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Showing content from https://www.acr.org/Clinical-Resources/Clinical-Tools-and-Reference/Clinical-Decision-Support below:

Clinical Decision Support

Clinical Decision Support

Improve appropriate imaging utilization with Clinical Decision Support (CDS). CDS is the digital mechanism for providing appropriate use criteria to clinicians. When you implement CDS, you ensure your patients receive the right imaging at the right time and help them avoid imaging they do not need. 

CMS Clinical Decision Support Program Paused — Not Repealed

The Protecting Access to Medicare Act of 2014 (PAMA) requires an appropriate use criteria (AUC) consult to be performed via a Centers for Medicare and Medicaid Services (CMS) qualified clinical decision support mechanism (qCDSM) when a healthcare provider orders advanced diagnostic imaging for Medicare patients.

The AUC-based CDS program is not cancelled or repealed. The 2024 Medicare Physician Fee Schedule final rule simply paused implementation while Congress considers legislative CDS improvements.

ACR® will continue to work with Congress and CMS to eliminate the real-time claims processing requirement that has resulted in this pause.

ACR and CMS urge providers that have already implemented CDS to continue its use during this pause.

Resources for Practices and Referring Providers

Find information to help you prepare and stay current.

CareSelect® Imaging andClinical Decision Support

CareSelect® Imaging is an EHR-integrated clinical decision support solution that helps ordering providers identify unnecessary diagnostic imaging by utilizing a comprehensive set of evidence-based guidelines, such as the ACR Appropriateness Criteria®. Robust targeted analytics benchmark ordering provider performance against the criteria, helping health systems establish an enterprise-wide standard of care.

“The other major benefit is in the pre-authorization area. Sometimes, that can be a wait of five days, or ten days, or even more. When we have an appropriate use score that is considered appropriate, there’s no reason to put us through these extra hoops and delays in patient care.”

Frequently Asked Questions About CDS

Find the answers to some of the most asked questions about Clinical Decision Support here.

These are physician-developed guidelines clinically oriented to guide decision making about when a medical procedure, service or test would be appropriate or not, and which exam or procedure is most appropriate for the patient’s condition, illness or injury.

AUC are created and maintained by professional societies and other entities.

The ACR Appropriateness Criteria®, the ACR AUC guidance, are multispecialty, physician-developed, evidence-based and transparent. They are considered the most comprehensive for imaging.

In 2023, the ACR AUC provided 233 diagnostic imaging and interventional radiology topics with over 1,100 variants and, for Diagnostic Imaging topics, there were 3,000 clinical scenarios.

The guidelines are developed and reviewed annually by expert panels in diagnostic imaging and interventional radiology. Each panel includes leaders in radiology and other specialties.

In 2014, Congress passed the Protecting Access to Medicare Act (PAMA) to ensure millions of seniors could maintain access to critical health services.

PAMA requires an AUC consult to be performed via a CMS-qualified clinical decision support mechanism (qCDSM) when ordering advanced diagnostic imaging for Medicare patients.

The process reduces and/or eliminates inappropriate advanced imaging services from being performed, thus saving Medicare money. If the PAMA AUC program is implemented, CMS estimates a savings of potentially $700 million annually to the Medicare program. According to an analysis by The Moran Company (TMC), the savings to beneficiary cost sharing is estimated to be roughly $1.4 billion over ten years.

The PAMA AUC program has not been repealed, but was paused by Congress on January 1, 2024, while Congress considers legislative improvements to the program specifically around the real-time claims processing aspect of the statute. ACR and CMS strongly urge providers that have already implemented CDS programs to continue to use them during this pause.

The real-time claims processing requirement can easily be addressed by a simple statutory change to the law.

The PAMA AUC law has not been repealed, only paused. CMS encourages the continued voluntary use of CDS tools. Providers will be better prepared to meet the AUC mandate when a legislative fix is implemented, and the program moves forward.

Regardless of the CMS AUC mandate, this CDS system has numerous benefits for providers and patients.

While the PAMA statute only applies to imaging performed in physician offices and outpatient settings, hospital systems can use CDS for inpatient care as well, leading to more efficient care for all hospital patients.

Compared to alternatives such as prior authorization, which imposes huge administrative burdens on physician practices and shifts costs onto physicians, AUC systems optimize patient care by guiding providers’ determinations of a patient’s advanced imaging needs. In an era where workforce shortages demand solutions, CDS empowers providers to order the most appropriate exams and helps prevent critical findings from being delayed.

Both technical and professional component claims will ultimately require evidence of consultation to be payable. Practice setting will influence how practices work with referring providers and adapt workflows. Below are care-setting-specific tips gathered through experience to date.

When speaking to your IT, medical and professional staff:

The statute requires the identification of outlier ordering professionals. Once CMS has collected two years of ordering data, providers identified as ordering outliers will be subject to a prior authorization requirement. The list of priority clinical areas will serve as the basis for identifying outlier ordering professionals.

The final list of priority clinical areas includes the following clinical conditions:

Future MPFS rules are expected to provide further clarity behind the concept of “prior authorization.”

Consulting and reporting requirements are not required for orders for applicable imaging services made by ordering professionals under the following circumstances:

The CY 2017 MPFS Final Rule addresses the emergency medical condition exemption. CMS indicates while they acknowledge that most of these exempt emergent situations will occur primarily in the emergency department, these situations may arise in other settings as well. Further, they recognize that most encounters in the ED are NOT for an emergency medical condition.

The rule states, "To meet the exception for an emergency medical condition, the clinician only needs to determine that the medical condition manifests itself by acute symptoms of sufficient severity (including severe pain) such that the absence of immediate medical attention could reasonably be expected to result in: placing the health of the individual (or a woman's unborn child) in serious jeopardy; serious impairment to bodily functions; or serious dysfunction of any bodily organ or part." In future rulemaking, CMS will detail how this exception will be indicated on the Medicare claim.


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