{"version":"1.0","provider_name":"Medical Office Force","provider_url":"https:\/\/www.medicalofficeforce.com\/es","author_name":"Judah Coody","author_url":"https:\/\/www.medicalofficeforce.com\/es\/author\/judahchws\/","title":"Data Monitoring and Medical Billing Terms and Conditions - Medical Office Force","type":"rich","width":600,"height":338,"html":"<blockquote class=\"wp-embedded-content\" data-secret=\"aI9zzEZ9lb\"><a href=\"https:\/\/www.medicalofficeforce.com\/es\/data-monitoring-and-medical-billing-terms-and-conditions\/\">Data Monitoring and Medical Billing Terms and Conditions<\/a><\/blockquote><iframe sandbox=\"allow-scripts\" security=\"restricted\" src=\"https:\/\/www.medicalofficeforce.com\/es\/data-monitoring-and-medical-billing-terms-and-conditions\/embed\/#?secret=aI9zzEZ9lb\" width=\"600\" height=\"338\" title=\"&#8220;Data Monitoring and Medical Billing Terms and Conditions&#8221; &#8212; Medical Office Force\" data-secret=\"aI9zzEZ9lb\" frameborder=\"0\" marginwidth=\"0\" marginheight=\"0\" scrolling=\"no\" class=\"wp-embedded-content\"><\/iframe><script type=\"text\/javascript\">\n\/* <![CDATA[ *\/\n\/*! This file is auto-generated *\/\n!function(d,l){\"use strict\";l.querySelector&&d.addEventListener&&\"undefined\"!=typeof URL&&(d.wp=d.wp||{},d.wp.receiveEmbedMessage||(d.wp.receiveEmbedMessage=function(e){var t=e.data;if((t||t.secret||t.message||t.value)&&!\/[^a-zA-Z0-9]\/.test(t.secret)){for(var s,r,n,a=l.querySelectorAll('iframe[data-secret=\"'+t.secret+'\"]'),o=l.querySelectorAll('blockquote[data-secret=\"'+t.secret+'\"]'),c=new RegExp(\"^https?:$\",\"i\"),i=0;i<o.length;i++)o[i].style.display=\"none\";for(i=0;i<a.length;i++)s=a[i],e.source===s.contentWindow&&(s.removeAttribute(\"style\"),\"height\"===t.message?(1e3<(r=parseInt(t.value,10))?r=1e3:~~r<200&&(r=200),s.height=r):\"link\"===t.message&&(r=new URL(s.getAttribute(\"src\")),n=new URL(t.value),c.test(n.protocol))&&n.host===r.host&&l.activeElement===s&&(d.top.location.href=t.value))}},d.addEventListener(\"message\",d.wp.receiveEmbedMessage,!1),l.addEventListener(\"DOMContentLoaded\",function(){for(var e,t,s=l.querySelectorAll(\"iframe.wp-embedded-content\"),r=0;r<s.length;r++)(t=(e=s[r]).getAttribute(\"data-secret\"))||(t=Math.random().toString(36).substring(2,12),e.src+=\"#?secret=\"+t,e.setAttribute(\"data-secret\",t)),e.contentWindow.postMessage({message:\"ready\",secret:t},\"*\")},!1)))}(window,document);\n\/\/# sourceURL=https:\/\/www.medicalofficeforce.com\/wp-includes\/js\/wp-embed.min.js\n\/* ]]> *\/\n<\/script>","description":"Data Monitoring and Medical Billing Terms and Conditions 1. THE SERVICES. a) Clinical Staff Review. The Group\u2019s Clinical Staff (defined below) will review Participating Patient data collected by Devices, Participating Patient answers to questionnaires, and incoming Participating Patient calls Patient App on an ongoing basis between the hours of 8:00 am and 5:00 pm Eastern Time (ET), five (5)\u00a0 days per week (\u201cBusiness Hours\u201d). During Business Hours, the Group Clinical Staff will provide Physician with notification under the Participating Patient escalation Clinical Protocol. For each Participating Patient, the Group will let the designated Clinical Contact (defined below) know if\/when intervention, including the reason for escalation, is needed through the Care App and Provider-facing Dashboard.\u00a0 b) No 24\/7 or Emergency Monitoring. The Group is not responsible for the accuracy of any data transmitted or monitored. Further, Clinical Staff services are not intended to provide 24-hour monitoring or to identify medical emergencies and cannot be used or construed as such.\u00a0 c) Medical Billing Services. The Group will submit claims to Medicare on behalf of Physician only for CPT codes 99453, 99454, 99457, 99458, and 99091 (the \u201cRPM Codes\u201d), 98975, 98976, 98977, 98980, 98981, and 98978 (the \u201cRTM Codes\u201d), G0506, 99490, 99489, and 99487 (the \u201cCCM Codes\u201d), and 99212 and 99215 (the \u201cTelemedicine Codes\u201d), as applicable, with respect to Participating Patients (\u201cMedical Billing Service(s)\u201d). The Group will not submit claims for other codes or services provided by Physician to Participating Patients or otherwise, and the Group will not be responsible to Physician for Physician\u2019s failure to receive reimbursement for any submitted claims for reasons outside of the Group\u2019s control. 2.Physician RESPONSIBILITIES. a) Identify Clinical Contact. Physician is responsible for identifying a point of contact (\u201cClinical Contact\u201d) within Physician\u2019s practice to remain available to communicate with the Group as needed. There must be at least one Clinical Contact available at all times during Business Hours to be responsible for taking calls from the Group Clinical Staff and escalating interventions to a physician, as necessary.