yehster wrote on Thursday, April 11, 2013:
http://www.cms.gov/Regulations-and-Guidance/Legislation/EHRIncentivePrograms/eCQM_Library.html
yehster wrote on Thursday, April 11, 2013:
http://www.cms.gov/Regulations-and-Guidance/Legislation/EHRIncentivePrograms/eCQM_Library.html
yehster wrote on Tuesday, April 16, 2013:
Per today’s CMS Webinar, QRDA Category III (aggregate level) will ultimately be the preferred mechanism for reporting.
yehster wrote on Tuesday, April 16, 2013:
QRDA Testing tool
http://projectcypress.org/index.html
fsgl wrote on Friday, April 19, 2013:
For Ophthalmologists attesting to Stage 1 criteria, because the 3 Core and 3 Alternate Clinical Quality Measures are not applicable to the specialty, reporting on 3 Additional Clinical Quality Measures is required. This effectively bumps up the number of Measures to 9 in total.
Per the 2014 Clinical Quality Measures Tipsheet, 9 are required again. Two more Additional Measures relating to post Cataract Surgery reporting had been added for a total of 5, of which 3 must be selected.
Is there any sense what will happen, after the period of the EHR bonus, as to the type of reporting/attestation, the feds will mandate to track compliance each year going forward? Or is it stay tuned to Stage 3 and later; then we will find out ?
yehster wrote on Thursday, May 09, 2013: