CMS’s Promoting Interoperability requirements vary depending on if you’re a hospital or ambulatory practice. Find out which requirements matter to you—and which ones you can happily ignore.
If you’re having trouble deciphering which CMS Promoting Interoperability requirements apply to you, you’re not alone. According to our Medisolv Clinical Quality Advisors, Promoting Interoperability is one of the most frequent sources of questions, confusion, and pencil-snapping frustration among the quality program managers that we talk to every day.
So, we here at Medisolv think it’s time to unpack Promoting Interoperability and help you sort out which requirements matter to you—and which ones you can happily ignore.
CMS offers two forks in the road for how you can report Performance Interoperability: (1) the Medicare Promoting Interoperability Program or (2) the MIPS Program’s Promoting Interoperability Category. Which fork you take depends on what type of reporting entity you are:
If you’re part of an APM, you’ll still need to submit your Promoting Interoperability data at the individual or group level through traditional MIPS. APMs themselves do have separate requirements around certified health IT, and those requirements vary from APM to APM. While we won’t be taking a deep dive on that topic in this post, ONC has identified some commonalities around APMs and certified health IT if you’re interested in learning more.
Yes, they actually do! Regardless of whether you’re a hospital reporting through the Medicare Promoting Interoperability Program or an ambulatory practice reporting through MIPS, there are some basic requirements that both programs share:
New this year, both programs will also offer a single Health Information Exchange (HIE) Bi-Directional Exchange measure that you’ll have the option to submit in place of the two traditional HIE objective measures. Learn more >>
Once you’ve checked off the requirements listed above, reporting as a hospital to the Medicare Promoting Interoperability Program is quite different than reporting as an ambulatory practice through MIPS. Here are the key distinctions that you need to remember:
While most of the objectives in the Medicare Promoting Interoperability Program are only comprised of 1 required measure, the Public Health and Clinical Data Exchange objective has 4 measures that you must report:
Note that this is different than the MIPS program for clinicians; they only have to report on 2 required measures under this objective, Immunization Registry and Electronic Case Reporting.
For 2022, you must score 60 points minimum out of a total of 100 points, or 115 points if you include the currently available bonuses. This year, bonuses can be earned by reporting the Prescription Drug Monitoring Program optional measure in the Electronic Prescribing objective (10 points), and for submitting one of two optional measures in the Public Health and Clinical Data Exchange objective: Public Health Registry Reporting or Clinical Data Registry Reporting (5 points).
The Safety Assurance Factors for EHR Resilience (SAFER) Guides are a new requirement for 2022 designed to help you optimize the safety and safe use of your EHRs. While the MIPS program only requires clinicians to complete an annual assessment of one SAFER Guide (the High Priority Practices Guide) the Medicare Promoting Interoperability Program requires your hospital to complete an assessment of all 9 SAFER Guides:
The good news is that, at this point, CMS is only tracking if hospitals are using the Guides. So, you can attest ‘Yes’ or ‘No’ without getting a penalty. If you’re new to the concept of SAFER Guides, we’ve created a detailed primer to help you understand each Guide and how to use them.
While hospitals have to manage their IQR and Promoting Interoperability efforts as two entirely separate programs, clinicians have it bit easier, at least on paper. That’s because Promoting Interoperability is just 1 performance category out of the 4 total that make up the overall MIPS program.
In fact, when it comes to Promoting Interoperability for clinicians, ease of use seems to be the key difference across the board:
Even if you ace your Promoting Interoperability category, that will only net you 25 points towards achieving the MIPS 75-point penalty avoidance threshold for 2022. Because the threshold is the highest it’s ever been, every single point is crucial this year. Fortunately, like hospitals, you do have the opportunity to earn up to 5 bonus points for reporting at least one extra Public Health Registry (Public Health, Clinical Data, or Syndromic Surveillance) and another 10 bonus points for submitting the Query of Prescription Drug Monitoring Program optional measure.
Keep in mind that CMS automatically reweights the Promoting Interoperability category for a selection of Eligible Clinicians. If you qualify for automatic reweighting, you do NOT have to report Promoting Interoperability and you no longer need to apply for a hardship exception in this category. In fact, if you do submit Promoting Interoperability data, it will override your exception and count toward your final score. So just sit back, relax, and let the automatic reweighting do its job.
Once you understand which program and requirements applies to you—and which ones you can ignore—navigating Promoting Interoperability becomes easier. CMS has even created a cheat sheet to help you quickly and visually identify the differences that matter to you.
And don’t forget, Medisolv’s Clinical Quality Advisors are always on hand to help you translate CMS-speak into real, manageable steps you can take to make sure you’re not only meeting your Promoting Interoperability requirements but also achieving the requirements’ ultimate goal: better patient care through the power of more accessible data.
Contact us now to schedule a time to chat, or check out our other resource guides for more info:
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