Explore our Q&A video series where members of our Physiatrist in Training (PHiT) Council Board chat with AAPM&R Board leaders.

Latest News

Advocacy Action Center: In less than 3 minutes, you can help Save Osteopathic Manipulative Treatment (OMT) - Deadline 8/13

Aug 10, 2016, 15:43 by User Not Found

The ability of DOs to provide Osteopathic Manipulative Treatment (OMT) to Medicare patients is being threatened. Your expert voice can stop this threat. 

AAPM&R and the American Osteopathic Association (AAO) are taking action and need your help to save OMT! A Medicare billing contractor - National Government Services - has proposed a new rule that would make it nearly impossible to bill Medicare for an appropriate E&M office visit when OMT is performed. The proposed rule would impact physicians and patients in ten states - New York, Illinois, Wisconsin, Maine, Minnesota, Massachusetts, Connecticut, Rhode Island, New Hampshire, and Vermont. 

You only have until this Saturday, August 13, to express your opposition.

If this rule is adopted, it will quickly spread across the country and likely be adopted by Medicare contractors and private insurers. DOs across the country will no longer be able to bill for an appropriate office visit when OMT is performed without undue barriers. Click here for more information on how this proposed rule threatens the ability of DOs to provide the best care to their patients.
 
Please take a moment to send a customizable letter to help preserve patient access to cost-effective, high-quality pain management. We have provided two seperate versions of this letter; one for DOs and one for MDs. The default letter is for DOs, however you have the option to select "Switch Message" at the end of the letter to submit a letter as a MD. 


Template Letter Version 1

LCD #DL33616 would restrict access to OMT. It must be denied!

I am an osteopathic physiatrist, who treats patient with osteopathic manipulative treatment (OMT). I am alarmed that draft LCD 33616 proposes to essentially require separate visits for an E&M evaluation and OMT procedures.

My patients benefit from the fact that I can do a complete medical evaluation along with OMT during the same visit. Osteopathic care is comprehensive; it allows for the practitioner to treat the patient as an individual, as well as coordinate care with both primary care providers and specialists. If adopted, this LCD would limit the amount of physician contact time with patients and diminish the quality of care I can provide to patients. The changes being proposed would create incredible inconveniences for both patients and physicians, and have an extremely negative impact on patient care.

I am confused by the language in paragraph 4 of the "Document Requirements Section" of the proposed LCD which states that "assessment of these performance metrics contributes to a distinct E&M service when appropriately documented, as does the development of a Plan of Care when these services are included in a comprehensive assessment at the initiation of treatment." This language appears to concede that an OMT is separate from an E&M visit, a conclusion with which we would agree. During the process of an E&M, the osteopathic physician (just like an MD) has a variety of treatments to choose from, only one of which is OMT.

We would advocate for a return to the current policy which allows for use of a modifier 25. Do not approve this draft LCD, which will unnecessarily limit access to OMT and harm patients.

Do not approve this draft LCD, which will unnecessarily limit access to OMT and harm patients.


Template Letter Version 2

LCD #DL33616 would restrict access to OMT. It must be denied!

I am a physiatrist, a physician who specializes in physical medicine and rehabilitation. I am familiar with the osteopathic manipulative treatment (OMT) used by some osteopathic physicians to treat patients with appropriate diagnoses and I am alarmed that draft LCD 33616 proposes to essentially require separate visits for an E&M evaluation and OMT procedures, to be reimbursed for both services.

Patients benefit from the fact that a medical evaluation along with OMT can be completed during the same visit. Osteopathic care is comprehensive; it allows for the practitioner to treat the patient as an individual, as well as coordinate care with both primary care providers and specialists. If adopted, this LCD would limit the amount of physician contact time with patients and diminish the quality of care provided to patients. The changes being proposed would create incredible inconveniences for both patients and physicians, and have an extremely negative impact on patient care.

I am confused by the language in paragraph 4 of the "Document Requirements Section" of the proposed LCD which states that "assessment of these performance metrics contributes to a distinct E&M service when appropriately documented, as does the development of a Plan of Care when these services are included in a comprehensive assessment at the initiation of treatment." This language appears to concede that an OMT is separate from an E&M visit, a conclusion with which we would agree. During the process of an E&M, the osteopathic physician (just like an MD) has a variety of treatments to choose from, only one of which is OMT.

We would advocate for a return to the current policy which allows for use of a modifier 25. Do not approve this draft LCD, which will unnecessarily limit access to OMT and harm patients.

