Click here for more sample CPC practice exam questions with Full Rationale Answers

Practice Exam

Click here for more sample CPC practice exam questions and answers with full rationale

Practice Exam

CPC Practice Exam and Study Guide Package

Practice Exam

What makes a good CPC Practice Exam? Questions and Answers with Full Rationale

CPC Exam Review Video

Laureen shows you her proprietary “Bubbling and Highlighting Technique”

Download your Free copy of my "Medical Coding From Home Ebook" at the top right corner of this page

Practice Exam

2018 CPC Practice Exam Answer Key 150 Questions With Full Rationale (HCPCS, ICD-9-CM, ICD-10, CPT Codes) Click here for more sample CPC practice exam questions with Full Rationale Answers

Practice Exam

Click here for more sample CPC practice exam questions and answers with full rationale

Umbilical Hernia with small periumbilical diastasis closure

Me and co-worker having a discussion in what is best for this scnerrio, we can’t find a code for diastasis closure, not sure if we should use unlisted code or append modifier 22 for provider to get credit. Any thoughts on what is best here… or should closure of diastasis be included in the hernia repair..

49585 -22 or
49585/unlisted code (if so, what amount) OR
49585 by itself

PREOPERATIVE DIAGNOSIS: Pre-Op Diagnosis Codes:
* Ventral hernia with obstruction [K43.6]
POSTOPERATIVE DIAGNOSIS: Post-Op Diagnosis Codes:
* Ventral hernia with obstruction [K43.6]
*
PROCEDURE/SURGERY: Repair of umbilical hernia and small periumbilical diastasis
*
*
ANESTHESIOLOGIST: Anesthesiologist: xxxxxx
ANESTHESIA TYPE: General
*
ESTIMATED BLOOD LOSS: minimal
*
COMPLICATIONS: none
*
FINDINGS: small diastasis andumbilical hernia
*
SPECIMENS: none
*
INDICATIONS FOR SURGERY:bulge and pain
*
SUMMARY OF PROCEDURE:
Patient was placed in the operating table in the supine position. General anesthesia was administered. The abdomen was prepped and draped in the usual fashion. A periumbilical midline incision was made and the hernia was identified. The hernia sac was clearly dissected. The hernia sac was reduced inside and the fascia was closed over with a running ethibond suture. After closure of the fascia, the small diastasis was closed with interrupted ethibond. the subcutaneous tissue was dissected one by four mesh was fashioned and placed over the fascial closure and anchored circumferentially to the fascia with interrupted vicryl. The area was then irrigated with antibiotic solution. . After obtaing hemostasis , the subcutaneous tissue was closed with 3- 0 vucryl and subcuticular monocryl for skin Sterile dressings were applied. Firm pressure dressings placed. Final sponge , needle and instrument count was correct.

PREOPERATIVE DIAGNOSIS: Pre-Op Diagnosis Codes:
* Ventral hernia with obstruction [K43.6]
POSTOPERATIVE DIAGNOSIS: Post-Op Diagnosis Codes:
* Ventral hernia with obstruction [K43.6]
*
PROCEDURE/SURGERY: Repair of umbilical hernia and small periumbilical diastasis

*
ANESTHESIOLOGIST: Anesthesiologist: xxxxxx
ANESTHESIA TYPE: General
*
ESTIMATED BLOOD LOSS: minimal
*
COMPLICATIONS: none
*
FINDINGS: small diastasis andumbilical hernia
*
SPECIMENS: none
*
INDICATIONS FOR SURGERY:bulge and pain
*
SUMMARY OF PROCEDURE:
Patient was placed in the operating table in the supine position. General anesthesia was administered. The abdomen was prepped and draped in the usual fashion. A periumbilical midline incision was made and the hernia was identified. The hernia sac was clearly dissected. The hernia sac was reduced inside and the fascia was closed over with a running ethibond suture. After closure of the fascia, the small diastasis was closed with interrupted ethibond. the subcutaneous tissue was dissected one by four mesh was fashioned and placed over the fascial closure and anchored circumferentially to the fascia with interrupted vicryl. The area was then irrigated with antibiotic solution. . After obtaing hemostasis , the subcutaneous tissue was closed with 3- 0 vucryl and subcuticular monocryl for skin Sterile dressings were applied. Firm pressure dressings placed. Final sponge , needle and instrument count was correct.

