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FAQ Directory: HEDIS

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2.15.2018 Transitions of Care A member is admitted to the hospital on December 30, 2016, and discharged in January 2017. To meet criteria, the Notification of Inpatient Admission must occur on either December 30 or 31, 2016, but the measure description states that the four elements must occur during the measurement year. Can we count the Notification of Inpatient Admission that occurs in the year prior to the measurement year?

Yes. In the scenario above, Notification of Inpatient Admission may be on the admission date or on the following date, even if it occurs in the year prior to the measurement year. The member in this example remains in the measure because the discharge date was in January 2017. Unless the patient’s PCP or ongoing care provider was involved in the patient’s care prior to the admission (e.g., conducted the patient’s pre-admission exam), a communication on the admission date or the date following meets criteria for the Notification of Inpatient Admission numerator.

HEDIS 2018

2.15.2018 Adolescent Well-Care Visits Does sports participation meet the criterion for physical developmental history?

Yes. Documentation of participation in sports or in physical activity meets the criterion for physical developmental history. Bright Futures states that a goal of observing development in adolescents is to determine whether they are developing skills for becoming healthy adults—such as good nutrition and physical activity.

HEDIS 2018

1.15.2018 Transitions of Care The criteria for TRC Notification of Inpatient Admission states that notification should occur on the day of admission or the following day. However, one bullet states that evidence of tests ordered by the PCP during the inpatient stay is valid, as well. If a member stays in the hospital for 10 days, and there is no evidence of the PCP ordering tests until day 4 of the stay, it is this compliant for the indicator?

No. To be compliant for the indicator, documentation that the PCP/care provider ordered tests/ treatment to occur during the inpatient stay must be documented on the day of admission or on the following day. Documentation on day 4 does not count.

HEDIS 2018

1.15.2018 Prenatal and Postpartum Care Is the ability to choose EDD or date of delivery based on the member level or on the organization level?

The determination whether to use EDD or date of delivery is made at the member level. Flexibility is allowed because in the case of pre- or post-term deliveries, the delivery date may not be the most accurate date for determining the first trimester.

HEDIS 2018

12.15.2017 Reporting Requirements Last year, NCQA added the IS 3.1 standard in the Roadmap, stipulating that if a facility is mapped to a provider type, all providers at the facility must be of that provider type. Clarify this standard and whether a majority-mapping should be allowed this year. If so, at what level should it be enforced? Should a percentage of providers on the facility roster be of the mapped type, or is it preferable to review for whether a certain percentage of sampled services on claims be those typically received with the provider type? Should all mapped facilities be investigated individually, or is it acceptable to review the two or three with the highest volume?

For HEDIS reporting, NCQA does not allow blanket mapping a facility to a provider type, unless all providers who render services at the facility meet requirements for the provider type.

For HEDIS measures with a provider-type requirement, the information must be present for the service to be counted. For a facility to be mapped to a PCP (or another provider type) the organization must provide evidence that everyone at the facility meets the provider type requirement.

NCQA does not have an acceptable threshold allowance for auditors to audit against. Each facility must be reviewed individually. The auditor determines the impact of each facility's data on measures that require a particular provider type. From there, the auditor must review, with a level of certainty, who practices at the facility, the services they are contracted to perform and the potential impact to measures if an unacceptable provider renders a service that might count for a measure.

HEDIS 2018

12.15.2017 Unhealthy Alcohol Use Screening and Follow-Up In the HEDIS 2018 Volume 2 Technical Update memo, the updated measure specification for Unhealthy Alcohol Use Screening and Follow-Up (ASF) now indicates there are three strata, but the specifications still note there are four. Which is correct?

There are three strata. The text should be revised in the following two places:

  • Page 43, under “Single-Question (Positive) Response,” bullet 1 should reference “Males (Male AdministrativeGender Value Set) in Strata 1–2”; bullet 3 should reference “All members in Stratum 3.”
  • Page 44, “Single-Question (Negative) Response,” bullet 1 should reference “Males (Male AdministrativeGender Value Set) in Strata 1–2 and bullet 3 should reference “All adults in Stratum 3.”