Advocacy Action Center: In less than 3 minutes, you can help Save Osteopathic Manipulative Treatment (OMT) - Deadline 8/13

Aug 10, 2016, 15:43 by User Not Found

The ability of DOs to provide Osteopathic Manipulative Treatment (OMT) to Medicare patients is being threatened. Your expert voice can stop this threat. 

AAPM&R and the American Osteopathic Association (AAO) are taking action and need your help to save OMT! A Medicare billing contractor - National Government Services - has proposed a new rule that would make it nearly impossible to bill Medicare for an appropriate E&M office visit when OMT is performed. The proposed rule would impact physicians and patients in ten states - New York, Illinois, Wisconsin, Maine, Minnesota, Massachusetts, Connecticut, Rhode Island, New Hampshire, and Vermont. 

You only have until this Saturday, August 13, to express your opposition.

If this rule is adopted, it will quickly spread across the country and likely be adopted by Medicare contractors and private insurers. DOs across the country will no longer be able to bill for an appropriate office visit when OMT is performed without undue barriers. Click here for more information on how this proposed rule threatens the ability of DOs to provide the best care to their patients.
 
Please take a moment to send a customizable letter to help preserve patient access to cost-effective, high-quality pain management. We have provided two seperate versions of this letter; one for DOs and one for MDs. The default letter is for DOs, however you have the option to select "Switch Message" at the end of the letter to submit a letter as a MD. 


Template Letter Version 1

LCD #DL33616 would restrict access to OMT. It must be denied!

I am an osteopathic physiatrist, who treats patient with osteopathic manipulative treatment (OMT). I am alarmed that draft LCD 33616 proposes to essentially require separate visits for an E&M evaluation and OMT procedures.

My patients benefit from the fact that I can do a complete medical evaluation along with OMT during the same visit. Osteopathic care is comprehensive; it allows for the practitioner to treat the patient as an individual, as well as coordinate care with both primary care providers and specialists. If adopted, this LCD would limit the amount of physician contact time with patients and diminish the quality of care I can provide to patients. The changes being proposed would create incredible inconveniences for both patients and physicians, and have an extremely negative impact on patient care.

I am confused by the language in paragraph 4 of the "Document Requirements Section" of the proposed LCD which states that "assessment of these performance metrics contributes to a distinct E&M service when appropriately documented, as does the development of a Plan of Care when these services are included in a comprehensive assessment at the initiation of treatment." This language appears to concede that an OMT is separate from an E&M visit, a conclusion with which we would agree. During the process of an E&M, the osteopathic physician (just like an MD) has a variety of treatments to choose from, only one of which is OMT.

We would advocate for a return to the current policy which allows for use of a modifier 25. Do not approve this draft LCD, which will unnecessarily limit access to OMT and harm patients.

Do not approve this draft LCD, which will unnecessarily limit access to OMT and harm patients.


Template Letter Version 2

LCD #DL33616 would restrict access to OMT. It must be denied!

I am a physiatrist, a physician who specializes in physical medicine and rehabilitation. I am familiar with the osteopathic manipulative treatment (OMT) used by some osteopathic physicians to treat patients with appropriate diagnoses and I am alarmed that draft LCD 33616 proposes to essentially require separate visits for an E&M evaluation and OMT procedures, to be reimbursed for both services.

Patients benefit from the fact that a medical evaluation along with OMT can be completed during the same visit. Osteopathic care is comprehensive; it allows for the practitioner to treat the patient as an individual, as well as coordinate care with both primary care providers and specialists. If adopted, this LCD would limit the amount of physician contact time with patients and diminish the quality of care provided to patients. The changes being proposed would create incredible inconveniences for both patients and physicians, and have an extremely negative impact on patient care.

I am confused by the language in paragraph 4 of the "Document Requirements Section" of the proposed LCD which states that "assessment of these performance metrics contributes to a distinct E&M service when appropriately documented, as does the development of a Plan of Care when these services are included in a comprehensive assessment at the initiation of treatment." This language appears to concede that an OMT is separate from an E&M visit, a conclusion with which we would agree. During the process of an E&M, the osteopathic physician (just like an MD) has a variety of treatments to choose from, only one of which is OMT.

We would advocate for a return to the current policy which allows for use of a modifier 25. Do not approve this draft LCD, which will unnecessarily limit access to OMT and harm patients.

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November 12-15

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The 2020 Annual Assembly is virtual! Join us from November 12-15 as we meet online to share best practices and support each other as we navigate a “new normal."

Critical Conversation Series

Thursday, October 1 at 6 pm (CT)

You're invited to participate in a series of discussions on racial equity, access and inclusion in today’s world. Join us for our next conversation on October 1 for AAPM&R's Diversity and Inclusion Journey. We will review efforts that led to the creation of the D&I strategic plan, unveil our new Principles of Inclusion and Engagement and share new initiatives on the horizon.

