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But there is an easier way to read, navigate, search and annotate. The "native" Federal Register is the source of truth you can use in every case, but is hard to use.
Study more efficiently. Research questions more quickly. Provide incontrovertible support for your positions on MACRA.
Our table of contents is fully indented so that you can easily find relevant sections for your study and research. Each section is clickable.
The body contains highlighting that maps to the TOC. We also highlight important sections for CMS final decisions (as opposed to comment and response), or sections where we have used citations to answer questions for our customers and friends.
Download your own copy that leverages hundreds of man-hours of work we have already done.
We include all years, because many citations you could need still originate in prior year content.
This is the newest view of what CMS is anticipating in 2023. No more 3-point floor on CQM. No more high-performance pool distributions, new rules on Advanced APM QPs. The good news (if you can call it that), is that on page 70208 (highlighted, of course!) CMS is projecting that over 1/3 of all providers will be penalized based on 2023 performance. What makes that good news is that now there is real money in the program for those who know the rules well, and take advantage.
2022 is behind us. But much of what we will need to know is still documented in the 2022 Final Rule, and even referenced back from the 2023 Rule. 2022 was the first year with CMS projections of penalties to significant numbers of physicians, populating the revenue neutral pool. With the last year of High-Performance funds, 2022 should be the best opportunity (ever) to earn high fee schedule adjustments. See Page 65645, where CMS estimates payments as high as 14.4%
This is the newest view of what CMS is anticipating in 2021 - the first full year after the onset of COVID. Our outlining and annotations will help you focus in quickly on the content most relevant to you.
This is the April, 2020 Final Rule summarizing COVID-19 policies for billing, coding, MIPS and ACO regulations. We have fully outlined and highlighted it, and are prepared to provide Research Q&A on this content as well.
This is the Final CMS MIPS Rule for 2020. Annotated for Table of Contents, and key observations. Note that this edition of the Federal Register covers more than just MIPS. Use our clickable table of contents (red sections) for MIPS content.
Published November 23, 2018. Effective as of 1/1/2019, with more rigorous scoring rules.
Published November 16, 2017. Effective as of 1/1/2018, with some features activated retroactively to 2017.
Published November 4, 2016. Still relevant as the original source for the vast majority of MACRA rules.
Existential regulations are new for 2019. When deciding on the biggest decisions your ACO will ever make, don't rely on heresay. Download our annotated version and jump immediately to the important citations.
This is the definitive source for what is required in Stage 3 / 2015 CEHRT Software.
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