Blog Layout

Healthy Perspectives Year End 2013

December 27, 2013

The business imperatives of high-performing practices

In the face of rapidly changing fiscal and regulatory conditions, physician practices must plan forcefully for the future. They need to focus management attention on the business areas of highest priority and set goals for their improvement.


Tackling financial goals

The greatest imperative is to strengthen the practice’s financial competencies. Your goals should be to maintain and increase profitability; to collect full, prompt and accurate payments from insurers and patients; and to prepare your practice for risk-based payer contracts and other new reimbursement models. And, although the deadline is a year away, forward-looking practices are preparing for the transition to ICD-10 diagnosis coding.


Successful practices achieve these goals using several strategies. First, they’re enhancing their contract audit and recovery processes to maximize compliance with payer contract terms. They’ve developed a central financial infrastructure that’s optimized for current payment modalities yet adaptable to the new models on the horizon, such as bundled payments, value-based payments, pay-for-performance, ACOs and patient-centered medical homes.


These practices have worked aggressively to reduce the incidence of denied claims, the number of days of billings and claims still in accounts receivable, and the number of claims processing errors (at both the practice and payer ends). Many of them also are carrying out benchmarking against other practices to identify operational areas where performance can be improved.


Engaging patients

In an age of growing patient empowerment, well-run practices have seen much value in engaging more fully with their consumer-patients. They’re accomplishing this through a few broad goals — with the most important being to significantly increase each patient’s involvement in maintaining his or her health, including compliance with clinical directives.


On top of that, practices should take steps to enhance the clinical experience, health education, and satisfaction levels of patients and their families. Several strategies contribute to these goals, including:

  • Enabling patients to access their medical records,
  • Allowing them to upload data from home medical devices, and
  • Using online self-service tools to schedule visits, renew prescriptions, review lab results, check in for visits, and make payments electronically.


Practices are also helping patients take more direct responsibility for their own care management.


Upgrading clinical systems

Modern medical practice requires that physicians upgrade their clinical systems. The objective should be giving providers the right clinical tools at the right time and making sure they’re stable, flexible and user-friendly. This is part of a practicewide commitment to demonstrate the “meaningful use” of EHR technology.


Strategies that will lead to fulfillment of these objectives include automating clinical workflows and achieving meaningful use for all physicians. Moreover, such strategies should demonstrate success in raising patient outcomes, providing clinicians with evidence-based guidelines, and making preparations for the ICD-10 transition.


Improving interconnectivity

The trend toward integration and collaboration requires providers to take steps in improving interconnectivity and care coordination. To help lower costs, the best practices are pursuing these objectives across the full continuum of care, taking such steps as:

  • Adopting patient-centered care plans,
  • Streamlining care transitions,
  • Applying evidence-based protocols, and
  • Improving resource utilization, resulting in lower costs.


A key strategy in accomplishing all this is the rollout of interoperable EHR systems among coordinating providers.


Enhancing data analytics

The delivery of health care is particularly amenable to improvement through the application of data analytics and the insights they reveal. Through the measurement of clinical outcomes, it’s possible to determine the best treatment options for patients. A side benefit is the reduction of unnecessary variation in care delivered.


Another valuable application of quantitative study is management of entire populations of patients, rather than individuals. This is a necessary skill for those participating in ACOs. To achieve these ends, practices are gathering knowledge about reimbursements, accounts receivable, physician and staff productivity, and process efficiency. From this information, they’re able to identify bottlenecks in patient flow and revenue cycles, and then introduce transformational system improvements.


Time to roll up your sleeves

At this point, you might be overwhelmed with all there is to do and, unfortunately, these strategies and objectives aren’t optional. They’re mandatory for any physician practice that wishes to keep pace with the ever-changing health care system. Contact your financial and health care advisor for more information. •Physicians rank their business objectives



Last December, the Physicians Practice website surveyed some 300 physicians and practice managers about their highest priority business objectives. The five highest-ranking imperatives were to:

• Improve and maintain profitability (59.7%),

• Improve patient compliance and engagement with their own health (52.3%),

• Obtain complete, timely, and accurate payments from payers and patients (43.8%),

• Improve patient and family experience, education and satisfaction (41.7%), and

• Improve resource utilization and lower costs across the continuum (31.1%).