AAPM&R News

Advocacy Action Center: In less than 3 minutes, you can help Save Osteopathic Manipulative Treatment (OMT) - Deadline 8/13

Aug 10, 2016

The ability of DOs to provide Osteopathic Manipulative Treatment (OMT) to Medicare patients is being threatened. Your expert voice can stop this threat. 

AAPM&R and the American Osteopathic Association (AAO) are taking action and need your help to save OMT! A Medicare billing contractor - National Government Services - has proposed a new rule that would make it nearly impossible to bill Medicare for an appropriate E&M office visit when OMT is performed. The proposed rule would impact physicians and patients in ten states - New York, Illinois, Wisconsin, Maine, Minnesota, Massachusetts, Connecticut, Rhode Island, New Hampshire, and Vermont. 

You only have until this Saturday, August 13, to express your opposition.

If this rule is adopted, it will quickly spread across the country and likely be adopted by Medicare contractors and private insurers. DOs across the country will no longer be able to bill for an appropriate office visit when OMT is performed without undue barriers. Click here for more information on how this proposed rule threatens the ability of DOs to provide the best care to their patients.
 
Please take a moment to send a customizable letter to help preserve patient access to cost-effective, high-quality pain management. We have provided two seperate versions of this letter; one for DOs and one for MDs. The default letter is for DOs, however you have the option to select "Switch Message" at the end of the letter to submit a letter as a MD. 


Template Letter Version 1

LCD #DL33616 would restrict access to OMT. It must be denied!

I am an osteopathic physiatrist, who treats patient with osteopathic manipulative treatment (OMT). I am alarmed that draft LCD 33616 proposes to essentially require separate visits for an E&M evaluation and OMT procedures.

My patients benefit from the fact that I can do a complete medical evaluation along with OMT during the same visit. Osteopathic care is comprehensive; it allows for the practitioner to treat the patient as an individual, as well as coordinate care with both primary care providers and specialists. If adopted, this LCD would limit the amount of physician contact time with patients and diminish the quality of care I can provide to patients. The changes being proposed would create incredible inconveniences for both patients and physicians, and have an extremely negative impact on patient care.

I am confused by the language in paragraph 4 of the "Document Requirements Section" of the proposed LCD which states that "assessment of these performance metrics contributes to a distinct E&M service when appropriately documented, as does the development of a Plan of Care when these services are included in a comprehensive assessment at the initiation of treatment." This language appears to concede that an OMT is separate from an E&M visit, a conclusion with which we would agree. During the process of an E&M, the osteopathic physician (just like an MD) has a variety of treatments to choose from, only one of which is OMT.

We would advocate for a return to the current policy which allows for use of a modifier 25. Do not approve this draft LCD, which will unnecessarily limit access to OMT and harm patients.

Do not approve this draft LCD, which will unnecessarily limit access to OMT and harm patients.


Template Letter Version 2

LCD #DL33616 would restrict access to OMT. It must be denied!

I am a physiatrist, a physician who specializes in physical medicine and rehabilitation. I am familiar with the osteopathic manipulative treatment (OMT) used by some osteopathic physicians to treat patients with appropriate diagnoses and I am alarmed that draft LCD 33616 proposes to essentially require separate visits for an E&M evaluation and OMT procedures, to be reimbursed for both services.

Patients benefit from the fact that a medical evaluation along with OMT can be completed during the same visit. Osteopathic care is comprehensive; it allows for the practitioner to treat the patient as an individual, as well as coordinate care with both primary care providers and specialists. If adopted, this LCD would limit the amount of physician contact time with patients and diminish the quality of care provided to patients. The changes being proposed would create incredible inconveniences for both patients and physicians, and have an extremely negative impact on patient care.

I am confused by the language in paragraph 4 of the "Document Requirements Section" of the proposed LCD which states that "assessment of these performance metrics contributes to a distinct E&M service when appropriately documented, as does the development of a Plan of Care when these services are included in a comprehensive assessment at the initiation of treatment." This language appears to concede that an OMT is separate from an E&M visit, a conclusion with which we would agree. During the process of an E&M, the osteopathic physician (just like an MD) has a variety of treatments to choose from, only one of which is OMT.

We would advocate for a return to the current policy which allows for use of a modifier 25. Do not approve this draft LCD, which will unnecessarily limit access to OMT and harm patients.

Physiatry News

Advocacy Action Center: In less than 3 minutes, you can help Save Osteopathic Manipulative Treatment (OMT) - Deadline 8/13

Aug 10, 2016

The ability of DOs to provide Osteopathic Manipulative Treatment (OMT) to Medicare patients is being threatened. Your expert voice can stop this threat. 

AAPM&R and the American Osteopathic Association (AAO) are taking action and need your help to save OMT! A Medicare billing contractor - National Government Services - has proposed a new rule that would make it nearly impossible to bill Medicare for an appropriate E&M office visit when OMT is performed. The proposed rule would impact physicians and patients in ten states - New York, Illinois, Wisconsin, Maine, Minnesota, Massachusetts, Connecticut, Rhode Island, New Hampshire, and Vermont. 

You only have until this Saturday, August 13, to express your opposition.

If this rule is adopted, it will quickly spread across the country and likely be adopted by Medicare contractors and private insurers. DOs across the country will no longer be able to bill for an appropriate office visit when OMT is performed without undue barriers. Click here for more information on how this proposed rule threatens the ability of DOs to provide the best care to their patients.
 
Please take a moment to send a customizable letter to help preserve patient access to cost-effective, high-quality pain management. We have provided two seperate versions of this letter; one for DOs and one for MDs. The default letter is for DOs, however you have the option to select "Switch Message" at the end of the letter to submit a letter as a MD. 


Template Letter Version 1

LCD #DL33616 would restrict access to OMT. It must be denied!

I am an osteopathic physiatrist, who treats patient with osteopathic manipulative treatment (OMT). I am alarmed that draft LCD 33616 proposes to essentially require separate visits for an E&M evaluation and OMT procedures.

My patients benefit from the fact that I can do a complete medical evaluation along with OMT during the same visit. Osteopathic care is comprehensive; it allows for the practitioner to treat the patient as an individual, as well as coordinate care with both primary care providers and specialists. If adopted, this LCD would limit the amount of physician contact time with patients and diminish the quality of care I can provide to patients. The changes being proposed would create incredible inconveniences for both patients and physicians, and have an extremely negative impact on patient care.

I am confused by the language in paragraph 4 of the "Document Requirements Section" of the proposed LCD which states that "assessment of these performance metrics contributes to a distinct E&M service when appropriately documented, as does the development of a Plan of Care when these services are included in a comprehensive assessment at the initiation of treatment." This language appears to concede that an OMT is separate from an E&M visit, a conclusion with which we would agree. During the process of an E&M, the osteopathic physician (just like an MD) has a variety of treatments to choose from, only one of which is OMT.

We would advocate for a return to the current policy which allows for use of a modifier 25. Do not approve this draft LCD, which will unnecessarily limit access to OMT and harm patients.

Do not approve this draft LCD, which will unnecessarily limit access to OMT and harm patients.


Template Letter Version 2

LCD #DL33616 would restrict access to OMT. It must be denied!

I am a physiatrist, a physician who specializes in physical medicine and rehabilitation. I am familiar with the osteopathic manipulative treatment (OMT) used by some osteopathic physicians to treat patients with appropriate diagnoses and I am alarmed that draft LCD 33616 proposes to essentially require separate visits for an E&M evaluation and OMT procedures, to be reimbursed for both services.

Patients benefit from the fact that a medical evaluation along with OMT can be completed during the same visit. Osteopathic care is comprehensive; it allows for the practitioner to treat the patient as an individual, as well as coordinate care with both primary care providers and specialists. If adopted, this LCD would limit the amount of physician contact time with patients and diminish the quality of care provided to patients. The changes being proposed would create incredible inconveniences for both patients and physicians, and have an extremely negative impact on patient care.

I am confused by the language in paragraph 4 of the "Document Requirements Section" of the proposed LCD which states that "assessment of these performance metrics contributes to a distinct E&M service when appropriately documented, as does the development of a Plan of Care when these services are included in a comprehensive assessment at the initiation of treatment." This language appears to concede that an OMT is separate from an E&M visit, a conclusion with which we would agree. During the process of an E&M, the osteopathic physician (just like an MD) has a variety of treatments to choose from, only one of which is OMT.

We would advocate for a return to the current policy which allows for use of a modifier 25. Do not approve this draft LCD, which will unnecessarily limit access to OMT and harm patients.

Take the Next STEP in Your Ultrasound Education

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AAPM&R's STEP Ultrasound Certificate Program is the premiere ultrasound training program—designed by physiatrists, for physiatrists. 

As the only formal, standardized training pathway available for honing and validating your ultrasound skill set, successful completion of the STEP Ultrasound Program will clearly demonstrate to your patients, fellow health care professionals, employers, and the medical facilities you work with that you are a competent professional, expertly trained in ultrasound. 

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