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.

Newsroom

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.

Event Calendar and Webinars

Stay up to date on all Academy events and learning opportunities and view recordings of past webinars. 

PM&R Aspire

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.

PM&R Q&A Video Conversations

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

E/M Reimbursement in 2019: What You Need to Know

Nov 7, 2018, 09:23 by User Not Found

On Thursday, November 1 the Centers for Medicare & Medicaid Services (CMS) released the 2019 Medicare Physician Fee Schedule final rule, announcing modifications to their proposed changes to the office and outpatient evaluation and management (E/M) visits. Months of tireless advocacy efforts by AAPM&R and across the physician community led to CMS:

  • Conceding to several changes to their E/M proposal as well as agreeing to delay implementation of any E/M payment changes until 2021.
  • Not implementing a 50% payment reduction for procedures billed on the same day as office and outpatient E/M visits. This was a major emphasis of AAPM&R advocacy efforts, and we are pleased that CMS agreed to our request. If implemented, this policy would have resulted in substantial cuts to payment for a large portion of our members.

While we are relieved that our members won’t be hit with significant payment changes on January 1, we continue to have significant concerns with the 2021 policy CMS has put forward. AAPM&R member reimbursement may be negatively impacted if the 2021 policy remains—we know it is a concern for you and it is a top priority for the Academy. We will need your support—your engagement and input—as we continue our advocacy efforts, because our fight is far from over. Stay tuned for opportunities on how to do this in the coming weeks.

Summary of E/M Reimbursement Changes

Effective January 1, 2021, CMS has finalized the following changes to office and outpatient E/M visits:

  • Collapsing of payment for level 2-4 visits for new and established patients (99202-204 and 99212-214) while maintaining payment for level 1 and level 5 visits. For a detailed look at the new payment rates estimated for 2021, CMS has created a payment chart based on 2018 rates. Note – this is a change from the original CMS proposal which created a collapsed payment rate for E/M levels 1-5.
  • A new flexibility in documentation requirements. For office and outpatient visits levels 2-5, visits can be documented in one of three ways:
    • Based on current 1995 or 1997 guidelines (as visits are currently documented)
    • Using medical decision making
    • Using time-based coding (total amount of face-to-face time with beneficiary)
  • Implementation of two new add-on codes that describe resources inherent in visits for primary care and particular kinds of non-procedural specialized medical care (not restricted by medical specialty). CMS clarifies that these add-on codes will only be permissible for office and outpatient level 2-4 visits.
  • Implementation of a new extended visit add-on code to be used only with office and outpatient level 2-4 E/M visits to account for additional time.

CMS is implementing certain changes to documentation requirements for office and outpatient E/M visits immediately (effective January 1, 2019):

  • Clarification that for office and outpatient E/M visits, practitioners do not need to re-enter information in the medical record on the patient’s chief complaint and history that has already been entered by ancillary staff or the beneficiary.
  • For established patients, CMS now indicates that when relevant information is already in the medical record, new documentation can focus on what has changed since the last visit, or pertinent items that have changed since the last visit.
  • Elimination of the requirement to document the medical necessity of a home visit in lieu of an office visit.

The scope of the final rule extends beyond changes to E/M visits. Academy staff is in the process of analyzing the rule in detail and will continue to update members regarding additional important payment and policy changes in the rule in the coming weeks.

Scott R. Laker, MD, FAAPMR

Chair, AAPM&R Quality, Practice, Policy, and Research Committee (QPPR)

Annie D. Purcell, DO, FAAPMR

Chair, AAPM&R Reimbursement and Policy Review Committee (RPRC)

 

E/M Reimbursement in 2019: What You Need to Know

Nov 7, 2018, 09:23 by User Not Found

On Thursday, November 1 the Centers for Medicare & Medicaid Services (CMS) released the 2019 Medicare Physician Fee Schedule final rule, announcing modifications to their proposed changes to the office and outpatient evaluation and management (E/M) visits. Months of tireless advocacy efforts by AAPM&R and across the physician community led to CMS:

  • Conceding to several changes to their E/M proposal as well as agreeing to delay implementation of any E/M payment changes until 2021.
  • Not implementing a 50% payment reduction for procedures billed on the same day as office and outpatient E/M visits. This was a major emphasis of AAPM&R advocacy efforts, and we are pleased that CMS agreed to our request. If implemented, this policy would have resulted in substantial cuts to payment for a large portion of our members.

While we are relieved that our members won’t be hit with significant payment changes on January 1, we continue to have significant concerns with the 2021 policy CMS has put forward. AAPM&R member reimbursement may be negatively impacted if the 2021 policy remains—we know it is a concern for you and it is a top priority for the Academy. We will need your support—your engagement and input—as we continue our advocacy efforts, because our fight is far from over. Stay tuned for opportunities on how to do this in the coming weeks.

Summary of E/M Reimbursement Changes

Effective January 1, 2021, CMS has finalized the following changes to office and outpatient E/M visits:

  • Collapsing of payment for level 2-4 visits for new and established patients (99202-204 and 99212-214) while maintaining payment for level 1 and level 5 visits. For a detailed look at the new payment rates estimated for 2021, CMS has created a payment chart based on 2018 rates. Note – this is a change from the original CMS proposal which created a collapsed payment rate for E/M levels 1-5.
  • A new flexibility in documentation requirements. For office and outpatient visits levels 2-5, visits can be documented in one of three ways:
    • Based on current 1995 or 1997 guidelines (as visits are currently documented)
    • Using medical decision making
    • Using time-based coding (total amount of face-to-face time with beneficiary)
  • Implementation of two new add-on codes that describe resources inherent in visits for primary care and particular kinds of non-procedural specialized medical care (not restricted by medical specialty). CMS clarifies that these add-on codes will only be permissible for office and outpatient level 2-4 visits.
  • Implementation of a new extended visit add-on code to be used only with office and outpatient level 2-4 E/M visits to account for additional time.

CMS is implementing certain changes to documentation requirements for office and outpatient E/M visits immediately (effective January 1, 2019):

  • Clarification that for office and outpatient E/M visits, practitioners do not need to re-enter information in the medical record on the patient’s chief complaint and history that has already been entered by ancillary staff or the beneficiary.
  • For established patients, CMS now indicates that when relevant information is already in the medical record, new documentation can focus on what has changed since the last visit, or pertinent items that have changed since the last visit.
  • Elimination of the requirement to document the medical necessity of a home visit in lieu of an office visit.

The scope of the final rule extends beyond changes to E/M visits. Academy staff is in the process of analyzing the rule in detail and will continue to update members regarding additional important payment and policy changes in the rule in the coming weeks.

Scott R. Laker, MD, FAAPMR

Chair, AAPM&R Quality, Practice, Policy, and Research Committee (QPPR)

Annie D. Purcell, DO, FAAPMR

Chair, AAPM&R Reimbursement and Policy Review Committee (RPRC)

 

Explore AAPM&R

Online Learning Portal

Education is a fundamental offering that affects PM&R physicians across clinical focuses, practice areas, career stages and levels of expertise. As part of Academy membership, we provide top-notch education and other innovative learning resources across a variety of delivery mechanisms.

Access AAPM&R’s popular Online Learning Portal, which features educational resources, including case studies, instructional videos and more on a variety of clinical and practice topics.



Online Learning Portal

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Online Education Subscription

24/7 access to our online educational resources through the end of your annual membership cycle. Check out what's included below!

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STEP Certificate Programs

AAPM&R’s highly-regarded STEP Certificate Programs are designed by physiatrists for physiatrists and teach and assess important physiatric skills using a progressive, competency- based curriculum.

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PhyzForum

PhyzForum is an online physiatry community that allows you to engage with peers, ask advice, and share experiences. Participate in discussions to network, collaborate, and exchange best practices with your peers.

Annual Assembly
November 12-15

12310A-1936

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

E/M Reimbursement in 2019: What You Need to Know

Nov 07, 2018

On Thursday, November 1 the Centers for Medicare & Medicaid Services (CMS) released the 2019 Medicare Physician Fee Schedule final rule, announcing modifications to their proposed changes to the office and outpatient evaluation and management (E/M) visits. Months of tireless advocacy efforts by AAPM&R and across the physician community led to CMS:

  • Conceding to several changes to their E/M proposal as well as agreeing to delay implementation of any E/M payment changes until 2021.
  • Not implementing a 50% payment reduction for procedures billed on the same day as office and outpatient E/M visits. This was a major emphasis of AAPM&R advocacy efforts, and we are pleased that CMS agreed to our request. If implemented, this policy would have resulted in substantial cuts to payment for a large portion of our members.

While we are relieved that our members won’t be hit with significant payment changes on January 1, we continue to have significant concerns with the 2021 policy CMS has put forward. AAPM&R member reimbursement may be negatively impacted if the 2021 policy remains—we know it is a concern for you and it is a top priority for the Academy. We will need your support—your engagement and input—as we continue our advocacy efforts, because our fight is far from over. Stay tuned for opportunities on how to do this in the coming weeks.

Summary of E/M Reimbursement Changes

Effective January 1, 2021, CMS has finalized the following changes to office and outpatient E/M visits:

  • Collapsing of payment for level 2-4 visits for new and established patients (99202-204 and 99212-214) while maintaining payment for level 1 and level 5 visits. For a detailed look at the new payment rates estimated for 2021, CMS has created a payment chart based on 2018 rates. Note – this is a change from the original CMS proposal which created a collapsed payment rate for E/M levels 1-5.
  • A new flexibility in documentation requirements. For office and outpatient visits levels 2-5, visits can be documented in one of three ways:
    • Based on current 1995 or 1997 guidelines (as visits are currently documented)
    • Using medical decision making
    • Using time-based coding (total amount of face-to-face time with beneficiary)
  • Implementation of two new add-on codes that describe resources inherent in visits for primary care and particular kinds of non-procedural specialized medical care (not restricted by medical specialty). CMS clarifies that these add-on codes will only be permissible for office and outpatient level 2-4 visits.
  • Implementation of a new extended visit add-on code to be used only with office and outpatient level 2-4 E/M visits to account for additional time.

