On July 14, 2026, the Centers for Medicare & Medicaid Services (CMS) released the calendar year (CY) 2027 Medicare Physician Fee Schedule (MPFS) proposed rule (the Proposed Rule), which includes a series of significant proposed changes to the payment and coverage requirements for remote physiologic monitoring (RPM) and remote therapeutic monitoring (RTM) services. Stakeholders that furnish, arrange, or support RPM or RTM services, including physician practices, digital health and health technology companies, and remote monitoring vendors, should review these proposed changes and consider submitting comments for CMS’s consideration on how current program structures, staffing models, and billing practices would need to adjust if these changes are finalized.
Read the full article: Remote Monitoring at a Crossroads: CMS Proposes Sweeping Changes in Response to OIG Scrutiny //
Source: https://www.mcdermottlaw.com/insights/remote-monitoring-at-a-crossroads-cms-proposes-sweeping-changes-in-response-to-oig-scrutiny/