Medical Billing and Coding Forum

Colonstomy location revision, small bowel resection, bladder repair

Hello! Any suggestions on how to code this? I am looking at 44346, but then would I just bill the 44120 for the small bowel. I know the bladder repair, and adhesiolysis is included.

After general endotracheal anesthesia, patient was positioned in supine position. The colostomy was closed with a running 2-0 silk suture. The patient was prepped and draped in the usual sterile fashion. A 10 blade scalpel was used for skin incision extending subxiphoid down to the pubic symphysis. The subcutaneous tissue was dissected using cautery down to the linea alba. The linea alba was then opened under direct visualization was extended superiorly and inferiorly. Edges of the fascia was grasp with Kockers and lysis of adhesions were carried out using cautery. A Balfour retractor was then placed with good exposure. A loop of small bowel was tethered to the pelvis, bladder and rectal stump. This loop was mobilized out of the pelvis with sharp dissection and cautery. After freeing the entire small bowel, it was inspected for any injuries. The loop of small bowel in the pelvis appeared to be thickened from previous radiation with serosal tears. The serosal tears were attempted to be over sewn with 3.0 vicryl but would tear and not hold sutures. I suspect from previous radiation damage. I then decided to resect this loop of distal ilium measuring approximately 15 cm. Using a GIA stapler the proximal and distal ends of the loop were divided. The small bowel then was aligned in a side to side fashion with 3.0 silk sutures. End enterotomies were performed using cautery. A 75cm GIA was placed in the enterotomies creating a side to side anastomosis. The end enterotomies were aligned with Alice graspers and closed using a TX 60 stapler. Once the small bowel had been mobilized out of the pelvis and resected, the rectum was attempted to be identified however is very thickened peritoneum the as well as bladder. The first assist placed rectal dilators in the rectum for easier palpation and mobilization. However, the previous staple line was unable to be identified. The peritoneum was thicken but the rectum could be palpated. An elliptical skin incision was performed around the colostomy and the subcutaneous tissues dissected to the fascia. Patient was noted to have a parastomal hernia and the hernia sac was also dissected free and transected. The proximal colon then was able to be mobilized intra-abdominally from the ostomy site. The proximal colon was transected using the a 75 GIA stapler to healthy appearing colonic tissue. An EEA 29 mm anvil was secured in the proximal end with a #1 PDS using a pursestring. The EEA stapler was then placed transrectally. The spiked end was barely visible secondary to the thickened wall. The rectal stump was attempted to be skeletonalized by scoring the perirectal fat and peritoneum. There appeared blood in the foley catheter. The first assist back filled the catheter no leak. Continued dissection revealed the bladder was draped over the rectum. I was unable to separate the bladder from the rectum. The posterior bladder wall had been opened during this dissection. The bladder was closed in a 2 layered fashion. First layer was closed using 3-0 chromic and the second layer with 3-0 Vicryl. A #19 French Blake drain was then placed in the pelvis exiting the left lower quadrant and secured to the skin with a 2-0 silk suture. The colo-rectal anastomosis was then abandoned secondary to frozen pelvis and inability to mobilize the rectum to make the anastomosis. The previous ostomy site hernia was closed using 1.0 PDS for the posterior rectus sheath and a 1.0 Vicryl on the anterior rectus sheath. A new ostomy site was created in the right lower quadrant. Using an Alice grasper, the skin was incised in a circular manor. The subcutaneous tissue was dissected using cautery. The anterior rectus sheath was opened two finger breaths and dilated. The sigmoid colon was then delivered through this opening. Copious irrigations were applied and meticulous hemostasis was maintained throughout the procedure. All needles and sponge counts were correct ×2. The midline fascia was closed using a running #1 PDS superiorly and inferiorly. The subcutaneous tissue was irrigated. The skin was then closed using staples. The left ostomy site was also closed with staples. The newly relocated ostomy in the right lower quadrant was then matured using 3.0 vicryl sutures and a clostomy bag was placed. Sterile dressing was applied and the patient was transferred to recovery room in stable condition.

Medical Billing and Coding Forum

Small Bowel Resection with Double Barrel Ileostomy

Any advice is greatly appreciated

Patient is 4 days post op from sigmoid colectomy with low pelvic anastomosis.