Other goals being pursued include providing effective health education to patients, allowing patients to access their medical records, demonstrating excellence in improving patient outcomes and achieving meaningful use of their EHR systems.New Paragraph

This material is generic in nature. Before relying on the material in any important matter, users should note date of publication and carefully evaluate its accuracy, currency, completeness, and relevance for their purposes, and should obtain any appropriate professional advice relevant to their particular circumstances.

Share Post:

By Katrina Arona February 19, 2025
The Corporate Transparency Act (CTA) which took effect on January 1, 2024 required "reporting companies" in the United States to disclose information about their beneficial owners to the Treasury Department's Financial Crimes Enforcement Network (FinCEN). In May 2024, a lawsuit was filed claiming that Congress exceeded its authority under the Constitution in passing the CTA. Background: December 3, 2024 in the Texas Top Cop Shop, Inc., et al. v. Merrick Garland, Attorney General of the United States, et al., Judge Amos Mazzant of the United States District Court (Eastern District of Texas/Sherman Division) issued a preliminary nationwide injunction barring the enforcement of the Corporate Transparency Act (CTA). December 23, 2024 the Nationwide Injunction is lifted and filing deadlines are reinstated. Financial Crimes Enforcement Network of the U.S. Department of Treasury (FinCEN) may again enforce the CTA. FinCEN has not extended any filing deadlines. Therefore, all reporting companies should file immediately any beneficial ownership information reports (BOIRs) that were already due, and reporting companies formed prior to 2024 should file their BOIRs by January 13, 2025 (extended from January 1, 2025). December 27, 2024 the federal appeals court on Thursday reinstated a nationwide injuction halting enforcement of beneficial ownership information (BOI) reporting requirements, reversing an order the same court issued earlier this week. FinCEN issued an updated alert on its BOI information page , saying that companies can voluntarily submit BOI reports. February 7, 2025 FinCEN will consider changes to the BOI reporting requirements if a court grants the government's request for a stay of a nationwide injunction in a Texas case, according to a motion filed Wednesday, February 5th. If the stay is granted, FinCEN will extend BOI filing deadlines for 30 days, the government said in its filing in Samantha Smith and Robert Means v. U.S. Department of the Treasury, No. 6:24-CV-336 (E.D. Texas 1/7/25). BOI reporting is currently voluntary, pending further legal developments. Businesses and stakeholders should stay alert for additional updates as the situation evolves. Current Status: February 18, 2025 A federal court lifted the last remaining nationwide injunction stopping BOI reporting requirements. FinCEN which enforces BOI requirements under the CTA said it would extend filing deadline for initial, updated, and/or corrected BOI reports to March 21. However, reporting companies that were previously given a deadline later than March 21 may file their initial BOI report by that later deadline. Resources for consideration: March 21 BOI reporting deadline set; further delay possible BOI Injunction Lifted FinCEN BOI Center
By Katrina Arona February 12, 2025
February 7, 2025 FinCEN will consider changes to the BOI reporting requirements if a court grants the government's request for a stay of a nationwide injunction in a Texas case, according to a motion filed Wednesday, February 5th. If the stay is granted, FinCEN will extend BOI filing deadlines for 30 days, the government said in its filing in Samantha Smith and Robert Means v. U.S. Department of the Treasury, No. 6:24-CV-336 (E.D. Texas 1/7/25). BOI reporting is currently voluntary, pending further legal developments. Businesses and stakeholders should stay alert for additional updates as the situation evolves
By Katrina Arona February 10, 2025
Some nonprofit executives try to control as much as they can. But micromanagement isn’t conducive to creating an effective team.
Show More
Share by: