E/M Coding Alert - 2005 Issue 29
COMPLIANCE: Prepare Your Front Lines For Applying Ultrasound Rules To PET Scans
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Article Overview
This compliance-focused article explains a potential CMS expansion of Stark self-referral coverage to diagnostic nuclear medicine and PET scans. It is intended for physicians, practice managers, compliance teams, and billing/coding professionals who need to understand how imaging-related ownership, compensation, and in-office service arrangements could be affected. The discussion stays at a high level, covering the broader policy and operational implications for practices that provide diagnostic imaging services.
Why This Topic Matters
If finalized, the proposed policy change could affect how medical groups structure imaging services, compensation, and service locations. Readers who manage diagnostic imaging operations or physician financial relationships may need to review existing arrangements for compliance readiness.
What You Will Learn
- How a proposed CMS policy change could affect diagnostic imaging services
- Why existing imaging compliance rules may become relevant to additional modalities
- Which types of practice arrangements may need review if the proposal is finalized
- Why physician groups and imaging-heavy specialties may be especially attentive to the change
Who Should Read This
- Physicians
- Medical practice administrators
- Compliance officers
- Billing and coding staff
- Healthcare attorneys
- Radiology and imaging groups
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