POSTOPERATIVE DIAGNOSES:
Sepsis.
Peritonitis.
Free air, free fluid on CT scan.
Perforation of recto-colon anastomosis.

OPERATION:
Exploratory laparotomy.
Opening of recent laparotomy incision.
Washout and drain placement.
Creation of double barrel ileostomy.
Small bowel resection.

Stool spillage in the abdomen with contamination of
pelvis and left quadrant.
Defect of anastomosis on right anterior aspect

**removed staples, separated the skin and subcutaneous tissues, and removed the previous #1 looped PDS sutures
**significant feculent material in the abdomen

GENERAL SURGEON WHO OPENED PATIENT WAS REPLACED BY ATTENDING SURGEON AT THIS POINT

**5 mm leak on the anterior right side of anastomosis
** bowel was extremely friable
**mesenteric injury at 20 cm proximal to the cecum.
**elected to resect the small bowel associated with the mesenteric rent and then brought up a double-barrel ileostomy in the
right lower quadrant
**attention to the double-barrel ileostostomy
**the proximal end brooked to approximately 5 cm, the inferior segment of the bowel we fashioned superiorly to the
proximal end, inferiorly we Brooked this slightly to the skin

Thanks in advance…

Medical Billing and Coding Forum

Radiology PACS Suitable For Small Medical Facilities

In the past, PACS systems were only within the budgets of the largest hospitals.  However, since the prices of electronic technology has decreased in recent years, this has had a positive impact on the cost of medical technology, including all of the equipment used in digital imaging systems.  Cardiology and orthopedic centers that are smaller in scale will discover that there are several options in affordable PACS suited to their specific area of specialization.  These orthopedic and cardiology pacs are designed to improve the workflow of your offices by giving you the options in digital imaging that you need on the job, thereby enabling your medical facilities’ productivity to increase and thus improve your bottom line.

For cardiology and orthopedic PACS systems, you will want to consider the ImageGrid as well as the iMed-Stor.  The ImageGrid is available as a Lite version or with a full complement of useful features, so that you can select the one that will best meet your medical office’s needs, while the iMed-Stor is noted for its routing capabilities.  A PACS system is an appliance that combines hardware with software tailored to the needs of medical offices in terms of enabling the routing of digital medical images, as well as storage of those images.  

Even smaller medical facilities need a means for sending, receiving and routing digital images through networks.  You may utilize a local area network, a wide area network, a virtual private network or some combination of all three.  You need a PACS system that can route those images to multiple users simultaneously and quickly, and this is exactly what a PACS system is designed to do for you.  

Storing digital medical images is of vital importance to the care of your patients, and HIPPA rules mean that even smaller medical offices must comply.  A PACS system will help you to stay in compliance with HIPPA, and it makes it even easier for you because you can optimize your system to automatically save studies for you, as well as send them to off-site storage servers, thereby taking care of your emergency disaster recovery  should it be needed.  

A PACS system will read DICOM medical imaging format.  There are also RIS systems that will translate text data into DICOM format, so that a complete medical record with text and images can be saved to CD, DVD, or server for storage.  

A medical imaging distributor can offer more advice about affordable PACS suited to cardiology and orthopedic units.

Wayne Hemrick writes about–radiology PACS

More Medical Coding Articles

Small breaches could become a big problem

HIPAA enforcement

Small breaches could become a big problem

In a year of high-profile, multimillion dollar settlements for large HIPAA breaches, OCR raised the stakes in a big way—by taking a harder line on small breaches. OCR announced plans to crack down on smaller breaches—those affecting fewer than 500 individuals—in August. Although all breaches must be reported to OCR, generally only breaches affecting 500 or more individuals are regularly investigated, while small breaches are investigated only as resources permit. OCR instructed its regional offices to increase investigations of small breaches to discover the root causes. Identifying common root causes will help the agency better measure HIPAA compliance throughout the industry and address industrywide compliance gaps, OCR said. Regional offices may obtain corrective action if an investigation of a smaller breach reveals noncompliance.

Regional offices were instructed to take several factors into consideration when investigating smaller breaches and determining potential corrective action. These are:

  • The size of the breach
  • Whether a single entity reports multiple small breaches with a similar root cause
  • Whether the breach involves theft or improper disposal of PHI or hacking

 

A closer look

OCR has come under fire for its handling of small breaches. In late 2015, a joint Pro Publica/NPR investigation analyzed federal data on HIPAA complaints and requested documents from OCR, including letters sent to entities that were the subject of HIPAA complaints (www.propublica.org/article/few-consequences-for-health-privacy-law-repeat-offenders). The investigation identified the top serial HIPAA violators, including the Department of Veterans Affairs and CVS. OCR generally responded to these complaints by sending letters reminding the entity of its obligation to protect patient privacy and follow HIPAA, and warned that if OCR received another complaint it may take more serious action. However, OCR rarely took any further or more serious action.

One reason could be that many of these breaches affect fewer than 500 individuals. Both large and small breaches must be reported through OCR’s web portal (www.hhs.gov/hipaa/for-professionals/breach-notification/breach-reporting/index.html) but there are different deadlines for reporting each and, previously, they were not equally prioritized by OCR.

But that asymmetric enforcement policy left many frustrated and means that OCR may be missing data vital to creating an overall picture of HIPAA compliance and effectiveness. An NPR report released in conjunction with Pro Publica’s investigation revealed the lasting and personal harm done by small breaches (www.npr.org/sections/health-shots/2015/12/10/459091273/small-violations-of-medical-privacy-can-hurt-patients-and-corrode-trust).

Massive breaches caused by hackers will put patients at risk for medical and financial identity theft, but, considering the amount of personal data stored by entities across all industries and the sheer number of data breaches, it’s difficult to tie a specific breach to identity theft (see the July and August issues of BOH for more information on breaches and medical identity theft). Small breaches, however, often expose PHI to people in the community the patient lives and works in, leaving the patient at risk for far more personal harm.

But OCR hasn’t ignored all small breaches. In July, the agency reached a $ 650,000 HIPAA settlement with Catholic Health Care Services of the Archdiocese of Philadelphia (CHCS), a business associate (BA), for a 2014 breach affecting 412 individuals after an unencrypted mobile device was stolen (www.medicarecompliancewatch.com/news-analysis/business-associate-agrees-650000-hipaa-fine).

The agency’s strong action may have been spurred by CHCS’ long-standing organizationwide HIPAA noncompliance. CHCS hadn’t conducted a risk analysis since September 23, 2013, the compliance date of the Security Rule for BAs, and therefore had no risk management plan. CHCS also lacked any policies regarding the removal of mobile devices from its facility. OCR suggested that, due to CHCS’ widespread neglect of basic security measures, the fine could have been even higher and only a consideration of the role CHCS plays in delivering care to at-risk populations, including the elderly, disabled individuals, and individuals living with HIV/AIDS, tempered its decision.

Getting perspective

Implementing OCR’s directive may be a tall order for resource-strapped regional offices and it’s difficult to predict what the outcome will be, Kate Borten, CISSP, CISM, HCISSP, founder of The Marblehead Group in Marblehead, Massachusetts, says.

"I’m not sure it’s actually going to make a huge difference, but I think, from the beginning, those of us who were watching HIPAA enforcement were concerned that, while HHS had good intentions, they just didn’t have the resources," she says.

That’s not surprising: HHS is a huge department with many major priorities, including CMS. But, given that HHS and OCR work with limited resources, the new focus on small breaches could be a significant sign of things to come, Borten says. The agency likely recognizes that small breaches are a huge unknown: There’s no "Wall of Shame" for small breaches and little in the way of accountable reporting.

"I just have the sense that there’s an enormous volume of under 500 breaches that get reported that we don’t hear much about," she says. "So I think it’s very important that they take this step."

Some organizations may have been inclined to brush off small breaches: 499 patients is still shy of the 500 mark, she points out, and an organization could easily add it to the end of the year small breach report and forget about it. Those organizations are the ones that will be in for the biggest wake-up call. "Hopefully they’ll hear this and they’ll think again," she says.

Large breaches often grab the headlines, and with good reason. But massive incidents like the Anthem breach may not provide the most useful data for either OCR or other covered entities (CE) and BAs. Massive breaches are statistically unlikely, according to a June 2015 report by researchers at the University of New Mexico and the Lawrence Berkeley National Laboratory (www.econinfosec.org/archive/weis2015/papers/WEIS_2015_edwards.pdf).

