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​CalAIM Behavioral Health Initiative Frequently Asked Questions

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Below is a list of frequently asked questions have been collected from technical assistance and informational webinars and submissions to the BHCalAIM@dhcs.ca.gov email. DHCS will update this list on a quarterly basis. ​

Claiming 

​Can administrative day services be claimed in circumstances or facilities other than when in connection to a beneficiary moving from an acute psychiatric hospital setting to a non-acute residential treatment facility?

No. Only a hospital may claim for administrative day services. A hospital may claim for administrative days when a beneficiary no longer meets medical necessity for acute psychiatric hospital services but has not yet been accepted for placement at a non-acute residential treatment facility that meets the needs of the beneficiary.

If a client requests services with a different county Medi-Cal but does not follow through on transferring their Medi-Cal within the 30 days, will their services be covered for the previous months?

We believe this question is about the beneficiary's county of residence and county of responsibility in MEDS.  SD/MC does not check the submitting county against the beneficiary's county of residence or county of responsibility when the claim is for specialty mental health services.  SD/MC does verify that the submitting county matches either the beneficiary's county of residence or county of responsibility for DMC and DMC-ODS services.  SD/MC does not apply any edits that require the county of responsibility to change within any amount of time after the county of residence is updated.

Are designated mental health workers who are not license-eligible or waivered able to bill the “assessment" code at the same rate as an LPHA?

Prior to payment reform, the rate reimbursed for an assessment is the same regardless of the individual who performs the assessment.  When the Department implements the set of HCPCS and CPT codes on July 1, 2023, we are planning to reimburse an assessment performed by an LPHA at a different rate than an assessment performed by a non-licensed individual. 

Each claim for a SMHS submitted by a MHP through the Short-Doyle system must include an ICD-10-CM diagnosis/ reason for encounter code. Can a claim be submitted with only a substance use disorder diagnosis code?

Reference BHIN 21-071 BHIN 21-075 BHIN 22-019

No, a claim for a SMHS service cannot be submitted with only a substance use disorder diagnosis code. The reason for the encounter (ICD-10-CM code) must correspond to the medically necessary service provided to the beneficiary. If the service is a SMHS, then the reason for the encounter must include a  ICD-10-CM code that corresponds to their mental health diagnosis or an ICD-10-CM code that indicates the reason for the service encounter that is related to the mental health condition (see BHIN 22-013). Please see question #1 above regarding the use of ICD-10-CM codes, including Z codes, even if a diagnosis of a mental health disorder is not established.

If the service is a SUD service (DMC/DMC-ODS), the claim must include an ICD-10-CM code that indicates a SUD diagnosis or an ICD-10-CM code that indicates the reason for the service encounter that is related to the SUD condition (see BHIN 22-013). For further guidance on the use of ICD-10-CM diagnosis codes /reason for the encounter, please refer to the CMS code tabular (list of included diagnoses/reason for service encounter for SMHS and DMC / DMC-ODS services) and the CMS coding guidelines for 2022. These guidelines are updated at least annually.  ​

Last modified date: 2/13/2023 12:03 PM