\u00a0 b) Identify Clinical Protocol. Physician is responsible for establishing monitoring parameters for each Participating Patient via the Software and must enter relevant parameters for each Participating Patient enrolled in the Services. Physician is solely responsible for the accuracy and appropriateness of these parameters. The Group Clinical Staff will monitor PHI according to the parameters established by the Physician. c) Identify Participating Patients. Physician is responsible for identifying high-risk patients who will benefit from Virtual Care Services and providing the Group with required Participating Patient information including but not limited to Participating Patient demographic information, insurance information, disease state, and other data required by the Group to enroll Participating Patients.\u00a0 d) Obtain Consent from Participating Patients. Physician is responsible for obtaining face-to-face Participating Patient consent to participate in the Services as required by and defined by The Centers for Medicare and Medicaid Services (\u201cCMS\u201d). Physician shall obtain and document this consent and any other necessary patient consent, authorization, or other agreements that are required to enroll a Participating Patient in the Services.\u00a0 e) Patient Copay and Deductible. Physician is responsible for collecting any required patient copay, coinsurance, or deductible required by the Patient Participant\u2019s health insurance plan. f) Participate in Rapid Enrollment of Participating Patients. Physician and Authorized Users must participate in the Group Rapid Enrollment process. This includes but is not limited to, providing all required recordings for patient Rapid Enrollment, and attending patient review meetings initially and at thirty (30), sixty (60), and ninety (90) day intervals throughout the patient Rapid Enrollment period.\u00a0 g) Supervision. Physician is responsible for General Supervision of the Group Clinical Staff as needed, where \u201cGeneral Supervision\u201d is defined as a physician or other billing provider providing overall direction and control in accordance with applicable billing requirements set forth under Medicare. Under General Supervision, Physician remains ultimately responsible for oversight of the monitoring services. h) Electronic Medical Record Access and Documentation.\u00a0 1) Access for Patient Identification and Onboarding. Physician is responsible for providing the Group with view-only administrator-level access to the Physician\u2019s Electronic Medical Record (\u201cEMR\u201d) and Electronic Practice Management Software to provide the Group with patient demographic, patient data required to provide the Services, and insurance information in a Consolidated-Clinical Document Architecture (C-CDA) or comma-separated values (CSV) electronic format to assist the Group and Physician in identifying and enrolling Participating Patients. Physician is responsible for ensuring the accuracy, quality, integrity, legality, reliability, and appropriateness of data accessed through the Physician\u2019s EMR.\u00a0 2) Access for Medical Billing Services. Physician will provide access to its Electronic Medical Record (\u201cEMR\u201d) and Electronic Practice Management Software to the Group and its subcontractor(s) as necessary to allow the Group to provide Medical Billing Services. If Physician\u2019s EMR is not compatible with the Group\u2019s billing practices or processes, Physician will work with the Group and its subcontractor(s) to integrate its billing system with the Group\u2019s billing practices and processes as necessary to allow the Group to provide the Billing Services.\u00a0\u00a0 i ) Provide Patient Escalation Protocol. Physician will provide the Group with a written patient escalation protocol without unreasonable delay and within five (5) business days of the Order Form.\u00a0\u00a0 j) Provide Credentialing Access. Physician must provide the Group and its subcontractor(s) with credentialing access and all necessary and reasonably requested documentation to allow for the Group and subcontractor(s) to submit claims to health insurance providers, including Medicaid and Medicare on Physician\u2019s behalf (\u201cDocumentation\u201d). Such Documentation may include without limitation Physician\u2019s National Provider Identifier (\u201cNPI\u201d), Provider Transaction Access Number (\u201cPTAN\u201d), and\/or Physician\u2019s Tax Identification Number (\u201cTIN\u201d). Physician is responsible for confirming the accuracy and completeness of all documents and information provided.\u00a0 k) Claim Approval. Physician is responsible for approving all claims submitted by the Group to healthcare insurance providers, including Medicare and Medicaid.\u00a0 \u00a0l) Medical Treatment and Advice. Physician is responsible for making all treatment decisions and providing medical care with respect to all Participating Patients and any escalations forwarded to Physician by the Group. The Group and its Clinical Staff are not medical providers and are not intended &hellip; Continue reading"}