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Quick Reference

  • What it represents: Each additional sequential IV push of a new substance/drug after an initial IV push service in the same encounter.
  • Add-on code: Never bill alone. Report only with an appropriate “initial” parent code (commonly 96374, or an initial infusion when an infusion is the primary service).
  • Not for repeats of the same drug: For a repeat IV push of the same medication in a facility setting, the repeat-push concept is addressed differently (see 96376 discussion), and payers commonly deny “same-drug” use of 96375.
  • Documentation must show sequence: Medication name, dose, route, and the order and timing of pushes should be clear enough for an auditor to reconstruct what was administered and when.
  • Facility vs professional billing matters: Many payer policies specify these drug administration codes are not separately payable to the physician in facility settings, where the facility bills the administration service.

CPT 96375 is a high-frequency revenue-integrity code in emergency medicine, infusion centers, and outpatient practices because it sits at the intersection of coding hierarchy, sequence/timing documentation, and payer edits. Most denials occur for predictable reasons: the add-on is billed without a valid parent service, charting fails to establish a sequential push of a new substance, or the claim is submitted on the wrong biller (for example, a professional claim in a hospital outpatient setting where the payer expects the facility to bill the drug administration).

This guide expands the core rule into operational steps: identify the initial service for the encounter, confirm that each additional push is (1) sequential, (2) a different drug, and (3) supported by time/sequence documentation. It also explains common payer policy positions and how to build documentation that survives routine post-payment review.

IV Push Billing Decision Tree

flowchart TD
    A[IV Push Administered] --> B{Is this the first<br/>IV push in the encounter?}
    B -->|Yes| C[Bill 96374<br/>Initial IV Push]
    B -->|No| D{Is it a different<br/>drug/substance?}
    D -->|Yes| E[Bill 96375<br/>Sequential new drug add-on]
    D -->|No| F{Facility setting?}
    F -->|Yes| G[Consider 96376<br/>Facility repeat-push logic]
    F -->|No| H[Not separately billable<br/>as 96375]
    C --> I{Additional pushes<br/>in encounter?}
    I -->|Yes| D
    I -->|No| J[Claim complete]
    E --> I

1. Official Definition & Clinical Use of CPT 96375

CPT 96375 is defined as: “Therapeutic, prophylactic, or diagnostic injection (specify substance or drug); each additional sequential intravenous push of a new substance/drug”. The words that drive compliance are each additional, sequential, intravenous push, and new substance/drug.

Add-on structure. 96375 is an add-on code and must be paired with an appropriate primary drug administration service (for example, an initial IV push such as 96374 when that is the initial service for the encounter). If it appears without a parent code, claim systems commonly reject it because add-ons do not represent standalone billable procedures.

Clinical reality. In practice, 96375 is used when a patient receives an initial IV push of one medication and then receives a subsequent IV push of a different medication during the same encounter. A typical ED scenario is an antiemetic IV push followed by an analgesic IV push after reassessment. The key is that these are two distinct medications administered one after the other through the IV route, rather than the same medication repeated.

Non-chemotherapy family. 96375 belongs to the therapeutic/prophylactic/diagnostic injection and infusion code family (96360–96379) rather than chemotherapy administration codes, and coding guidance emphasizes applying the correct hierarchy based on the service intensity and definition.

2. Documentation Requirements (Sequence & Timing)

Documentation is what converts a “medication administration event” into a defensible 96375 claim line. Payers often do not dispute that drugs were given; they dispute that the record proves the second administration qualifies as a billable sequential push of a new drug.

Minimum elements per push

For each IV push documented in the chart, include:

  • Drug name (and concentration if relevant)
  • Dose and units
  • Route (IV push)
  • Administration time (or start time; push is typically brief)
  • Who administered and evidence that the administration met supervision/monitoring expectations
  • Indication/medical necessity (symptom treated or clinical purpose)

Medicare and MAC education materials emphasize sequence and timing for infusion/injection coding and the importance of capturing enough information to establish the relationship between initial and subsequent services.

Establishing “sequential” vs “concurrent”

“Sequential” means one service is completed before the next begins. For IV pushes, the easiest way to demonstrate sequential administration is to document distinct administration times (for example, “10:15” then “10:30”). When timestamps are missing or identical, payer reviewers may interpret the administrations as concurrent or may conclude the record does not support a sequential code. If medications are given through separate IV sites at similar times, documentation should clarify that separate access sites were clinically necessary; otherwise, sequence ambiguity can trigger bundling edits.

15-minute concept and time clarity

Many coding resources treat infusions of 15 minutes or less as IV push equivalents for code selection purposes, which makes timing documentation important for correct classification. If infusion start/stop times are absent, reviewers may downgrade an infusion claim to a push model or deny add-on time-based services. The operational takeaway is simple: document times consistently, and when an infusion occurs, document start and stop times so the service cannot be misclassified.

Audit-proofing tip: If you bill 96375, your chart should make it obvious (1) what the initial drug was, (2) what the subsequent new drug was, and (3) that the subsequent administration occurred after the initial push was completed. MAC education materials repeatedly highlight sequence and documentation as the basis for correct add-on reporting.

3. Billing Guidelines, Bundling Rules, & Modifiers

The billing rules for 96375 are built around three pillars: add-on structure, hierarchy/sequence, and bundling edits.

Add-on code billing mechanics

Because 96375 is an add-on, it is reported in addition to the initial administration code for the encounter and is not subject to multiple-procedure reduction logic in the same way as primary procedures. The parent code depends on what service was “initial” under hierarchy rules, which can vary when infusions are also performed (for example, an initial infusion may supersede an IV push as the “initial” service). MAC guidance and payer policies discuss this hierarchy approach and how subsequent services attach to the initial.

Sequential vs concurrent and “new drug” requirement

96375 requires the subsequent IV push be a new substance/drug. If the same drug is administered again, many coding frameworks do not allow 96375, and payer policies commonly enforce that by denial. Facility-only repeat-push logic is typically handled differently (see the 96376 comparison section).

Bundling of routine supplies and incidental services

Routine supplies (IV start kits, tubing, syringes), typical line maintenance, and related minor services are generally considered integral to the administration service and are not separately billable under standard bundling logic. Similarly, minimal “keep vein open” fluids between pushes are commonly treated as incidental hydration rather than separately payable hydration therapy in many coding policies.

Modifier 59 and distinct-service logic

Distinct-service modifiers typically matter most when a second “initial” administration code is needed on the same date of service due to a truly separate encounter or separate IV access site. MAC education describes the concept that a second initial code may require a distinct-service modifier to avoid duplicate denial when circumstances justify it. In routine single-encounter scenarios, 96375 itself usually does not need modifier 59, because its add-on nature already implies it is a subsequent service.

E/M services on the same day

Drug administration services are valued to include typical pre- and post-service work and minimal supervision/assessment. Payer policy documents and NCCI-based concepts frequently describe how low-level E/M services (notably 99211) are not separately payable with drug administration and that any separate E/M must be significant and separately identifiable, commonly requiring modifier 25 on the E/M code. A common compliance approach is to bill an E/M only when there is documented decision-making beyond the inherent work of administering the medication (for example, a separately documented evaluation of a distinct complaint or a medically necessary reassessment that changes management, not merely routine monitoring).

4. Medicare (2026) Guidelines and MAC Policy Themes

Medicare’s drug administration logic typically tracks CPT definitions and is operationalized through MAC education, NCCI edits, and claims processing rules. Noridian’s educational materials on injection/infusion services are frequently used as reference points for sequence rules, bundling, and the distinction between chemotherapy-level and non-chemotherapy services.

“Initial” vs “sequential” in Medicare processing

Medicare commonly allows only one “initial” administration per patient per day per encounter logic, unless documented circumstances justify a second initial service as distinct (for example, a separate return encounter later the same day). In that framework, 96375 attaches as the sequential add-on for each additional new-drug IV push after the initial service.

Facility vs professional billing expectation

In hospital outpatient departments and similar facility settings, the facility typically bills the drug administration services. The NCCI-based concepts and payer policies repeatedly emphasize that professional billing of these services in facility settings is generally not appropriate, because it would duplicate facility payment. This is one of the most common reasons for denial when clinicians attempt to bill 96374/96375 on a professional claim tied to a hospital place of service.

Complex vs non-complex administration clarification (2025 onward)

Noridian’s guidance references broader CMS clarifications on how to evaluate whether administration services meet “complex” chemotherapy-level definitions versus routine therapeutic administration codes. Operationally, if an IV push qualifies under chemotherapy administration criteria (based on intensity and monitoring requirements described in payer guidance), chemotherapy push codes may apply rather than 96374/96375. The practical relevance for 96375 is boundary-setting: it remains the correct add-on for routine therapeutic sequential pushes of new drugs, but it should not be used to represent services that meet chemo-level administration definitions.