"Certainly, you could get hit by one of those big ones," Borten says. "But it’s much more likely, far more likely, you’re going to suffer smaller breaches."

Big breaches come with the risk of big settlements. OCR makes a point of publicizing HIPAA breach settlements and putting the dollar signs front and center. This year alone the agency has levied millions of dollars in HIPAA settlements fines for large breaches. But even as HIPAA breach settlement fines are getting bigger, the numbers don’t stack up against the amount of breaches that are reported each year. Many more organizations get away with little more than a strongly worded letter from OCR. A multimillion dollar fine may be significant for most organizations, but the odds are currently in their favor, Rick Kam, CIPP/US, president and co-founder of ID Experts, says.

"The likelihood that an organization will get fined is so low," he says. "They only catch the big ones, but there are millions of others that are losing data everywhere because nobody’s looking at them."

Too often, organizations assume that if the volume of patients affected by a breach is low, the impact is also low, Borten says, and that’s simply not true. Even a breach involving a single individual’s record can have serious consequences.

As physician practices and local hospitals are absorbed into large corporate health systems, executive perspective on small breaches can become even more skewed, Borten cautions. Executive officers overseeing multiple hospitals, clinics, and physician practices may be more interested in overall numbers and the big picture. A clinical summary handed to the wrong patient at a physician office across the state may simply not register and the impact on the patient will be invisible.

But it’s the duty of privacy and security officers to avoid making that same mistake, she says. "They should be wiser than to fall into that thinking. It falls to them to take a case to the senior leadership or the board of directors and make them recognize that it isn’t just the big breaches," she says. "We worry about the little ones, too."

Privacy and security officers should help provide C-suite the perspective to recognize small breaches and give them the proper weight. A small breach can be just as serious as a large one, Borten says. If an employee posts a patient’s PHI on a social media site, for example, the organization could find itself fighting a lawsuit; even if the case is dismissed, direct legal expenses and time and resources spent preparing documents add up fast. And, as the NPR report showed, it’s not only the patient’s reputation in the community that may suffer; an organization can easily earn a reputation as careless and unconcerned with its patients’ well-being after a small breach.

Small breaches, little data

Because small breaches aren’t investigated to the same standards as large breaches, it’s difficult to measure just how HIPAA-compliant most organizations are and what the real HIPAA pain points are. Another problem is the underreporting of small breaches, Borten says. In 2013 when the HIPAA omnibus rule was released, HHS strengthened the language describing what constitutes a reportable breach. However, HHS also commented at the time that it was concerned there was a significant amount of underreporting. Borten says her experience working with CEs and BAs proves HHS was right to be concerned.

"I think there’s a tendency for underreporting to be more common when there are just one or two patients involved," she says.

In the early days of HIPAA breach notification, some may have been under the impression that CEs and BAs were not required to report breaches affecting fewer than 500 individuals at all, she adds. But that’s never been the case. Although large and small breaches are reported to OCR according to different systems and time frames, organizations are required to treat any breach the same regarding notification to patients.

 

Adding up

Small breaches are likely more typical than large ones, Kam says. Since 2009, roughly 230,000 breaches have been reported to OCR. But only approximately 1,000 have been breaches affecting over 500 individuals and subject to the more stringent investigation procedure. Investigating all HIPAA breaches would be a daunting task for any agency, but by almost exclusively looking at large breaches, OCR left the door open for repeat HIPAA offenders. Small breaches are reported to the agency at the end of the year, but each breach is counted separately, meaning an organization could experience multiple small breaches that add up to well over 500 individuals affected—yet still not be investigated because no single breach hit the 500 mark.

"It turns out that for breaches in healthcare, most of the time, the record count is under 500 records," Kam says. "So you have these organizations that are breaching multiple times and not really correcting the situation because it doesn’t get highlighted or investigated."

OCR’s instructions to its regional offices appear aimed to close that loophole. Along with phase two of the HIPAA audit program, this could be a sign that OCR is getting serious about collecting facts on HIPAA compliance in the real world and improving education and enforcement. The agency might be realizing that it’s time to change if it expects organizations to take HIPAA compliance seriously.

