Changes to Evaluation & Management Services by the AMA via CPT codes and guidelines in the past 5 years have been extensive. In that same timeframe, CMS/Medicare had completely different definitions of these services in trying to slowly convert to a new definition of Split Shared.
Fortunately, in 2025, CMS/Medicare and CPT reached an agreement on the definition of Split Shared visits. CMS/Medicare specifies in its manuals that it adheres to CPT’s definition of these services. However, CMS/Medicare does provide some additional information and guidance.
This webinar will break down these changes, clarify documentation and compliance requirements, and provide insights into how physicians and Non-Physician Practitioners (NPPs) can effectively implement the updated guidelines for Split Shared visits.
Understanding the role of each practitioner (physician and NPP) in a split shared service is crucial. Documentation from both parties during a Split Shared visit is essential in demonstrating that the requirements for these services have been fulfilled. Both of these topics will be explored in detail.
Coders, billers, auditors, office managers, office administrators, Nurse Practitioners and Physician Assistants