HEDIS 2018

12.15.2017 Controlling High Blood Pressure When confirming a hypertension diagnosis, a code from the Essential Hypertension Value Set can be used. This value set includes only ICD-10 codes. May ICD-9 codes be used to confirm the diagnosis?

Yes. Organizations may look back any time during a member’s history to confirm the diagnosis (including when ICD-9 codes were in use). Documentation of ICD-9 diagnosis codes 401.0, 401.1 or 401.9 may also confirm a diagnosis of hypertension.

HEDIS 2018

12.15.2017 Transitions of Care The HEDIS 2018 Volume 2 Technical Update states that documenting preadmission exams and communicating planned admissions are not limited to the time frame criteria as other evidence for the Notification of Inpatient Admission indicator. Are there time frames that must be met?

No. There are no additional time frame requirements for preadmission exams or communicating about planned admissions, other than what is documented in the measure specifications. For example, it may meet the standard time frame (on the day of admission or the following day) or it may occur earlier. To prevent information from "different discharges" from being counted, the measure requires that it "must clearly pertain to the denominator event."

HEDIS 2018

11.15.2017 Reporting Requirements The HEDIS 2018 Volume 2 Technical Update memo announced the retirement of “Annual Monitoring for Patients on Persistent Medications (MPM)” for Medicare and the name change from “Inpatient Hospital Utilization (IHU)” to “Acute Hospital Utilization (AHU).” This caused a discrepancy between the CMS Reporting Memo and HEDIS 2018 Volume 2 Technical Specifications. Will CMS release a clarification on what must be reported for HEDIS 2018 for Medicare?

Yes. CMS released a clarification on October 11, 2017, through HPMS, announcing that MPM was retired and is not required for HEDIS 2018 reporting; it also clarified that “Inpatient Hospital Utilization” is now “Acute Hospital Utilization” and should be reported as the updated measure. If you have additional questions, contact CMS at HEDISquestions@cms.hhs.gov.

HEDIS 2018

11.15.2017 General Guidelines General Guideline 17 says that "Members with dual commercial and Medicaid coverage must be reported in the commercial HEDIS reports. These members may be excluded from the Medicaid HEDIS reports." If a member has primary insurance in a Medicaid plan and secondary insurance in another Medicaid plan at any time during the measurement year, should the secondary Medicaid plan report the member in their HEDIS report?

To meet criteria for dual coverage, the member should have dual coverage at the end of the continuous enrollment period (dual coverage is assessed on a measure-by-measure basis). For example, if a measure's continuous enrollment period ends on December 31 of the MY and has dual Medicaid and commercial enrollment on that date, then the member may be excluded from the Medicaid HEDIS reports for the measure and only be reported in the commercial product line (General Guideline 23 in HEDIS 2018 Volume 2). In cases where the member is dually enrolled in two Medicaid plans, the secondary Medicaid payer would have the choice to exclude the member if the primary Medicaid coverage was offered through a different organization.

HEDIS 2018

11.15.2017 Guidelines for Calculations and Sampling The footnote on page 45 of HEDIS 2018 Volume 2 indicates that the lowest Prior Year rate from “Prenatal and Postpartum Care” and “Frequency of Prenatal Care” should be used to reduce the sample size for PPC. Given that FPC was retired with the HEDIS 2018 Volume 2 Technical Update, should the PPC MRSS use the lower rate of the Postpartum and Prenatal care indicators?

Yes. With the retirement of the FPC measure, organizations may reduce the sample size for the PPC measure using the lowest rate of the 2 indicators from the current year’s administrative rate or the prior year’s audited, product line-specific rate.

HEDIS 2018

11.15.2017 Weeks of Pregnancy at Time of Enrollment The HEDIS 2018 Volume 2 Technical Update memo includes a RAND number for the “Weeks of Pregnancy at Time of Enrollment” measure. Is this correct?

No. “Weeks of Pregnancy at Time of Enrollment (WOP)” was retired in HEDIS 2017; the RAND number was inadvertently included in the HEDIS 2018 Volume 2 Technical Update memo.

HEDIS 2018