Category: MMSEA Section 111 Reporting

Shoreline Blog – CMS Posts New Alert on MMSEA Section 111 Reporting

The Centers for Medicare and Medicaid Services (CMS) posted a new alert dated May 1, 2012 regarding Non Group Health Plan (NGHP) MMSEA Section 111 reporting. The Alert advises that restrictions on additional file submissions have been lifted. The full text of the Alert is available at the following link: https://www.cms.gov/Medicare/Coordination-of-Benefits/MandatoryInsRep/Downloads/Copy-1-of-NGHP_RestrictionsOnSubmissionsLifted05012012.pdf _________________ Our solution to [...]

Shoreline Blog – Section 111 Reporting | CMS Publishes Quick Reference Guide

CMS has published a quick reference guide for MMSEA Section 111 Reporting. The Guide is specifically furnished for Non-Group Health Plan (NGHP) Responsible Reporting Entities (RRE). The full document is located at: https://www.cms.gov/MandatoryInsRep/Downloads/NGHPQuickRef.pdf Our solution to the logistical and substantive challenges of MMSEA Section 111 features complete reporting service. Our resources will extract and review [...]

Shoreline Blog- Medical Malpractice Claims and Section 111 Reporting

During the course of its Town Hall Teleconference on November 16, 2011, a representative of CMS reiterated the importance of accurate reporting of applicable ICD-9 Codes on MMSEA Section 111 reports. He indicated that Responsible Reporting Entities (RREs) should only include injury codes that are related to the underlying claim that is the subject of [...]

Shoreline Blog- MMSEA Section 111 Risk Exposure Solutions

The requirements of MMSEA Section 111 are an integral element of the overall mandates of Medicare Secondary Payer (MSP). A comprehensive approach to MSP compliance includes substantive review of reporting elements, utilization of Medicare Set-Aside Arrangements (MSA), and consideration of insuring ancillary risk exposure. As noted in this excerpt from the Ironshore press release of [...]

Shoreline Blog- MMSEA SECTION 111 REPORTING SOLUTIONS

We are pleased to be an advertising sponsor of the Bar Journal of the Cleveland Metropolitan Bar Association, October 2011 edition. We feature links to our complete MMSEA Section 111 reporting services. This is a topic of current urgency as the Centers for Medicare and Medicaid Services (CMS) advised that Section 111 reporting on liability [...]

Shoreline Blog MMSEA SECTION 111 REPORTING CMS ALERT LIABILITY CLAIMS

MMSEA Section 111 reporting remains a significant logistical and substantive issue for liability insurers. CMS published a series of Alerts on Friday, September 30, 2011, immediately prior to the commencement of the existing timeline pertaining to reporting of liability claim Total Payment Obligation to the Claimant (TPOC). Perhaps the Alert of the most significant general [...]

Shoreline Blog MMSEA Section 111 Reporting User Guide

CMS advises that the newest edition of the MMSEA Section 111 User Guide (Version 3.2) has been posted to the website.  The Guide, and other materials relevant to MMSEA Section 111 reporting, can be located at:  www.cms.gov/mandatoryinsrep We are in the process of reviewing the updated edition, and will look forward to posting more information. [...]

Shoreline Blog MMSEA SECTION 111 REPORTING AND ANCILLARY RISK ISSUES PART 2

Our continued discussion addresses areas of ancillary risk exposure that result from incorrect MMSEA Section 111 reports, above and beyond the Civil fines and penalties.   Even though the RRE has the nexus with the agency as far as the obligation to file reports, we nevertheless see that there is privity in essence between the RRE and [...]

Shoreline Blog – MMSEA SECTION 111 REPORTING TELECONFERENCES

The Centers for Medicare and Medicaid Services (CMS) website indicates the scheduling of Town Hall Teleconferences for MMSEA Section 111 reporting as follows: August 24, 2011  NGHP Policy September 21, 2011 NGHP Technical October 19, 2011  NGHP Policy The website also has the schedule for GHP teleconferences. Our solution to the logistical and substantive challenges of [...]

Shoreline Blog – MMSEA SECTION 111 REPORTING AND ANCILLARY RISK ISSUES

The purpose of MMSEA Section 111 reporting is to assist with the collection of information that the  Coordination of Benefits Recovery Contractor (COBRC) will use to determine primary versus secondary payer status of Medicare in situations of payments made to Medicare beneficiaries by Applicable Plans, otherwise defined as Responsible Reporting Entities (RRE).  The reporting requirements are in addition [...]

Shoreline Blog – SECTION 111 MMSEA TELECONFERENCES

CMS conducted its most recent Town Hall Teleconference on June 29, 1011.  A check of the CMS website does not show a schedule of future sessions for 2011.  We expect that more teleconferences will be added and will look for publication of an Alert from CMS with an enhanced schedule.  CMS has indeed been diligent [...]

Shoreline Blog – MMSEA SECTION 111 ON LinkedIn

The MMSEA Section 111 Reporting Agent Educational Forum, a LinkedIn group we established on October 9, 2009, has now reached a membership of 250. We  founded the group to facilitate dialogue on the substantive and logistical aspects of the MMSEA Section 111 reporting obligations, which are quite complex and subtle.  We are most appreciative of [...]

Shoreline Blog – COMPREHENSIVE MMSEA SECTION 111 AND MSP SOLUTIONS

We  took part in the development of a new and robust Medicare Reporting and Secondary Payer Act Liability (MRSPAL) Insurance Policy underwritten by a major North American insurance company.  Our efforts focused on the conceptual foundations of the policy, designed specifically to insure the risks associated with MMSEA and MSP.  In addition to the Civil Fines [...]

Shoreline Blog – SECTION 111 REPORTING SOLUTIONS

In order to comply with the mandates of Section 111 of the Medicare, Medicaid, and SCHIP Extension Act of 2007 (MMSEA), it is necessary for organizations that are subject to the Mandatory Insurer Requirements (MIR) to determine the manner in which the logistical aspects of reporting will be fulfilled.  An “Applicable Plan” of insurance (including [...]

Shoreline Blog – SECTION 111 REPORTING – OHIO WORKERS’ COMPENSATION SELF-INSUREDS

During the CMS Town Hall Teleconference on June 29, 2011, discussing MMSEA Section 111 Reporting, a CMS representative advised that there is not any more information forthcoming to aid Ohio self-insured employers participating in the “15K Plan”.  Specifically, a concern was expressed to CMS about difficulties encountered by such employers with regard to determination of Medicare beneficiary [...]

Shoreline Blog – MMSEA SECTION 111 REPORTING AND MEDICARE SET-ASIDE ARRANGEMENTS

Medicare Set-Aside Arrangements (MSA) and the reporting requirements of Section 111 of the Medicare, Medicaid, & SCHIP Extension Act of 2007 (MMSEA) are important elements of the Medicare Secondary Payer Statute as the Centers for Medicare and Medicaid Services (CMS) endeavors to achieve the long-term financial viability of the Medicare system.  CMS has required MSA for [...]

Shoreline Blog – MMSEA SECTION 111 REPORTING RRE STATUS

An insured might on occasion elect to resolve a matter via internal financial resources without calling upon applicable insurance coverage.  If the “…settlement, judgement, award, or other payment…” involves a Medicare beneficiary, there are MMSEA Section 111 obligations that must be fulfilled as if the insurer were involved.    However, inasmuch as the insurer is [...]

Shoreline Blog – MMSEA SECTION 111 REPORTING – DIRECT DATA ENTRY

The educational materials provided by CMS via the Computer Based Training (CBT) module for Direct Data Entry (DDE) protocol are most helpful, clear, and concise.  Given that the DDE reporting commences July 11, 2011, the materials provide an excellent overview.  In particular, specific and important information is provided vis-a-vis the calculation of the limitation of [...]

Shoreline Blog – MMSEA SECTION 111 REPORTING TPOC DELAY

With the obligation to file MMSEA Section 111 reports on claims involving TPOC’s (Total Payment Obligation to the Claimant; i.e., settlements) now merely months away, we speculate as to the manner in which CMS will substantiate another delay in reporting if (when?) such a delay is announced, and what the implications might be as far [...]

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MMSEA Section 111 Reporting Agent Educational Forum