5. Private Insurer Policies (Aetna, BCBS, UHC, Cigna)

Most commercial payers follow CPT hierarchy concepts but implement them through payer-specific reimbursement policies and claims edits. Two common themes appear in major payer documents: (1) professional billing limitations in facility settings, and (2) bundling of supplies and low-level E/M with drug administration services.

BCBS policy approach

BCBS policies often outline initial versus sequential logic in a way that mirrors CPT definitions and explicitly discuss that sequential IV push add-ons apply after the initial service and require proper identification of substances and timing. BCBS Oklahoma’s therapeutic injection and infusion coding policy is an example of a payer document that summarizes the initial-versus-sequential structure and reinforces correct categorization.

UnitedHealthcare professional reimbursement approach

UnitedHealthcare’s professional reimbursement policy states that certain injection and infusion administration codes (including the 96372–96379 family) are not intended to be reported by the physician in facility settings, aligning payment responsibility with the facility in those scenarios. UHC’s policy also discusses bundling concepts and emphasizes that routine supplies and related services are included in the administration payment and are not separately reimbursed. For office settings, UHC also describes the need for modifier 25 on a separately identifiable E/M when it is legitimately billed with drug administration.

Other large payers often adopt similar logic even when document formatting differs: they expect one initial service per encounter/day unless clearly distinct, they enforce “new drug” rules for sequential codes, and they apply bundling to minimize line-item fragmentation. The compliance strategy is therefore consistent across payers: match the code to the clinical sequence, document timing and necessity, and bill the correct entity (facility vs professional) for the administration.

6. Typical 2026 Reimbursement & RVUs (MPFS & OPPS)

Payment behavior for 96375 differs materially between the physician fee schedule world and the hospital outpatient prospective payment system world.

MPFS (professional / non-facility) concept

Under MPFS concepts summarized in fee schedule materials, 96375 tends to have low total RVUs and minimal or no physician work component because it primarily reflects clinical staff time and practice expense in an office setting. The ASH summary of the CMS 2025 MPFS final rule provides a reference table of values used to understand relative magnitude and typical payment ranges for codes such as 96374 and 96375. In facility settings, the professional practice expense component is typically not paid, which is why many payers do not reimburse the professional claim for these administration services in hospital outpatient settings.

OPPS (facility) packaging concept

Under OPPS, add-on drug administration codes are often treated as packaged services. Noridian’s OPPS status indicator reference describes packaging status logic (including “N” packaged concepts), which helps explain why add-on codes like 96375 may not generate separate APC payment even though they are still reported for data and rate-setting. Facilities often still report 96375 to represent the clinical work performed, but payment is commonly wrapped into the broader visit or primary service payment.

Practical takeaway: For many payers, 96375 is a “documentation-sensitive” code with relatively modest standalone payment in non-facility professional settings and frequent packaging in facility payment models. Billing accuracy still matters because coding errors can cause denials, recoupments, or distort facility cost reporting.

7. Common Audit and Denial Issues with Sequential IV Pushes

Denials for 96375 are usually traceable to one of a handful of repeatable patterns. Addressing these patterns systematically can meaningfully reduce rework and appeal volume.

Denial pattern: add-on without parent

Because 96375 is an add-on, claims lacking the appropriate initial administration service frequently deny outright. Prevent this by validating that the claim includes the correct initial code for the encounter’s hierarchy and that it is not being suppressed by payer edits.

Denial pattern: “same drug” billed as 96375

96375 requires a new substance/drug. If the same medication is pushed twice, payers may deny the second administration when billed as 96375 because it conflicts with the descriptor requirement. If the scenario is a facility repeat-push situation, ensure that facility reporting follows the appropriate facility-only repeat structure rather than treating it as a “new drug” sequential push.

Denial pattern: timing/sequence not supported

When the record does not clearly show sequential order—especially when timestamps are missing or identical—reviewers may determine the service is not supported or is improperly characterized as sequential. Standardize nursing documentation so medication administrations appear with distinct times and a clear order of events. Where infusions occur, document start/stop times to prevent push/infusion misclassification.

Denial pattern: billed on professional claim in a facility setting

Professional claims for administration services in hospital outpatient settings are frequently denied under payer policies that assign those services to the facility. UHC’s policy language is explicit about this expectation and is representative of how other payers approach professional billing in facility contexts.

Denial pattern: E/M unbundling

Billing low-level E/M services with drug administration codes can deny because administration services include typical minimal visit work. If an E/M is legitimately separate, ensure it is clearly documented and billed with modifier 25 as required by payer rules.

Operational control example: “Two pushes, one claim”

Good chart: “Ondansetron 4 mg IV push at 10:12 for nausea; pain reassessment at 10:25; ketorolac 15 mg IV push at 10:28 for pain; patient monitored, no adverse reaction.”

Why it supports 96375: Two distinct drugs, clearly sequential, documented timing and necessity; aligns with sequential add-on concept.

8. Related Codes: 96374 (Initial IV Push) vs 96375 vs 96376

Correct use of 96375 depends on understanding the “initial” and “repeat” concepts around it. The following comparison focuses on functional differences rather than memorizing descriptors.

Code Core meaning Key compliance trigger Common mistake to avoid
96374 Initial IV push administration for the encounter’s hierarchy Only one “initial” per encounter/day logic unless truly distinct Billing multiple initial pushes without distinct-encounter justification
96375 Each additional sequential IV push of a new drug Must be new substance and sequential to the initial service Using for repeat push of the same medication or without clear sequence
96376 Additional sequential IV push of the same substance (facility concept) Commonly limited to facility reporting structure; often requires spacing rules per CPT guidance Substituting 96375 for same-drug repeats in facility scenarios

The practical decision tree is: determine which service is “initial” for the encounter, then decide whether each additional push is a different medication (96375) or a repeat of the same medication under the applicable reporting rules (often facility-only repeat structure). When the setting is a hospital outpatient department, also confirm whether the claim is being submitted by the correct entity—many commercial payers expect the facility, not the physician, to bill the administration service.

9. Recent Changes in 2025–2026 Guidance

For 96375 specifically, 2025–2026 is best described as a period of clarification and enforcement rather than descriptor changes. The add-on definition and “new drug” requirement remain stable. What has evolved is how consistently payers apply hierarchy and intensity concepts across drug administration services.

Complex administration boundary-setting. CMS-related clarifications summarized in MAC educational materials emphasize evaluating the intensity of monitoring and supervision when determining whether chemotherapy-level administration codes apply versus routine therapeutic administration codes. For organizations administering biologics or high-risk therapeutics, the main operational impact is ensuring the correct administration family is used and that documentation supports whichever family is billed. This does not change how 96375 works; it reinforces that 96375 is for routine therapeutic sequential pushes of new drugs and should not be used when the service clearly meets a different code family’s definition.

Reimbursement dynamics and packaging. Fee schedule and OPPS packaging concepts continue to shape the financial reality of add-on administration codes. MPFS value tables and OPPS status indicator references help teams understand why professional payment can be modest in non-facility settings and absent/packaged in facility settings.

Compliance trend. Across payers, 96375 scrutiny tends to rise when the claim pattern suggests stacking (multiple sequential administrations without clear medical necessity) or when documentation does not clearly support timing and drug distinctions. The most reliable mitigation remains robust MAR charting, clear reassessment notes when clinically relevant, and internal claim edits that prevent add-ons without parents and prevent professional billing of administration codes in payer-defined facility contexts.

Official Description

Therapeutic, prophylactic, or diagnostic injection (specify substance or drug); each additional sequential intravenous push of a new substance/drug (List separately in addition to code for primary procedure)

© Copyright 2026 American Medical Association. All rights reserved.

Common Language Description

A therapeutic, prophylactic, or diagnostic injection refers to the administration of a specified substance or drug through an intravenous push (IVP) technique. This method involves using a syringe to inject the substance directly into an injection site of an existing intravenous line or an intermittent infusion set, commonly known as a saline lock. The injection is typically delivered over a short duration, usually less than 15 minutes, ensuring rapid administration of the medication. For coding purposes, CPT® Code 96375 is utilized as an add-on code for each additional sequential intravenous push of a new substance or drug, following the initial administration. It is important to note that CPT® Code 96374 should be used for the first or single substance or drug administered. Additionally, CPT® Code 96376 is designated for the facility component when there is an additional sequential intravenous push of the same substance or drug, provided that the interval between each administration is 30 minutes or more. This structured approach to coding ensures accurate billing and documentation for the services rendered.

© Copyright 2026 Coding Ahead. All rights reserved.

1. Indications

The procedure involving CPT® Code 96375 is indicated for various therapeutic, prophylactic, or diagnostic purposes. The specific indications for this procedure include:

  • Therapeutic Injection Administering medications to treat a specific condition or disease.
  • Prophylactic Injection Providing preventive treatment to avert potential health issues.
  • Diagnostic Injection Delivering substances that assist in diagnosing a medical condition.

2. Procedure

The procedure associated with CPT® Code 96375 involves several key steps that ensure the safe and effective administration of the specified substance or drug. These steps include:

  • Step 1: Preparation of the Injection The healthcare provider prepares the specified substance or drug for administration. This includes verifying the medication, checking for allergies, and ensuring that the dosage is appropriate for the patient’s condition.
  • Step 2: Accessing the Intravenous Line The provider identifies the existing intravenous line or intermittent infusion set (saline lock) that will be used for the injection. This step is crucial to ensure that the medication is delivered through the correct venous access site.
  • Step 3: Administering the Injection Using a syringe, the provider injects the specified substance or drug directly into the intravenous line or saline lock. The injection is performed over a short period, typically less than 15 minutes, to ensure rapid delivery of the medication.
  • Step 4: Monitoring the Patient After the injection, the healthcare provider monitors the patient for any immediate reactions or side effects related to the administration of the substance or drug. This monitoring is essential for patient safety and to address any adverse effects promptly.

3. Post-Procedure

Post-procedure care following the administration of an intravenous push using CPT® Code 96375 includes monitoring the patient for any adverse reactions to the injected substance or drug. Healthcare providers should observe the injection site for signs of inflammation, infection, or other complications. Additionally, the patient may require follow-up assessments to evaluate the effectiveness of the treatment administered. Documentation of the procedure, including the substance or drug used, the dosage, and the patient's response, is essential for accurate medical records and billing purposes.

Short Descr TX/PRO/DX INJ NEW DRUG ADDON
Medium Descr THERAPEUTIC INJECTION IV PUSH EACH NEW DRUG
Long Descr Therapeutic, prophylactic, or diagnostic injection (specify substance or drug); each additional sequential intravenous push of a new substance/drug (List separately in addition to code for primary procedure)
Status Code Active Code
Global Days ZZZ - Code Related to Another Service
PC/TC Indicator (26, TC) 5 - Incident To Code
Multiple Procedures (51) 0 - No payment adjustment rules for multiple procedures apply.
Bilateral Surgery (50) 0 - 150% payment adjustment for bilateral procedures does NOT apply.
Physician Supervisions 09 - Concept does not apply.
Assistant Surgeon (80, 82) 0 - Payment restriction for assistants at surgery applies to this procedure...
Co-Surgeons (62) 0 - Co-surgeons not permitted for this procedure.
Team Surgery (66) 0 - Team surgeons not permitted for this procedure.
Diagnostic Imaging Family 99 - Concept Does Not Apply
APC Status Indicator Procedure or Service, Not Discounted when Multiple
Berenson-Eggers TOS (BETOS) P6C - Minor procedures - other (Medicare fee schedule)
MUE 6
CCS Clinical Classification 231 - Other therapeutic procedures

This is an add-on code that must be used in conjunction with one of these primary codes.