CMS is implementing certain changes to documentation requirements for office and outpatient E/M visits immediately (effective January 1, 2019):

  • Clarification that for office and outpatient E/M visits, practitioners do not need to re-enter information in the medical record on the patient’s chief complaint and history that has already been entered by ancillary staff or the beneficiary.
  • For established patients, CMS now indicates that when relevant information is already in the medical record, new documentation can focus on what has changed since the last visit, or pertinent items that have changed since the last visit.
  • Elimination of the requirement to document the medical necessity of a home visit in lieu of an office visit.

The scope of the final rule extends beyond changes to E/M visits. Academy staff is in the process of analyzing the rule in detail and will continue to update members regarding additional important payment and policy changes in the rule in the coming weeks.

Scott R. Laker, MD, FAAPMR

Chair, AAPM&R Quality, Practice, Policy, and Research Committee (QPPR)

Annie D. Purcell, DO, FAAPMR

Chair, AAPM&R Reimbursement and Policy Review Committee (RPRC)

 

Physiatry News

E/M Reimbursement in 2019: What You Need to Know

Nov 07, 2018

On Thursday, November 1 the Centers for Medicare & Medicaid Services (CMS) released the 2019 Medicare Physician Fee Schedule final rule, announcing modifications to their proposed changes to the office and outpatient evaluation and management (E/M) visits. Months of tireless advocacy efforts by AAPM&R and across the physician community led to CMS:

  • Conceding to several changes to their E/M proposal as well as agreeing to delay implementation of any E/M payment changes until 2021.
  • Not implementing a 50% payment reduction for procedures billed on the same day as office and outpatient E/M visits. This was a major emphasis of AAPM&R advocacy efforts, and we are pleased that CMS agreed to our request. If implemented, this policy would have resulted in substantial cuts to payment for a large portion of our members.

While we are relieved that our members won’t be hit with significant payment changes on January 1, we continue to have significant concerns with the 2021 policy CMS has put forward. AAPM&R member reimbursement may be negatively impacted if the 2021 policy remains—we know it is a concern for you and it is a top priority for the Academy. We will need your support—your engagement and input—as we continue our advocacy efforts, because our fight is far from over. Stay tuned for opportunities on how to do this in the coming weeks.

Summary of E/M Reimbursement Changes

Effective January 1, 2021, CMS has finalized the following changes to office and outpatient E/M visits:

  • Collapsing of payment for level 2-4 visits for new and established patients (99202-204 and 99212-214) while maintaining payment for level 1 and level 5 visits. For a detailed look at the new payment rates estimated for 2021, CMS has created a payment chart based on 2018 rates. Note – this is a change from the original CMS proposal which created a collapsed payment rate for E/M levels 1-5.
  • A new flexibility in documentation requirements. For office and outpatient visits levels 2-5, visits can be documented in one of three ways:
    • Based on current 1995 or 1997 guidelines (as visits are currently documented)
    • Using medical decision making
    • Using time-based coding (total amount of face-to-face time with beneficiary)
  • Implementation of two new add-on codes that describe resources inherent in visits for primary care and particular kinds of non-procedural specialized medical care (not restricted by medical specialty). CMS clarifies that these add-on codes will only be permissible for office and outpatient level 2-4 visits.
  • Implementation of a new extended visit add-on code to be used only with office and outpatient level 2-4 E/M visits to account for additional time.

CMS is implementing certain changes to documentation requirements for office and outpatient E/M visits immediately (effective January 1, 2019):

  • Clarification that for office and outpatient E/M visits, practitioners do not need to re-enter information in the medical record on the patient’s chief complaint and history that has already been entered by ancillary staff or the beneficiary.
  • For established patients, CMS now indicates that when relevant information is already in the medical record, new documentation can focus on what has changed since the last visit, or pertinent items that have changed since the last visit.
  • Elimination of the requirement to document the medical necessity of a home visit in lieu of an office visit.

The scope of the final rule extends beyond changes to E/M visits. Academy staff is in the process of analyzing the rule in detail and will continue to update members regarding additional important payment and policy changes in the rule in the coming weeks.

Scott R. Laker, MD, FAAPMR

Chair, AAPM&R Quality, Practice, Policy, and Research Committee (QPPR)

Annie D. Purcell, DO, FAAPMR

Chair, AAPM&R Reimbursement and Policy Review Committee (RPRC)

 

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. 

PhyzForum AAPM&R's Online Member Community