CMS Releases the IRF and SNF Prospective Payment System Proposed Rules for FY 2024

Members & Publications

April 3, 2023

2024 IRF PPS Proposed Rule

On April 3, 2023, the Centers for Medicare & Medicaid Services (CMS) released the proposed Inpatient Rehabilitation Facility (IRF) Prospective Payment System (PPS) rule for fiscal year (FY) 2024. This proposed rule would update the prospective payment rates for IRFs starting on October 1, 2023.

The proposed rule includes the proposed classification and weighting factors for the IRF prospective payment system’s case-mix groups and a description of the methodologies and data used in computing the proposed prospective payment rates for FY 2024. The proposed rule would modify the regulation regarding when IRF units can become excluded and paid under the IRF PPS, and includes updates for the IRF Quality Reporting Program (QRP).

A fact sheet for this proposed rule can be found on the CMS website.

2024 SNF PPS Proposed Rule

On April 4, 2023, CMS released the proposed Skilled Nursing Facility (SNF) PPS rule for FY 2024. This proposed rule would update the prospective payment rates for SNFs starting on October 1, 2023.

The proposed rule would update Medicare payment policies and rates for SNFs for FY 2024, and includes proposals for the SNF Quality Reporting Program and the SNF Value-Based Purchasing Program for FY 2024 and future years.

A fact sheet for this proposed rule can be found on the CMS website.

Comments on the IRF PPS are due to CMS on June 2 and comments on the SNF PPS proposed rule are due to CMS on June 5, 2023. CMS is expected to release final rules for the IRF and SNF PPS later this summer. 

Academy staff is carefully reviewing the text for both proposed rules and, if applicable, will draft comments for submission to CMS and distribution to membership. Members with questions about either of these proposed rules can contact Academy staff at healthpolicy@aapmr.org

Legislation Introduced to Alleviate Impact of Conversion Factor Cut for 2021

Nov 09, 2020

Last month, two bills were introduced in the House proposing solutions to the estimated 10.6% Physician Fee Schedule conversion factor cut expected to go into effect January 1, 2021.  The bills offer some relief to the cut, but do not reflect a comprehensive or long-term solution.  AAPM&R has therefore chosen to remain neutral regarding these bills. 

Your Academy continues to advocate for a permanent solution to the conversion factor cut while maintaining the important payment increases to office and outpatient evaluation and management services.