ED Coding & Reimbursement Alert - 2004 Issue 25
RADIOLOGY: Imaging Crackdown May Require New Legislation
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Article Overview
This article covers a policy and compliance discussion about physician self-referral, imaging services, and the limits of CMS authority under Stark II. It focuses on efforts by the American College of Radiology and other stakeholders to seek tighter regulation of imaging-related billing and referral practices, while also noting broader legislative and payer-level approaches being considered. The content is relevant to radiology compliance professionals, physicians, healthcare attorneys, and reimbursement staff following federal self-referral rules and designated health service policy.
Why This Topic Matters
Changes to self-referral rules can affect where imaging services are ordered, billed, and performed, with direct implications for compliance, referral patterns, and reimbursement oversight. Understanding the distinction between what CMS can regulate administratively and what may require legislation helps stakeholders anticipate possible policy changes.
What You Will Learn
- The policy issues surrounding physician self-referral and imaging services
- How Stark II and designated health service rules are discussed in relation to radiology
- The limits of CMS authority versus potential legislative action
- Why payer policies and multi-stakeholder advocacy matter in this area
Who Should Read This
- Radiologists
- Physicians
- Healthcare attorneys
- Compliance professionals
- Reimbursement and billing staff
- Medical practice administrators
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