"If you’re seeing the same problem over and over, you’ve got to do something to change," Kam says. "So far, nobody’s listening."

HCPro.com – Briefings on HIPAA

How Small Practices Can Increase Revenue

Virtual groups will allow more clinicians to participate in MIPS to earn incentive payments. Clinicians who were ineligible to participate in the Merit-based Incentive Payment System (MIPS) in 2017 will have a better chance of qualifying in 2018. Although the Centers for Medicare & Medicaid Services (CMS) has proposed to increase the low-volume threshold, they’ve also […]
AAPC Knowledge Center

Stacking Chairs and Small Medical Offices

Stacking chairs are very common in small businesses, particularly offices, because they offer convenient mobility and storage.  When you are not using them they can be stacked up to 15 high in most cases, which then fit very comfortably in the corner of a room or storage closet.  However, many small companies and offices really like them because they are also much cheaper when you buy them this way, and they usually come with a dolly or other device that makes it easy to move them.  Like most things, buying in bulk often saves you money.  They can be shipped directly to your office or place of business and used immediately.

Stacking chairs are frequently used, then, in waiting rooms and reception areas at doctor’s and dentist’s offices.  They are comfortable and convenient and able to move very easily.  This makes it easy to reorganize the office or reception area, especially in regards to cleaning the carpets.  Some small companies also relocate once their business expands so that they can have a bigger office.  Portable seating that is easy to move, then, is often a wise investment early on as it can better facilitate this move when the time comes.  They will offer the same comfort and convenience no matter where you use them!

Some office managers and owners also opt to upgrade their seating options when their business expands.  In this case, then, they might choose to install beam seating or larger arm chairs instead of the stacking chairs that helped them get their business started.  Sometimes this is all it takes to improve the experience of patients or guests, which in turn results in better business and more expansion.  Of course, it is always a good idea to hold onto practical things like stacking chairs simply because you never know when they will come in handy.

I recommend that you visit table and chairs USA in order for to find out more about stacking chairs. No matter what your requirements are this website has all the information that you need.

Professional Medical Equipment For Large Or Small Medical Facilities

Professional medical equipment and instruments are used for many things in the medical field and are used on a regular basis to treat patients. To name a few there are stethoscopes, defibrillators, forceps, clamps, and a host of others that are used to help doctors during surgical procedures.

One of the most common is the use of a stethoscope. This is most commonly used to listen to the heart externally to determine how many beats the heart is taking during the listening process. Many think that this professional medical equipment and instrument is used only for the listening to the heart but there are several other uses. Defibrillators are electronic instruments used for life support. They provide electric shocks that can affect the heart. These devices are commonly misunderstood by the public. Many people believe that defibrillators are used only to restore hearts that have stopped beating. Actually, this equipmentis also used in cases where the heart is beating abnormally also.

Forceps are a medical instrument that looks similar to a pair of household tweezers but on a larger scale. These instruments are used for hold back delicate tissue during surgery or to remove it if need be. Tools like these are necessary in completing many surgical procedures with ease and precision to give the best possible care to your patients. Sterilization of the instruments themselves takes bring the medical instruments to a certain temperature and keeping them there for a set amount of time to kill all the germs.

To use these instruments in such a way will take many years of schooling and to learn how to use them for delicate surgical procedures and to have a steady hand to handle the task. To reduce errors, surgeons routinely mark their patients before surgery with lines which indicate where to cut and which procedure is being performed, and medical instruments are carefully tracked to ensure that nothing is left in the patient.

In medical practices today, there are disposable scalpels or scalpels with disposable blades that are used instead of stainless steel and are extremely important because of the necessity for sterile surgical instruments. A disposable scalpel is generally only used to make a single cut because reusing the scalpel could result in infection or contamination. Using some of the information given here will give you some general knowledge of some of the different medical instruments that are used for delicate surgery today.

For more information on Medical Equipment, please visit our website.

New Webpage Helps Small, Rural Practices Participate in MIPS

CMS announced over the weekend the launch of a new section on the Quality Payment Program (QPP) website dedicated to clinicians working in small or rural practices, as well as those treating patients in underserved areas. The new page serves as a single point of reference for these clinicians to help them prepare for and actively […]
AAPC Knowledge Center