96360 MPFS Status: Active Code APC S CPT Assistant Article 1Intravenous infusion, hydration; initial, 31 minutes to 1 hour
96365 MPFS Status: Active Code APC S CPT Assistant Article Intravenous infusion, for therapy, prophylaxis, or diagnosis (specify substance or drug); initial, up to 1 hour
96374 MPFS Status: Active Code APC S CPT Assistant Article Therapeutic, prophylactic, or diagnostic injection (specify substance or drug); intravenous push, single or initial substance/drug
96409 MPFS Status: Active Code APC S Physician Quality Reporting PUB 100 CPT Assistant Article Chemotherapy administration; intravenous, push technique, single or initial substance/drug
96413 MPFS Status: Active Code APC S Physician Quality Reporting PUB 100 CPT Assistant Article Chemotherapy administration, intravenous infusion technique; up to 1 hour, single or initial substance/drug
59 Distinct procedural service: under certain circumstances, it may be necessary to indicate that a procedure or service was distinct or independent from other non-e/m services performed on the same day. modifier 59 is used to identify procedures/services, other than e/m services, that are not normally reported together, but are appropriate under the circumstances. documentation must support a different session, different procedure or surgery, different site or organ system, separate incision/excision, separate lesion, or separate injury (or area of injury in extensive injuries) not ordinarily encountered or performed on the same day by the same individual. however, when another already established modifier is appropriate it should be used rather than modifier 59. only if no more descriptive modifier is available, and the use of modifier 59 best explains the circumstances, should modifier 59 be used. note: modifier 59 should not be appended to an e/m service. to report a separate and distinct e/m service with a non-e/m service performed on the same date, see modifier 25.
XU Unusual non-overlapping service, the use of a service that is distinct because it does not overlap usual components of the main service
Q1 Routine clinical service provided in a clinical research study that is in an approved clinical research study
XE Separate encounter, a service that is distinct because it occurred during a separate encounter
76 Repeat procedure or service by same physician or other qualified health care professional: it may be necessary to indicate that a procedure or service was repeated by the same physician or other qualified health care professional subsequent to the original procedure or service. this circumstance may be reported by adding modifier 76 to the repeated procedure or service. note: this modifier should not be appended to an e/m service.
Q6 Service furnished under a fee-for-time compensation arrangement by a substitute physician or by a substitute physical therapist furnishing outpatient physical therapy services in a health professional shortage area, a medically underserved area, or a rural area
X2 Continuous/focused services: for reporting services by clinicians whose expertise is needed for the ongoing management of a chronic disease or a condition that needs to be managed and followed with no planned endpoint to the relationship; reporting clinician service examples include but are not limited to: a rheumatologist taking care of the patient's rheumatoid arthritis longitudinally but not providing general primary care services
XS Separate structure, a service that is distinct because it was performed on a separate organ/structure
PD Diagnostic or related non diagnostic item or service provided in a wholly owned or operated entity to a patient who is admitted as an inpatient within 3 days
GA Waiver of liability statement issued as required by payer policy, individual case
GV Attending physician not employed or paid under arrangement by the patient's hospice provider
GW Service not related to the hospice patient's terminal condition
Q0 Investigational clinical service provided in a clinical research study that is in an approved clinical research study
58 Staged or related procedure or service by the same physician or other qualified health care professional during the postoperative period: it may be necessary to indicate that the performance of a procedure or service during the postoperative period was: (a) planned or anticipated (staged); (b) more extensive than the original procedure; or (c) for therapy following a surgical procedure. this circumstance may be reported by adding modifier 58 to the staged or related procedure. note: for treatment of a problem that requires a return to the operating/procedure room (eg, unanticipated clinical condition), see modifier 78.
AQ Physician providing a service in an unlisted health professional shortage area (hpsa)
CR Catastrophe/disaster related
JZ Zero drug amount discarded/not administered to any patient
22 Increased procedural services: when the work required to provide a service is substantially greater than typically required, it may be identified by adding modifier 22 to the usual procedure code. documentation must support the substantial additional work and the reason for the additional work (ie, increased intensity, time, technical difficulty of procedure, severity of patient's condition, physical and mental effort required). note: this modifier should not be appended to an e/m service.
24 Unrelated evaluation and management service by the same physician or other qualified health care professional during a postoperative period: the physician or other qualified health care professional may need to indicate that an evaluation and management service was performed during a postoperative period for a reason(s) unrelated to the original procedure. this circumstance may be reported by adding modifier 24 to the appropriate level of e/m service.
25 Significant, separately identifiable evaluation and management service by the same physician or other qualified health care professional on the same day of the procedure or other service: it may be necessary to indicate that on the day a procedure or service identified by a cpt code was performed, the patient's condition required a significant, separately identifiable e/m service above and beyond the other service provided or beyond the usual preoperative and postoperative care associated with the procedure that was performed. a significant, separately identifiable e/m service is defined or substantiated by documentation that satisfies the relevant criteria for the respective e/m service to be reported (see evaluation and management services guidelines for instructions on determining level of e/m service). the e/m service may be prompted by the symptom or condition for which the procedure and/or service was provided. as such, different diagnoses are not required for reporting of the e/m services on the same date. this circumstance may be reported by adding modifier 25 to the appropriate level of e/m service. note: this modifier is not used to report an e/m service that resulted in a decision to perform surgery. see modifier 57 for significant, separately identifiable non-e/m services, see modifier 59.
26 Professional component: certain procedures are a combination of a physician or other qualified health care professional component and a technical component. when the physician or other qualified health care professional component is reported separately, the service may be identified by adding modifier 26 to the usual procedure number.
51 Multiple procedures: when multiple procedures, other than e/m services, physical medicine and rehabilitation services or provision of supplies (eg, vaccines), are performed at the same session by the same individual, the primary procedure or service may be reported as listed. the additional procedure(s) or service(s) may be identified by appending modifier 51 to the additional procedure or service code(s). note: this modifier should not be appended to designated "add-on" codes (see appendix d).
53 Discontinued procedure: under certain circumstances, the physician or other qualified health care professional may elect to terminate a surgical or diagnostic procedure. due to extenuating circumstances or those that threaten the well being of the patient, it may be necessary to indicate that a surgical or diagnostic procedure was started but discontinued. this circumstance may be reported by adding modifier 53 to the code reported by the individual for the discontinued procedure. note: this modifier is not used to report the elective cancellation of a procedure prior to the patient's anesthesia induction and/or surgical preparation in the operating suite. for outpatient hospital/ambulatory surgery center (asc) reporting of a previously scheduled procedure/service that is partially reduced or cancelled as a result of extenuating circumstances or those that threaten the well being of the patient prior to or after administration of anesthesia, see modifiers 73 and 74 (see modifiers approved for asc hospital outpatient use).
79 Unrelated procedure or service by the same physician or other qualified health care professional during the postoperative period: the individual may need to indicate that the performance of a procedure or service during the postoperative period was unrelated to the original procedure. this circumstance may be reported by using modifier 79. (for repeat procedures on the same day, see modifier 76.)
95 Synchronous telemedicine service rendered via a real-time interactive audio and video telecommunications system: synchronous telemedicine service is defined as a real-time interaction between a physician or other qualified health care professional and a patient who is located at a distant site from the physician or other qualified health care professional. the totality of the communication of information exchanged between the physician or other qualified health care professional and the patient during the course of the synchronous telemedicine service must be of an amount and nature that would be sufficient to meet the key components and/or requirements of the same service when rendered via a face-to-face interaction. modifier 95 may only be appended to the services listed in appendix p. appendix p is the list of cpt codes for services that are typically performed face-to-face, but may be rendered via a real-time (synchronous) interactive audio and video telecommunications system.
99 Multiple modifiers: under certain circumstances 2 or more modifiers may be necessary to completely delineate a service. in such situations modifier 99 should be added to the basic procedure, and other applicable modifiers may be listed as part of the description of the service.
AG Primary physician
CC Procedure code change (use 'cc' when the procedure code submitted was changed either for administrative reasons or because an incorrect code was filed)
CS Cost-sharing waived for specified covid-19 testing-related services that result in and order for or administration of a covid-19 test and/or used for cost-sharing waived preventive services furnished via telehealth in rural health clinics and federally qualified health centers during the covid-19 public health emergency
G0 Telehealth services for diagnosis, evaluation, or treatment, of symptoms of an acute stroke
GC This service has been performed in part by a resident under the direction of a teaching physician
GY Item or service statutorily excluded, does not meet the definition of any medicare benefit or, for non-medicare insurers, is not a contract benefit
GZ Item or service expected to be denied as not reasonable and necessary
JW Drug amount discarded/not administered to any patient
KX Requirements specified in the medical policy have been met
LT Left side (used to identify procedures performed on the left side of the body)
PN Non-excepted service provided at an off-campus, outpatient, provider-based department of a hospital
PO Excepted service provided at an off-campus, outpatient, provider-based department of a hospital
Q5 Service furnished under a reciprocal billing arrangement by a substitute physician or by a substitute physical therapist furnishing outpatient physical therapy services in a health professional shortage area, a medically underserved area, or a rural area
RT Right side (used to identify procedures performed on the right side of the body)
SA Nurse practitioner rendering service in collaboration with a physician
T4 Left foot, fifth digit
TB Drug or biological acquired with 340b drug pricing program discount, reported for informational purposes
X4 Episodic/focused services: for reporting services by clinicians who provide focused care on particular types of treatment limited to a defined period and circumstance; the patient has a problem, acute or chronic, that will be treated with surgery, radiation, or some other type of generally time-limited intervention; reporting clinician service examples include but are not limited to, the orthopedic surgeon performing a knee replacement and seeing the patient through the postoperative period
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2011-01-01 Changed Medium description changed.
2009-01-01 Added -
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